NAR Letters and Comments to Federal Agencies
Credit Policy (Conventional Residential Lending)
- 06-22-2023 Coalition Response Letter to FHFA Regarding Credit Score Policy Implementation Plan
- 05-15-2020 May 15 - Broad Industry Coalition Comment Letter to Federal Reserve Board, OCC, and FDIC Regarding Revised Interagency Coronavirus Loan Modification Statement
- 03-21-2019 NAR Comment Letter to FHFA Regarding Validation and Approval of Credit Models
- 03-30-2015 NAR Letter to CFPB Regarding Proposed Rules to Amend Final Mortgage Rules Under TILA
- 01-09-2015 Comments: FHFA on proposed rulemaking - Members of Federal Home Loan Banks
- 12-19-2013 Comments: FHFA on G-Fee Increases
- 05-28-2013 NAR Comment Letter on Lender Placed Insurance
- 12-03-2012 NAR Comment Letter to the FHFA on Secondary Mortgage Market Infrastructure
- 11-26-2012 NAR Comment Letter to the FHFA on its Proposal to Adjust Fannie Mae and Freddie Mac G-Fees
- 07-26-2012 Comments: FHFA 2012-2014 Housing Goals for Fannie Mae and Freddie Mac
- 06-13-2012 Comment: FHFA on its Draft Strategic Plan for Fiscal Years 2013-2017
- 10-24-2011 Letter to the Fed on NAR's Five-Point Housing Solutions Plan
- 08-25-2011 Comments: Administration on "Helping Responsible Homeowners Act"
- 04-14-2011 Comments: Fed/FTC on Credit Scores & Risk-Based Pricing Rules
- 08-13-2010 Comments: Treasury Department on Senior Preferred Stock Dividend Rates
- 07-21-2010 Comments: Treasury Department on Reforming U.S. Housing Finance System
- 04-20-2010 FHFA Response to NAR's Letter on GSEs Implementing IVPI
- 04-12-2010 Comments: FHFA Proposed Rule to Set GSE Goals for 2010 & 2011
- 04-06-2010 Comments: FHFA on GSEs Implementing IVPI