NAR Letters and Comments to Federal Agencies
Qualified Residential Mortgage (QRM)/Risk Retention (Conventional Residential Lending)
- 06-07-2021 Coalition Letter to OCC, SEC, Federal Reserve, FHFA, FDIC, and HUD Regarding QRM/Credit Risk Retention Review
- 01-30-2020 NAR Joint Trade Letter to OCC, SEC, FHFA, FDIC, HUD, and the Federal Reserve Board of Governors Regarding QRM Review - Credit Risk Retention
- 10-30-2013 Comments: FED, FHFA, HUD, FDIC, SEC, OCC on QRM Definition in Proposed Credit Risk Retention Rule
- 04-05-2013 Comments: CFPB on Student Loan Affordability
- 01-24-2012 NAR Sends a Coalition Letter to Numerous Federal Agencies on a Proposed Risk-Retention Rule
- 08-01-2011 Comments to the FED, FHFA, HUD, FDIC, SEC, OCC on the Qualified Residential Mortgage/Risk Retention Proposed Rule
- 05-13-2011 Comments: Financial Regulators to Extend QRM Comment Deadline
- 03-16-2011 Comments: Federal Regulators on High Down Payments & QRM
- 01-11-2011 Comments: Financial Regulators on Broad QRM Exception
- 12-01-2010 Comments: Federal Regulators to Express Concerns on QRM Rule