USMI Submits Comment Letter to Banking Regulators on Basel III Endgame Proposed Rule
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Proposal Could Disadvantage First-Time, Low- to Moderate-Income, and Minority Homebuyers and the Proposed Treatment of
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"While USMI supports appropriate capital levels for the safe and sound operation of the
In its comment letter, USMI raises the following aspects urging the Agencies to consider and factor them into the proposed rule:
* The proposed rule will harm first-time, low- and moderate-income (LMI), and minority homebuyers. Given the excessively conservative treatment for low down payment mortgage loans, the capital requirements to support these loans would dramatically increase, negatively impacting many first-time, LMI, and minority borrowers who do not have access to intergenerational wealth to afford large down payments at closing. The proposal would increase costs to consumers and/or disincentivize low down payment balance sheet loans, reducing homebuyers' mortgage options. Furthermore, it would impede the
* The proposed capital treatment for mortgage loans is excessively conservative. Under the current standardized approach, a mortgage loan held by a bank with a loan-to-value (LTV) ratio that equals or exceeds 90% is given a risk weight of 50% if the loan is protected by private MI. However, the
* The
* The
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"We urge the Agencies' final rule to permit a mortgage loan's LTV to be reduced through private MI and qualify for a 50% risk weight as is currently allowed, and recognize the value of private MI in reducing credit losses by deploying dedicated, reliable, and resilient private capital in a first-loss position," continued Appleton. "The private MI industry's strength should be recognized and incorporated in the proposed rule, and USMI looks forward to continuing to work with regulators to improve the proposal."
USMI joined the
For 67 years, the private MI industry has served lenders, the government-sponsored enterprises (GSEs), the
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REPORT: https://www.usmi.org/wp-content/uploads/2023/11/Private-MI-Resiliency-White-Paper-11.08.23.pdf
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Original text here: https://www.usmi.org/comment-letter-to-banking-regulators-on-basel-iii-endgame-proposed-rule/



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