The Consumer Financial Protection Bureau has proposed a new rule aiming to create a standardized definition of what it means for a nonbank financial company to pose “risks to consumers.” The goal is to make supervision clearer, more consistent, and limited to significant threats rather than being applied on an ad‑hoc basis.
The Federal Housing Administration (FHA) has reduced its national loan limits for the first time in over a decade, reshaping the landscape for prospective homebuyers in expensive markets. The change means many borrowers who expected to qualify under former thresholds may now fall short—and could face fewer options.
A 25‑basis‑point cut from the Federal Reserve is widely anticipated, but economists and bond‑market experts caution that the effect on mortgage rates could be limited or even counterintuitive in the near term. Markets are almost certain that the Fed will reduce its short‑term rate target from 4.25‑4.50% by a quarter point.
The Consumer Financial Protection Bureau’s decision to swiftly clear nearly all outstanding “matters requiring attention” (MRAs) is raising alarm among mortgage compliance experts, who warn the move could lead to regulatory gaps and unchecked risks. MRAs serve as a critical supervisory tool, flagging compliance issues—ranging from minor documentation oversights to serious lending violations—and giving lenders an opportunity to address them before formal enforcement.
In the second quarter of 2025, real estate investors accounted for a historic share of home purchases as traditional buyers struggled with surmounting affordability challenges. Investors snapped up nearly 27% of all homes sold during this period—an all‑time high over the past five years and a sharp rise from the 18.5% average seen between 2020 and 2023.
Effective September 1, 2014, USDA will replace the 7 CFR 1980-D regulations with the 7 CFR 3555 regulations for its guaranteed rural housing program. The new handbook will house all previous administrative notices (AN’s) and the existing rules in one comprehensive document. The new handbook will also include all rule changes based on regulation 7 CFR 3555.
Opinion-Editorial (Op-Ed) Disclaimer For NAMU® Library Articles: The views and opinions expressed in the NAMU® Library articles are those of the authors and do not necessarily reflect any official NAMU® policy or position. Examples of analysis performed within this article are only examples. They should not be utilized in real-world application as they are based only on very limited and dated open source information. Assumptions made within the analysis are not reflective of the position of NAMU®. Nothing contained in this articles should be considered legal advice.
Are you aware that there is a zero down program available? And no, it isn’t VA. The USDA offers the Rural Housing Loan Program that is available to mid and low income persons in rural area.
Opinion-Editorial (Op-Ed) Disclaimer For NAMU® Library Articles: The views and opinions expressed in the NAMU® Library articles are those of the authors and do not necessarily reflect any official NAMU® policy or position. Examples of analysis performed within this article are only examples. They should not be utilized in real-world application as they are based only on very limited and dated open source information. Assumptions made within the analysis are not reflective of the position of NAMU®. Nothing contained in this articles should be considered legal advice.
On May 11th, USDA announced that they would continue to issue Conditional Commitments for Guaranteed Rural Housing loans until even after 2010 appropriated funds has been exhausted. Their bulletin stated that such Conditional Commitments would be issued with a condition stating “subject to the availability of funds and Congressional authority to charge a 3.5 percent guarantee fee for purchase loans and a 2.25 percent guarantee fee for refinance loans.”
Opinion-Editorial (Op-Ed) Disclaimer For NAMU® Library Articles: The views and opinions expressed in the NAMU® Library articles are those of the authors and do not necessarily reflect any official NAMU® policy or position. Examples of analysis performed within this article are only examples. They should not be utilized in real-world application as they are based only on very limited and dated open source information. Assumptions made within the analysis are not reflective of the position of NAMU®. Nothing contained in this articles should be considered legal advice.
Written By: Stacey Sprain
As an FHA originator, processor or underwriter, it’s likely that in the ongoing foreclosure market you’ll run across a HUD REO loan at some point. The purpose of this multi-part article is to provide you with some useful information to help in your endeavors.