TILA Flashcards
Record Retention Timeframes
Record Retention Timeframes
- General Records Retained for 2 years
- Residential Loans Related records retained for 3 years
- Closing Documents Retained for 5 years even if the loan is sold.
- Lender Compensation: Records retained for 3 years.
The primary goals of TILA are to
- Protect consumers by disclosing the costs and terms of credit
- Create uniform standards for stating the cost of credit thereby encouraging consumers to compare the costs of loans offered by different creditors
- Ensure that advertising for credit is truthful and not misleading
- Provide borrowers with the right to rescind certain types of mortgage transactions
TILA does not apply to the following types of credit transactions:
Transactions for business, agricultural, or organizational credit` (A,B,C)
▪ Credit in excess of a threshold amount that is adjusted annually (this threshold does not
apply to transactions that are secured by real property or a dwelling)
▪ Public utility credit
▪ Credit extended by a broker registered with the Securities and Exchange Commission or
the Commodity Futures Trading Commission
▪ Home fuel budget plans
▪ Student loans made, insured, or guaranteed by the federal government,or
▪ Employment-sponsored retirement plans
(12 C.F.R. §1026.3)
6 pieces of information for application
The consumer’s name:
2) Social Security Number which is used to obtain a credit report
3) Income
4) The address of the property to secure the loan
5) An estimate of the value of the property securing the loan
6) The loan amount sought
General Business Day means
General Business Day means:
Any Day on which the creditor’s offices are Open to the Public for carrying out substantially all business functions.
→This is the definition that applies to deadlines for providing the Loan Estimate
These are for Providing Disclosures
Specific Business day means?
All calendar days except Sundays and Legal Public Holidays.
→These are used in regards to “**`Waiting Period Timeframes
“how long before you can close`”
“how long before you can fund a loan
”
One of the primary goals of TILA is the establishment of
uniform standards for stating the cost of credit. Use of the same standard is intended to help consumers to compare the costs of loans offered by competing creditors.
The two uniform standards created by TILA are
1) The Finance Charge ($ Amount):
Regulation Z defines finance charge as the cost of credit as a dollar amount (12 C.F.R. §1026.4(a)). The calculation of a loan’s finance charge is a process that involves determining which of the many fees associated with a loan’s origination and closing are included in the charge.
2) The Annual Percentage Rate (APR) (% Amount):
Regulation Z defines the APR as a measure of the cost of credit, expressed as a yearly rate` (12 C.F.R. §1026.22(a)).
The two uniform standards created by TILA are
1) The Finance Charge ($ Amount):
Regulation Z defines finance charge as the cost of credit as a dollar amount (12 C.F.R. §1026.4(a)). The calculation of a loan’s finance charge is a process that involves determining which of the many fees associated with a loan’s origination and closing are included in the charge.
2) The Annual Percentage Rate (APR) (% Amount):
Regulation Z defines the APR as a measure of the cost of credit, expressed as a yearly rate` (12 C.F.R. §1026.22(a)).
The “Finance Charge” does include:
The “Finance Charge” does include:
(Fees that you only pay because your borrowing money)
- fees paid to third parties if the creditor requires the use of a particular third party (condition of the loan)
- retains a portion of the third-party charge (Lender Fee)
Closing agent charges:
Closing agent charges:
fees charged by the closing agent are included in the finance charge if the creditor requires these services requires a charge for these services, or retains a portion of the charge
If the creditor retains a portion of the charges, the finance charge should reflect only the portion of the fee that the creditor keeps (12 C.F.R. §1026.4(a)(2)).
Mortgage broker fees:
→a mortgage broker’s fees are always included in the finance charge even if the lender does not require the use of the broker’s services and does not retain a portion of the charge` (12 C.F.R. §1026.4(a)(3)).
Charges Always Included
- Loan origination fees
- Mortgage broker fees
- Transaction fees
- Discount for inducing payment without using credit
- Borrower-paid points
- Credit guarantee insurance premiums
- Construction loan inspection fees
- Fees imposed, regardless of when collected, for services performed periodically during the loan term in connection with a real estate or residential mortgage transaction such as tax lien searches or flood insurance policy determinations
Charges Never Included
- Charges for an unanticipated late payment, for exceeding a credit limit, or for delinquency, default, or a similar occurrence are not finance charges
- Seller’s points
- Taxes, license fees, or registration fees paid by both cash and credit customers are generally not finance charges.However, a tax imposed by a state or other governmental body solely on acreditor (not the consumer) that the creditor separately imposes on the consumer is a finance charge.Also, to the extent a charge imposed by a creditor exceeds the same charge in a comparable cash transaction, the difference is a finance charge.
- When a borrower is required to purchase an item or service in a credit transaction, but that item or service is not required in a comparable cash transaction, the charge would be a finance charge, even if the item or service may be voluntarily purchased by a consumer paying cash. For example, if a lender required the purchase of a maintenance or service contract in a credit transaction, the charge would be a finance charge even though cash customers in that scenario have theoptionof purchasing such a contract.
Determining Finance Charges
Basic Rules
- Inclusions
Fees that you only pay because you’re borrowing money.
Third-party fees required by the creditor.
Lender-retained portions of third-party charges.
Mortgage broker fees, regardless of lender requirements.
TILA is called ? Eat. when ?
Truth in Lending Act Est 1968
Purpose of Tila was to inform the ______ the ____ of ____? and to protect consumers from unfair treatment from _____?
Inform consumers on the use of credit.
disclosure requirements as a means of protecting consumers from unfair treatment by creditors.
Primary goals of TILA are to ?
1) Disclose the cost and terms of credit
2) Standards for stating the cost of credit
3) Make sure that the advertising for credit is truthful and not misleading
4) Provide borrowers the right to remind from certain transactions
TILA is known as Reg ____?
Reg Z
Loans Covered by TILA?
Place where:
1. Credit is offered and make regularly
2. Credit where there is a finance charge and plan to pay back in more than 4 installments
3. Credit is for personal , family or household
TILA does not apply to ?
- A,B,C loans
- Credit that is in excess amount
- Public Utility credit
- Credit extended by a broker that is registered with Securities and Exchange Commission or the Commodity Futures Trading Commission
- Student Loans
- Employee sponsored Retirement
Application has 6 requirements
1) The consumer’s name
2) Social Security Number which is used to obtain a credit report
3) Income
4) The address of the property to secure the loan
5) An estimate of the value of the property securing the loan
6) The loan amount sought
APR is defined as ?
APR as a measure of the cost of credit, expressed as a yearly rate
Finance charge is ?
finance charge as the cost of credit as a dollar amount
TILA states that Finance Charge includes Fees that you only pay because your borrowing money, for example…
- Interest Charges
- Loan Origination Fees
- Discount Points
- Mortgage Insurance Premiums
- Credit Insurance Premiums
- Application Fees
- Underwriting Fees
- Prepayment Penalties
- Servicing Fees
- Closing Costs
Regulation Z also creates two additional rules related to the calculation of finance charges
referring to each as a “Special Rule.”
▪ Closing agent charges:
fees charged by the closing agent are included in the finance charge** if the creditor requires these services**, requires a charge for these services, or retains a portion of the charge.
If the creditor retains a portion of the charges, the finance charge should reflect only the portion of the fee that the creditor keeps*(12 C.F.R. §1026.4(a)(2)).
▪ Mortgage broker fees
mortgage broker’s fees are always included in the finance charge even if the lender does not require the use of the broker’s services and does not retain a portion of the charge`
Accuracy Tolerances for Finance Charges are ? for closed and open ended loans?
Closed= The charge is not understated by more than $100. “or” The amount stated is greater than the amount required to be disclosed
Open= no error
Inaccurate disclosures of the finance charge or APR give consumers the right to rescind a loan up to ___ years after consummation.
3 years
APR is defined as?
“annual percentage rate” as a measure of the cost of credit, expressed as a yearly rate
when calculating the APR these are usually not included ?
Title fees
Escrow fees
Notary fees
Appraisal and credit report fees and
Document preparation fees
APR is accurate if it is : not more than ____of one percentage point above or below the APR
1/8 (.125)
If the loan is an Irregular loan,(Adjustable Mortgage) or one that allows for multiple advances or irregular payment periods or amounts, the APR is regarded as accurate if it: is not more than ____ of one percentage point above or below the APR when the APR is calculated using the actuarial method
1/4 of one percentage point above or below the APR when the APR is calculated using the actuarial method
TILA requires many disclosures for ARMS , These disclosures provide consumers with:
Summaries of loan costs and lending terms
▪ Warnings related to the inherent risks of adjustable interest rates
▪ Advance notice of rate changes that will impact the amount of future loan payments
Examples of disclosures required by RESPA are?
- Loan Estimate and Closing disclosure
- CHARM Booklet
- loan program disclosures for each variable rate
The loan program disclosures must contain the following information:
A statement that the interest rate, payment, or loan term can change
▪ Identification of the index or formula used to make adjustments
A recommendation that the borrower ask about the current margin value and current
interest rate
▪ A notation that the interest rate will be discounted and a recommendation that the loan
applicant ask about the amount of the discount
▪ The frequency of interest rate and payment changes
▪ The rules relating to index, interest rate, and payment amount, such as the use of rate and
payment caps
▪ A statement, when applicable, of the fact that negative amortization can occur
▪ An explanation of how to calculate payments for the loan amount
▪ A reminder that the loan contains a demand feature
▪ A statement of the type of information that will be provided in notices of interest rate
adjustments and an indication of when these notices will arrive
▪ An indication that disclosure forms are available for other variable-rate loan programs
What is the Current Margin Value and how is it calculated?
What is the Index Rate ?
The index rate, in the context of Adjustable-Rate Mortgages (ARMs), is a benchmark interest rate that reflects general market conditions. It serves as a base rate to which a margin is added to determine the fully indexed interest rate for the mortgage.