Bankrate, which gets its survey data from online Good Faith Estimate forms, says that part of the increase may be due to
the new GFE form and changes to the Real Estate Settlement Procedures Act.
Let me know your next «buyers» estimated funds for settlement on
the new GFE.
* Lenders that choose to use
the new GFE and HUD - 1 forms before the effective date must immediately abide by the new rules on cost discrepancies and calculating the yield - spread premium.
Unfortunately,
the new GFE seems to miss its goal of simplifying closing costs.
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gfe.
The
new RESPA guidelines will require mortgage originators to provide a standard Good Faith Estimate (
GFE) to their borrowers that clearly discloses the terms of the mortgage loan, as well as all closing costs involved.
Just as you encountered in your original loan, your lender will be required to provide you with a Good Faith Estimate (
GFE) that outlines the fees associated with your
new mortgage loan.
There's a whole
new language littered with strange acronyms like
GFE (Good Faith Estimate), APR (Annual Percentage Rate) and MPR (Minimum Property Requirements).
The
new guidelines are intended to increase the accuracy and completeness of
GFEs, partly by mandating the use of standard forms and disclosures.
The
new rules require mortgage originators to lump the origination costs — including the interest rate and underwriting fees — under one bundled fee on the
GFE; once lenders receive
GFEs from mortgage brokers, they have to accept the charges.
The
new integrated disclosures replace the long - standing Good Faith Estimate (
GFE) and HUD - 1 settlement statement.
Section 1024.7 (f)(6) of Regulation X currently provides that in transactions involving
new construction home purchases, where settlement is expected to occur more than 60 calendar days from the time a RESPA
GFE is provided, the loan originator can not issue a revised RESPA
GFE unless the loan originator provided the borrower with a clear and conspicuous disclosure stating that at any time up until 60 calendar days prior to the real estate closing, the loan originator may issue a revised RESPA
GFE.
The Bureau stated in the proposal that the proposed comment would be consistent with guidance provided by HUD in the HUD RESPA FAQs p. 21, # 2 («
GFE —
New construction»).
In addition, the three - page Loan Estimate will replace a three - page RESPA
GFE and two - page early TILA disclosure, as well as address other
new disclosure requirements in the Dodd - Frank Act.
In addition, the three - page Loan Estimate replaces a three - page
GFE, a two - page early TILA disclosure, a one page appraisal notification provided under ECOA section 701 (e), a one - page servicing disclosure provided under RESPA section 6, and addresses other
new disclosure requirements in the Dodd - Frank Act.