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Enterprises’ Single-Family Mortgage Pricing Framework

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Enterprises’ Single-Family Mortgage Pricing Framework

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Below are a compilation of public comments made on this topic.

172 items
Date Sort ascending First Name Last Name Organization Comment
Deborah Jones Citizens Thank you for permitting our late response to FHFA's RFI Pricing…View Comment
Email: deborah.jones@citizensbank.com
Attachment: View Attachment
Elizabeth Nimmons NAHREP Please see attached letter to provide insights into the Enterprises…View Comment Email: enimmons@nahrep.org
Attachment: View Attachment
Victor Brock Mortgage Bankers Association of Hawaii We ask the FHFA to review the LLPA cap threshold of 100% of AMI for…View Comment Email: victorb@hsfcu.com
Attachment: View Attachment
Mark Huang Private GSE capital: 1% is sufficient if GSEs or FHFA is careful. 1.5% is too…View Comment
Email: none@yahoo.com
Attachment: N/A
Christopher Roberts Individual investor Only to reiterate Urban Institute and so many other submissions. 4%…View Comment Email: chrisanja@yahoo.com
Attachment: N/A
Scott Olson Community Home Lenders of America See enclosed comment letterView Comment Email: ScottOlson@communitylender.org
Attachment: View Attachment
Amanda Smith NAFCU Please see attached comment letter.View Comment Email: asmith@nafcu.org
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Greg Zagorski National Council of State Housing Agencies Attached please find the National Council of State Housing Agencies…View Comment Email: gzagorski@ncsha.org
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Alexis Iwanisziw Inclusiv Please find Inclusiv's comment on the Enterprises' Single-…View Comment Email: aiwanisziw@inclusiv.org
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Tim Roy Independent Community Bankers of America Please see attached document.View Comment Email: tim.roy@icba.org
Attachment: View Attachment
Daniel Janzow Lincoln Institute of Land Policy Please see the attached comment on behalf of Lincoln Institute of…View Comment Email: djanzow@lincolninst.edu
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David Park Credit Union National Association Please see attached comments.View Comment Email: dpark@cuna.coop
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Rodrigo Alba American Bankers Association The American Bankers Association (ABA) is pleased to offer comments…View Comment Email: ralba@aba.com
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Tim Galligan Draper & Kramer Mortgage 30yr Mortgage industry vet and I'm all about assisting 1st time…View Comment Email: tim.galligan@dkmortgage.com
Attachment: N/A
Cristy Villalobos-Hauser National Housing Resource Center Please see attached comments.View Comment Email: chauser@hsgcenter.org
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Lesli Gooch Manufactured Housing Institute (MHI) Please see attached comment letterView Comment Email: lgooch@mfghome.org
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David Dworkin National Housing Conference Please see attached comment letter.View Comment Email: charles.lowery@nhc.org
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Falon Young Neighborhood Housing Services of Chicago Neighborhood Housing Services of Chicago (NHS) is submitting this…View Comment Email: fyoung@nhschicago.org
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Oliver Rubinstein Pennymac Please see attached response.View Comment Email: oliver.rubinstein@pennymac.com
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Michael Gill Housing Policy Council Please find attached comments from the Housing Policy Council.View Comment Email: mike.gill@housingpolicycouncil.org
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Brendan Kihn U.S. Mortgage Insurers Please find attached U.S. Mortgage Insurers' (USMI) comment…View Comment Email: bkihn@usmi.org
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Victoria Van de Vate Urban Institute I submit this response on behalf of my colleagues at Urban Institute.View Comment Email: vvandevate@urban.org
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Mitria Spotser Center for Responsible Lending The Center for Responsible lending is submitting the attached comment…View Comment
Email: mitria.spotser@responsiblelending.org
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Elisabeth Coats NCST NCST and the Homeownership Alliance are pleased to provide the…View Comment Email: ecoats@ncst.org
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Maureen Yap National Fair Housing Alliance NFHA and advocate commentsView Comment Email: myap@nationalfairhousing.org
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