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Single-Family Credit Risk Transfer

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Single-Family Credit Risk Transfer

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

36 items
Date Sort ascending First Name Last Name Organization Comment
Christopher Killian SIFMA/AMI/NAREIT Please see the attached comments from SIFMA, the Association of…View Comment Email: ckillian@sifma.org
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Kevin Keyes Annaly Capital Management, Inc Please see attachmentView Comment Email: investorannaly@annaly.com
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Peter Tsapatsaris United Guaranty Corporation Attached please find United Guaranty's response to the FHFA…View Comment Email: tsapatp@ugcorp.com
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Michelle Maiwurm Wells Fargo Wells Fargo offers the attached comments in response to FHFA's…View Comment Email: michelle.maiwurm@wellsfargo.com
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Daniel Goodwin Structured Finance Industry Group SFIG is a member-based, trade industry advocacy group focused on…View Comment Email: Daniel.Goodwin@sfindustry.org
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Kyle Lawler Federal Home Loan Bank Cincinnati Comment Letter attached.View Comment Email: LawlerRK@fhlbcin.com
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Karen Chang PennyMac Attached is PennyMac's response to the FHFA request for input on…View Comment
Email: karen.chang@pnmac.com
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Ann Kossachev National Assoc. of Federal Credit Unions Attached please find NAFCU's comment letter regarding the FHFA…View Comment Email: akossachev@nafcu.org
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Judd Levy Federal Home Loan Bank of Chicago Please see attached comment submitted on behalf of the Federal Home…View Comment Email: jlevy@fhlbc.com
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Timothy J. Mislansky Wright-Patt Credit Union, Inc. Please see attachmentView Comment Email: N/A
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Sarah Edelman Center for American Progress Thank you for the opportunity to provide comments on the single-…View Comment Email: sedelman@americanprogress.org
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Todd Hill Housing Policy Council of FSR Comments from the Housing Policy Council of the Financial Services…View Comment Email: todd.hill@fsroundtable.org
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Andrew Rippert Arch Capital Group Ltd. Attached please find Arch Capital Group Ltd.'s Comment Letter…View Comment Email: arippert@archcapgroup.com
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Yana Miles Center for Responsible Lending Please see the attached comment from CRL, CFED, and LCCHR.View Comment Email: Yana.Miles@responsiblelending.org
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Joseph Pigg American Bankers Association Please find attached the comment letter from Senior Vice President…View Comment Email: jpigg@aba.com
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Steven Larson Alaska USA Federal Credit Union Please see the attached letter in response to the FHFA's Request…View Comment
Email: s.larson@alaskausa.org
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Christopher Killian SIFMA/AMI/ABA/HPC/SFIG/MBA Please see attached for comments on the CRT RFI from ABA, AMI, HPC,…View Comment Email: ckillian@sifma.org
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Chris Hentemann 400 Capital Management LCC Please see attached our response. Thanks.View Comment Email: chentemann@400capital.com
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Marty Hughes Redwood Trust, Inc. Please find attached Redwood Trust, Inc.'s letter in response to…View Comment
Email: Notices@redwoodtrust.com
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David Ledford National Association of Home Builders Please accept NAHB's comments in response to FHFA's Request…View Comment
Email: dledford@nahb.org
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CHARLES DAWSON National Association of REALTORS(r) Comments attached.View Comment Email: cdawson@realtors.org
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Matthew Roberts California Association of REALTORS® Please see attached comment letter.View Comment Email: matthewr@car.org
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Lindsey Johnson U.S. Mortgage Insurers A comment letter prepared by the U.S. Mortgage Insurers has been…View Comment Email: info@usmi.org
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Ron Haynie Independent Community Bankers of America Attached is copy of the document for input.View Comment Email: ron.haynie@icba.org
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Daniel McPheeters Mortgage Bankers Association Please find attached MBA's comments in response to FHFA's…View Comment Email: dmcpheeters@mba.org
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