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Enterprise Regulatory Capital Framework

Publication Details
Type
Proposed Rulemaking
Document Number
2020-11279
Federal Register Publish Date
06/30/2020
Comment Open Date
05/20/2020
Comment End Date
08/31/2020
Comment Status
Closed
Rulemaking Details
Rulemaking

Enterprise Regulatory Capital Framework

12/17/2020
Number
RIN-2590-AA95
Group
Fannie Mae
Freddie Mac
CFR
12 CFR Parts 1206, 1225, 1240, and 1750
CFR Description
ASSESSMENTS; ENTERPRISE CAPITAL REQUIREMENTS
Effective Date

Enterprise Regulatory Capital Framework

Contact Information

FOR FURTHER INFORMATION CONTACT: Naa Awaa Tagoe, Senior Associate Director, Office of Financial Analysis, Modeling & Simulations, (202) 649-3140, NaaAwaa.Tagoe@fhfa.gov; Andrew Varrieur, Associate Director, Office of Financial Analysis, Modeling & Simulations, (202) 649-3141, Andrew.Varrieur@fhfa.gov; or Miriam Smolen, Associate General Counsel, Office of General Counsel, (202) 649-3182, Miriam.Smolen@fhfa.gov. These are not toll-free numbers. If you are deaf, hard of hearing, or have a speech disability, please dial 7-1-1 to access telecommunications relay services. Additionally, the TDD 1-(800) number referenced in Rulemaking documents attached to this page is obsolete and the 7-1-1 number should be used.

Summary

SUMMARY: The Federal Housing Finance Agency (FHFA or the Agency) is seeking comments on a new regulatory capital framework for the Federal National Mortgage Association (Fannie Mae) and the Federal Home Loan Mortgage Corporation (Freddie Mac, and with Fannie Mae, each an Enterprise). The framework would consist of risk-based capital and leverage ratio requirements, with capital buffers on certain of these requirements. The risk-based capital requirements would include requirements for credit risk, market risk, and operational risk. The leverage ratio requirements would provide a credible backstop to the risk-based capital requirements. An Enterprise’s capital distributions and employment-based discretionary bonus payments would be subject to limits if the Enterprise does not maintain regulatory capital in excess of the prescribed capital buffer amounts. The proposed rule would also make conforming amendments to definitions in FHFA’s regulations for assessments and minimum capital and would also remove the Office of Federal Housing Enterprise Oversight’s (OFHEO) regulation on capital for the Enterprises.

DATES: FHFA invites interested parties to submit comments on the proposed rule on or before August 31, 2020.

Link to Fact Sheet

Public Comments people-icon

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

126 items
Date Sort ascending First Name Last Name Organization Comment
Krishnan Narayan N/A I am a Fannie and Freddie shareholder. I bought the stocks prior to th…View Comment
Email: N/A
Attachment: N/A
Glen Bradford none If you are working on figuring out how much capital Fannie and Freddie…View Comment
Email: globalspeculation@gmail.com
Attachment: View Attachment
Chris Killian SIFMA Please see the attached PDF for SIFMA and Nareit's comments.View Comment Email: ckillian@sifma.org
Attachment: View Attachment
KENNETH CAPURRO Owner We should not bail out homeowners that live in properties that are abo…View Comment
Email: capurrok@aol.com
Attachment: N/A
Jack Spacil N/A A potential investor does not have to invest in GSEs. Since FHFA's goa…View Comment
Email: N/A
Attachment: N/A
Alexander Thompson N/A Where are the billions? In the words of director Calabria, "Fannie Mae…View Comment
Email: N/A
Attachment: N/A
Jessica Deegan Minnesota Housing Finance Agency Please see attached comments. Thank you.View Comment Email: jessica.deegan@state.mn.us
Attachment: View Attachment
Richard Litton Harbor Group International, LLC See attached comment letter.View Comment Email: richard@harborg.com
Attachment: View Attachment
Thomas Stanton None I am submitting these comments solely on my own behalf and have no cl…View Comment
Email: tstan77346@gmail.com
Attachment: View Attachment
Edward Pinto American Enterprise Institute Dear Sir/Madam: Thank you for the opportunity to comment on FHFA’s pro…View Comment
Email: pintoedward1@gmail.com
Attachment: View Attachment
David Gansberg Arch Capital Group Ltd. Please see attached comment letter.View Comment Email: N/A
Attachment: View Attachment
T. Kael Coleman Protecdiv, Inc. Please see attached comment letter.View Comment Email: kael.coleman@protecdiv.com
Attachment: View Attachment
Celeste Brown Fannie Mae Please see attached letter detailing Fannie Mae's response to the Ente…View Comment
Email: celeste_brown@fanniemae.com
Attachment: View Attachment
Brad Douglas Heartland Credit Union Association See attached.View Comment Email: N/A
Attachment: View Attachment
Ricardo Anzaldua Freddie Mac Please see attached comments from Freddie Mac.View Comment Email: ricardo_anzaldua@freddiemac.com
Attachment: View Attachment
Edward Golding Urban Institute I am submitting the attached brief (Analysis of the Proposed 2020 FHF…View Comment
Email: egolding@mit.edu
Attachment: View Attachment
Stephen Bath RenaissanceRe Holdings Ltd. RenaissanceRe’s comments on the FHFA’s 2020 notice of proposed rulemak…View Comment
Email: srb@renre.com
Attachment: View Attachment
GUIDO & MARIA DA COSTA PEREIRA OURSELVES WE ARE PART OWNERS OF FANNIE MAE AND FREDDIE PAC. PLEASE REVIEW OUR CO…View Comment
Email: gdacostap@yahoo.com
Attachment: View Attachment
Thomas Hoenig Mercatus Center at George Mason University Please see attached comment letter.View Comment Email: thoenig@mercatus.gmu.edu
Attachment: View Attachment
Mitchell Morgan Morgan Properties Please see attached letterView Comment Email: mschecter@morganproperties.com
Attachment: View Attachment
Mark Weiss Manufactured Housing Association for Regulatory Reform (MHARR) See attached comment letterView Comment Email: N/A
Attachment: View Attachment
Mark O'Donovan JPMorgan Chase Bank, N.A. JPMorgan Chase Bank, N.A. comments on Enterprise Regulatory Capital Fr…View Comment
Email: r.gomez@chase.com
Attachment: View Attachment
Michael Molesky N/A Using a stress test based on the termination and loss patterns by the…View Comment
Email: mfmolesky@gmail.com
Attachment: View Attachment
Joseph Slechta None I have read through the comments and I echo Kevin Thompson's comments.…View Comment
Email: josephslechta@yahoo.com
Attachment: N/A
Jesse Silver N/A I fully support Mark Calabria and the FHFA’s efforts to re-capitalize…View Comment
Email: N/A
Attachment: N/A