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Use of Eminent Domain to Restructure Performing Loans

Notice Details
Type
Public Input Notice
Number
2012-N-11
Group
Fannie Mae
FHL Banks
Freddie Mac
Document Number
2012-19566
Federal Register Publish Date
08/09/2012
Comment Status
Closed
Comment Open Date
08/09/2012
Comment End Date
09/07/2012

Use of Eminent Domain to Restructure Performing Loans

Contact Information

FOR FURTHER INFORMATION CONTACT: FHFA will accept input from any person with views on this subject through its Office of General Counsel (OGC), no later than September 7, 2012, as the agency moves forward with its deliberations on appropriate action. Communications may be addressed to FHFA OGC, 400 Seventh Street SW., Eighth Floor, Washington, DC 20024, or emailed to FHFA OGC at eminentdomainOGC@fhfa.gov. Communications to FHFA may be made public.

Summary

Summary:

The Federal Housing Finance Agency (FHFA) oversees the Federal National Mortgage Association (Fannie Mae), the Federal Home Loan Mortgage Corporation (Freddie Mac), and the Federal Home Loan Banks (Banks). Fannie Mae and Freddie Mac (the Enterprises) are operating in conservatorships with a core mission of supporting the housing market. FHFA’s obligations, as conservator, are to preserve and conserve assets of the Enterprises and to minimize costs to taxpayers. The Enterprises purchase a large portion of the mortgages originated in the United States and they hold private label mortgage backed securities containing pools of non-Enterprise loans. The Banks likewise have important holdings of such securities. In addition, the Banks accept collateral that consists of mortgages of member financial firms pledged in exchange for advances of funds.

FHFA Concerns

FHFA has significant concerns about the use of eminent domain to revise existing financial contracts and the alteration of the value of Enterprise or Bank securities holdings. In the case of the Enterprises, resulting losses from such a program would represent a cost ultimately borne by taxpayers. At the same time, FHFA has significant concerns with programs that could undermine and have a chilling effect on the extension of credit to borrowers seeking to become homeowners and on investors that support the housing market.

FHFA has determined that action may be necessary on its part as conservator for the Enterprises and as regulator for the Banks to avoid a risk to safe and sound operations and to avoid taxpayer expense.

Among questions raised regarding the proposed use of eminent domain are the constitutionality of such use; the application of federal and state consumer protection laws; the effects on holders of existing securities; the impact on millions of negotiated and performing mortgage contracts; the role of courts in administering or overseeing such a program, including available judicial resources; fees and costs attendant to such programs; and, in particular, critical issues surrounding the valuation by local governments of complex contractual arrangements that are traded in national and international markets.

Input

FHFA will accept input from any person with views on this subject through its Office of General Counsel (OGC), no later than September 7, 2012, as the agency moves forward with its deliberations on appropriate action. Communications may be addressed to FHFA OGC, 400 Seventh Street SW., Eighth Floor, Washington, DC 20024, or emailed to FHFA OGC at eminentdomainOGC@fhfa.gov. Communications to FHFA may be made public.

Public Comments people-icon

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

75 items
Date Sort ascending First Name Last Name Organization Comment
John Taylor National Community Reinvestment Coalition (NCRC) View CommentView Comment Email: N/A
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Richard Offhaus N/A View CommentView Comment Email: N/A
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Phillip M. Adleson United Trustees Association (UTA) View CommentView Comment Email: N/A
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Marcus Stanley Americans for Financial Reform (AFM) View CommentView Comment Email: N/A
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LeFrancis Arnold California Association of REALTORS View CommentView Comment Email: N/A
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David H. Katz Castlerock Investments LLC View CommentView Comment Email: N/A
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Geoff DeWan N/A View CommentView Comment Email: N/A
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Kim MacMillan Mountain West Financial, Inc. View CommentView Comment Email: N/A
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David H. Stevens Mortgage Bankers Association (MBA) View CommentView Comment Email: N/A
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Garth Rieman National Council of State Housing Agencies (NCSHA) View CommentView Comment Email: N/A
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Rob Arnold Riverdale Realty View CommentView Comment Email: N/A
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Unknown N/A View CommentView Comment Email: N/A
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Jason Hughey Americans for Prosperity Foundation (AFPF) View CommentView Comment Email: N/A
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Phillip M. Adleson Adleson, Hess & Kelly, APC View CommentView Comment Email: N/A
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David K. Garrett N/A View CommentView Comment Email: N/A
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Ann M. Grochala Independent Community Bankers of America (ICBA) View CommentView Comment Email: N/A
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Frank T. Pallotta Loan Value Group, LLC View CommentView Comment Email: N/A
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Graham Williams Mortgage Resolution Partners, LLC View CommentView Comment Email: N/A
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Chris Estes National Housing Conference (NHC) View CommentView Comment Email: N/A
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Rob Buckel Cal-Broker Real Estate Network View CommentView Comment Email: N/A
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Unknown N/A View CommentView Comment Email: N/A
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Lisa Lindsley The American Federation of State, County and Municipal Employees (AFSCME) View CommentView Comment Email: N/A
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Armando Gonzalez N/A View CommentView Comment Email: N/A
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Carolyn Basham Prudential Shimmering Sands Realty View CommentView Comment Email: N/A
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David Reiss Brooklyn Law School View CommentView Comment Email: N/A
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