NAFCU: The credit union perspective on housing finance reform

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NAFCU sees new opportunity for housing finance reform. WASHINGTON, DC (June 25, 2018) – National Association of Federally-Insured Credit Unions President and ceo dan berger today sent a letter.

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 · On Friday, the House Financial Services Committee held a hearing to discuss and assess the impact of the Bipartisan Housing Finance Reform.

NAFCU @NAFCU. We represent all federally insured credit unions, both state- and federal-chartered, providing them award-winning advocacy, education & compliance assistance.

Credit unions’ role in helping low-income consumers and how the industry and the Department of Housing and Urban Development (HUD) can work together to advance their goals were discussed by NAFCU-member credit unions and association senior staff during a.

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NAFCU has stressed that credit unions’ access to the secondary mortgage market be protected in any housing finance reform efforts. credit unions have been gaining share in the U.S. mortgage market .

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National Association of Federal Credit Unions l www.nafcu.org Credit Union Tax Exemption February 26, 2014 – House Ways and Means Chairman Dave Camp (R-MI) released a much anticipated tax reform discussion draft that would preserve the credit union federal tax exemption and federal credit unions’ treatment as it relates to UBIT.

to help ensure that credit unions are treated fairly during any housing finance reform process. The following are NAFCU’s housing finance reform principles: A healthy, sustainable and viable secondary mortgage market must be maintained.

NAFCU: The credit union perspective to housing finance reform June 23, 2017 / in Uncategorized / by Lindsay As talks surrounding housing finance reform persist, the National Association of Federally-Insured Credit Unions published its own thoughts on the matter to ensure the safety of the credit union system in whatever reform is ultimately implemented.

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A credit union’s management should update its risk assessment any time there are changes in the credit union’s risk profile. Some examples of changes impacting a credit union’s risk profile would be the introduction of new products and services and changes to existing products and services. Id.

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