| FNMA Servicing Guide Changes in Response to September 11th |
| Thursday, 15 November 2001 | |
|
Please see the following regarding changes to the FNMA servicing guidelines in light of the events of September 11th. Ann. 01-09: Issues Related to Aftermath of September 11 Terrorist Attacks (11/09/01) Amends these Guides: Selling and
Servicing Property Appraisals Performed Subsequent to September 11,
2001 "The date of value in this assignment is subsequent to September 11, 2001, the date of the attack on the World Trade Center in New York City and on the Pentagon in Washington, DC. The scope of this appraisal assignment does not include the measurement of any effect of these events on the real estate market or on the value of the subject property. Therefore, the value opinion and other conclusions expressed in this report are subject to the extraordinary assumption that these events have had no effect on the marketability or market value of the subject property. The client and intended users of this appraisal are cautioned that if this extraordinary assumption is incorrect, the value opinion and other conclusions expressed in this report could be significantly different." We believe that this type of statement represents a limiting condition to the appraisal, which could result in a misleading appraisal report because the dynamics of the market are ignored. Although we permit an appraiser to add some certifications to an appraisal report, we will not purchase or securitize a mortgage for which the appraiser has added a limiting condition to the appraisal report. However, we recognize that, in the short-term, there may be limited (or no) market data available to measure the effect of the events of September 11. In view of this, we will accept the following additional certification and notice in appraisal reports for mortgages secured by properties located in the affected areas of New York City. (This additional certification must not be used in connection with properties located elsewhere.) "The date of value in this assignment is subsequent to September 11, 2001, the date of the attack on the World Trade Center in New York City. The appraiser has examined all reasonably available data to arrive at a final value opinion. The reader is cautioned that as additional data become available the value conclusion in this report may or may not be affected." The use of this certification and notice does not relieve the appraiser from arriving at a supported opinion of value. We expect the appraiser to make every effort to consider and use all available market data in his or her property valuation, focusing on the neighborhood in which the subject property is located and taking into consideration the influence of social, economic, governmental, and environmental forces on property values. These forces are often interrelated, rather than being distinct or mutually exclusive. We recognize that it will be some time before the general marketplace adjusts to the point that the difficulties in arriving at an opinion of market value for these properties are eliminated. Until then, we will make every effort to offer sound advice and work with lenders that are originating mortgages in the New York City market. Compliance with Executive Order
13224 State-Mandated Relief for National Guard and Militia
Members When adapting our policies and procedures to
accommodate the provisions of state-mandated relief, the servicer
must comply with all of the provisions of the applicable state law
-- such as those related to eligibility criteria, specific forms of
relief, the extent of the relief, etc. -- even if the provisions
are at variance with our usual requirements for granting special
forbearance or military indulgence or conducting foreclosure
proceedings. Lenders should contact their Underwriting Consultant in their lead Fannie Mae regional office if they have any questions about the selling-related issues addressed in this Announcement. Servicers should contact their Servicing Consultant if they have any questions about the servicing-related issues in this Announcement or if they encounter other circumstances in which a borrower is seeking relief beyond the provisions of the Soldiers' and Sailor's Civil Relief Act, state laws providing relief to National Guard or militia members, or our standard policies for granting relief or conducting foreclosure-related actions. Robert J. Engelstad |

