In policy letters, our housing and community development experts weigh in on how lawmakers can have a positive impact on families and homeownership.
- NCST and Homeownership Alliance Submission to the House Ways & Means Committee Tax Team on Tax Legislation Supporting Homeownership (10/15/2024)
- NCST Response to FHA’s Proposed Rule on its Single Family Sale Program (9/16/2024)
- NCST and the Homeownership Alliance response to FHFA’s RFI on FHLBanks AHP Competitive Application Process (8/19/2024)
- Comment letter: Request for Input Fannie Mae and Freddie Mac Proposed 2025-2027 Duty to Serve Plans (8/12/2024)
- Comment letter: Response to FHFA RFI on FHL Bank Mission and Metrics (7/15/2024)
- Statement for the Record: House Financial Services Subcommittee on Housing and Insurance, 3/20/2024 Hearing on “The Characteristics and Challenges of Today’s Homebuyers”
- Comment Letter: Response to HUD’s NPRM on CDBG and Section 108 Programs (3/11/2024)
- Comment Letter: Response to FHA Draft Mortgagee Letter on 203(k) Program
- Comment Letter: Fannie Mae and Freddie Mac Single-family Mortgage Pricing Framework (8/14/2023)
- Comment Letter: Response to FHA on improving the 203(k) Program (3/31/2023)
- Joint Letter: FHA and Ginnie Mae Title I Manufactured Housing Programs Request for Input Response (9/26/2022)
- Joint Letter: Letter to FHFA, FHA, CFPB, VA, and USDA on Communicating with Delinquent Borrowers with Home Equity (8/31/2022)
- Comment Letter: Comment to the Federal Housing Administration on CWCOT First Look (ML 2022-08) (6/3/2022)
- Joint Statement: Advocates Applaud FHFA Move to Require Mortgage Lenders to Obtain Applicants’ Language Preference (5/3/2022)
- Joint Letter: Feedback to the Federal Housing Administration on Mortgage Letter 2022-06 (4/25/2022)
- Joint Letter: Letter to FHFA Encouraging Leadership on Language Access (1/12/2022)
- Comment Letter: Comment to the Consumer Financial Protection Bureau on Section 1071 Small Business Lending Data Collection (1/6/2022)
- Joint Comment: Comment to FHFA on the Proposed Rule to Amend the Enterprise Regulatory Capital Framework – Prescribed Leverage Buffer Amount and Credit Risk Transfer (11/26/2022)
- Joint Comment: Comment to the Federal Housing Finance Agency on 2022-2024 Enterprise Housing Goals Advance Notice of Proposed Rulemaking (10/25/2022)
- Comment Letter: Comment to the Federal Housing Finance Agency on the Enterprise Equitable Housing Finance Plans Request for Input (10/25/2022)
- Joint Letter: The Underserved Mortgage Markets Coalition Appeal for Meaningful GSE Duty-to Serve Plans (10/21)
- Joint Letter: Cross-Industry Sign on Letter Infrastructure (8/25)
- NCST Comment Letter to Federal Housing Finance Agency: Request for Input on Fannie Mae and Freddie Mac Proposed 2022-2024 Duty to Serve Plans (7/16)
- Statement before FHFA Duty to Serve Listening Session (7/13)
- Joint Letter: Office of Management and Budget RFI on Methods and Leading Practices for Advancing Equity and Support for Underserved Communities Through Government (7/6)
- NCST Statement: FHFA Listening Session on Closing the Gap to Sustainable Homeownership (6/29)
- Statement for the Record: House Financial Service Committee Hearing on “Justice for All: Achieving Racial Equity through Fair Access to Housing and Financial Services” (3/17)
- Joint Letter: Support for Legislation on Data Acquisition and Language Access in Mortgage Servicing (3/9)
- NCST Comment Letter to Federal Housing Finance Agency: Request for Information on Appraisal-Related Policies, Practices, and Processes (2/26/2021)
- NCST Comment Letter to Federal Reserve: Advanced Notice of Proposed Rulemaking on the Community Reinvestment Act (2/6/2021)
- Joint Release: Advocates Applaud Senate Bill Fund to Help Millions of Families Keep Their Homes; Urge Inclusion in COVID Stimulus Bill (2/5/2021)
- Joint Letter: Letter to President-Elect Biden on Foreclosure Prevention in the Stimulus (1/17/2021)
- Joint Letter: Comment to the Veterans Administration on Partial Claim Proposal (1/8/2021)
- Joint Letter: Comment to the Federal Housing Finance Agency on Enterprise Regulatory Capital Framework (8/31)
- Joint Letter: Letter to the Consumer Financial Protection Bureau Re: Language Access Roundtable Discussion (8/24)
- Joint Letter: FHA & FHFA Forbearance Letter (6/24)
- NCST Letter to the Federal Reserve: Expanding the Federal Reserve Main Street Lending Program to Nonprofits (6/22)
- Joint Letter: Emergency Rental Assistance and Rental Market Stabilization Act (5/6)
- Joint Request: Single Consumer-facing Portal on COVID Housing Relief (5/4)
- Joint Letter: Housing Industry Coalition Letter in Support of Rental Assistance (5/4)
- Joint Letter: Letter to Housing Regulators on Tenant Protections in CARES Act (5/1)
- Joint Letter: Renewed Call for Credit and Debt Protections in COVID-19 Relief (5/1)
- Joint Letter: Civil Rights, Consumer, Housing, and Real Estate Groups Urge U.S Treasury and Federal Regulators to Help Mortgage Servicers Maintain Liquidity (4/17)
- Joint Letter: HUD Must Do Much More to Protect Older Reverse Mortgage Borrowers in the Coronavirus Epidemic (3/24/20)
- NCST Letter to the OCC, FDIC, and Federal Reserve on “Joint Statement on CRA Consideration for Activities in Response to COVID-19” CRA Activities and Need to Halt Rulemaking (3/23/20)
- Joint Letter: 63 Organizations Call for Credit and Debt Protections to Address Financial Distress from COVID-19 (3/23/20)
- Joint Letter to Regulatory Agencies Requesting Extension of Public Comment Periods (3/20/20)