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Joint Press Release
April 03, 2020

Federal agencies encourage mortgage servicers to work with struggling
homeowners affected by COVID-19
Board of Governors of the Federal Reserve System
Conference of State Bank Supervisors
Consumer Financial Protection Bureau
Federal Deposit Insurance Corporation
National Credit Union Administration
Office of the Comptroller of the Currency
For release at 6:30 p.m. EDT
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The federal financial institution regulatory agencies and the state financial regulators issued a joint policy
statement providing needed regulatory flexibility to enable mortgage servicers to work with struggling
consumers affected by the Coronavirus Disease (referred to as COVID-19) emergency. The actions
announced today by the agencies inform servicers of the agencies' flexible supervisory and enforcement
approach during the COVID-19 pandemic regarding certain communications to consumers required by the
mortgage servicing rules. The policy statement and guidance issued today will facilitate mortgage servicers'
ability to place consumers in short-term payment forbearance programs such as the one established by the
Coronavirus Aid, Relief, and Economic Security Act (CARES Act).
Under the CARES Act, borrowers in a federally backed mortgage loan experiencing a financial hardship due,
directly or indirectly, to the COVID-19 pandemic, may request forbearance by making a request to their
mortgage servicer and affirming that they are experiencing a financial hardship during the COVID–19
pandemic. In response, servicers must provide a CARES Act forbearance, that allows borrowers to defer their
mortgage payments for up to 180-days and possibly longer.
The policy statement clarifies that the agencies do not intend to take supervisory or enforcement action
against mortgage servicers for delays in sending certain early intervention and loss mitigation notices and
taking certain actions relating to loss mitigation set out in the mortgage servicing rules, provided that servicers
are making good faith efforts to provide these notices and take these actions within a reasonable time.
To further enable short-term payment forbearance programs or short-term repayment plans, mortgage
servicers offering these programs or plans will not have to provide an acknowledgement notice within 5 days
of receipt of an incomplete application, provided the servicer sends the acknowledgment notice before the
end of the forbearance or repayment period.
The guidance also reminds servicers that there is existing flexibility in the rules with respect to the content of
certain notices. Finally, to assist servicers experiencing high call volumes from consumers seeking help, the
policy statement also confirms that the agencies do not intend to take supervisory or enforcement action
against mortgage servicers for delays in sending annual escrow statements, provided that servicers are
making good faith efforts to provide these statements within a reasonable time.

Joint Statement on Supervisory and Enforcement Practices Regarding the Mortgage Servicing
Rules in Response to the COVID-19 Emergency and the CARES Act (PDF)

Media Contacts:
Federal Reserve Board
CFPB
CSBS
FDIC
NCUA
OCC

Last Update: April 03, 2020

Susan Stawick
Marisol Garibay
Jim Kurtzke
Julianne Breitbeil
Ben Hardaway
Bryan Hubbard

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