View original document

The full text on this page is automatically extracted from the file linked above and may contain errors and inconsistencies.

5/10/2024

Remarks by Secretary of the Treasury Janet L. Yellen at the Open Session of the Meeting of the Financial Stability Ove…

Remarks by Secretary of the Treasury Janet L. Yellen at the Open
Session of the Meeting of the Financial Stability Oversight
Council
May 10, 2024

As Prepared for Delivery
Today, the Financial Stability Oversight Council will vote on publishing a report on nonbank
mortgage servicing. The Council has highlighted in its annual reports the risks associated with
the growing share of mortgages serviced by nonbank mortgage companies. It has also
promoted collaboration on this issue among regulators and federal agencies through its
Nonbank Mortgage Servicing Task Force. Now, the Council is leveraging its Analytic
Framework, published this past November, to undertake a comprehensive analysis of risks on
a sector-wide basis and make concrete recommendations to address them.
Nonbank mortgage companies play a critical function in the mortgage market, helping ensure
accurate and timely payments to investors and appropriate loss-mitigation options for
borrowers. And over the past decade, this sector has only become more important. While no
single nonbank mortgage servicer owned the servicing rights on more than 5 percent of
outstanding mortgage balances as of the end of 2023, nonbanks collectively originate and
service the majority of U.S. residential mortgages. In 2022, they originated approximately
two-thirds of mortgages and serviced the majority of mortgage balances. This is a
substantial increase from 2008, when they originated 39 percent and serviced 4 percent. The
share of outstanding mortgages guaranteed by Fannie Mae, Freddie Mac, and Ginnie Mae has
also increased. Together, these shi s mean that exposures to the nonbank mortgage sector
have grown significantly.
As the report outlines, some of these nonbank mortgage companies have certain strengths,
from greater e iciency due to adoption of technology to acting as key mortgage originators
and servicers for groups that have historically been underserved.
But nonbank mortgage companies also present unique risks. The report finds that their
specialized business model means they are especially susceptible to macroeconomic
fluctuations in the housing market, such as changes in housing prices, interest rates, and
https://home.treasury.gov/news/press-releases/jy2329

1/3

5/10/2024

Remarks by Secretary of the Treasury Janet L. Yellen at the Open Session of the Meeting of the Financial Stability Ove…

delinquency rates. They are more reliant than depository institutions on the value of
mortgage servicing rights, which may lose value in the event of a downturn in the housing
market. And they are also vulnerable because they can have high leverage, short-term funding,
and operational risks.
These vulnerabilities matter. If a nonbank mortgage company fails, it may be di icult for it to
find funding to continue critical servicing operations, such as making required servicing
advances or providing adequate loss mitigation for distressed borrowers. Suspending
services can in turn harm borrowers and other stakeholders. Even transferring the portfolio of
a distressed servicer is a resource-intensive and time-consuming process, and disorderly
servicing transfers can cause additional harm to borrowers. And if a new servicer cannot be
found, the federal government may be le to assume the servicing obligations itself. All of
these outcomes could disrupt economic activity and the provision of financial services.
Because the risk profiles of nonbank mortgage companies are similar, stresses in the
mortgage market can a ect multiple nonbank mortgage companies simultaneously and can
also spread throughout the sector. And su iciently large and widespread disruption in the
sector could lead to a temporary restriction of mortgage credit. This would make credit more
expensive and di icult to obtain, particularly for borrowers who have been historically
underserved by the mortgage market.
Put simply, the vulnerabilities of nonbank mortgage companies can amplify shocks in the
mortgage market and undermine financial stability, and the Council has now laid this out in
detail for the first time.
This analysis also points to recommendations to address identified vulnerabilities. As the
report finds, current state-based requirements and limited federal authorities mean risks have
not been fully addressed. We need further action to promote safe and sound operations,
address liquidity risks, and promote continuity of servicing operations when a servicer cannot
perform its critical functions.
The Council encourages state regulators to strengthen prudential standards if they have not
already done so and to require resolution and recovery planning by large nonbank mortgage
servicers to enhance sector resilience.
The Council also makes recommendations for Congressional action. Congress should consider
legislation to authorize and protect the sharing of confidential information, which would
facilitate coordination among Council member agencies, state regulators, and Ginnie Mae.
https://home.treasury.gov/news/press-releases/jy2329

2/3

5/10/2024

Remarks by Secretary of the Treasury Janet L. Yellen at the Open Session of the Meeting of the Financial Stability Ove…

Congress should consider providing FHFA and Ginnie Mae with additional authorities to better
manage nonbank mortgage company counterparty risk and for Ginnie Mae to expand its PassThrough Assistance Program into a more e ective liquidity backstop. And to facilitate
continuity of servicing, the Council encourages Congress to establish a fund financed by the
industry to provide liquidity to failing nonbank mortgage servicers to enable their critical
servicing operations to continue until servicing obligations can be transferred in an orderly
fashion.
Moving these recommendations forward is crucial to protecting borrowers and preventing
disruptions to economic activity.
With that, I commend the Council for this important and timely work. And I will now turn to
Sandra Lee, Treasuryʼs Deputy Assistant Secretary for the Council.
###

https://home.treasury.gov/news/press-releases/jy2329

3/3