Managing Flood And Other Risks

Similar documents
2018 Northwest Compliance Conference October 4, 2018

UNIT 9 LOAN SERVICING

Senior Vice President of Public Policy and Industry Relations

Flood Insurance Requirements

Mortgage Servicing: Flood Insurance Administration after Biggert-Waters

Servicers' Guide to Flood Insurance Requirements

NAIC Hearing on Private Lender-Placed Insurance. Testimony Submitted on Behalf of the American Bankers Insurance Association

Connecticut Avenue Securities TM Investor Call Mortgage Insurance Primer

Biggert-Waters Flood Insurance Reform and Modernization Act of 2012

TOP 10 Flood Insurance Changes

Frequently Asked Questions and Answers Concerning Flood Insurance

Flood Compliance by the Case

NFIP Reauthorization May 31, 2010 Frequently Asked Questions

2012 Conference Report on National Flood Insurance Reform Legislation (Passed by House & Senate)

The National Flood Insurance Program and Flood Insurance Rate Map for San Francisco. Presentation at Treasure Island Community Meeting

December 21, Dear Chairman McWilliams, Comptroller Otting, Vice Chairman Quarles, Chairman McWatters, and Chairman Tonsager:

Introduction to Lender Compliance. National Flood Insurance Program

SECTION 5 FLOOD DISASTER PROTECTION ACT

CALL ME! FLOOD INSURANCE QUESTIONS? ANNE LOLLEY. and Total Training Solutions CALL OR E MAIL ANNE x4

Many of the changes to the NFIP were recently revised on March 21, 2014 by the Homeowner Flood Insurance Affordability Act of 2014.

AGENDA PACKET BOARD OF SELECTMEN APRIL

Policyholder Insurance Webinar Series: Covering Hurricane Loss for Commercial Insureds

Private Flood Products

October 1, Write Your Own (WYO) Principal Coordinators and the National Flood Insurance Program (NFIP) Servicing Agent

UHM Insurance Requirements (Hazard, Condominium, H0-6 and Flood)

Changes to the National Flood Insurance Program What to Expect

Key Fundamentals of Flood Compliance!

OCC BULLETIN OCC Date: June 9, 2010

Flood Insurance THE TOPIC OCTOBER 2012

Flood Compliance: Final Rules in 60!

CANCELLATION/NULLIFICATION

No N-05; Lender Placed Insurance, Terms and Conditions

Federal Flood Insurance Changes (National Flood Insurance Program NFIP)

National Flood Insurance Program, Biggert-Waters 2012, and Homeowners Flood Insurance Affordability Act 2014

On March 21, 2014, President Obama signed the Homeowner Flood Insurance Affordability Act of 2014 into law.

[ NFS Edge - Private Flood Insurance FAQ ] EZ Flood Standard EZ Flood Preferred FloodWrap Excess Flood

WNC Direct Marketing Group. Product Suite

National Flood Insurance Program Making Sense of April 2019 Changes

Loans in Areas Having Special Flood Hazards; Interagency Questions and Answers Regarding Flood Insurance

Changes to the National Flood Insurance Program What to Expect

TESTIMONY. Association of State Floodplain Managers, Inc.

OCC Mission and Vision

TESTIMONY. Association of State Floodplain Managers, Inc.

Deciphering Flood: A Familiar and Misunderstood Risk

2) If this insurance is deemed necessary, is the best coverage available coming from the lender-placed insurance product?

NEW YORK STATE DEPARTMENT OF FINANCIAL SERVICES PROPOSED 11 NYCRR 227 (INSURANCE REGULATION 202) REGULATION OF FORCE-PLACED INSURANCE

The Alabama Coastal Insurance Shopper's Guide. Are you paying too much? Do you have the right coverage?

Flood Solutions. Summer 2018

W October 1, Write Your Own (WYO) Principal Coordinators and the National Flood Insurance Program (NFIP) Servicing Agent

Welcome to Demystifying the Interagency Q&A! 10/28/2013. National Flood Insurance Program. Demystifying the Lender Q&As

Personal Property Forms & Endorsements

Windpool. Exposure Risk Management

NCUA Update: Looking Ahead to 2014

RESIDENTIAL FLOOD INSURANCE IN PUERTO RICO

Re: Joint Notice of Proposed Rulemaking on Loans in Areas Having Special Flood Hazards -- Private Flood Insurance

GAO NATIONAL FLOOD INSURANCE PROGRAM. New Processes Aided Hurricane Katrina Claims Handling, but FEMA s Oversight Should Be Improved

Changes to the National Flood Insurance Program: From Biggert to Grimm Waters. Click to edit Master title style. Click to edit Master subtitle style

BIGGERT-WATERS 2012 TALKING POINTS

ATTACHMENT A SUMMARY OF THE NFIP PROGRAM CHANGES EFFECTIVE APRIL 1, 2018 AND JANUARY 1, 2019

Flood Insurance Update. Proposed Private Flood Insurance Regulations

Everything You Need to Know about the PCS Catastrophe Loss Index

March 29, Write Your Own (WYO) Company Principal Coordinators and the National Flood Insurance Program (NFIP) Servicing Agent

NFIP Overview and Legislative Changes. North Carolina Emergency Management

Making the NFIP Work for Taxpayers and Policy Holders: Increasing Consumer Participation

National Flood Insurance Program (NFIP) Biggert-Waters Act 2012 (BW12)

Homeowners Insurance Consumer Information Brochure; Summary of Notable Coverages

National Association of Latino Elected and Appointed Officials

Coalition of New York and New Jersey Flood Insurance Consumer Advocates

National Flood Insurance Program: Selected Issues and Legislation in the 115 th Congress

National Flood Insurance Program BW-12

Flood Insurance Regulations: Wading through the Tide of Change

Hurricane Harvey Reference Guide

GUIDANCE FOR SEVERE REPETITIVE LOSS PROPERTIES

May 16th, FEMA Region I. MA Agents Association Live-Stream on May 16, 2017 AGENDA

GeoVera Specialty HO3: Common Coverage Questions for Hurricane losses. Evacuation Expense - Additional Living Expenses No Direct Damage

Changes Coming to the National Flood Insurance Program What to Expect. Impact of changes to the NFIP under Section 205 of the Biggert-Waters Act

Hibbs Hallmark & Company 6750 Hillcrest Plaza Dr. Suite 219 Dallas, TX Direct Toll Free (877) x2920

CITY AND COUNTY OF SAN FRANCISCO Port of San Francisco. Contract No Pier 23 Roof Repair. ADDENDUM No. 1 Issued: December 16, 2016

Changes to the National Flood Insurance Program: From Biggert-Waters. to Grimm-Waters. Click to edit Master title style

California. Dwelling Fire Web

Emergency Financial Preparedness. Training

Presented by: Brian T. Ford, CPCU, MBA of Insurance Resources and Ashley Tharp of Wright Flood

Biggert-Waters The Changing Script

Flood Insurance Reform Act of 2012

History of Floodplain Management in Ascension Parish

The Changing NFIP, the CRS & Local Governments. Scott Pippin, J.D., M.E.P.D.

Both Selling and Servicing requirements are amended in this Single-Family Seller/Servicer Guide (Guide) Bulletin.

RULES AND PROCEDURES FOR SUBMITTING APPLICATIONS

Federal Emergency Management Agency

MUNICIPAL EXCESS LIABILITY JOINT INSURANCE FUND 9 Campus Drive, Suite 216 Parsippany, NJ Telephone (201) BULLETIN MEL 17-03

National Flood Insurance Program and Biggert-Waters 2012

Section : General Insurance Requirements - Applies to All Policies

North Carolina Insurance Underwriting Association

National Flood Insurance Program

Table of Contents Chapter 1: An Overview Chapter 2: What s Covered

June 26, Write Your Own (WYO) Principal Coordinators and the National Flood Insurance Program (NFIP) Direct Servicing Agent (DSA)

SHORT FORM CREDIT APPLICATION (For Wisconsin residents only)

Available at:

May 5, Write Your Own (WYO) Principal Coordinators and the National Flood Insurance Program (NFIP) Servicing Agent

FROM: Director, Worldwide Markets EXTN: DATE: 23 December 2004 REF: Y3473. Florida: Forthcoming Act relating to Insurance Deductibles

Transcription:

A WNC Presentation WNC Insurance Services, Inc. 899 El Centro Street, South Pasadena, CA 91030 800-423-2497 / www.wncinsuranceservices.com

WNC Fast Facts Celebrating 50 Years Of Service In 2012 With More Than 31 Years In Lender Placed Insurance ICBA and NYBA Endorsed Provider For Lender Placed Insurance And Outsourced Tracking Services Close To 3,000 Financial Institution Clients Nationwide Largest Lender Placed Flood, Wind And Excess Flood Insurance Contract Holder Of Lloyd s Of London In The U.S. Wholly Owned Precise Adjustments, Inc. For Professional Claims Service Strong Ownership Including Kiln Group Ltd. UK, A Wholly Owned Company Of Global Giant Tokio Marine Group Home Office In So. Pasadena, CA With Business Centers In Dallas, Miami And Milwaukee Sales & Servicing Execs In Los Angeles, Dallas, Indianapolis, Little Rock, Atlanta, Orlando And Columbia, S.C. Member Of Independent Community Bankers of America, New York Bankers, Texas Bankers, American Bankers Insurance Association, National Professional Surplus Lines Offices, American Association Of Managing General Agents And Mortgage Bankers Association 2

Presenters & Topics Jordan N. Gray, Esq., SVP Compliance and Legal Affairs o o The Flood Act NFIP Reauthorization, FEMA On Private Flood, NY Dept. Of Financial Services, CFPB Fact Sheet, Fannie Mae Servicing Guide John Tullius, Chief Underwriting Officer o o o o o Ways To Meet The Flood Insurance Requirement From A Bank s Perspective: MPPP v. Private Lender Placed Flood FEMA s Six Criteria For Acceptable Private Flood Insurance Lender Placed Coverage For Other Risks Two Ways To Manage Mortgage Portfolio Risk 3

Flood And Hazard Rules, Compliance News & Updates By: Jordan N. Gray, Esq., SVP Compliance and Legal Affairs A property in the 100-year floodplain has a 96 percent chance of being flooded in the next hundred years without global warming. The fact that several years go by without a flood does not change that probability. - Earl Blumenauer U.S. Representative (OR) 4

The Flood Act: Scope Of Regulation Regulated Lenders Federally Regulated And Federally Insured Lenders Designated Loans Buildings Or Mobile Homes Located In A Special Flood Hazard Area (SFHA) And Any Personal Property In Building If Part Of Collateral 5

The Flood Act: General Requirement A member bank shall not make, increase, extend, or renew any designated loan unless the building or mobile home and any personal property securing the loan is covered by flood insurance for the term of the loan. The amount of insurance must be at least equal to the lesser of the outstanding principal balance of the designated loan or the maximum limit of coverage available for the particular type of property under the Act. Flood insurance coverage under the Act is limited to the overall value of the property securing the designated loan minus the value of the land on which the property is located. 12 CFR 208.25(c) 6

The Flood Act: Force Placement Requirement If a member bank, or a servicer acting on behalf of the bank, determines at any time during the term of a designated loan that the building or mobile home and any personal property securing the designated loan is not covered by flood insurance or is covered by flood insurance in an amount less than the amount required under paragraph (c) of this section, then the bank or its servicer shall notify the borrower that the borrower should obtain flood insurance, at the borrower's expense, in an amount at least equal to the amount required under paragraph (c) of this section, for the remaining term of the loan. If the borrower fails to obtain flood insurance within 45 days after notification, then the member bank or its servicer shall purchase insurance on the borrower's behalf. The member bank or its servicer may charge the borrower for the cost of premiums and fees incurred in purchasing the insurance. 12 CFR 208.25(g) 7

FDIC Financial Institution Letter Summary: Flood insurance is required for the life of a loan that is secured by improved real estate located, or to be located, in a special flood hazard area of a community participating in the National Flood Insurance Program. Often, an insurance policy lapses because the borrower does not renew it. Therefore, it is important for institutions to have adequate internal controls to ensure that borrowers maintain appropriate levels of flood insurance coverage for the term of the loan. 8

News & Updates FEMA On Private Flood, NFIP 60-day Extension, NFIP Five-Year Reauthorization, NY Bill A10490, CFPB Fact Sheet, And Fannie Mae Servicing Guide Supervised banks and nonbanks may outsource certain functions to service providers due to resource constraints,... to develop and market additional products or services, or rely on expertise that would not otherwise be available without significant investment. - CFPB Bulletin 2012-03 9

Private Flood Insurance March 16, 2012: FEMA Memorandum W-12022 clarifies that the six elements (criteria) in evaluating private flood insurance are suggestions to lenders. FEMA has no authority to rule on the acceptability of private insurance policies and any technical guidance that FEMA issues on the matter is to be regarded solely as advisory and not regulatory in nature. 10

NFIP 60-Day Extension May 30, 2012: Congress passes 60-day NFIP Extension day before expiration. Marks sixteenth extension since NFIP expired in 2008. Program expired four times in 2010. 11

NFIP Five-Year Reauthorization June 29, 2012: Congress passes five-year NFIP reauthorization. The NFIP reauthorization bill was passed as part of HR 4348, under House Report 112-557. The NFIP reauthorization bill is entitled, Biggert-Waters Flood Insurance Reform Act of 2012. 12

NFIP Reauthorization Highlights Here are some important highlights: NFIP extended to September 30, 2017 (five-year reauthorization) Lender penalties increased from $350 to $2,000 and $100,000 penalty cap has been removed Mandatory escrow of flood insurance premium, beginning 2 years after effective date Pre-Firm Deductibles $1,500 for properties under $100,000; $2,000 for those over $100,000 Post-Firm Deductibles $1,000 for properties under $100,000; $1,250 for those over $100,000 Requires notice to be given under RESPA that NFIP and Private flood insurance is available Provides commercial flood coverage for multi-family residential buildings (5 or more families) Authorizes the use of private flood insurance to satisfy the mandatory purchase requirements Provides explicit authority to charge the borrower for coverage in force as of the lapse (i.e. coverage during the 45-day notice period) and requires cancellation refunds within 30 days. 13

New York Assembly Bill No. 10490 Introduced May 29, 2012; Referred To Committee On Banks Force-Placed Insurance Includes Hazard, Flood or Homeowner s Insurance Mortgage Servicer Means A Registered Mortgage Servicer Mortgage Servicer Shall Not Obtain Force-Placed Insurance Without Reasonable Basis If Escrowed Loan, Mortgage Servicer Must Advance Payments To Continue Escrow 14

New York Assembly Bill No. 10490 Reasonable Basis Means At A Minimum, Servicer Must: Send First Written Notice To Borrower Send Second Written Notice At Least 30 Days After First Written Notice Wait 15 Days From Second Notice Date Before Force-Placing Coverage Notices Must Include: Reminder Of Insurance Obligation Statement That Borrower Failed To Provide Proof Of Insurance Required Procedure Borrower Must Follow To Provide Proof Of Insurance Statement That Servicer May Purchase Coverage At Borrower s Expense Coverage Must Be Less Than Last Known Coverage Amount Or Loan Balance Refunds Must Be Paid Within 15 Days Of Cancellation Affiliated Entities For Placing Coverage Are Not Permitted Fee Splitting Is Not Permitted, Including Referral Fees Or Anything Of Value 15

NY DFS Holds Hearings On Force-Placed Insurance Held May 17, 18 & 21, 2012 Testimonies From Consumer Advocates, Loan Servicers, Insurance Providers And Homeowners Questions Asked About LPI Process, Premium Rates, Loss Experience, Borrower Notices, Fees, Broker And Agency Commissions, Loan Servicing And Insurance Entity Affiliations 16

FACT SHEET Putting The Service Back In Mortgage Servicing. No Surprises, No Runarounds. Proposing new rules to protect consumers from costly surprises or getting the runaround from their mortgage servicers Formal proposal in summer; to finalize in January 2013 Proposed force-placement rules listed under No Surprises Areas Where To Expect New Force-Placement Rules: In case of lapse in borrower s insurance, servicer must ask borrower to provide proof of insurance before charging for it Borrower notices must be: (1) at least 45 days before and (2) at least 15 days before forceplacement Notices must provide good faith estimate of force-placed insurance cost 1 2 17

FACT SHEET Servicer must accept any reasonable confirmation from borrower that there is insurance Servicer must terminate forceplaced insurance within 15 days upon reasonable confirmation by borrower and refund forceplaced insurance premiums If servicer has escrow account to pay insurance premiums, servicer must continue borrower s insurance even if delinquent and not force-place 3 Truly No Surprises - List Is Consistent With Dodd-Frank Congress Passed New Mortgage Servicing Laws Including Amending RESPA On Force-Placed Hazard Insurance Congress Expects CFPB To Enforce Dodd-Frank July 10, 2012 18

Servicing Guide Announcement (SVC-2012-04) July 10, 2012 Effective Date: June 1, 2012 Coverage Amount Requirements For loans delinquent for 119 days or less, insurance must be at borrower s last known coverage amount For loans delinquent for 120 or more days, insurance amount must be lesser of (1) unpaid principal balance or (2) 100% of insurable value of improvements Unless borrower actively participates in an approved foreclosure workout program, loan is considered less than 119 days delinquent Deductible Requirements $1,000 if policy amount is $100,000 or less $2,500 for all other policy amounts If separate wind deductible, must be 2% of policy amount 19

Servicing Guide Announcement (SVC-2012-04) Policy Coverage Requirements Lender Placed Insurance (LPI) must remain in force until borrower provides evidence of acceptable coverage or mortgage liquidates LPI must be all perils or all-risk policy excluding personal property LPI may not have a coinsurance clause or any provision that has same effect as coinsurance Borrower Communication Requirements Two notice letters before force-placement New notice letter required for coverage changes due to delinquency Notices must state that LPI does not cover personal property State that LPI may only cover unpaid principal balance; may not be enough to rebuild home State that LPI may be more expensive 20

Servicing Guide Announcement (SVC-2012-04) Acceptable LPI Carriers Are filed and admitted in every state Have maximum of 180 days to comply Premium rates must be competitive and commercially reasonable Fannie may require servicer to change carrier if unable to timely file rates Borrower Refunds Of LPI Premiums Must Occur Within 15 Days Of Receipt Of Evidence Of Acceptable Insurance LPI Premium Reimbursement Requests Must Exclude Commissions, Tracking, Administrative, And Other Costs Beyond Actual Cost Of LPI Premium 21

Servicing Guide Announcement (SVC-2012-04) Servicer Must Advance Borrower Insurance Payments On Escrowed Loans For Non-Escrowed, Servicer Advances Insurance Payments By: Revoking escrow waiver of loan agreement Establishing involuntary escrow and begin collecting funds Reinstating a borrower s coverage by advancing premiums Documenting all efforts to reinstate coverage Hazard Insurance Claims And Remittances Servicer must advance deductible if borrower cannot pay a loss Servicer must pay uncovered losses due to untimely claim or other servicer error Servicer may not deduct expenses from REO insurance proceeds 22

Lender Placed Flood By: John Tullius, Chief Underwriting Officer Repetitive flood losses are a very serious problem, both for homeowners in floodplain areas and for the NFIP. Nearly forty percent of all flood insurance claims payments are made for losses to just two percent of the insured properties. - Senior FEMA Officials 23

Lender Placed Flood Ways To Meet The Flood Insurance Requirement From A Lender s Perspective FEMA s Six Criteria For Acceptable Private Flood Insurance Lender Placed Coverage For Other Risks Two Ways To Manage Mortgage Portfolio Risk 24

Lender Placed Flood Ways to Meet Flood Coverage Requirements National Flood Insurance Program (NFIP) NFIP Direct Write Your Own (WYO) Mortgage Portfolio Protection Program (MPPP) Private Flood Insurance Admitted Carrier Surplus Lines Carrier 25

From A Lender s Perspective Program Element NFIP Lender Placed Flood (MPPP) Private Lender Placed Flood Programs Premium Rates Higher Rates = greater burden Lower Rates = lower burden Policy Renewal Non-Participating Communities Underwriting Data Cancellation Provisions Condo Unit Owner Assessment Due To Underinsured Association Temporary Housing Allowance Insufficient Limits & Excessive Deductible Not Automatic = increases workload Not Available = potential uninsured losses More Required (community#, map panel) = possible delay in protecting lender s interest More Restrictive = may unnecessarily extend coverage Not Covered = potential uninsured losses Not Covered = greater borrower stress and financial burden Not Covered = potential uncovered claim amounts Automatic = relieves workload Available = property can be insured regardless of community s participation status Minimal Required = facilitates immediate coverage Less Restrictive = coverage canceled when lender says so Covered = lender s interest (loan balance) remains protected Covered = immediately helps borrower cope with loss Coverage Available = allows lender to get complete coverage 26

FEMA s Six Criteria For Acceptable Private Flood 1. Licensure Insurer is licensed, admitted or approved by jurisdiction 2. Surplus Lines Recognition Surplus Lines insurer is recognized by jurisdiction 3. Requirement of 45-Day Cancellation/Non- Renewal Notice Provide 45 days written notice to insured & lender of cancellation or non-renewal of flood insurance coverage 4. Breadth of Policy Coverage Coverage is at least as broad as NFIP s Standard Flood Insurance Policy (SFIP) 5. Strength of Mortgage Interest Clause Must be similar to clause in General Conditions of SFIP 6. Legal Recourse Has provision that insured must file suit within one (1) year after written denial of all or part of claim 27

Lender Placed Coverage For Other Risks According to the National Fire Protection Association, in 2010, on average, a fire department responded to a fire every 24 seconds in the United States. A structure fire occurs every 65 seconds; a residential fire occurs every 82 seconds; a vehicle fire occurs every 146 seconds. - Insurance Information Institute 28

It s Not Only Flood That You Have To Think About There Are Multiple Other Perils To Watch For: Fire And Smoke Water (other than Flood) Wind And Hail Aircraft And Vehicle Damage Riots And Civil Commotion Theft, Vandalism And Malicious Mischief Explosion And Freezing Collapse And Falling Objects (Note: Always refer to policy for full list of covered and excluded perils and other terms.) 29

Luckily, There Are Protection Programs Available For Mortgage Loans Lender Placed Hazard Covers Most Major Perils As Listed Lender Placed Wind Covers Wind Damage If Excluded In Borrower s Hazard Policy Blanket Hazard Covers Entire Portfolio To Neutralize Any Unrecognized Exposures For Consumer Loans Collateral Protection For Loan- Level Coverage Blanket VSI For Portfolio-Level Coverage 30

When The Winds Blow And The Seas Surge Half Of Each Year Is Atlantic Hurricane Season (6/1-11/30) Most Active Is Mid-August Through Mid-October Hurricane Is A Tropical Storm With Sustained Winds Of 74-160+ Miles Per Hour Storm Eye Usually 20-30 Miles Wide (Can Extend To 400 Miles) Main Hazards Are Storm Surge, High Winds, Debris, Tornadoes And Rain/Flooding 31

When The Winds Blow And The Seas Surge Hurricane Path Can Run Across Entire Eastern Seaboard 45+ Million Coastal Residents From Texas To Maine Hurricane Irene In 2011 Caused Excessive Rain And Damaging Winds From The Carolinas To New England 2012 Forecast: Thirteen Named Storms, Five Becoming Category 1, Two Reaching Category 3 Ensure Your Borrower s Homeowners Policy Includes Wind Damage 32

When The Winds Blow And The Seas Surge 6/7/12: CoreLogic Data Analysis States That NYC Is At Greatest Risk Of Hurricane Losses In Number Of Properties Affected And Potential Value Of Damage $168 Billion: Estimated NYC Property At Risk (Includes Long Island And Northern NJ) 4 Million+ Homes In US At Risk For Flood Damage; Over $700 Billion In Insurable Value 2.2 Million Homes Worth $500+ Billion At Risk For Flood Damage Along Atlantic Coast 33

Two Ways To Manage Mortgage Portfolio Risk Insourcing Internal Monitoring Lower Cost But With Elevated Risk Profile Exposure Only Reporting (Online With Quick-Issue) Outsourcing Full Outsourced Insurance Tracking Automatic Coverage Reduced Staffing Expense 34

Summary And Contacts Flood Rules Jordan N. Gray, Esq., SVP Compliance and Legal Affairs o Flood Act, Regulatory News & Updates Lender Placed Flood And Lender Placed Coverage For Other Risks John Tullius, Chief Underwriting Officer o Meeting Requirements, MPPP, Private Flood, Multi-Peril And Wind If you have questions or would like more information, please contact WNC Insurance Services: o o o Jordan N. Gray, Esq. / 800-423-2497 ext. 6472 / jgray@wncfirst.com John Tullius, CUO / 800-423-2497 ext. 6466 / jtullius@wncfirst.com Visit our web site: www.wncinsuranceservices.com o Visit us at LinkedIn or 35

36