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[+] Beware Applied Technology Resources Inc - William Pattison /CA (4 replies)
4/17/2014 5:05:31 PM (2919 views)

[+] Comment on ""Unrecording" of Documents Questioned in Franklin County, Ohio" - Source of Title/OH (2 replies)
4/15/2014 3:40:28 PM (2709 views)

[+] DRN Definite Solutions LLC - Marte Smith/WI (5 replies)
4/15/2014 1:38:23 PM (7819 views)

[+] No Pay Freedom Search & Settlement - Terry Lisk/MI (4 replies)
4/14/2014 9:18:02 AM (2537 views)

Affordable Databases for a Freelancer - Heidi Gemeling/FL
4/9/2014 1:51:42 PM (2133 views)


Real Title Services


[+] Cosmopolitan Title - Bill Arnold/TN (4 replies)
4/9/2014 12:32:18 PM (2407 views)

News report - why our business is in the crapper - Alix Ott/MI
4/9/2014 11:39:30 AM (3456 views)

[+] Foreign Companies - michael rafferty/VA (4 replies)
4/8/2014 12:05:03 PM (2506 views)

[+] online searching - Ron Cunningham/IN (3 replies)
4/8/2014 10:11:48 AM (2485 views)

What Document Should Be Used for Sellers After August 2015? - Ben Matthews/MD
4/7/2014 3:03:11 PM (3451 views)

Several people have asked what document should be used as the settlement statement or Closing Disclosure for sellers after August 2015, when the CFPB’s final rule for integrated mortgage disclosures goes into effect.

Because the Closing Disclosure includes non-public information about the buyer’s loan, such as interest the rate, there have been concerns about how the final rule affects privacy components of the Gramm-Leach-Bliley Act and ALTA’s Best Practices.

When the rule goes into effect Aug. 1, 2015, sellers will also receive a copy of the Closing Disclosure. Under the rule, settlement agents will provide the seller with the Closing Disclosure reflecting the terms of the seller’s transaction. Due to privacy concerns, the Bureau will allow settlement agents to provide buyers and sellers with separate versions of the Closing Disclosure only showing information relevant to their transaction. These seller and buyer specific forms would be completed in accordance with 12 CFR § 1026.38.

To help illustrate the point, the Bureau produced a sample of a seller only Closing Disclosure at appendix H-25(I), which can be found on page 1,545 of the final rule. As a side note, if the transaction is an all cash sale or a business or investment sale not subject to RESPA, then the buyer, seller and settlement agent are free to agree to their choice of forms or state mandated forms as required.

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MORTGAGE CONNECT, PA - Deborah Jackson/GA
4/7/2014 2:54:29 PM (2758 views)

[+] NY Agent Licensing - Ryan Thorpe/NY (3 replies)
4/7/2014 10:50:27 AM (1818 views)

[+] Copy Fees - Ellen Maher/MI (8 replies)
4/4/2014 5:45:33 PM (3028 views)

[+] UPDATE: Changes to the business directory-- sorting by location - Slade Smith/OH (11 replies)
4/4/2014 1:45:40 PM (3447 views)

[+] Eclipse - Jason Knowles/AL (6 replies)
4/2/2014 11:56:02 AM (2130 views)


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