Home Mortgage Disclosure Act Data Requirements (2024)

Dear Boards of Directors and CEOs:

If your credit union makes residential mortgage loans and meets all four criteria outlined below, you must comply with the Consumer Financial Protection Bureau’s (CFPB) Regulation C, which implements the Home Mortgage Disclosure Act (HMDA).1

HMDA Data Collection Requirements for Calendar Year 2024

Regulation C requires you to collect HMDA data associated with mortgage loan applications processed during 2024 if:

  1. Your credit union’s total assets as of December 31, 2023, exceeded $56 million;2
  2. Your credit union had a home or branch office in a Metropolitan Statistical Area on December 31, 2023;
  3. Your credit union originated at least one home purchase loan (other than temporary financing such as a construction loan) or refinanced a home purchase loan, secured by a first lien on a one-to-four-unit dwelling during 2023; and
  4. Your credit union originated at least 25 covered closed-end mortgage loans in each of the 2 preceding calendar years (2022 and 2023) or at least 200 covered open-end lines of credit in each of the 2 preceding calendar years (2022 and 2023).

If your credit union meets all four criteria, you must collect HMDA data during calendar year 2024 and submit the data to the CFPB no later than March 3, 2025.3If your credit union does not meet all four criteria, you are exempt from filing HMDA data for mortgage loan applications processed in calendar year 2024.

HMDA Data Partial Exemptions

Regulation C contains partial exemptions from HMDA’s requirements for certain transactions.

Regulation C provides that a credit union is not required to collect or report certain data points with respect to closed-end mortgage loans if the credit union originated fewer than 500 covered closed-end mortgage loans in each of the 2 preceding calendar years. Similarly, a credit union is not required to collect or report certain data points with respect to open-end lines of credit if the credit union originated fewer than 500 covered open-end lines of credit in each of the 2 preceding calendar years.

Section 1003.3(c) (opens new window) (You will be leaving NCUA.gov and accessing a non-NCUA website. We encourage you to read the NCUA's exit link policies. (opens new page).) of Regulation C lists excluded (not covered) transactions.

The table below provides partial exemption examples.

Credit UnionLoan TypeOriginations During Calendar Year2022Originations During Calendar Year 2023Partial Exemption In 2024
AClosed-end mortgage loans

Open-end lines of credit

425

500

450

525

Only closed-end mortgage loans are exempt
BClosed-end mortgage loans

Open-end lines of credit

475

400

500

425

Only open-end lines of credit are exempt
CClosed-end mortgage loans

Open-end lines of credit

525

600

550

625

Neither exemption applies

As the table indicates, the partial exemption for closed-end mortgage loans and the partial exemption for open-end lines of credit operate independently of one another. Thus, a credit union may rely on one partial exemption but not the other.

There are 48 data points required by Regulation C. The regulation specifies that 26 of these data points are not required to be collected and reported if a transaction qualifies for a partial exemption. The regulation also specifies that 22 of these data points must be collected and reported even if a transaction qualifies for a partial exemption. Appendix F (Partial Exemptions Charts) in the 2023 A Guide to HMDA Reporting: Getting It Right! (opens new window) (You will be leaving NCUA.gov and accessing a non-NCUA website. We encourage you to read the NCUA's exit link policies. (opens new page).) outlines the 26 data points covered by the partial exemptions and the 22 data points not covered by the partial exemptions.

As illustrated in the table above, in 2024, Credit Union A would only be required to collect and report the 22 non-exempt data points, but not the 26 exempt data points, for its closed-end mortgage loans and applications. Credit Union A would, however, be required to collect and report all 48 data points for its open-end lines of credit loans and applications.

In 2024, Credit Union B would only be required to collect and report the 22 non-exempt data points, but not the 26 exempt data points, for its open-end lines of credit loans and applications. Credit Union B would, however, be required to collect and report all 48 data points for its closed-end mortgage loans and applications.

In 2024, Credit Union C would be required to collect and report all 48 data points for both its closed-end mortgage loans and applications and its open-end lines of credit loans and applications.

Please note that a credit union may voluntarily report any or all of the 26 exempt data points. However, if a credit union opts to report an exempt data point voluntarily, it must report all data fields that are part of that data point.

Submission of 2023 HMDA Data

As a reminder, credit unions subject to HMDA data collection requirements in calendar year 2023 must submit their loan/application register data to the CFPB using the HMDA Platform (opens new window) (You will be leaving NCUA.gov and accessing a non-NCUA website. We encourage you to read the NCUA's exit link policies. (opens new page).) by March 1, 2024. To determine if your credit union must submit HMDA data for calendar year 2023 activity, please review the 2023 HMDA Institutional Coverage Chart (opens new window) (You will be leaving NCUA.gov and accessing a non-NCUA website. We encourage you to read the NCUA's exit link policies. (opens new page).) .

The NCUA expects every credit union required to report 2023 HMDA data to submit its file to the CFPB by the March 1, 2024, deadline. Credit unions appearing on a delinquent filers list could become subject to civil money penalty assessments.

Additional Information

Additional resources, including the Filing Instructions Guide for HMDA data collected in 2023 (opens new window) (You will be leaving NCUA.gov and accessing a non-NCUA website. We encourage you to read the NCUA's exit link policies. (opens new page).) , can be found on the Resources for HMDA filers (opens new window) (You will be leaving NCUA.gov and accessing a non-NCUA website. We encourage you to read the NCUA's exit link policies. (opens new page).) page on the CFPB’s website. Technical questions about reporting HMDA data should be directed to hmdahelp@cfpb.gov.

If you have questions about the information in this Regulatory Alert, please contact the NCUA’s Office of Consumer Financial Protection at 703.518.1140 or ComplianceMail@ncua.gov. You can also contact your NCUA regional office or your state supervisory authority.

Home Mortgage Disclosure Act Data Requirements (2024)

FAQs

What data must be reported for HMDA compliance? ›

HMDA requires lenders to report the ethnicity, race, gender, and gross income of mortgage applicants and borrowers.

What does the Home Mortgage Disclosure Act require? ›

The Home Mortgage Disclosure Act requires certain financial institutions to collect, report, and disclose information about their mortgage lending activity. HMDA was originally enacted by the Congress in 1975 and is implemented by Regulation C (12 CFR Part 1003).

What is the HMDA data? ›

The HMDA data and reports are the most comprehensive publicly available information on mortgage market activity. The data and reports can be used along with the Census demographic information for data analysis purposes.

What act requires financial institutions to maintain and disclose data about home purchases? ›

The Home Mortgage Disclosure Act (HMDA) requires many financial institutions to maintain, report, and publicly disclose loan-level information about mortgages.

What transactions must be reported under HMDA? ›

Home purchase loans, home improvement loans, and refinancing loans are all types of loans that apply to HMDA reporting requirements. The loan must also be either an open-end line of credit or a closed mortgage loan to qualify for HMDA reporting.

What are key HMDA data fields? ›

3 For the purpose of ensuring compliance with HMDA's requirements, traditionally the FRB, the FDIC, and the OCC have identified and focused examination-related testing of HMDA data on certain agency-designated “key fields.” Key fields are those fields considered to be most important to ensuring the integrity of ...

What disclosures are mandatory when disclosing a mortgage loan file? ›

A closing disclosure is a legally-required, five-page statement of your final mortgage loan terms and closing costs. It contains details about your loan term, monthly payments, fees and other closing costs.

What are RESPA disclosure requirements? ›

The Act requires lenders, mortgage brokers, or servicers of home loans to provide borrowers with pertinent and timely disclosures regarding the nature and costs of the real estate settlement process. The Act also prohibits specific practices, such as kickbacks, and places limitations upon the use of escrow accounts.

What is included in the mortgage loan disclosure statement? ›

A Closing Disclosure is a five-page form that provides final details about the mortgage loan you have selected. It includes the loan terms, your projected monthly payments, and how much you will pay in fees and other costs to get your mortgage (closing costs).

How many data points for HMDA? ›

Table 1 lists all 110 HMDA data fields and their corresponding HMDA data points. The 37 Designated HMDA Key Data Fields applicable to financial institutions not eligible for an EGRRCPA partial exemption from HMDA's data collection, recording, and reporting requirements are shown in italicized bold text.

What is the HMDA rule? ›

HMDA requires financial institutions, including credit unions, to compile and disclose data about home purchase loans, home improvement loans, and refinancings that they originate or purchase, or for which they receive applications.

Which of the following transactions would not be reported under HMDA? ›

Which type of loan transaction is NOT covered under the HMDA reporting requirements? Neither unsecured home improvement loans nor loans on unimproved land are covered transactions.

When must HMDA data be collected? ›

Mid-January: Collection and processing of HMDA data for the preceding calendar year begins. March 1: You must submit initial HMDA data for your institution to the processing agency specified by your supervisory agency no later than March 1 following the calendar year for which the data are compiled.

What are the requirements for the Home Mortgage Disclosure Act? ›

The Home Mortgage Disclosure Act (HMDA) requires certain financial institutions to collect, report, and disclose information about their mortgage lending activity. HMDA was originally enacted by Congress in 1975 and is implemented by Regulation C (12 CFR Part 1003)).

Who is exempt from HMDA reporting? ›

HMDA Data Partial Exemptions

Regulation C provides that a credit union is not required to collect or report certain data points with respect to closed-end mortgage loans if the credit union originated fewer than 500 covered closed-end mortgage loans in each of the 2 preceding calendar years.

What are the HMDA recordkeeping requirements? ›

Generally, HMDA requires certain depository and non-depository institutions that make certain mortgage loans to collect, report, and disclose data about originations and purchases of mortgage loans, as well as loan applications that do not result in originations (for example, applications that are denied or withdrawn).

What are the three most common errors in HMDA reporting? ›

Reporting the incorrect loan amount. Assigning the wrong geographies via geocoding. Making errors in calculating the rate spread. Using the wrong Purchaser Type code.

For which two of the following types of transactions would you be required to record the lien status? ›

Under the HMDA regulation that will take effect in 2018, an institution is still required to report the lien status. This data point must be reported for loans that were originated, purchased loans, and those that did not result in origination.

Top Articles
Latest Posts
Article information

Author: Zonia Mosciski DO

Last Updated:

Views: 6050

Rating: 4 / 5 (71 voted)

Reviews: 94% of readers found this page helpful

Author information

Name: Zonia Mosciski DO

Birthday: 1996-05-16

Address: Suite 228 919 Deana Ford, Lake Meridithberg, NE 60017-4257

Phone: +2613987384138

Job: Chief Retail Officer

Hobby: Tai chi, Dowsing, Poi, Letterboxing, Watching movies, Video gaming, Singing

Introduction: My name is Zonia Mosciski DO, I am a enchanting, joyous, lovely, successful, hilarious, tender, outstanding person who loves writing and wants to share my knowledge and understanding with you.