NAFCU Outlines for CFPB What It Wants to See In Definition of QM; Offers Recommendations

ARLINGTON, Va.—In response to the CFPB's notice of proposed rulemaking related to the general definition of a qualified mortgage (QM) under the Truth in Lending Act (TILA), NAFCU urged the Bureau to adopt a definition that would include a modified debt-to-income (DTI) threshold and allow for compensating factors.

In a letter, Senior Regulatory Affairs Counsel Kaley Schafer noted that if the CFPB were to adopt an average prime offer rate (APOR) pricing threshold, then NAFCU would like the Bureau to: 

  • Increase the safe harbor QM threshold to at least 200 basis points over APOR
  • Evaluate whether an increase to the rebuttable presumption QM threshold is needed
  • Increase the smaller loan pricing threshold in efforts to minimize any detriment to manufactured housing loans

Importance of GSEs

In the letter, Schafer also highlighted the importance of the government-sponsored enterprises (GSE) patch in credit unions' ability to lend to members in their communities, especially those of low- and moderate-income.

"According to 2019 Home Mortgage Disclosure Act (HMDA) data, credit unions provide more lending to low- and moderate- income earners at every DTI level," wrote Schafer. "Thus, highlighting the importance of a GSE Patch alternative that allows credit unions to continue to serve these borrowers."

Of note, the CFPB issued a separate proposal last month to create a new category of seasoned QMs, which will provide safe harbor QM status to loans that meet certain performance and underwriting standards. This may assist initially high DTI loans gain QM status for borrowers with the ability-to-repay, NAFCU said.

Schafer noted that credit unions also "frequently sell a sizeable portion of their loan portfolios to the GSEs to free up capital and continue to provide lending to members," pointing to HMDA data that found credit unions sold 36 percent of their loans to the GSEs in 2019.

Other Points Raised

Additionally, Schafer shared credit unions' need for a "reasonable" implementation period following revisions to the general QM definition, reiterating the association's recommendation of a 18-24 month time period.

"Credit unions need sufficient time to work with vendors to develop, test, and install new software systems. In addition, adequate time to train staff members on new requirements is necessary as well as time to educate members on product offerings," wrote Schafer.

Section: Standard
Word Count: 484
Copyright Holder: CUToday.info
Copyright Year: 2026
Is Based On:
URL: https://cuto-admin.flux5.ccplatform.net/Fresh-Today/NAFCU-Outlines-for-CFPB-What-It-Wants-to-See-In-Definition-of-QM-Offers-Recommendations