What is the ATR Rule? The ATR rule (Ability-To-Repay) is a fundamental regulatory requirement in mortgage lending, designed to ensure that we make safe and sustainable loans to consumers.
The ATR rule, or Ability-to-Repay rule, is currently known as the requirement imposed on us to make a good-faith effort to determine that the applicants have the ability to repay the mortgage.
For loans that utilize the General ATR Option, we must verify and underwrite based on eight minimum considerations. These standards are used to confirm that the loan meets ATR requirements as defined in 12 CFR 1026.43.
The eight minimum Underwriting Factors are:
The ATR rule is highly relevant in the Non-Qualified Mortgage (Non-QM) space, as these loans are explicitly structured outside of the stricter Qualified Mortgage (QM) standards, making adherence to the foundational ATR requirements crucial.
Certain loan types are typically exempt from ATR requirements because they are structured for business purposes rather than consumer residential use.
If a loan is classified as a Higher-Priced Mortgage Loan (HPML), it is subject to additional ATR compliance mandates. HPMLs must fully document compliance with ATR and require mandatory escrows for taxes and insurance for a minimum of five years.
Yes. ATR assessment is required for Alt Doc (Alternative Documentation) loan programs, which include Bank Statement loans and Asset Utilization/Depletion.
Loans deemed business purpose loans are generally exempt from the ATR requirement.
An Ability-to-Repay (ATR) assessment is required for all Non-QM loans, including Full Doc, Alt Doc, and DSCR qualification options.
The ATR assessment also includes evaluating the consumer’s credit history.
Two of the eight minimum ATR considerations include the consumer’s current or reasonably expected income or assets and their current employment status (if employment income is used).
The General ATR Option consists of eight minimum underwriting considerations.
Loans subject to the ATR rule must comply with the provisions outlined in the Truth in Lending Act and adhere to the standards set forth in the CFPB’s Regulation Z, Section 1026.43(c).
The obligation for lenders to assess the applicant’s ability to repay the mortgage was imposed by the Dodd-Frank Act.
The ATR rule is the requirement imposed on lenders to make a good-faith effort to determine that the applicants have the ability to repay the mortgage.
ATR stands for Ability-to-Repay.
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