FFIEC Appraisal Subcommittee

  1. For these reasons, we believe a 30-day extension of the comment period on the Appraisal Subcommittee’s proposal would greatly improve the industry’s ability to provide meaningful thoughts on the proposal, and would avoid distracting attention from some very significant rulemakings and issues.

    Thank you very much for your consideration of our request. Sincerely,

    American Bankers Association
    Consumer Mortgage Coalition
    Housing Policy Council of the Financial Services Roundtable Independent Community Bankers of America
    Mortgage Bankers Association