If you worked with appraisers ten years ago, you know how much technology has changed since then. What you might not realize is that there have been many developments in technology and e-commerce that have improved turnaround times on appraisal assignments. We're taking advantage of them. Are you taking advantage of every opportunity you have to speed up the process? Here are some suggestions.
Hearing from you - someone they've been working with on their loan - a little bit about the appraisal process, who we are, and especially that dusting and polishing won't make it more likely their sale will close, can go a long way toward trimming the time it takes to inspect a home. Please feel free to point them to this website, where we have many pages of information for homeowners as well as others about the appraisal process. Encourage them to call us if they want to familiarize themselves with our staff and services. And tell them it's in their interest to set the appointment as quickly as possible!
WWW.SAPOSNEKAPPRAISAL.COM
SAPOSNEK APPRAISAL SERVICES 2450 Lymbery Street Suite 336, Reno, NV. 89509-4025Phone: (775) 828-7394 Fax: (775) 828-7394 E-mail: J@SAPOSNEKAPPRAISAL.COM
Visit my website at www.saposnekappraisal.com and get registered for our weekly sweepstakes drawing and you could win $1,000! That will go a long way to increasing the value of your home. Maybe some new landscaping? New countertops? Whatever you want to do with it, it's cold hard cash - so register now!
While you're there, check out all the ways I can help you with any of your real estate needs!
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Sincerely,
JEREMY SAPOSNEKSAPOSNEK APPRAISAL SERVICES (775) 828-7394j@saposnekappraisal.com www.saposnekappraisal.com
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2006-2008 USPAP From the Appraisal Foundation
http://commerce.appraisalfoundation.org/html/2006%20USPAP/ao26.htm
12. May an appraisal be readdressed to a regulated institution from the borrower or another institution?
Answer:
Financial Institution Letters
Office of the Comptroller of the Currency, Board of Governors of the Federal Reserve System, Federal Deposit Insurance Corporation, Office of Thrift Supervision, National Credit Union Administration
Frequently Asked Questions on the Appraisal Regulations and the Interagency Statement1 on Independent Appraisal and Evaluation Functions
March 22, 2005
The Office of the Comptroller of the Currency, the Board of Governors of the Federal Reserve System, the Federal Deposit Insurance Corporation, the Office of Thrift Supervision and the National Credit Union Administration (the agencies) prepared this document in response to questions from federally regulated institutions (regulated institutions) on existing standards for selecting appraisers, ordering appraisals, accepting transferred appraisals, and other related topics. It should be reviewed in conjunction with the agencies' appraisal regulations, the "Interagency Appraisal and Evaluation Guidelines" (interagency guidelines), dated October 27, 1994, and the joint statement "Independent Appraisal and Evaluation Functions" (independence statement), dated October 28, 2003.
Selectig an Appraiser and Ordering an Appraisal
1. Do the interagency guidelines and independence statement apply for ordering and reviewing appraisals if the collateral property is residential (mortgage or home equity) rather than commercial?
2. A regulated institution plans to make a construction loan to a tract developer to build 10 homes. Is it permissible for the developer to order appraisals on the properties and use them to support the construction loan request? Could the developer select an appraiser from the lender's approved appraiser list and in turn submit the appraiser's name to potential permanent lenders?
Answer
3. Who should be considered the loan production staff for purposes of achieving appraiser independence? Could loan production staff select an appraiser?
4. What information should the regulated institution provide to the appraiser upon engagement?
FDIC: FIL-20-2005: Frequently Asked Questions Page 1 of 5
http://www.fdic.gov/news/news/financial/2005/fil2005a.html 3/22/2005
5. When selecting residential appraisers, may loan production staff use a revolving pre-approved appraiser list, provided the list is not under their control?
6. Must the individual appraiser, rather than the appraisal firm, sign and accept the terms of an engagement letter for it to be considered valid?
7. Are appraisers required to disclose whether they have been engaged to appraise a given property in the past or is this information confidential?
8. When ordering appraisals, can a staff appraiser or an appraisal company affiliated with the regulated institution be considered independent since the regulated institution compensates them?
Accepting a Transferred Appraisal
9. Can a regulated institution accept an appraisal from a prospective borrower and determine its acceptability based on a review?
10. Can an appraisal be transferred from one lender to another and, if so, under what circumstances?
Regulated institutions are expected to perform a more thorough review when accepting an appraisal from another financial services institution to confirm that the appraisal complies with the regulation and has sufficient information to support the lending decision. Moreover, the regulated institution accepting the appraisal should determine whether appropriate documentation is available to confirm that the financial services institution (not the borrower) ordered the appraisal.
11. Can a regulated institution accept an appraisal prepared by an appraiser who was engaged by a loan broker?
FDIC: FIL-20-2005: Frequently Asked Questions Page 2 of 5
13. May an appraisal be routed from one lender to a regulated institution via the borrower?
14. Can a borrower pay the appraiser directly for an appraisal that is ordered by the lender?
15. Can an appraiser deliver an appraisal report to more than one lender assuming the appraisal has been ordered by one of the lenders?
16. Can the regulated institution accept an appraisal prepared by an appraiser who is a family member of the loan broker who engaged him/her?
17. Can the regulated institution accept an appraisal prepared by an appraiser who is engaged by a financial services institution with whom the appraiser has an affiliated business relationship?
18. How can a regulated institution ensure appraiser independence when accepting an appraisal prepared for a financial services institution?
Reviewing Appraisals
19. Should all appraisals undergo a compliance review?
FDIC: FIL-20-2005: Frequently Asked Questions Page 3 of 5
20. Can a regulated institution approve a loan subject to receipt and review of an appraisal, or must the
appraisal be obtained and reviewed prior to making the final decision?
21. What qualifications would constitute a "qualified and adequately trained individual" for the purpose of conducting appraisal reviews?
Evaluation and Other Appraisal Topics
22. Can an otherwise qualified individual prepare an evaluation of a property securing a loan that will be approved by his/her direct supervisor? Can one officer perform an evaluation for another if they are both members of a loan committee, provided the evaluating officer abstains from voting? Could the lending officer or branch manager in a small, regulated institution perform the evaluation if he/she abstains from the final loan approval?
23. Do the interagency guidelines apply only to loans in excess of $250,000? Is the $250,000 threshold the loan amount or the property value?
24. Should a regulated institution comply with the independence requirements if an appraisal is not required by the agencies' appraisal regulations?
25. Does a tax-assessment value from the local taxing authority constitute an evaluation? Can a loan officer who approves and/or recommends a loan conduct an evaluation if the market value that the officer develops in the evaluation does not exceed the tax- assessment value?
A regulated institution should ensure that an individual who performs an evaluation is independent of the loan production function. Simply restricting the size of a transaction to less than the tax-assessed value alone does not comply with the agencies' appraisal regulations or the interagency guidelines, which address standards of independence. (See "Independence of the Appraisal and Evaluation Function" in the interagency guidelines.)
26. The work-out plan on a $5 million problem loan calls for a regulated institution to receive an assignment of a $2 million note from the borrower's relative secured by a deed of trust on a different property. Is this financial transaction considered real-estate-related and is an appraisal required on the collateral property?
FDIC: FIL-20-2005: Frequently Asked Questions Page 4 of 5
27. What is the useful life of an appraisal?
28. Can a regulated institution advance new funds without a new appraisal if the value of the total loan continues to be supported by an existing appraisal and is consistent with supervisory LTV limits? Does the age of the appraisal matter if the physical condition of the property and the market conditions have not changed?
1
LTCU 03-CU-17.
Last Updated 3/22/2005
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