MBA Comment Letter on the Implementation of Texas House Bill 21
2025
Comment Letters
FHA Multifamily
GSE Multifamily
Policy Issue
State and Local Issues
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Residential Mortgage Professionals
- Working For: Community Bank Professionals
- Working For: Credit Unions Professionals
- Working For: Independent Mortgage Bankers
- Working For: Accounting and Financial Management Professionals
- Working For: Loan Administration Professionals
- Working For: Loan Production Professionals
- Working For: Real Estate Law and Regulatory Compliance Professionals
- Working For: Secondary and Capital Markets Professionals
- Working For: Technology Professionals
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Commercial Real Estate Finance Professionals
- Working For: CREF Banks and Depositories
- Working For: CREF Life Companies
- Working For: CREF Private Credit
- Working For: CREF Structured Finance
- Working For: Agencies
- Working For: FHA Multifamily
- Working For: CREF Intermediaries
- Working For: CREF Servicers
- Working For: CREF Technology
- Working For: CREF Senior Executives
- Contact the MBA CREF Team
- State Licensing Resource
- Commercial and Multifamily Property Inspection Reports Reference Guide
- Vendor Marketplace
- mPower for Women
- mPact: MBA's Network for Young Professionals
- Opportunity & Engagement
- Disaster Recovery
- Technology Resource Center
- Compliance Resources
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MBA comment on the proposed new 10 TAC Subchapter J, Housing Finance Corporation Compliance Monitoring, §§10.1201 through 10.1207, in accordance with Texas Government Code §2306.053, to implement the requirements of HB 21.
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