| February 27, 2006
The Honorable John M. Reich
Director
Office of Thrift Supervision
1700 G Street, N.W.
Washington, D.C. 20552
Dear Director Reich:
America””s Community Bankers is writing to you on behalf of our OTS-regulated
members engaged in residential mortgage lending in Montgomery County, Maryland.
The Montgomery County Council (“Council”) recently adopted Ordinance 36-04,
entitled “Commission on Human Rights Discrimination in Housing” (“Ordinance”),
that will take effect on March 7, 2006. We believe that the Ordinance will
adversely affect residential mortgage lending in Montgomery County and
respectfully request that the OTS formally review the Ordinance for consistency
with federal law.
ACB is committed to ensuring that all Americans have fair and equitable access
to credit and that consumers have the necessary skills to make wise credit and
other financial decisions. ACB supports the development of national,
anti-predatory lending standards to create uniformity and ensure consistency
among locality-based mortgage lending initiatives.
Although the Montgomery County Ordinance has been codified under the Consumer
Protection, and Human Rights and Civil Liberties chapters of the Montgomery
County Code, the legislative history clearly shows that the purpose of the
Ordinance is to regulate lending practices in Montgomery County in an effort to
curb predatory lending. The Maryland State legislature adopted several
anti-predatory lending measures in 2002.
Lenders and investors have raised concern that the Ordinance will not achieve
its goal because the language is vague and ill-defined, yet imposes severe
penalties for any violation. The concern is that a lender or investor will be
subject to liability without being able to determine what loans would be
considered “discriminatory” under the Ordinance.
The American Financial Services Association and seven mortgage lenders have
filed suit to invalidate the Ordinance. Just last week, Lehman Brothers”” Aurora
Loan Services LLC announced that it would not purchase loans originated in
Montgomery County, citing concerns about vague requirements, excessive
penalties, and potentially unlimited liability. We understand that Bear Stearns
made a similar announcement. Thus, the effect of the Ordinance would appear to
be to curtail legitimately supplied credit to the borrowers about which the
Council is most concerned.
Based on the above, ACB urges the OTS to review the Ordinance””s effect on OTS-regulated
institutions and to take appropriate action.
Sincerely
Robert R. Davis
Executive Vice President and
Managing Director, Government Relations
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