Freddie Mac Single-Family Seller/Servicer Guide 9202.2 — Mortgage and property risk analysis
Freddie Mac Single-Family Seller/Servicer Guide Section 9202.2 — Mortgage and property risk analysis.
Verbatim regulatory text
Verbatim provisions from Freddie Mac Single-Family Seller/Servicer Guide 9202.2 — Mortgage and property risk analysis — each quote is a verified substring of the regulator-published source snapshot, not retyped. Quoted for reference; this is not legal advice. The operational layer (P&P updates, prompts) lives in the regulation update kits.
Freddie Mac Single-Family Seller/Servicer Guide 9202.2 — Mortgage and property risk analysis
This section contains requirements related to: ■ Service reconciliation of inconsistencies, fraud detection and document authenticity ■ Risk of Property Ownership ■ Tenant-occupied properties built before 1978 (a) Service reconciliation of inconsistencies, fraud detection and document authenticity (i) Reconciling income and/or hardship information inconsistencies If, based on the Servicer’s good business judgment, the Borrower’s income and/or the hardship information disclosed by the Borrower is inconsistent with the income and/or hardship documentation provided by the Borrower, the Servicer must attempt to reconcile such inconsistencies. The Servicer must also document such material differences in its servicing system. (ii) Fraud detection The Servicer must not offer the Borrower a relief or workout option if there is reasonable evidence indicating the Borrower submitted false or misleading information or otherwise engaged in fraud in connection with the request for payment relief. A Servicer must use good business judgment in determining whether the evidence is reasonably indicative of a Borrower’s intentional misrepresentation or submission of false or misleading information. Refer to Section 3201.2 for reporting requirements related to the discovery of fraud or possible fraud on a Mortgage. (iii)Document authenticity A Servicer must use good business judgment when determining whether verification documents are authentic and accurate, and allow the Servicer to underwrite the Borrower in accordance with the requirements of this Guide. A Servicer may elect to accept documentation with imperfections (blank fields, erasures, use of correction tape, inaccurate dates, etc.) if the Servicer determines that the imperfections are immaterial to the eligibility decision, are not indicative of fraud and do not impact the Servicer’s ability to verify the completeness and accuracy of the Borrower’s financial representations. (b) Risk of Property Ownership Risk of Property Ownership exists when there is a risk of liability to Freddie Mac if Freddie Mac becomes the owner of the property. For example, there is Risk of Property Ownership if the condition of the Mortgaged Premises, or its immediate surroundings, pose a threat to the health or safety of a property owner (e.g., condemnation), or there is otherwise a situation or presence that is exigent or atypical that would cause a potential property owner to incur extraordinary risk of liability if it becomes the owner of the property. The Servicer must review the property inspection reports that the Servicer receives to determine if a Risk of Property Ownership exists. Refer to Sections 8403.1(a) and 8403.1(b) for the requirements for managing a property securing a Mortgage identified as posing a Risk of Property Ownership. (c) Tenant-occupied properties built before 1978 Before considering a deed-in-lieu of foreclosure on a tenant-occupied property built before 1978, if the Servicer is aware of, or becomes aware of, any outstanding lead-based paint or health code citations or violations against the property or property owner, it must notify Freddie Mac (see Directory 5), and include a copy of the citation or violation and any other pertinent information. After reviewing the documentation, Freddie Mac will provide the Servicer with instructions on the course of the action to take.
Operationalizing Freddie Mac Single-Family Seller/Servicer Guide 9202.2 — Mortgage and property risk analysis
This is verbatim, source-snapshotted regulator text from the Claude for Compliance open corpus. To turn a rule like this into compliance work product: gap-analyze your policies and procedures (P&Ps) against these requirements to surface stale, conflicting, or missing provisions; operationalize any change with a ready-to-run update kit; and produce audit-ready evidence — every step grounded only in the regulator’s own words, never invented.
To work from the whole rulebook rather than this one page: download the corpus — every register on this site, verbatim, each with its source snapshot and effective date — then follow the methodology. It asks your assistant to answer only from the downloaded text, cite the register id and effective date it used, and tell you when the corpus does not cover something instead of filling the gap from memory. Running it locally also means no one sees which regulations you are looking at.
Source of record: https://claudeforcompliance.com/regs/fhlmc-9202-2/
· register fhlmc-9202-2 · Claude for Compliance. Free to read and download;
see regulatory updates and methodology.