--- description: Generate TRID Loan Estimate and Closing Disclosure timing and accuracy specifications. Use when designing the disclosure workflow for a mortgage lender or broker to ensure TRID compliance. model: sonnet allowed-tools: - Read - Grep - Bash --- # TRID Disclosure Workflow Design Design the Loan Estimate and Closing Disclosure workflow to ensure full TRID (TILA-RESPA Integrated Disclosure) compliance. TRID violations are among the most commonly cited mortgage regulatory deficiencies — this specification covers timing, tolerance buckets, changed circumstance procedures, and recordkeeping requirements. ## TRID Overview and Applicability TRID (implemented under Reg Z § 1026.37-38 and Reg X § 1024.7) applies to: - Most closed-end consumer mortgage loans secured by real property - Excludes: HELOCs, reverse mortgages, mobile home loans not secured by real property, loans made by a creditor who made fewer than 5 mortgages in the prior year Consists of two required disclosures: - **Loan Estimate (LE)** — Replaces Good Faith Estimate (GFE) and initial TIL - **Closing Disclosure (CD)** — Replaces HUD-1 and final TIL --- ## Section 1: Loan Estimate Workflow ### 1a: Application Definition (6-Piece Trigger) The LE clock starts when the borrower provides these 6 pieces of information: 1. Borrower's name 2. Borrower's income 3. Borrower's Social Security number 4. Property address 5. Estimated value of the property 6. Mortgage loan amount sought **Important:** The creditor cannot require additional information beyond these 6 before providing a Loan Estimate. Pre-qualification worksheets or additional documentation can be requested in parallel, but the 6-piece receipt date is the application date. **System requirement:** Log the exact date and time each of the 6 fields is captured. When all 6 are present, set `application_received_date`. This is the date the LE clock starts. ### 1b: LE Delivery Timing - **LE must be delivered:** within 3 business days of application receipt - **Business day for LE delivery:** any day the creditor's offices are open for business (includes Saturdays if office is open; excludes federal public holidays) - **Delivery methods and constructive delivery:** - Hand delivery: received on day delivered - U.S. mail: assumed received 3 business days after mailing (so add 3 days to the 3-business-day LE window = effective 6 days from application if mailing) - Email: received on day sent (if consumer has agreed to electronic communications under E-SIGN Act) - **Cannot collect fees before LE delivery** except bona fide credit report fee (typically $15–50) **LE deadline calculator:** ``` application_received_date = first date all 6 triggers are present le_due_date = application_received_date + 3 business days (Count: skip Sundays and federal public holidays; include Saturdays if office open) If mailing: le_mail_by_date = application_received_date + 3 business days le_constructive_receipt = le_mail_by_date + 3 more business days ``` ### 1c: Fee Tolerance Buckets TRID limits how much certain fees can change between the LE and the CD. **Zero tolerance (cannot increase):** - Creditor fees (origination charges, points, application fees) - Transfer taxes - Fees for required third-party services where borrower is NOT permitted to shop - Examples: appraisal, flood determination, credit report, upfront MIP/PMI - Recording fees (at CD, cannot exceed LE by more than $10) **10% tolerance (aggregate tolerance — total increase cannot exceed 10% of LE total):** - Title services — if borrower selects from creditor-provided list - Settlement services — if borrower selects from creditor-provided list - Pest inspection — if required by state law or program - Recording fees (aggregate with others in the bucket) **No tolerance (can change without limit):** - Prepaid interest - Property insurance premium - Amounts placed into escrow (initial escrow payment at closing) - Third-party services where borrower shopped and selected their own provider - Third-party fees for services not required by creditor **Tolerance cure process:** If at CD, any zero-tolerance or 10%-bucket fee exceeds tolerance: - Creditor must provide a cure (refund) at or before consummation, or within 3 calendar days after consummation - Cure amount = amount of the overcharge - Cure is paid to the borrower; document cure in CD or separate documentation ### 1d: Changed Circumstance Events A valid changed circumstance allows re-disclosure of a revised LE and resets the tolerance comparison baseline. **Valid changed circumstance categories:** | Category | Examples | Documentation Required | |---------|---------|----------------------| | Extraordinary event | Natural disaster affecting property; market disruption | News documentation, loss adjuster report | | Information relied upon changes | Appraisal comes in different from estimate; title search reveals lien; income different from stated | Revised information + explanation of how it changed the fee | | New information on borrower or property | Borrower adds or removes co-borrower; property use differs from disclosed | Written explanation | | Interest rate locked | Fees tied to rate lock that changes when rate is locked | Lock confirmation | | Borrower-requested change | Program change, loan amount change, property address change | Written or documented borrower request | | Expiration of original LE | Borrower does not express intent to proceed within 10 business days | Log of LE delivery date and non-response | **Changed circumstance documentation requirement:** - Date of event or discovery - Description of the changed circumstance (specific, not generic) - Which fees changed as a result and why - How the new fee amount was calculated - Stored in loan file; must be available for examination **Revised LE timing after changed circumstance:** - Must be delivered within 3 business days of receiving information sufficient to establish the changed circumstance - New comparison baseline = fees on the revised LE (replacing the original LE) - Cannot use a revised LE to cure tolerances if issued less than 4 business days before consummation ### 1e: Intent to Proceed - Borrower must express intent to proceed before creditor may collect any fees beyond credit report - "Intent to proceed" can be: verbal, written, or e-signed acknowledgment - System should capture: date, time, method, and staff member who received intent (for verbal) - Loan file must document that no fees were collected before intent to proceed --- ## Section 2: Closing Disclosure Workflow ### 2a: CD Delivery Timing - **CD must be received:** at least 3 business days before consummation - **Business day for CD:** ALL calendar days except Sundays and federal public holidays (broader definition than LE business day) - **If using mail:** add 3 business days for constructive receipt → effective 6 calendar days before closing **CD delivery compliance checklist:** - [ ] CD issued to all borrowers who are primarily liable on the loan - [ ] If purchase: separate CD issued to seller (seller's page only required) - [ ] Date of CD receipt documented (e-sign confirmation or delivery confirmation) - [ ] 3-business-day waiting period begins day after receipt - [ ] Closing date confirmed to be after waiting period expires **CD receipt date matrix:** | Delivery Method | Assumed Receipt | 3-Business-Day Clock Starts | |----------------|----------------|--------------------------| | In person or electronic (with E-SIGN consent) | Day of delivery | Day after delivery | | U.S. mail | 3 business days after mailing | Day after assumed receipt (6 days total) | **Example:** - Closing on Tuesday - CD must be received no later than Thursday of the prior week (assuming Monday = day 1, Tuesday = day 2, Wednesday = day 3, Thursday = day 4 — no, count differently) - Correct: for Tuesday closing → received by Thursday of prior week (Friday would also work if Friday, Saturday, Monday before Tuesday all count as business days) **Actual calculation:** Count back from consummation date. Day 1 = business day before consummation, Day 2 = business day before Day 1, Day 3 = business day before Day 2. CD must be received on or before Day 3. ### 2b: CD Triggers for Re-Disclosure (3-Day Reset) If the CD is reissued with certain changes after delivery, the 3-business-day waiting period resets. | Change | New 3-Day Wait Required? | |--------|--------------------------| | APR increases by more than 1/8 of 1% (1/4% for irregulars) | Yes | | Loan product changes (e.g., fixed to ARM) | Yes | | Prepayment penalty added | Yes | | Decrease in APR | No (borrower benefit — no re-wait required) | | Non-triggering fee changes (e.g., increased cash to close not due to above) | No | **Practical implication for workflow:** - Any change to the CD within 4 business days of closing that could trigger an APR change needs immediate underwriter/compliance review - Establish a "CD change freeze" period: no substantive changes to fees after CD is issued without compliance sign-off ### 2c: CD vs. LE Comparison and Tolerance Cure At CD stage, compare each fee against the LE baseline: | Step | Action | |------|--------| | 1 | Pull all fees from the final LE (or latest revised LE for each fee category) | | 2 | Compare each fee on the CD to the LE | | 3 | Apply tolerance bucket rules (zero / 10% / no tolerance) | | 4 | Calculate aggregate 10% bucket variance | | 5 | Identify any tolerance violations | | 6 | Calculate cure amount for each violation | | 7 | Document cure in CD (or confirm separate cure payment timing) | **Cure documentation:** - Record the cure amount, date paid, and method (applied to closing costs or check to borrower) - Retain in loan file — regulators look for cures as evidence of original tolerance violation ### 2d: Post-Consummation CD Requirements In certain cases, a corrected CD must be provided after closing: - Non-numerical clerical errors on CD: corrected CD delivered within 60 calendar days of consummation - Numerical errors (changes that affect APR, loan terms, or amounts): corrected CD within 3 business days of discovery - Remediation: if post-consummation CD reflects borrower paid more than permitted, refund within 3 business days of discovery --- ## Section 3: Record-Keeping Requirements | Document | Retention Period | Required Content | |---------|-----------------|-----------------| | Initial Loan Estimate | 3 years from consummation | LE as delivered; evidence of delivery; application date | | All revised LEs | 3 years from consummation | Revised LE; changed circumstance documentation | | Intent to proceed | 3 years from consummation | Date, method, staff member (if verbal) | | Closing Disclosure | 5 years from consummation | CD as delivered; evidence of 3-day receipt | | All revised CDs | 5 years from consummation | Revised CD; reason for revision; delivery evidence | | Tolerance cure documentation | 3 years | Amount, date, method | | Changed circumstance file | 3 years | Date of event, description, fees affected | **Delivery confirmation requirements:** - E-sign: system-generated timestamp of when borrower opened/signed; retain in loan file - Mail: retain copy of mailing + calculated constructive receipt date - In-person: retain signed acknowledgment of receipt --- ## Output Format Deliver two artifacts: 1. **TRID Disclosure Workflow Specification** — Process flows for LE issuance, changed circumstance handling, CD issuance, and post-consummation corrections; with decision trees for tolerance analysis and re-disclosure triggers 2. **Tolerance Matrix** — Complete fee tolerance table with examples for each bucket; changed circumstance documentation template; CD vs. LE comparison checklist