H 3 Model Disclosure - Fill and Sign Printable Template Online (2024)

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H 3 Model Disclosure - Fill and Sign Printable Template Online (1)

H-3. Model form for credit score disclosure exception for loans secured by one to four units of residential real property Name of Entity Providing the Notice Your Credit Score and the Price You Pay.

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H model FAQ

  • "In connection with your application for a home loan, the lender must disclose to you the score that a consumer reporting agency distributed to users and the lender used in connection with your home loan, and the key factors affecting your credit scores.

  • What Types of Credit Scores Must Be Disclosed? A creditor must disclose “the credit score used by the person in making the credit decision” on a risk-based pricing notice. “Credit score” has the same meaning used in §609(f)(2)(a) of the FCRA.

  • A Credit Score Disclosure alerts a consumer of their FICO scores, defines what a FICO is, informs how FICO scores affect their access to consumer credit and provides contact information for the bureaus.

  • The credit score exception notice (model forms H-3, H-4, H-5) is a disclosure that is provided in lieu of the risk-based-pricing notice (RBPN, which are H-1, H-2, H-6 & H-7). The RBPN is required any time a financial institution provides different rates based on the credit score of the applicant.

  • Notice to Home Loan Applicant In short, this is a disclosures that includes things like the credit score of the applicant, the range of possible scores, key factors that adversely affected the credit score, the date of the score, and the name of the person or entity that provided the score.

  • What Types of Credit Scores Must Be Disclosed? A creditor must disclose “the credit score used by the person in making the credit decision” on a risk-based pricing notice. “Credit score” has the same meaning used in §609(f)(2)(a) of the FCRA.

  • Risk-based pricing occurs when lenders offer different interest rates and loan terms to borrowers, based on individual creditworthiness. The Risk-Based Pricing Rule requires you to notify consumers if they are getting worse terms because of information in their credit report.

  • The notice described in paragraph (f)(1)(iii) of this section must be provided to the consumer as soon as reasonably practicable after the person has requested the credit score, but in any event not later than consummation of a transaction in the case of closed-end credit or when the first transaction is made under an ...

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