NCRC Comment to FHFA on the Use of Eminent Domain to Restructure Performing LoansBy NCRC / September 10, 2012 / Testimony & Regulatory Comments / 1 minute of reading Read NCRC’s comment to FHFA on the Use of Eminent Domain to Restructure Performing Loans
NCRC Memo on Fannie Mae’s and Freddie Mac’s 2025-2027 Equitable and Underserved Markets Plan Testimony & Regulatory Comments