The recent actuarial review of the financial status of FHA’s
HECM insurance fund, revealing a deficit of $2.8 billion,
has generated considerable attention in Congress and
elsewhere. Some commentators have suggested that the deficit
was a reason for curtailing the program. This article is
directed to the question of what the reaction to the
actuarial report ought to be, and to the broader question of
what needs to be fixed in the HECM program.
Basing
policy changes on the actuarial report would be a terrible
mistake. This is not because the report is poorly done, On
the contrary, it is very well done, and one of its strengths
is the documentation of the very large margin of error in
that negative $2.8 billion figure. Consider:
·
Estimates of fund value depend on forecasts of property
values and interest rates as far as 38 years into the
future. These forecasts change every year.
·
The estimate of fund value one year earlier was a positive
$2.1 billion. Among other things, the $4.9 billion swing
resulted from less optimistic forecasts of property values
and interest rates, as expected, and also from a change in
the model used to calculate value. The model change itself
resulted in a value drop of $2.4 billion. The new model is
better, which is not the same thing as saying that it is
right.
·
One of the useful features of the new model is that it shows
probability bounds for different fund values. It indicates,
for example, that there is a 25% probability that the true
fund value is a positive $592 million or higher.
·
The model forecasts a gradual shrinking of the deficit in
future years because the new business added will be
increasingly profitable.
In my view, many changes are needed in
the HECM program, but not because the actuarial
report shows a deficit this year. An appropriate response to
that report is “Interesting. Lets keep an eye on it.”
The critical problem of the HECM is that it attracts too
many borrowers with short time horizons and poor payment
habits, looking for as much cash in hand as possible, who
impose heavy costs on FHA’s insurance reserve fund. And it
is not attracting enough borrowers who need steady financial
help to stay in their homes during their retirement years,
or who will have intermittent needs over extended periods.
The HECM program was designed to serve the second group,
which also imposes much lower costs on the reserve fund than
the first group.
In a letter of December 18, 2012 to US Senator Bob Corker,
responding to the senator’s inquiry about the adequacy of
FHA’s HECM reserve fund, FHA Commissioner Carol Galante
indicated that FHA planned
to eliminate the standard fixed-rate option, under which
borrowers withdraw the maximum possible cash up-front. This
is the option used by seniors looking for the maximum cash
they can draw. The fixed rate is appealing, and under the
rules seniors who select it must use all their
borrowing power at the outset.
The standard fixed-rate option can be criticized for
providing an incentive to exhaust all borrowing power at the
beginning, attracting those who are most short-sighted, and
encouraging others to become short-sighted. This is
inconsistent with the major objective of the HECM program,
which is to help seniors stay in their homes by providing
funding during their retirement years – not concentrated at
the outset of retirement. Allowing seniors to withdraw it
all upfront leaves nothing to withdraw later on when needs
may be greater.
Losses to FHA on fixed-rate cash-out loans are much higher
than those on HECMs that fund over time. Equity depletion is
greater in the early years, which can discourage maintenance
and encourage property tax defaults. In its most recent
Annual Report to Congress (P.29), HUD noted that “HECM loans
with such high up-front draws are twice as likely to have a
tax-and-insurance default as are loans with initial draws of
60 percent, and four times as high as those with initial
draws of 40 percent of the maximum allowed.”
It is clear from the tone of the Galante letter that HUD/FHA
is looking into the question of other changes that may be
needed in the HECM program to protect FHA’s insurance
reserve. The second article in this series will be directed
to the same question.