Addvent Funding Wants to Dispell the Myths About Bank of America’s New Principal Reduction Program and What it Truly Entails

Tampa, FL (PRWEB) April 1, 2010

Addvent Funding LLC of Tampa Florida has released, as of April 1st, an updated version of their Principal Reduction Plan, which however can be misunderstood as a really related system to the a single Bank of America has produced public as of March 24th. There are even so, several misconceptions regarding the coverage of BofA’s recent announcement of a principal reduction initiative, particularly its relationship to the Home Affordable Modification System (HAMP). This confusion also extends to the Treasurys Friday announcement. There are extremely handful of firms that in fact supply a true way to decrease your principal balance and Addvent Funding is one of a really really modest few. Never be misconstrued by clever wordsmithing from Bank of America’s legal department, they are virtually being forced to do what they are covering up as a ‘new initiative’.

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The BofAs plan at concern is a response to an $ eight.6 billion dollar settlement with regards to a quite distinct set of loans inherited by way of BofAs 2008 acquisition of Countrywide, not a meaningful answer to the core issue of negative equity in residential genuine estate. (1)

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This specific missing context is disappointing, but the greatest concern relating to the coverage of this BofA program” is the conflation with genuine HAMP initiatives (both current and in-improvement) that seek to address the ongoing crisis and give support to the millions of underwater property owners. In spite of their (apparently effective) spin, the system announced by Bank of America is not such a approach it is simply a stipulation from an out-of-court settlement agreement.

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Additionally, the announcement by the Treasury Department is also being widely and inaccurately linked with Bank of Americas press release March 24th. Whilst the Treasury is rightly focusing on options aimed to help these in the most dire of situations, these initiatives do not address the millions of homeowners that are functioning difficult to make payments on a loan that overvalues their residence by up to 50%.

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While every person can hope that the Treasurys effort to encourage bank reductions in principal loan balances for struggling homeowners is effective, there is evidence to suggest widespread acceptance and implementation of this approach may possibly be challenging to receive. (two)

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In the case of a homeowner that is both able to make month-to-month payments and owes considerably far more than the house is worth, lenders will contemplate principal reduction only when acceptance of a principal reduction addresses the main issues of the lender capitalization requirements, liability reduction, and risk aversion.

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New Principal Reduction Applications (PRP) are emerging that can support homeowners otherwise ignored. Addvent Funding LLC is one example of a new economic organization that assists responsible home owners facing severe declines in house value via no fault of their personal to negotiate significant principal reductions down to existing market place values.

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In the current climate, lenders such as Bank of America are mainly concerned with asset valuation, danger reduction / avoidance, and capitalization specifications. In order for a lender to accept a principal reduction on an asset they personal, the terms of the principal reduction have to favorably address these issues. Addvent Funding LLC and its affiliates understand these motivating factors, and structure meaningful options in conjunction with lenders making use of leverage created by way of portfolio negotiation. (three)

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For further information of Addvent Funding LLC, please make contact with Mr. Zack Larson.

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(1) The lawsuit contends that roughly 45,000 Alternative ARM loans issued by Countrywide have been predatory in nature which means the lender, broker and/or economic advisor charged with fully disclosing the risks and obligations linked with this sort of loan failed to adequately do so, to the detriment of the borrower. Bank of America agreed to an out-of-court settlement of $ 8.6 billion dollars directed to address this certain group of loans. Bank of Americas principal reduction announcement is a distinct situation of that settlement.

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See – http://www.law.com/jsp/report.jsp?id=1202446753100

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(two) The Treasury Departments strategy does not address specific fundamental elements of the housing crisis, such as the following: For a lot of homeowners, reduction in principal and/or interest price does not necessarily equate to decreased monthly payments if that homeowner has been generating an interest only or minimum payment. In this case, the modification might not address the basic issue of monthly payment reduction, as a result failing to substantially minimize foreclosure danger.

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When calculating the 31% debt to earnings threshold, usually second mortgage payment obligations are not integrated in the equation. Consequently, the affordability of these solutions can be somewhat misleading.

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This is the second try by the Treasury Department to incentivize the lenders to minimize principal balances for struggling property owners. Lenders have primarily demonstrated an unwillingness to give principal reductions that would lessen the loan amount to the existing market place worth of the house. Alternatively, the principal reduction supplies short-term payment relief, but does not re-equify the borrower, meaning they nonetheless owe far more than the property is presently worth. The outcome is continued anxiety on the lenders balance sheet, and the genuine danger of an individual walking away from a mortgage alternatively of paying more for a residence than it is worth, even if they now can afford the payment.

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(3) http://addventfunding.com/&#13

Addvent Funding, LLC

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