Countrywide RMBS Settlement

Welcome To The Countrywide RMBS Settlement Website
This website ( has been established to provide public access to information of interest to holders of Certificates or Notes in 530 Countrywide mortgagesecuritization trusts governed by Pooling and Servicing Agreements and Indentures and related Sales and Servicing Agreements (collectively, the "Governing Agreements"), and to other persons potentially interested in the trusts. A settlement has been reached between The Bank of New York Mellon, as trustee or indenture trustee, (the "Trustee"), on the one hand, and Countrywide Home Loans, Inc. ("CHL"), Countrywide Financial Corporation (together with CHL, "Countrywide"), Bank of America Corporation ("BAC"), and BAC Home Loans Servicing, LP, formerly known as Countrywide Home Loans Servicing, LP ("BAC HLS," and together with BAC, "Bank of America"), on the other, concerning CHL's alleged breaches of certain representations and warranties in the Governing Agreements, and BAC HLS's alleged violations of prudent servicing obligations thereunder (the "Settlement"). The Settlement requires Bank of America and/or Countrywide to pay a total of US$8,500,000,000.00 (US$8.5 billion) into the trusts (the "Settlement Amount"). It also requires BAC HLS to implement, among other things, a series of loan servicing procedures and improvements. The Trustee has filed a Verified Petition and commenced a special proceeding, In the matter of the application of The Bank of New York Mellon (Index No. 651786/2011), in the Supreme Court of the State of New York, County of New York (the "Court") seeking a judgment, among other things, approving the Settlement and ordering that the Settlement is binding on all trust beneficiaries. The Court commenced a hearing on the Verified Petition on June 3, 2013 at the Supreme Court of the State of New York, County of New York, 60 Centre Street, New York, New York 10007.

For purposes of this request. (ii) applicable underwriting guidelines. a true and correct copy of which is attached hereto as Exhibit 1. while this action was in federal court. NO. loan approval. (See the Settlement Agreement for a complete description of the releases provided for therein. (iii) closing loan tapes and mortgage loan schedules. among other things. servicer. whether to approve the Settlement and make it binding on all Certificateholders.. HUD1. On November 18. will affect the rights and interests of all Certificateholders. appraisal or valuation results. underwriting exceptions granted. title commitment and FILED: NEW YORK COUNTY CLERK 05/02/2012 INDEX NO. loan application (Form 1008 and all supporting documents). 2011. mortgage note. (iv) evidence of all conveyances and assignments. the Court will determine. 651786/2011 NYSCEF DOC. The Subpoena requested. and their successors-in-interests and assigns. You can also obtain any documents filed with the Court by visiting the Court's website: http://iapps. foreclosure files and communications. and master servicer file. etc. (ii) servicing of the mortgages in the Trusts. with certain exceptions. mortgage insurance certificate. mortgage or deed of trust. sale. The Settlement. any papers filed in support of the Verified Petition. loss mitigation files. among other things. and (iii) documentation of the mortgages in the Trusts. (v) all loan servicing records. underwriting work sheets. and any other relevant information are available on this website. the attorneys for several of the objectors in this proceeding (the “Propounding Objectors”) 1 served on Bank of America a subpoena (the “Subpoena”). A.courts. inter alia : A random sample of 500 loan files for performing loans and 500 loan files for non-performing loans in each of the Covered Trusts. 301 RECEIVED NYSCEF: 05/02/2012 2 Affirmation in connection with the Memorandum of Non-Parties Bank of America and Countrywide in Opposition to Objectors’ Motion to Compel Production of Loan Files. with certain exceptions. and will consider other important matters described in the Settlement Agreement. or delivery of mortgages to the Trusts. including but not limited to origination credit reports.state. in the Trusts.ny. if approved by the Court. including representations and warranties made with respect to those mortgages and any mortgage repurchase obligations. the term “loan files” means (i) the complete loan originator. including by. including without limitation.That hearing remains ongoing. .) The Verified Petition. call notes. At the hearing. the Trusts and all Certificateholders in the Trusts and their successors-in-interests and assigns arising out of or relating to (i) the origination. The Loan File Request 2. releasing claims on behalf of the Trustee. AUS findings.

This request calls for information relating to 530. communications. or not delinquent at all. For the purposes of this request. 1 at Request No.(vi) all mortgage insurance rescission-related documents.000 loans. investigations. demands. a “non-performing loan” is a mortgage loan where the borrower is at least 60 days delinquent in his or her payments. a “performing loan” is a mortgage loan where the borrower is less than 60 days delinquent in his or her payments. or approximately one third of the approximately 1. (vii) all records concerning repurchase analysis. Ex.6 million loans held by the covered trusts. and (viii) servicing guidelines and procedures. 8. . (the “Loan File Request”).

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