Implement routine client outcome data analysis to identify trends, quantify performance metrics and benchmarks, and measure the impact of prepurchase and postpurchase counseling on advancing homeownership. This should include routine analysis that HUD’s Office of Housing Counseling can implement based on data collected as well as continuing to pursue an updated housing counseling data system to help overcome client outcome data limitations.
2025-NY-0001 | March 24, 2025
HUD Has Challenges Measuring the Impact of Homeownership Counseling
Housing
- Status2025-NY-0001-001-BOpenClosed
- Status2025-NY-0001-001-COpenClosed
Enhance monitoring of HUD-approved housing counseling agencies’ performance, to include progress toward the established performance metrics and benchmarks.
2025-LA-0001 | March 17, 2025
HUD Can Improve Its Efforts To Meet the National Drug Control Strategy Reporting Requirements
Chief Financial Officer
- Status2025-LA-0001-001-COpenClosed
Develop and execute a written agreement with ONDCP on the reporting methodology for the CoC annual numeric targets and actuals that would meet future reporting requirements and comply with the Strategy and timeframe for implementation.
- Status2025-LA-0001-001-DOpenClosed
Develop and execute a written agreement with ONDCP on the use of reporting annual numeric targets for the RHP performance measures that would meet future reporting requirements and comply with the Strategy and timeframe for implementation.
- Status2025-LA-0001-001-EOpenClosed
Establish and implement formal policies and procedures that include (1) the ONDCP reporting process between HUD’s OCFO and CPD, (2) the process for reporting to ONDCP, (3) references to any written agreements between HUD and ONDCP, and (4) a requirement for periodic reviews of these written agreements to address any changes in administration, roles, responsibilities, reporting programs, reporting requirements, and reporting methodologies.
2025-BO-0001 | March 11, 2025
HUD’s Office of Multifamily Housing Programs Can Improve Its Monitoring of Civil Rights Compliance
Housing
- Status2025-BO-0001-001-AOpenClosedClosed on July 09, 2025
We recommend that HUD’s Deputy Assistant Secretary for Multifamily Housing implement training at the regional level to provide instruction on and stress the importance of monitoring civil rights compliance as part of the MORs.
- Status2025-BO-0001-001-BOpenClosedClosed on July 09, 2025
We recommend that HUD’s Deputy Assistant Secretary for Multifamily Housing direct HUD staff to perform all required monitoring of civil rights compliance as part of the MORs conducted.
- Status2025-BO-0001-001-COpenClosedClosed on July 09, 2025
We recommend that HUD’s Deputy Assistant Secretary for Multifamily Housing instruct the PBCAs to include the completion of the addendum B checklist as part of the MORs performed by the PBCAs.
- Status2025-BO-0001-001-DOpenClosedClosed on July 09, 2025
We recommend that HUD’s Deputy Assistant Secretary for Multifamily Housing provide technical training to the multifamily property owners and management agents on completing addendum B accurately as part of the MORs.
2025-FO-0005 | March 10, 2025
HUD’s Subaward Data on USASpending.gov Were Not Complete nor Accurate
Chief Financial Officer
- Status2025-FO-0005-001-HOpenClosed
Develop a policy or update the existing Grants Management Policy to include 1) the process and controls that HUD will use to hold the prime recipients accountable for FFATA compliance and 2) clearly defined roles and responsibilities between OCFO and the program offices to ensure that action is prioritized by the correct responsible parties regarding FFATA compliance.
- Status2025-FO-0005-001-IOpenClosed
Work with applicable program offices to develop training materials and tools, such as dashboards, to assist program offices in monitoring their grant portfolios for subaward reporting compliance.
2025-NY-1002 | March 04, 2025
LoanDepot.com Did Not Have a Sufficient Quality Control Program for FHA-Insured Loans
Housing
- Status2025-NY-1002-001-AOpenClosed
Update its QC plan and related processes and procedures to align with requirements for loan selection, including maintaining data and documentation showing how sample sizes and loan selections were determined.
- Status2025-NY-1002-001-BOpenClosed
Update its QC plan and related processes and procedures to align with requirements for (1) loan file reviews, (2) assessment of findings, (3) mitigation of findings, and (4) reporting findings to HUD when required.
- Status2025-NY-1002-001-COpenClosed
Provide annual training to its staff and management on HUD requirements for lender QC programs and provide proof of training to HUD.
- Status2025-NY-1002-001-DOpenClosed
Conduct up to 1,190 additional post-closing QC reviews to meet sample size and composition requirements and submit the results to HUD, including all findings of fraud or material misrepresentation, along with any other material findings that it is unable to mitigate. If required, loanDepot should execute indemnification agreements or reimburse claims paid to help protect the FHA insurance fund from unacceptable risk.
- Status2025-NY-1002-001-EOpenClosed
Review the 32 EPD loans not previously selected for review and submit the results to HUD, including all findings of fraud or material misrepresentation, along with any other material findings that it is unable to mitigate. If required, loanDepot should execute indemnification agreements or reimburse claims paid to help protect the FHA insurance fund from unacceptable risk.
- Status2025-NY-1002-001-FOpenClosed
Evaluate its QC files for the 1,579 loans in which it identified material findings to confirm whether it self-reported to HUD all findings of fraud or material misrepresentation, along with any other material findings that its records did not show have been acceptably mitigated. If required, loanDepot should execute indemnification agreements or reimburse claims paid to help protect the FHA insurance fund from unacceptable risk.
- Status2025-NY-1002-001-GOpenClosed$1,136,089Funds Put to Better Use
Recommendations that funds be put to better use estimate funds that could be used more efficiently. For example, recommendations that funds be put to better use could result in reductions in spending, deobligation of funds, or avoidance of unnecessary spending.
Provide indemnification agreements or documentation to support the 14 loans in which it identified material findings that it did not acceptably mitigate or self-report to HUD. Implementation of this recommendation will protect the FHA insurance fund from an estimated loss of $1,136,089.
2025-NY-1001 | February 27, 2025
CMG Mortgage, Inc., Did Not Have a Sufficient Quality Control Program for FHA-Insured Loans
Housing
- Status2025-NY-1001-001-AOpenClosed
Update its QC plan and related processes and procedures to align with requirements for loan selection, including maintaining data and documentation showing how sample sizes and loan selections were determined.
- Status2025-NY-1001-001-BOpenClosed
Update its QC plan and related processes and procedures to align with requirements for (1) loan file reviews and reverifications of borrower information, (2) mitigation of findings, and (3) reporting findings to HUD when required.