Fannie Mae Selling Guide B3-5.3-05 — Credit Utilization
Fannie Mae Selling Guide B3-5.3-05 — Credit Utilization.
Verbatim regulatory text
Verbatim provisions from Fannie Mae Selling Guide B3-5.3-05 — Credit Utilization — each quote is a verified substring of the regulator-published source snapshot, not retyped. Quoted for reference; this is not legal advice. The operational layer (P&P updates, prompts) lives in the regulation update kits.
Fannie Mae Selling Guide B3-5.3-05 — Credit Utilization
B3-5.3-05, Credit Utilization (05/31/2016) Introduction This topic contains information on credit utilization. Credit Utilization Credit Utilization When manually underwriting a loan, the lender must review the borrower’s credit report to evaluate their use of revolving credit by comparing the current balance on each open account to the amount of credit that is available to determine whether the borrower has a pattern of using revolving accounts up to (or approaching) the credit limit. Patterns of revolving credit spending are credit risk indicative. Credit histories that include revolving accounts with a low balances-to-limits ratio generally represent a lower credit risk, while those that include accounts with a high balances-to-limits ratio represent a higher credit risk. A credit history that includes recently opened accounts that are at or near their limits may indicate that the borrower is overextended or overly reliant on the use of revolving credit—and, when this is combined with a delinquent payment history, it is generally an indication that the borrower has not managed their credit successfully. Note: Lenders are not required to analyze trended credit data in the credit report. See B3-5.2-01, Requirements for Credit Reports, for additional information. Recent Related Announcements There are no recently issued Announcements related to this topic. Published May 6, 2026 470
Operationalizing Fannie Mae Selling Guide B3-5.3-05 — Credit Utilization
This is verbatim, source-snapshotted regulator text from the Claude for Compliance open corpus. To turn a rule like this into compliance work product: gap-analyze your policies and procedures (P&Ps) against these requirements to surface stale, conflicting, or missing provisions; operationalize any change with a ready-to-run update kit; and produce audit-ready evidence — every step grounded only in the regulator’s own words, never invented.
Source of record: https://claudeforcompliance.com/regs/fnma-sel-b3-5-3-05/
· register fnma-sel-b3-5-3-05 · Claude for Compliance. Free to read and download;
see regulatory updates and methodology.