Fannie Mae Servicing Guide A4-2.1-02 — Property Inspection Vendor Management and Oversight

fnma-svc-a4-2-1-02

Fannie Mae Servicing Guide A4-2.1-02 — Property Inspection Vendor Management and Oversight.

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Verbatim regulatory text (1)

Verbatim provisions from Fannie Mae Servicing Guide A4-2.1-02 — Property Inspection Vendor Management and Oversight — 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 Servicing Guide A4-2.1-02 — Property Inspection Vendor Management and Oversight

A4-2.1-02, Property Inspection Vendor Management and Oversight (11/12/2014) The servicer must refer to the following table for guidelines on managing and overseeing third-party property inspection vendors. ✓ The servicer must… Not enter into or participate in any arrangement with property inspection vendors • for which the servicer receives a direct benefit for Fannie Mae mortgage loans or acquired properties that is not passed through to Fannie Mae, or • that is influenced by an actual or perceived conflict of interest (particularly those arrangements with affiliates). Published May 13, 2026 145 ✓ The servicer must… Use the most cost-effective and efficient vendors for property inspections related to any Fannie Mae mortgage loans or acquired properties without regard to arrangements that could provide a financial benefit directly to servicers. Recent Related Announcements There are no recently issued Announcements related to this topic.

Source: Fannie Mae Servicing Guide A4-2.1-02 — Property Inspection Vendor Management and Oversight · source URL · snapshot cf63a82bbb4adfba

Operationalizing Fannie Mae Servicing Guide A4-2.1-02 — Property Inspection Vendor Management and Oversight

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-svc-a4-2-1-02/ · register fnma-svc-a4-2-1-02 · Claude for Compliance. Free to read and download; see regulatory updates and methodology.