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If you go back and click on the link from my post from stockprofiter has you’ll see that’s the real McCoy
3 years old by a guy no longer President. Not sure he would remember this anyway. I haven't seen that he's mentioned the GSEs since that 3 year old letter. Has he?
Lol...
Are we speaking with..
Arnold or Benedict
right now?
The Freddie Mac and Fannie mae board Risk Committee has primary oversight of climate related risks....and have no acknowledgement of stealing shareholders retirement investment?
So the sky is falling?
Thieves will get their justice. I fret not over those who do evil...and envy not those that do wrong...they will wither...wither quite quickly.
Shareholders want justice...reparations!
Stop being the weather reporter and give back our money!
Yeah, but that's from 4/20. Someone was smoking something! 🤣
It just means case has gotten a verdict. Doesn’t mean appeals are through though.
Toonie Tuesday!!
Twooooooooooo!
Spot on as usual. Thanks for posting!
Thank you @imbellish I guess I am just trying to figure out why this is taking so long. I think I was just getting hopeful that they are finally giving the rightful owners some of their money back.
Sounds good AlongZ take your own advice and go away!
The website archive has status Pending in July 2023 and Recently Settled in September 2023.
FHFA : Incorporating Climate-Related Risks into Governance ...
Published: 4/22/2024
https://www.fhfa.gov//Media/Blog/Pages/Incorporating-Climate-Related-Risks-into-Governance.aspx
Following FHFA’s Conservatorship Scorecard guidance, Fannie Mae and Freddie Mac have made progress on developing foundational climate risk frameworks, integrating climate risk considerations into their strategic planning, incorporating climate risk considerations into their management and board reporting structures, and developing educational resources for their workforce. The Federal Home Loan Banks are continuing to individually develop their decision-making processes and governance structures in consideration of climate change.
Background
In October 2021, the Financial Stability Oversight Council (FSOC) released a report1 identifying climate change as an emerging and increasing threat to financial stability. Several international organizations and standard-setting bodies have recently developed frameworks to understand, assess, and manage climate-related risks to the entities or markets within their statutory jurisdictions. These include frameworks established by the Task Force on Climate-Related Financial Disclosures,2 Bank for International Settlements (BIS),3 and U.S. regulators (Office of the Comptroller of the Currency, Board of Governors of the Federal Reserve System, and Federal Deposit Insurance Corporation),4 as well as guidance5 and hypothetical scenarios6 developed by the Network for Greening the Financial System (NGFS).7
Federal Housing Finance Agency (FHFA)
FHFA, the conservator and regulator of Fannie Mae and Freddie Mac, and regulator of the Federal Home Loan Banks (collectively, the regulated entities), recognizes the emerging and increasing threat to all stakeholders in the housing system due to climate risk and the increased frequency and intensity of major natural disasters. Strong governance is foundational to managing an institution’s risk profile, particularly when the institution must address a constantly evolving landscape of risks. Accordingly, FHFA included the need to identify ways to incorporate climate change into regulated entity governance in its 2022-2026 Strategic Plan.8 Since 2022, FHFA has established goals for Fannie Mae and Freddie Mac (the Enterprises) to develop company-wide frameworks that incorporate climate risk into existing governance and risk management structures and decision-making, and to incorporate both short- and long-term strategies into the Enterprises’ strategic planning processes.
FHFA established an internal Climate Change and ESG9 Governance Working Group (Working Group) to evaluate the integration of climate risk into the corporate governance, risk management, and strategic planning structures of the regulated entities, and incorporation into operational and business decision-making. The Working Group meets regularly with the Enterprises and evaluates their progress through the annual Conservatorship Scorecard process, reviewing the establishment of foundational governance structures, decision-making processes, and risk management practices around climate risk. The Working Group also reviews progress made by the Federal Home Loan Banks in these areas.
Enterprises
Since 2022, the Enterprises have made distinct progress towards these goals and have been focused on: developing foundational climate risk frameworks, integrating climate risk considerations into strategic planning, incorporating climate risk considerations into management and board reporting structures, and establishing training and educational resources for their workforce.
Developing ?Climate Risk Frameworks
The Enterprises have developed initial climate risk frameworks that are incorporated in their enterprise risk management frameworks in consideration of the impact that climate change could have on the achievement of their mission, strategy, and business objectives.
The Enterprises continue to make progress and develop their capacity to measure the effects of climate risks and integrate climate-related risks into risk management structures:
Freddie Mac has developed climate scenario methodologies to better quantify the impact of climate events on housing affordability, property values, and credit risk;
Fannie Mae is working on finalizing climate scenario design and methodology for intended reporting in 2024; and
Both Ent?erprises completed exploratory climate scenario analysis exercises on flood risk in 2023.
Strategic Plan Integration
To assess and address climate-related risks and opportunities that could affect their businesses, the Enterprises have been incorporating climate issues into their corporate strategic plans and planning processes.
Each Enterprise has completed ESG materiality assessments that inform their ESG and climate strategic planning processes.
Fannie Mae’s 2023-2025 Strategic Plan includes climate risk management and supporting the housing ecosystem’s adaptation to climate change as priorities.10
Board and Management-level Reporting
Fannie Mae
The board Risk Policy and Capital Committee has primary oversight of climate-related risks.
The board Audit Committee provides oversight of ESG-related reporting, which includes climate risk.
The board Community Responsibility and Sustainability Committee oversees the development and implementation of Fannie Mae’s climate risk strategy.
There is a newly established Climate Risk Committee at the management level, and Fannie Mae has designated senior executive officers to oversee climate and ESG.
Freddie Mac
The board Risk Committee has primary oversight of climate related risks.
The board Audit Committee provides oversight of ESG-related reporting, which includes climate risk.
The board Mission and Housing Sustainability Committee provides oversight responsibilities for the development, planning, implementation, performance, and execution of Freddie Mac’s mission strategies and significant initiatives, including the review of sustainability initiatives with climate change implications or impacts.
Freddie Mac has also established several advisory and steering committees at the management level for ESG and climate risk reporting.
Training and Education
Over the last few years, the Enterprises have begun educating staff on the potential impacts of climate-related risks, taking into consideration the interconnectedness and multi-dimensional nature of climate-related topics that could reach all aspects of the organization.
Federal Home Loan Banks
The Federal Home Loan Banks also continue to develop their decision-making processes and governance structures in consideration of climate change. In June 2023, the Federal Home Loan Banks released an inaugural Corporate Social Responsibility Report11 highlighting governance and risk management as foundational to their ability to meet the needs of their members and districts.
FHLBank Mission and Foundational Principles
?
?Individually, each Federal Home Loan Bank is addressing climate-related risks in accordance with its own governance and management structures. For example, the Federal Home Loan Bank of Dallas’s 2022 ESG Report12?? highlights the formation of an ESG Committee providing oversight of the FHLBank’s ESG activities. The committee assists the executive management team and board with setting ESG strategy and reviewing reports and recommendations from subcommittees, including the Climate Risk Subcommittee. At the Federal Home Loan Bank of New York, “Climate and Natural Disaster” risks have been included into the scope of the board’s Risk Committee charter.
Summary
The work undertaken by the Enterprises and Federal Home Loan Banks in managing climate risks continues to be iterative and ongoing. For 2024, FHFA established priorities for the Enterprises in the Conservatorship Scorecard related to climate risks. For the governance area, this includes strengthening risk management capabilities in identifying, assessing, controlling, monitoring, and reporting on climate risk and incorporating these capabilities into the Enterprises’ overall risk frameworks.
Responsibilities of the FHFA Climate Change and ESG Governance Working Group:
Evaluate the integration of climate risk into the corporate governance, risk management, and strategic planning structures of the regulated entities, and incorporation into operational and business decision-making.
Monitor the development and maturation of the regulated entities’ climate risk frameworks and strategic planning processes.
??
Readers are encouraged to explore the FHFA Climate Change & ESG homepage for additional blogs and information related to climate risk.
1 Financial Stability Oversight Council, Report on Climate-Related Financial Risk, 2021, https://home.treasury.gov/system/files/261/FSOC-Climate-Report.pdf.
2 The Financial Stability Board, established to coordinate at the international level the work of national financial authorities and international standard-setting bodies in order to develop and promote the implementation of effective regulatory, supervisory and other financial sector policies, created the Task Force on Climate-Related Financial Disclosures in 2015 to improve and increase reporting of climate-related financial information.
3 The Bank for International Settlements is an international consortium of central banks and monetary authorities whose mission is to support central banks' pursuit of monetary and financial stability through international cooperation, and to act as a bank for central banks. See https://www.bis.org/about/index.htm. In 2022, the Basel Committee on Banking Supervision issued principles for the effective management and supervision of climate-related financial risks. See https://www.bis.org/press/p220615.htm.
4 On October 30, 2023, the Office of the Comptroller of the Currency, Board of Governors of the Federal Reserve System, and Federal Deposit Insurance Corporation jointly issued principles that provide a high-level framework for the safe and sound management of exposures to climate-related financial risks. See https://www.federalregister.gov/documents/2023/10/30/2023-23844/principles-for-climate-related-financial-risk-management-for-large-financial-institutions.
5 See https://www.ngfs.net/en/liste-chronologique/ngfs-publications.
6 See https://www.ngfs.net/ngfs-scenarios-portal/.
7 The NGFS is a voluntary group of central banks and supervisors that work together to contribute to the development of environment and climate risk management guidance and best practices in the financial sector for use both within and outside its membership.
8 See https://www.fhfa.gov/AboutUs/Reports/ReportDocuments/FHFA_StrategicPlan_2022-2026_Final.pdf.
9 ESG encompasses considerations of environmental, social, and governance factors. For the Enterprises, ESG covers their work to enhance environmental sustainability within the homes they finance, to advance consumer access to safe, resilient, and affordable housing opportunities in a sustainable manner, and to embed climate considerations within their board and management processes.
10 Fannie Mae’s 2023-2025 Strategic Plan is referenced in its 2022 Annual Report on Form 10-K (pp. 4) at https://www.fanniemae.com/media/46276/display.
11 See https://fhlbanks.com/the-federal-home-loan-banks-inaugural-corporate-social-responsibility-report/.?
12 See https://www.fhlb.com/getmedia/9cd26f43-96eb-4ac0-9dad-e109fd4abdb5/FHLBank-ESG-Report.pdf.
Authored by: Eric Kelley
Senior Strategic Analyst, Division of Conservatorship Oversight and Readiness
Authored by: Anne Marie Pippin
Deputy Director, Division of Conservatorship Oversight and Readiness
Authored by: La’Toya Holt
Senior Risk Analyst, Governance and Management Risk Branch, Office of Risk Analysis, Policy and Guidance and Development, Division of Enterprise Regulation
Editor: Varun Joshi
Economist, Climate Change and ESG Branch
https://www.ktmc.com/current-cases
Does anyone know why the recent court case is being listed as settled on the Attorneys website?
About 170K buy order at $1.43 just printed.
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you said, "I was thinking"
no thinking allowed here...just LOAD UP and don't look back
?
he listens to DOJ?
he listens to POTUS
he listens to Congress
what is a judge who is a company man --- as Lamberth has a long history -- and I am sure has decided against GOV in many many cases
Indeed
I was thinking about how one replaced a CEO - of an agency - where there is no oversight panel or committee
Indeed - point well taken
Still the question --- on GOV overreach
Congress overreached when they wrote it this way
POTUS overreached when they followed the legislation
Agency overreached when they followed the financing dictated by law
Indeed - self funding - if that is the issue - is not typical and seems wrong ---- but I simply do not include this in the category of overreach which is an interesting point of view in many many cases where IMO the EO is over reach or an agency goes to far with regulation ? or Congress passes law where it should not venture per the constitution
Freddie pulls off low of $1.24 now at $ !.31.5
Fannie pulls off low of $1.35 now at $1.42.5
Raise The Ask - Raise The Ask - Raise The Ask - Raise The Ask -
40210 4/20/202 4MOTION for Disbursement of Funds AFTER DETERMINATION OF REASONABLE FEES DUE, IF ANY. Document filed by David Klusendorf. Return Date set for 5/6/2024 at 11:59 PM.
Green Money Masheeens - Rolling Thunder
Yes, it is on the website that notice of distribution has been filed. I’ll look for the link for you when I have time unless someone here finds it before me. Thanks.
Do you have any type of GSE related libor link to indicate this "looks like" info.
It would be financially interesting should this settlement ever materialize for all GSE shareholders.
Just by curiosity, didn't you already mention "settlement" coming 3 weeks ago...
FNMA
Looks like Libor settlement will be announced in conjunction with earnings May 5-6, 2024.
Thanks for acting accordingly lol hahaha
Then $1.865 let’s go mm
Money time
To support your thesis, (Wiseman "hates most everyone"),, occasionally, hover over the emojis at the comment/reflection option at that lower left.
He's not shy about his opinion of others.
Correct. Wiseman "hates most everyone" except the government. He hates Pagliara, he hates me, he hates many others, blaming us for the problems. He must be a democrat as he thinks like one. Instead of fixing any problems, they just fix the blame, usually on Trump. Problem solved, according to the democrats, while America suffers all the consequences of their ineptness.
Good to hear. Thanks.
Roger that.
Good. We don’t want Freddie paying damages for something it did not do.
1.63 then boom boom
Sealed doc=white flag, FHFA-C is NOT gov-30days to appeal/delay
Lamberth is a company man.
Over and out.
You are 100% correct. The defendant will not pay one red cent in damages. Ever.
Libor news - motion for distribution of funds FILED
My understanding of the CFPB case is centered on how the agency is funded. Currently CFPB funding bypasses congress, that has the power of the purse.
They're headed for the Gate - Place your bets
sorry
but the money here is not the issue
this is the ONE case where the actions by the GOV have been found to hurt EQUITY - to the point where GOV must pay
The direction and reality of the ruling matters --- not the pennies the judge allows
Is this GOV over reach or is it a ruling on ADDED EXECUTIVE power
Last I looked the EXECUTIVE is part of GOV and I thought the key issue is ability of POTUS to fire an hire at will?
??
Nobody cares about lawsuit other than Preferred shareholders as certain clauses kick in if successful
I’d hate to see Freddie have to shell out a billion dollars in damages which really makes no sense
Again, ideally the verdict is overturned lol
Keep in mind Libor - possibly ends cship immediately
They are a bunch of "ashols." If they didn't believe this was relevant, why did they even defend the case in the first place?
Freddie bagholder, thanks ... That's crazy. 8-0 verdict.
And so called wiseman thinks the gov. is somehow dealing fairly with the shareholders.
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Fannie Mae (the Federal National Mortgage Association, or FNMA) is a government-sponsored enterprise (GSE) in the U.S. that was established in 1938. Its main purpose is to provide liquidity, stability, and affordability to the U.S. housing market. It does this by purchasing mortgages from lenders (like banks), packaging them into mortgage-backed securities (MBS), and selling those securities to investors. This process ensures that lenders have more capital to issue new home loans, helping more Americans get access to homeownership.
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