Corrective Action Verification, City of Hawthorne, CA, Section 8 Program Audit Report 2011-LA-1008
We completed a corrective action verification of a recommendation made to the U.S. Department of Housing and Urban Development’s (HUD) Office of Public and Indian Housing (PIH) pertaining to our review of the City of Hawthorne, CA’s Section 8 program, Audit Report 2011-LA-1008, which was issued March 28, 2011. The purpose of the corrective action verification was to determine whether HUD officials appropriately closed audit recommendation 1A....
Febrero 14, 2013
Memorandum
#2013-LA-0802
Standard Pacific Mortgage, Inc., Irvine, CA, Allowed the Recording of Prohibited Restrictive Covenants
We conducted a limited review of Federal Housing Administration (FHA) loans underwritten by Standard Pacific Mortgage, Inc. We selected the lender based on the results of an auditability survey, which determined that Standard Pacific Mortgage allowed prohibited restrictive covenants to be filed against FHA-insured properties. The objective of our review was to determine the extent to which Standard Pacific Mortgage failed to prevent the...
Febrero 04, 2013
Memorandum
#2013-LA-1801
The City of Inglewood, CA, Did Not Administer HOME Investment Partnerships Program Funds in Accordance With HUD Rules and Requirements
We reviewed the City of Inglewood’s HOME Investment Partnerships Program. We initiated the review because of the U.S. Department of Housing and Urban Development’s (HUD) Los Angeles Office of Community Planning and Development’s expressed concerns about the City’s administration of its program funds. Our objective was to determine whether the City complied with HOME rules and requirements for obligations, commitments, expenditures, program...
Diciembre 05, 2012
Report
#2013-LA-1001
Shea Mortgage, Inc., Aliso Viejo, CA, Allowed the Recording of Prohibited Restrictive Covenants
We conducted a limited review of Federal Housing Administration (FHA) loans underwritten by Shea Mortgage, Inc. We selected the lender based on the results of an auditability survey, which determined that Shea Mortgage allowed prohibited restrictive covenants to be filed against FHA-insured properties. The objective of our review was to determine the extent to which Shea Mortgage failed to prevent the recording of prohibited restrictive...
Septiembre 26, 2012
Memorandum
#2012-LA-1801
Final Civil Action - Settlement of Alleged Violations of the Financial Institutions Reform, Recovery, and Enforcement Act of 1989
The U.S. Department of Housing and Urban Development, Office of Inspector General (OIG) conducted a civil fraud review of an alleged foreclosure rescue scheme operated by Terrill L. Meisinger of Seal Beach, CA. The alleged scheme involved more than 100 properties in three States that were financed through Federal Housing Administration (FHA) and conventional loans and allegedly defrauded distressed homeowners, renters, and lenders. Based on...
Septiembre 24, 2012
Memorandum
#2012-CF-1813
The City of Long Beach, CA, Did Not Fully Comply With Federal Regulations When Administering Its NSP2 Grant
We conducted an audit of the City of Long Beach because it was awarded more than $22.2 million in Recovery and Reinvestment Act of 2009 Neighborhood Stabilization Program 2 (NSP2) funds on February 11, 2010 as the lead agency in a consortium with Habitat for Humanity of Greater Los Angeles (Habitat), making it one of the largest NSP2 fund recipients in the Los Angeles area. Our objective was to determine whether the City of Long Beach...
Septiembre 21, 2012
Report
#2012-LA-1012
Bankers Mortgage Group, Woodland Hills, CA, FHA Loan Originations
We audited loans originated by Bankers Mortgage Group, Woodland Hills, CA, in response to a referral from the Office of Inspector General’s (OIG) Office of Investigation alleging that Bankers Mortgage Group originated loans with false documentation. Our objective was
to determine whether the lender originated FHA-insured loans using sufficient, reliable, and valid documentation.
Bankers Mortgage Group did not originate loans using sufficient...
Septiembre 13, 2012
Report
#2012-LA-1011
Most Allegations Against the Oakland Housing Authority, Related to Housing Quality Standards Inspection Services, Were Generally Not Valid
We completed a review of the Oakland Housing Authority in response to a hotline complaint alleging that the Authority engaged in various questionable functions involving its inspection services. The objective of the review was to determine whether the complaint allegations against the Authority were valid.
Most of the allegations against the Authority were generally not valid. However, we found indications that 13 of the 19 housing units...
Agosto 03, 2012
Report
#2012-LA-1009
Los Angeles Neighborhood Housing Services, Los Angeles, CA, Did Not Always Properly Administer Its NSP2 Grant
We audited the Los Angeles Neighborhood Housing Services’ Neighborhood Stabilization Program 2 (NSP2). We performed the audit because American Recovery and Reinvestment Act of 2009 reviews are part of the Office of Inspector General’s (OIG) annual plan and Neighborhood Housing Services was awarded $60 million in Recovery Act NSP2 funds in a consortium agreement with 12 other organizations on February 11, 2010. Our audit objective was to...
Junio 05, 2012
Report
#2012-LA-1007
Final Civil Action – Alleged Violations of the Financial Institutions Reform, Recovery, and Enforcement Act of 1989, Making False Statements in Support of a Loan Application to Defraud a Financial Institution
The U.S. Department of Housing and Urban Development (HUD), Office of Inspector General (OIG), conducted a review to determine whether Indymac Bank followed Federal Housing Administration (FHA) policies and procedures when it originated FHA-insured loans. We identified a set of questionable loans originated by Indymac that had been generated by Beechwood Incorporated, a company that conducted various real estate services. Based on our review...
Junio 05, 2012
Memorandum
#2012-CF-1805
Final Civil Action – Alleged Violations of the Financial Institutions Reform, Recovery, and Enforcement Act of 1989, Making False Statements in Support of a Loan Application to Defraud a Financial Institution
The U.S. Department of Housing and Urban Development (HUD), Office of Inspector General (OIG), conducted a review to determine whether Indymac Bank followed Federal Housing Administration (FHA) policies and procedures when it originated FHA-insured loans. We identified a set of questionable loans originated by Indymac that had been generated by Beechwood Incorporated, a company that conducted various real estate services. Based on our review...
Junio 05, 2012
Memorandum
#2012-CF-1806
Final Civil Action – Alleged Violations of the Financial Institutions Reform, Recovery, and Enforcement Act of 1989, Making False Statements in Support of a Loan Application to Defraud a Financial Institution
The U.S. Department of Housing and Urban Development (HUD), Office of Inspector General (OIG), conducted a review to determine whether Indymac Bank followed Federal Housing Administration (FHA) policies and procedures when it originated FHA-insured loans. We identified a set of questionable loans originated by Indymac that had been generated by Beechwood Incorporated, a company that conducted various real estate services. Based on our review...
Junio 05, 2012
Memorandum
#2012-CF-1807
Amar Plaza, La Puente, CA, Was Not Administered in Accordance With HUD Rules and Regulations
We reviewed the books and records of Amar Plaza (project), a U.S. Department of Housing Department (HUD)-insured (Section 236) multifamily cooperative housing project with project-based Section 8 assistance located in La Puente, CA. We initiated the review in response to a request from the Departmental Enforcement Center due to its concerns about Amar Plaza’s serious compliance issues, including but not limited to overdue 2009 and 2010...
Mayo 21, 2012
Report
#2012-LA-1006
Final Civil Action – Loan Origination Fraud on Federal Housing Administration Loans (Report Not Available to the Public)
We reviewed alleged violations of U.S. Department of Housing and Urban Development (HUD) Federal Housing Administration (FHA) loan origination requirements by the subject. We concluded that the subject placed fraudulent information and documents in mortgage loan applications for Government-insured home loans. The Department of Justice filed a complaint under the Financial Institutions Reform, Recovery, and Enforcement Act; and in March 2012...
Marzo 30, 2012
Memorandum
#2012-CF-1803
Final Civil Action – Loan Origination Fraud on Federal Housing Administration Loans (Report Not Available to the Public)
We reviewed alleged violations of U.S. Department of Housing and Urban Development (HUD) Federal Housing Administration (FHA) loan origination requirements by the subject. We concluded that the subject created and altered documents used in mortgage loan applications for Government-insured home loans. The Department of Justice filed a complaint under the Financial Institutions Reform, Recovery, and Enforcement Act; and in December 2011 reached...
Marzo 30, 2012
Memorandum
#2012-CF-1801
Final Civil Action – Loan Origination Fraud on Federal Housing Administration Loans (Report Not Available to the Public)
We reviewed alleged violations of U.S. Department of Housing and Urban Development (HUD) Federal Housing Administration (FHA) loan origination requirements by the subject. We concluded that the subject placed fraudulent information and documents in mortgage loan applications for Government-insured home loans. The Department of Justice filed a complaint under the Financial Institutions Reform, Recovery, and Enforcement Act; and in December 2011...
Marzo 30, 2012
Memorandum
#2012-CF-1802
Mountain CAP of WV, Inc., Buckhannon, WV, Did Not Administer Its Homelessness Prevention and Rapid Re-Housing Program in Accordance With Applicable Recovery Act and HUD Requirements
We audited Mountain CAP of WV, Inc.’s administration of its Homelessness Prevention and Rapid Re-Housing Program funds. We selected Mountain CAP for audit because of a complaint alleging that controls over its disbursements were weak. Our audit objective was to determine whether Mountain CAP maintained proper financial management of and accountability for its program to ensure that it used the funds according to the American Recovery and...
Marzo 15, 2012
Report
#2012-PH-1008
The City of Los Angeles, CA, Did Not Expend Brownfields Economic Development Initiative and Section 108 Funds for the Goodyear Industrial Tract Project in Accordance With HUD Requirements
The City did not expend Brownfields and Section 108 funds awarded for the development of the project in accordance with HUD requirements. Specifically, the City used loan and grant funds for an ineligible project and expended grant funds after the grant deadline. As a result, it expended (1) $3.8 million in loan funds on an ineligible project, (2) $625,000 in grant funds on an ineligible project after the grant expenditure deadline, and (3) an...
Marzo 13, 2012
Report
#2012-LA-1005
The City of Modesto, CA Did Not Always Comply with Neighborhood Stabilization Program 2 (NSP2) Requirements
We audited the City of Modesto’s Neighborhood Stabilization Program 2 (NSP2). We performed the review because it was part of the Office of Inspector General’s (OIG) audit plan to conduct audits of NSP2 under the American Reinvestment and Recovery Act of 2009. We selected the City because it received $25 million and HUD’s San Francisco Office of Community Planning and Development requested that OIG consider a review of the City.
Program funds...
Diciembre 21, 2011
Report
#2012-LA-1003
Countrywide Bank, FSB, Calabasas, CA, Did Not Comply With HUD Requirements for Underwriting FHA Loans and Fully Implement Its Quality Control Program In Accordance With HUD's Requirements
The U.S. Department of Housing and Urban Development, Office of Inspector General audited Countrywide Bank, FSB (Countrywide),* a Federal Housing Administration (FHA) supervised lender** approved to originate, underwrite, and submit mortgages for insurance under the U.S. Department of Housing and Urban Development’s (HUD) direct endorsement program. We selected Countrywide based on its average default-to-claim rate of 6.76 percent for the FHA-...
Septiembre 30, 2011
Report
#2011-CH-1016