If you’re a California Financing Law licensee and/or a California Residential Mortgage Lending Act licensee, take note of these quickly approaching March license report deadlines:
CFL | CRMLA | |
---|---|---|
Annual Report | March 15, 2022 | March 1, 2022 |
Holden Act Report For certain licensees engaged in residential mortgage lending | March 31, 2022 | March 31, 2022 |
Financial Condition Component of Mortgage Call Report For licensees with a FYE of 12/31 and that are standard MCR filers | March 31, 2022 | March 31, 2022 |
Audited Financial Statement For licensees with a FYE of 12/31 | N/A | March 31, 2022 |
While CFL licensees that do not engage in any activities with respect to residential mortgage loans are not required to submit the MCR, including the financial condition component of the MCR, we advise that they still do so (reporting all zeroes) to clear NMLS-generated license items/deficiencies.
CFL and CRMLA license annual reports must be submitted through the California Department of Financial Protection and Innovation’s self-service portal. Holden Act reports must be submitted via email to [email protected]. The financial condition component of the MCR and audited financial statements must be submitted through NMLS.
Additional information on CFL and CRMLA license reporting requirements, including instructions and FAQs, are available on the DFPI website for CFL licensees here and for CRMLA licensees here. For assistance with preparing and submitting license reports, please do not hesitate to contact APPROVED.