On March 18, 2026, U.S. Federal Housing announced via a press release that Fannie and Freddie are removing certain Homeowner’s Insurance Requirements. The relevant Servicing guidance from both Fannie and Freddie follows below, copied directly from the respective Lender Letter and Bulletin.
Fannie Mae Updates on Property Insurance for Servicers - Lender Letter 2026-03:
Effective Date:
With respect to all servicing policies in this Lender Letter, servicers are encouraged to implement these changes immediately but must do so by Jan. 1, 2027.
Background behind the Lender Letter (“LL”):
Fannie Mae published the LL in response to industry feedback and evolving market conditions, announcing various updates to project standard policies, and property insurance requirements for one-to-four unit properties and project developments.
What’s Portions of the Guide are being Updated:
Servicing Guide B-2-01, Property Insurance Requirements Applicable to All Property Types and B-2-02, Property Insurance Requirements for One-to Four-Unit Properties.
Highlights of the Updates:
Property Insurance Policies:
Annual Insurance Reminder:
At least annually, the servicer must provide a reminder to the borrower of their responsibility to maintain insurance on the property and recommend they contact their insurance provider to review their coverage. The servicer is authorized to include such reminder in or with another borrower communication and may refer the borrower to applicable borrower-facing insurance information on Fannie Mae’s or the servicer’s website. Additionally, the servicer is authorized to use any outreach method permitted by applicable law.
Lender-placed insurance:
Fannie Mae is modifying requirements related to obtaining lender-placed property insurance coverage, as described in Servicing Guide B-2-01, Property Insurance Requirements Applicable to All Property Types.
The servicer must obtain lender-placed insurance in response to notification that coverage is being cancelled, non-renewed, or has lapsed, in accordance with Servicing Guide B-6-01, Lender-Placed Insurance Requirements. All other requirements in Servicing Guide B-2-01, Property Insurance Requirements Applicable to All Property Types remain unchanged.
Freddie Mac - Bulletin 2026-C:
Background behind the Lender Letter (“LL”):
In consultation with FHFA and in alignment with Fannie Mae, Freddie is updating the Guide to address concerns related to insurance market trends and operational challenges.
Highlights of the Updates:
1- to 4-Unit Property Insurance Requirements - Coverage Sufficiency Requirement, Including Roofs:
Seller/Servicers are no longer required to verify the replacement cost value (RCV) to ensure coverage sufficiency for 1- to 4-unit properties. The minimum coverage limit calculation involving the UPB and 80% of the RCV, along with the corresponding examples and RCV verification requirements, have been retired. Also, the requirement for roofs to be covered on a replacement cost basis has been retired. Requirements are now as follows.
The property securing the Mortgage must be covered by an insurance policy that provides coverage on a replacement cost basis, excluding roofs.
Servicing Requirements - Effective January 1, 2027, Servicers Are Encouraged to Implement Immediately:
Minimum insurance monitoring requirements. For each Freddie Mac-owned Mortgage it services, the Servicer must:
Freddie Mac is updating the general property insurance requirements to state that for as long as Freddie Mac owns a Mortgage, the Servicer must:
Please Note:
This correspondence summarizes some of the recent updates to the published guidance from Fannie Mae and Freddie Mac (the Government-Sponsored Enterprises or GSEs), but it is not intended to be a complete list. Accordingly, it is recommended to review all items that Fannie and Freddie have published. Further, the GSE’s may at any time update, change, remove, or otherwise alter any of the resources referenced herein, and readers are encouraged to regularly review the GSE’s source materials for any relevant updates, changes, or alterations. Please review the entire applicable Lender Letter and Bulletin; do not rely solely on this correspondence. This is being shared solely for informational purposes only.