BILL ANALYSIS                                                                                                                                                                                                    Ó



                                                                  AB 1700
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          Date of Hearing:   April 21, 2014

                      ASSEMBLY COMMITTEE ON BANKING AND FINANCE
                               Roger Dickinson, Chair
                    AB 1700 (Medina) - As Amended:  April 9, 2014
           
          SUBJECT  :   Reverse mortgages: notifications

           SUMMARY  :   Prohibits a reverse mortgage lender from accepting a  
          reverse mortgage application until seven days have passed from  
          the date of mandatory loan counseling.  Specifically,  this bill  :  
           

          1)Deletes the current requirement that the lender provide the  
            borrower with a specific checklist prior to counseling, and  
            instead provides for the following reverse mortgage worksheet  
            guide in at least 14-point font.
             
           EXISTING LAW  

          1)Requires a reverse mortgage to comply with the following  
            requirements (Civil Code, Section 1923.2):

             a)   Prepayment, without penalty, must be allowed at any  
               time;

             b)   The reverse mortgage may become payable and due under  
               certain circumstances;

             c)   The lender must prominently disclose in the loan  
               agreement any interest rate or other fees to be charged  
               during the period that commences on the date that the  
               reverse mortgage loan becomes due;

             d)   A lender or any other person that participates in the  
               origination of the mortgage shall not require the applicant  
               to also purchase an annuity;

             e)   Prohibits the lender from participating in, or be  
               associated with any other financial or insurance activity,  
               unless the lender maintains procedural safeguards that  
               ensure that the originator of the reverse mortgage has no  
               involvement, or incentive to provide the borrower with any  
               other financial or insurance product;









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             f)   Prohibits the lender from referring the borrower to  
               anyone for purchase of annuity or other financial product;

             g)   The lender must provide a prospective borrower with a  
               list of not fewer than 10 United States Department of  
               Housing and Urban Development (HUD) certified counseling  
               agencies; and,

             h)   Provides that the lender shall not accept a final and  
               complete application for a reverse mortgage from the  
               prospective applicant unless they first receive from the  
               applicant certification that they have received counseling  
               from a HUD certified counseling agency.

          2)No reverse mortgage loan application shall be taken by a  
            lender unless the loan applicant, prior to receiving  
            counseling, has received from the lender the following plain  
            language statement in conspicuous 16-point type or larger  
            font, advising the prospective borrower about counseling prior  
            to obtaining the reverse mortgage loan:

          IMPORTANT NOTICE TO REVERSE MORTGAGE LOAN APPLICANT

            A REVERSE MORTGAGE IS A COMPLEX FINANCIAL TRANSACTION. IF YOU  
            DECIDE TO OBTAIN A REVERSE MORTGAGE LOAN, YOU WILL SIGN  
            BINDING LEGAL DOCUMENTS THAT WILL HAVE IMPORTANT LEGAL AND  
            FINANCIAL IMPLICATIONS FOR YOU AND YOUR ESTATE. IT IS  
            THEREFORE IMPORTANT TO UNDERSTAND THE TERMS OF THE REVERSE  
            MORTGAGE AND ITS EFFECT. BEFORE ENTERING INTO THIS  
            TRANSACTION, YOU ARE REQUIRED TO CONSULT WITH AN INDEPENDENT  
            LOAN COUNSELOR. A LIST OF APPROVED COUNSELORS WILL BE PROVIDED  
            TO YOU BY THE LENDER.  SENIOR CITIZEN ADVOCACY GROUPS ADVISE  
            AGAINST USING THE PROCEEDS OF A REVERSE MORTGAGE TO PURCHASE  
            AN ANNUITY OR RELATED FINANCIAL PRODUCTS. IF YOU ARE  
            CONSIDERING USING YOUR PROCEEDS FOR THIS PURPOSE, YOU SHOULD  
            DISCUSS THE FINANCIAL IMPLICATIONS OF DOING SO WITH YOUR  
            COUNSELOR AND FAMILY MEMBERS.

          3)Pursuant to Civil Code Section 1923.5. no reverse mortgage  
            loan application shall be taken by a lender unless the lender  
            provides the prospective borrower, prior to his or her meeting  
            with a counseling agency on reverse mortgages, with a written  
            checklist, or in the event that the prospective borrower seeks  
            counseling prior to requesting a reverse mortgage loan  
            application from the reverse mortgage lender, the counseling  








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            agency shall provide the prospective borrower with a written  
            checklist. The written checklist shall conspicuously alert the  
            prospective borrower, in 12-point font or larger, that he or  
            she should discuss with the agency counselor the following  
            issues:

             a)   How unexpected medical or other events that cause the  
               prospective borrower to move out of the home, either  
               permanently or for more than one year, earlier than  
               anticipated will impact the total annual loan cost of the  
               mortgage.

             b)   The extent to which the prospective borrower's financial  
               needs would be better met by options other than a reverse  
               mortgage, including, but not limited to, less costly home  
               equity lines of credit, property tax deferral programs, or  
               governmental aid programs.

             c)   Whether the prospective borrower intends to use the  
               proceeds of the reverse mortgage to purchase an annuity or  
               other insurance products and the consequences of doing so.

             d)   The effect of repayment of the loan on non-borrowing  
               residents of the home after all borrowers have died or  
               permanently left the home.

             e)   The prospective borrower's ability to finance routine or  
               catastrophic home repairs, especially if maintenance is a  
               factor that may determine when the mortgage becomes  
               payable.

             f)   The impact that the reverse mortgage may have on the  
               prospective borrower's tax obligations, eligibility for  
               government assistance programs, and the effect that losing  
               equity in the home will have on the borrower's estate and  
               heirs; and,

             g)   The ability of the borrower to finance alternative  
               living accommodations, such as assisted living or long-term  
               care nursing home registry, after the borrower's equity is  
               depleted.

          4)The checklist required in paragraph (1) shall be signed by the  
            agency counselor, if the counseling is done in person, and by  
            the prospective borrower and returned to the lender along with  








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            the certification of counseling required under subdivision (k)  
            of Section 1923.2, and the loan application shall not be  
            approved until the signed checklist is provided to the lender.  
            A copy of the checklist shall be provided to the borrower.

           FISCAL EFFECT  :   None

           COMMENTS  :   

          The key component of AB 1700 are the requirements that a  
          borrower must wait 7 days from the day of counseling prior to  
          turning in a final reverse mortgage loan application, and that  
          the lender must provide the borrower with a reverse mortgage  
          worksheet guide that is designed to address the various  
          responsibilities and consequences of a reverse mortgage.  The  
          justification for this 7 day cooling off period is to give time  
          to the potential borrower to consider the issues that are  
          discussed during counseling and highlighted in the worksheet  
          prior to entering into the complexities of a reverse mortgage.  

          The vast majority of reverse mortgages are insured by the  
          Federal Housing Administration (FHA) as part of its Home Equity  
          Conversion Mortgage (HECM) program.  The FHA insurance  
          guarantees that borrowers will be able to access their  
          authorized loan funds in the future (subject to the terms of the  
          loan), even if the loan balance exceeds the value of the home or  
          if the lender experiences financial difficulty.  Lenders are  
          guaranteed that they will be repaid in full when the home is  
          sold, regardless of the loan balance or home value at repayment.  
          Borrowers or their estates are not liable for loan balances that  
          exceed the value of the home at repayment - FHA
          insurance covers this risk.

          Today, the market for reverse mortgages is very small. Only  
          about 2 to 3 percent of eligible homeowners choose to take out a  
          reverse mortgage.   Only about 582,000 HECM loans are  
          outstanding as of November 2011, as compared to more than 50  
          million traditional mortgages and more than 17 million home  
          equity loans and lines of credit.  But reverse mortgages have  
          the potential to become a much more prominent part of the  
          financial landscape in the coming decades.   In 2008, the first  
          baby boomers became eligible for reverse mortgages. The baby  
          boom generation (48- to 66-year-olds in 2012) includes more than  
          43 million households, of which about 32 million are homeowners.  
            As of 2009, the median home equity for baby boomer households  








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          was $108,000.  Many boomers may find that they will need to use  
          their home equity in order to maintain the lifestyle they expect  
          to have in retirement.

          Many of the original product design concepts for the HECM  
          program were developed during the 1980s by private companies  
          offering proprietary (non-government insured) reverse mortgages  
          of various types. Throughout the 1990s, when the HECM program  
          was still a small pilot, and again in the mid-2000s, in the  
          midst of the housing boom, a range of proprietary products were  
          available in the marketplace. For most consumers, however, the  
          HECM offered a better value. Today, only one lender offers a  
          proprietary product, which accounts for only a handful of loans  
          per year.

          The HECM program determines how much can be borrowed based on  
          the value of
          the home, prevailing interest rates, and the age of the borrower  
          (or youngest co-borrower).
          The loans require no monthly mortgage payments.  Interest and  
          fees are
          added to the principal balance each month, resulting in a rising  
          loan balance over time.
          Borrowers may remain in the home indefinitely, even if the loan  
          balance becomes
          greater than the value of the home - so long as the borrower  
          meets certain conditions.
          In return for this protection, and protection against the  
          possibility that their lender fails
          to make loan disbursements as agreed, borrowers pay a mortgage  
          insurance premium
          (MIP) to FHA.

          HECM borrowers have several options as to the structure of the  
          MIP, the interest rate
          type (fixed or adjustable), and the way that they receive their  
          loan proceeds. The range of options has increased in recent  
          years, adding to the difficulty of the choices that prospective  
          borrowers have to make around what is already a complex product.  
          Prospective borrowers are required to attend mandatory pre-loan  
          counseling, but the counseling may not be sufficient to fully  
          equip prospective borrowers to make good decisions.

          A majority of reverse mortgage borrowers report satisfaction  
          with the product.  A 2006 AARP survey found that the product  








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          completely met their needs (58%) or mostly met their needs  
          (25%).  Additionally, 79% of respondents said that the reverse  
          mortgage helped them stay in their home, and 87% said it  
          improved their quality of life.  Over the last decade more  
          borrowers take more cash up front than in years previous.  By  
          2008, the median borrower was taking out 88% of loan proceeds  
          within the first year.  

           Reverse Mortgage Market Dynamics
           
          The origination side of the market has more than 2,000 loan  
          originators making 70,000 loans a year, with only five company's  
          actively securitizing new originations.  The fixed-rate lump sum  
          product dominates with a 70% share of the market.   Previously,  
          the largest two originators were Wells Fargo and Bank of America  
          comprising 36% of the market.  Both companies exited the reverse  
          mortgage market in 2011.  The reverse mortgage industry today is  
          a crowded marketplace with low overall loan volume.   Issuers  
          need loans to fill their securitization pipelines, but there are  
          few borrowers. In today's market, at least half of all loans are  
          originated through wholesale and small correspondent lenders,  
          and borrowers are scattered across many originators.

          Prior to 2009, nearly all HECMs carried adjustable interest  
          rates. In the very early years of the program, the rates  
          adjusted annually based on the one-year constant maturity  
          treasury (CMT) rate.  In the late 1990s, monthly adjustable  
          loans replaced annually adjustable loans as the dominant rate  
          option, though the monthly adjustments were calculated using the  
          same one-year CMT rate used in calculating annually adjustable  
          HECMs.   In October 2007, FHA published a rule allowing monthly  
          adjustable rates to be calculated using the one-month LIBOR.    
          By mid-2009, the monthly adjustable LIBOR had become the  
          dominant adjustable-rate option.  In late 2007, a fixed-rate  
          product previously offered by only one or two banks became more  
          widespread, though volume remained low through 2008 and early  
          2009.  The development of this product was enabled through the  
          introduction of the Ginnie Mae securitization mechanism in late  
          2007, and a regulatory clarification issued by FHA in early 2008  
          that permitted the fixed-rate product to be structured as a  
          lump-sum, closed-end loan.  In mid-2009, Fannie Mae, the  
          longtime buyer of HECM loans, began to exit the market. The new  
          fixed-rate, lump-sum product rocketed from less than 10% of the  
          market to more than 60% in less than six months. Since then,  
          fixed-rate loans have ranged between 65% and 75% of the market.   








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          The reason for this spike is a result of secondary market  
          dynamics where premiums paid in the secondary market are more  
          than adjustable rate products.  Some of this is related to  
          consumer demand, but also a concern by investors that adjustable  
          rate borrowers may prepay at a faster rate than fixed rate  
          borrowers.

          California currently has the most reverse mortgages with nearly  
          7,000 issued just this last year; Texas and Florida follow with  
          4,800 and 3,300 respectively.

           Costs and Fees.
           
                 Upfront MIP- FHA assesses a one-time, nonrefundable  
               initial MIP equal to 2% (HECM standard mortgage) or .01%  
               (HECM saver) of the appraised value of home.  FHA also  
               assesses an ongoing yearly MIP equal to 1.25% of the loan  
               balance.  

                 Origination fee- For homes valued up to $125,000 or  
               less, lenders may charge an origination fee of up to  
               $2,500.  For homes over $125,000 the allowable origination  
               fee is 2% of appraised value but is capped at maximum of  
               $6,000. (Due to existing market conditions origination fees  
               are typically waived on fixed-rate HECMs).

                 Closing costs- Appraisal, title search, insurance,  
               inspections, recording fees, taxes, credit checks are  
               typically paid for with loan proceeds.

                 Counseling Fee- Due to federal budget cuts for  
               counseling services many counselors charge fees.  HUD  
               allows fees, but only if they are "reasonable and  
               customary."

          REPORT OF CONSUMER FINANCIAL PROTECTION BUREAU (CFPB): KEY  
          FINDINGS
          
          CFPB produced a comprehensive report on reverse mortgages on  
          June 28, 2012.  CFPB, under Dodd-Frank, took responsibility from  
          the Federal Reserve on crafting further regulations for reverse  
          mortgages.  CFPB has said that the will use the report to craft  
          upcoming regulations.  CFPB is planning a project to "improve  
          and integrate" disclosure requirements under the Truth in  
          Lending Act and Real Estate Settlement Procedures Act  








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          specifically related to reverse mortgages. To that end, the  
          agency said, the CFPB will consider measures the Federal Reserve  
          Board had proposed in 2010 - before Dodd-Frank transferred  
          consumer policy to the bureau. That proposal would have imposed  
          limits on misleading advertising by reverse mortgage providers,  
          and strengthened restrictions related to cross-selling of  
          reverse mortgage products.

          1)Reverse mortgages are complex products and difficult for  
            consumers to understand.

             a)   Lessons learned from the traditional mortgage market do  
               not always serve consumers well in the reverse mortgage  
               market. The rising balance, falling equity nature of  
               reverse mortgages is particularly difficult for consumers  
               to grasp;

             b)   Recent innovation and policy changes have created more  
               choices for consumers, including options with lower upfront  
               costs. However, these changes have also increased the  
               complexity of the choices and tradeoffs consumers have to  
               make; and,

             c)   The tools - including federally required disclosures -  
               available to consumers to help them understand prices and  
               risks are insufficient to ensure that consumers are making  
               good tradeoffs and decisions.

          2)Reverse mortgage borrowers are using the loans in different  
            ways than in the past, which increase risks to consumers.

             a)   Reverse mortgage borrowers are taking out loans at  
               younger ages than in the past. In FY2011, nearly half of  
               borrowers were under age 70;

             b)   Taking out a reverse mortgage early in retirement, or  
               even before reaching retirement, increases risks to  
               consumers. By tapping their home equity early, these  
               borrowers may find themselves without the financial  
               resources to finance a future move - whether due to health  
               or other reasons;

             c)   Reverse mortgage borrowers are withdrawing more of their  
               money upfront than in the past. In FY2011, 73 percent of  
               borrowers took all or almost all of their available funds  








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               upfront at closing. This proportion has increased by 30  
               percentage points since 2008.  Borrowers who withdraw all  
               of their available home equity upfront will have fewer  
               resources to draw upon to pay for everyday and major  
               expenses later in life. Borrowers who take all of their  
               money upfront are also at greater risk of becoming  
               delinquent on taxes and/or insurance and ultimately losing  
               their homes to foreclosure;

             d)   Fixed-rate, lump-sum loans now account for about 70  
               percent of the market. The availability of this product may  
               encourage some borrowers to take out all of their funds  
               upfront even though they do not have an immediate need for  
               the funds. In addition to having fewer resources to draw  
               upon later in life, these borrowers face other increased  
               risks. Borrowers who save or invest the proceeds may be  
               earning less on the savings than they are paying in  
               interest on the loan, or they may be exposing their savings  
               to risky investment choices. These borrowers also face  
               increased risks of being targeted for fraud or other scams;  
               and,

             e)   Reverse mortgage borrowers appear to be increasingly  
               using their loans as a method of refinancing traditional  
               mortgages rather than as a way to pay for everyday or major  
               expenses. Some borrowers may simply be prolonging an  
               unsustainable financial situation.

          3)Product features, market dynamics, and industry practices also  
            create risks for consumers.

             a)   A surprisingly large proportion of reverse mortgage  
               borrowers (9.4%) are at risk of foreclosure due to  
               nonpayment of taxes and insurance. This proportion is  
               continuing to increase;

             b)   Misleading advertising remains a problem in the industry  
               and increases risks to consumers. This advertising  
               contributes to consumer misperceptions about reverse  
               mortgages, increasing the likelihood of poor consumer  
               decision-making;

             c)   Spouses of reverse mortgage borrowers who are not  
               themselves named as co-borrowers are often unaware that  
               they are at risk of losing their homes. If the borrowing  








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               spouse dies or needs to move, the non-borrowing spouse must  
               sell the home or otherwise pay off the reverse mortgage at  
               that time. Other family members (children, grandchildren,  
               etc.) who live with reverse mortgage borrowers are also at  
               risk of needing to find other living arrangements when the  
               borrower dies or needs to move;

             d)   The reverse mortgage market is increasingly dominated by  
               small originators, most of which are not depository  
               institutions. The changing economic and regulatory  
               landscape faced by these small originators creates new  
               risks for consumers;

          4)Counseling, while designed to help consumers understand the  
            risks associated with reverse mortgages, needs improvement in  
            order to be able to meet these challenges.

             a)   Reverse mortgages are inherently complicated, and the  
               new array of product choices makes the counselor's job much  
               more difficult.  Counselors need improved methods to help  
               consumers better understand the complex tradeoffs they face  
               in deciding whether to get a reverse mortgage;

             b)   Funding for housing counseling is under pressure, making  
               access to high-quality counseling more difficult. Some  
               counselors may frequently omit some of the required  
               information or speed through the material;

             c)   Some counseling agencies only receive payment if and  
               when the reverse mortgage is closed (the counseling fee is  
               paid with loan proceeds), which could undermine counselors'  
               impartiality;

             d)   Some borrowers may not take the counseling sessions  
               seriously.  Additional consumer awareness and education may  
               be necessary;

             e)   Counseling may be insufficient to counter the effects of  
               misleading advertising, aggressive sales tactics, or  
                       questionable business practices; and,

             f)   Stronger regulation, supervision of reverse mortgage  
               companies, and enforcement of existing laws may also be  
               necessary.









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          5)Some risks to consumers appear to have been adequately  
            addressed by regulation, but remain a matter for supervision  
            and enforcement, while other risks still require regulatory  
            attention.

             a)   Cross-selling, previously a top consumer protection  
               concern, appears to have been considerably dampened as a  
               result of federal legislation, though some risks remain.  
               Strong supervision and enforcement is necessary to ensure  
               that industry participants abide by existing laws;

             b)   The risk of fraud and other scams is heightened for this  
               population. Vigorous enforcement is necessary to ensure  
               that older homeowners are not defrauded of a lifetime of  
               home equity;

             c)   Special disclosures are required for reverse mortgages,  
               but existing disclosures are quite difficult for consumers  
               to understand; and,

             d)   There are general prohibitions against deceptive  
               advertising, but there are no specific federal rules  
               governing deceptive advertising with respect to reverse  
               mortgages.

          On October 14, 2012, The New York Times reported, A Risky  
          Lifeline for Elderly is Costing Some Their Homes, on the growing  
          risks of reverse mortgages as the market has become flooded with  
          small brokers, including former subprime lenders.  The article  
          highlighted many of the same issues found in the CFPB report.   
          For example, seniors not understanding the risks associated with  
          the product such as fees, mandatory upkeep of property taxes and  
          maintenance. Additionally, they highlighted how some seniors  
          were encouraged to make their older spouses the sole borrower on  
          the loan, which can earn brokers larger fees if the older spouse  
          is the only borrower.  The jeopardy in this approach is that if  
          the sole borrower dies, the non-borrower occupant of the  
          property loses all rights to stay in the home.  This is a risk  
          that CFBP found was often not highlighted sufficiently in the  
          reverse mortgage counseling process.

           Arguments in support.
           
          Consumers Union writes:









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               AB 1700 is necessary because senior homeowners in  
               California who are reverse mortgage eligible are being  
               targeted and aggressively marketed to by the reverse  
               mortgage industry, and they need more information to fully  
               appreciate the consequences of purchasing a reverse  
               mortgage when it may be an inappropriate choice.  Sellers  
               know the barriers to entry are low, the consequences for  
               peddling an inappropriate reverse mortgage are negligible,  
               if any, and the profit potential is large.  As a result,  
               the sales pitches being employed are highly sophisticated.   
               The ads directed at seniors focus primarily on the  
               "positive parts" of reverse mortgages and down play, or  
               altogether avoid mentioning any negative aspect of these  
               expensive loans.  It is unrealistic to think it would be  
               otherwise since it is not in the lenders' interest to have  
               borrowers dwell on suitability issues or contemplate the  
               ramifications of having a loan that depletes equity.





               Marketers of reverse mortgages have been erroneously  
               telling seniors that borrowers never have to worry about  
               leaving their homes. This is not true. There is much to  
               worry about.  Defaults occur when borrowers fail to make  
               their insurance or property taxes payments, and for failure  
               to keep up with the maintenance of their homes.  Failure to  
               meet these obligations will lead to default on the loans.   
               There are currently more than 54,000 reverse mortgages in  
               default.  This represents 10% of the reverse mortgages that  
               have been sold since 2007.  



               Because reverse mortgage decision-making involves a number  
               of complex issues, before committing to a loan every senior  
               should contemplate possible negative consequences.  While  
               reverse mortgages may have attractive features, seniors  
               need to be wary of the possible downsides and understand  
               that some product aspects may make them unsuitable for a  
               senior's needs and long-term financial objectives.  Whether  
               a loan is "suitable" or right for the borrower who is  
               considering it can only be determined by looking at the  








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               totality of that particular borrower's circumstances,  
               goals, and needs.  The AB 1700 pre-counseling worksheet  
               would help make these issues more transparent, giving  
               potential borrowers the full picture before committing to a  
               reverse mortgage. 





           Previous legislation .


          AB 329 (Feuer), of 2009 provided that a lender or any other  
          person that participates in the origination of a reverse  
          mortgage shall not participate in, or be associated with, or  
          employ any party that participates in or is associated with any  
          other financial or insurance activity, unless the lender  
          maintains certain safeguards or refer prospective borrowers to  
          anyone for purchase of financial or insurance products.   
          (Chapter 236, Statutes of 2009)

          AB 553 (Medina) of 2013, was very similar to AB 1700 except that  
          it required that the potetnaill borrower not received counseling  
          until at least seven days elapsed since their contact with the  
          lender.  (Died in Assembly Banking & Finance, pursuant to Art.  
          IV, Sec. 10(c) of the Constitution)

           REGISTERED SUPPORT / OPPOSITION  :   

           Support 
           
          Center for Responsible Lending
          Consumers Union
          California Retired Teachers Association (CalRTA)
          California Advocates for Nursing Home Reform (CANHR)
          Consumer Federation of California
          AARP

           Opposition 
           
          None on file.
           
          Analysis Prepared by  :    Mark Farouk / B. & F. / (916) 319-3081 









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