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Page Background A publication of Summer issue 2015 sponsored by

CRE Finance World Summer 2015

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recognized statistical rating organizations (“NRSROs”) and, by

extension, additional disclosure requirements on issuers, sponsors,

and underwriters (collectively, “arrangers”) of structured finance

products. The stated purpose of the Rule is to encourage more

ratings of structured finance deals by non-hired NRSROs, thereby

mitigating the effects of any conflict of interest that may be associated

with a rating obtained under the arranger-paid framework, and

discouraging “ratings shopping.”

Last fall CREFC formed a 17g-5 working group to address ongoing

implementation issues relating to the flow of information through

17g-5 websites between Servicers, Rating Agencies, and IP

Providers. Issues include timing of web posts, push confirmations,

and technological issues, and inconsistent PSA language.

Current Status

Best practices are expected to be finalized and adopted in 2Q 2015.

Operating Statements, Rent Rolls and OSARs (OSAR) Best

Practices — (Complete)

Chair Grace Holst, Strategic Asset Services

The OSARs working group was created to establish best practices

for the delivery and information flow of Operating Statements, Rent

Rolls and OSARs.

The working group produced a best practices document that was

released on December 29th, 2014 and is effective immediately.

Special Servicer Transfers Best Practices — (Complete)

Co-Chair Tom Nealon, LNR Partners

Co-Chair Chris Nuxoll, U.S. Bank

Co-Chair Lindsey Wright, C-III Asset Management

Co-Chair Kenda Tomes, Stinson Leonard Street LLP

The Special Servicer Transfers working group was formed to address

challenges that arise when dealing with the transfer of the named

Special Servicer on a CMBS trust, including the flow of information

and documents between Servicers, RACs, logistical and timing

issues, appraisals, and reporting/communication issues.

The SS Transfers working group produced a best practices

document that was released on December 29th, 2014 and is

effective immediately.

Best Practices for Reporting on Excess Liquidation

Proceeds — (Complete)

Chair Craig Zedalis, Wells Fargo

The working group addressed reporting issues under circumstances

when there is an REO loan that subsequently is sold and results

in excess proceeds. The group produced a best practices

document that was released on December 29th, 2014 and is

effective immediately.

Guidance for Writing-off B-notes and Realized Loss

Reporting — (Complete)

Chair Bob Brice, Midland Loan Services

The working group developed guidance on reporting subsequent

losses on B-notes in a modified loan situation. The group produced

a guidance document that was released on December 29th, 2014

that is effective immediately.

New and Revised Watchlist Criteria — (Complete)

Co-Chair Michael Brunner, JP Morgan

Co-Chair Tricia Hall, AIG

Co-Chair Leslie Hayton, Wells Fargo

Last fall CREFC launched an initiative to perform a comprehensive

review of the current Watchlist criteria and reporting practices with

the objective of making recommendations to enhance the value

of the Watchlist to market participants, especially investors. The

Watchlist serves as an early warning system that identifies loans

with a high potential for default.

The Watchlist Subcommittee includes representatives from all

CMBS market participants including Master Servicers, Investors,

Issuers, Data Providers and Rating Agencies.

As a result of several months of working group meetings along

with input from the Servicers Forum and IG Bondholders Forum,

the IRP Committee and Watchlist Subcommittee have approved

proposed changes to the CREFC Watchlist, Portfolio Review

Guidelines, and newly created Implementation Guideline. The

Implementation Guideline, designed to assist Servicers and

Investors, contains best practices for commentary and provides

further clarification for triggers.

2015 Servicers Forum Overview