USPAP
Being Competent
1. the ability to properly identify the problem to be addressed; and
2. the knowledge and experience to complete the assignment competently; and
3. recognition of, and
compliance with, laws a
nd regulations that apply to the appraiser or to the
assignment.
IAEG
An institution should obtain an appraisal that is appropriate for the
particular federally related transaction, considering the risk and complexity of the transaction. The level of detail should be sufficient for the institution to understand the appraiser's analysis and opinion of the property's market value. As provided by the USPAP Scope of Work Rule, appraisers are responsible for establishing the scope of work to be performed in rendering an opinion of the property's market value. An institution should ensure that the scope of work is appropriate for the assignment. The appraiser's scope of work should be consistent with the extent of the research and analyses employed for similar property types, market conditions, and transactions. Therefore, an institution should be cautious in limiting the scope of the appraiser's inspection, research, or other information used to determine the property's condition and relevant market factors, which could affect the credibility of the appraisal.
According to USPAP, appraisal reports must contain sufficient information to enable the intended user of the appraisal to understand the report properly. An institution should specify the use of an appraisal report option that is commensurate with the risk and complexity of the transaction. The appraisal report should contain sufficient disclosure of t
he nature and extent of inspection and research performed by the appraiser to verify the property's condition and support the appraiser's opinion of market value. (
See Appendix D,
Glossary of Terms, for the definition of appraisal report options.)
You can't verify, the condition with an EA.
Institutions should be aware that provisions in the Dodd-Frank Act address appraisal requirements for a
higher-risk mortgage to a consumer.
[37] To implement these provisions, the Agencies recognize that future regulations will address
the requirement that the appraiser conduct a physical property visit of the interior of the mortgaged property. [38]
So back to USPAP and scope of the work.
Your EA's aren't credible for the intended use of the report.
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