Jo Ann Meyer Stratton
Elite Member
- Joined
- Jan 16, 2002
- Professional Status
- Certified Residential Appraiser
- State
- Arizona
HUD 4150.2, Protocol, USPAP Conformity:
"The appraisal was conducted in conformity with the Uniform Standards of Professional Appraisal Practice. An estimate of reasonable time for exposure in the open market is a condition in the definition of market value and is consistent with the reported estimate of Exposure Period on the URAR."
Definition of market value on the Statement of Limiting Conditions (Fannie Mae form 1004B 6-93)
"The most probable price which a property should bring in a competitive and open market under all conditions requisite to a fair sale----(3) reasonable time is allowed for exposure in the open market;---
Some comments in a letter I have from the Appraisal Standards Board:
"--the purpose of the assignment is to develop an opinion of market value, with the intended use of the assignment results being to identify collateral risk in a loan transaction, and the subject property being a site with improvements and a manufactured home, as a WHOLE property."
"In summary, an appraisal developed by using a sales comparison approach that relies on "comparables" that are themselves the result of adding together the cost of the property components is NOT consistent with the purpose of the assignment. ---those comparables are not market sales of the property unit that is the subject of the appraisal."
Ethics Rule, Competency Rule, Standard 1 and Standard 2 are applicable.
"--the "comparable sale" is not the result of a whole property unit being sold by one party and bought by another. Rather, it is the "comparable cost" of an assembled property. As described, it is the sum of the cost a buyer incurred in assembling a property." (land/home package)
"--a new manufactured home is not the subject of the assignment. The subject of the assignment is a whole property unit that includes an improved site with a manufactured home in place."
Regarding Standards Rule 1-3(B)---"--while USPAP does not preclude development of an opinion of market value by a cost approach, in completing such an analysis Standards Rule 1-4(B) requires an appraiser to--analyze such comparable data as are available to estimate the difference between the cost new and the present worth of the improvements. Even though the subject property---is new (actual age is zero), recognized cost approach methods and techniques include analysis of market data to support a conclusion that there is no depreciation. In this context, the most comparable market data would be sales of similar property units. (whole properties)
Standard Rule 1-4(3)--An appraiser must analyze the effect on value, if any, of the assemblage of the various estates or component parts of a property and REFRAIN FROM VALUING THE WHOLE SOLELY BY ADDING TOGETHER THE INDIVIDUAL VALUES OF THE VARIOUS ESTATES OR COMPONENT PARTS.
"This response is based on the entire subject property being real property.
"The appraisal was conducted in conformity with the Uniform Standards of Professional Appraisal Practice. An estimate of reasonable time for exposure in the open market is a condition in the definition of market value and is consistent with the reported estimate of Exposure Period on the URAR."
Definition of market value on the Statement of Limiting Conditions (Fannie Mae form 1004B 6-93)
"The most probable price which a property should bring in a competitive and open market under all conditions requisite to a fair sale----(3) reasonable time is allowed for exposure in the open market;---
Some comments in a letter I have from the Appraisal Standards Board:
"--the purpose of the assignment is to develop an opinion of market value, with the intended use of the assignment results being to identify collateral risk in a loan transaction, and the subject property being a site with improvements and a manufactured home, as a WHOLE property."
"In summary, an appraisal developed by using a sales comparison approach that relies on "comparables" that are themselves the result of adding together the cost of the property components is NOT consistent with the purpose of the assignment. ---those comparables are not market sales of the property unit that is the subject of the appraisal."
Ethics Rule, Competency Rule, Standard 1 and Standard 2 are applicable.
"--the "comparable sale" is not the result of a whole property unit being sold by one party and bought by another. Rather, it is the "comparable cost" of an assembled property. As described, it is the sum of the cost a buyer incurred in assembling a property." (land/home package)
"--a new manufactured home is not the subject of the assignment. The subject of the assignment is a whole property unit that includes an improved site with a manufactured home in place."
Regarding Standards Rule 1-3(B)---"--while USPAP does not preclude development of an opinion of market value by a cost approach, in completing such an analysis Standards Rule 1-4(B) requires an appraiser to--analyze such comparable data as are available to estimate the difference between the cost new and the present worth of the improvements. Even though the subject property---is new (actual age is zero), recognized cost approach methods and techniques include analysis of market data to support a conclusion that there is no depreciation. In this context, the most comparable market data would be sales of similar property units. (whole properties)
Standard Rule 1-4(3)--An appraiser must analyze the effect on value, if any, of the assemblage of the various estates or component parts of a property and REFRAIN FROM VALUING THE WHOLE SOLELY BY ADDING TOGETHER THE INDIVIDUAL VALUES OF THE VARIOUS ESTATES OR COMPONENT PARTS.
"This response is based on the entire subject property being real property.