- Joined
- Jan 15, 2002
- Professional Status
- Certified General Appraiser
- State
- California
Geroge
The much larger issues is communication. If I understand your postion:
1. You would find it acceptable if a client requires you to send your report through a designated portal so they can do a QC function. I may or may not - that would probably be a matter of negotiation. From a USPAP perspective that doesn't appear to be a problem.
2. You would find unacceptable in if the converter that you must use; deletes pages, changes the order , mixes stuff from one page to another and then requires you to send it in via a portal. If the converter was unreliable and inconsistent about what it was moving around and deleting I'd find that unacceptable. It would be even more unacceptable if the converter moved a "declining market" rating to a "stable market" rating or made other edits to my analyses to change the substantiaitve content of my reports.
OTOH, If I could recognize and then work within the limitations of the converter AND provide a workproduct that would meet the needs of my intended users without causing a USPAP compliance problem then that would be acceptable for me. Others may decide differently, but that still appears to me to be a business decision rather than an appraisal standards decision.
So far so good?
a. As long as you could fix the conversion to be presented properly within the conversion final report before sending it.
or not acceptable
b. you are not able to fix the conversion either from within or prior to the conversion so that it appears as you want.
If the limitations of the conversion are so significant that I can't use it to communicate my appraisal then I can always choose to use a different mode of communication. There are some assignments that really don't fit well on any type of form - that doesn't seem to stop appraisers from working around those limitations and using them anyway. Most appraisers can work within virtually all known limitations if they really want to. I've been doing that since I first started; I see no difference in doing it again to accomodate yet another set of limitations.
What concerns me (a little) are the unknowns, but there are unknowns with most reporting formats. I have no assurance that the kid with the color copier isn't altering my printed reports; that lack of confidence doesn't stop me from using that mode of communication if my client requests hard copies.
If this is what your saying then the problem is "b." You can not fix the conversion within or outside the process.
I wouldn't attempt to fix the limitations in FNCs templates any more than I'd try to fix the limitations in the Wintotal formats. I can complain to them about those limitations but whether they do or don't get fixed is a decision that they will make. My decision comes down to deciding whether I can TCOB within those limitations; and if not, to identify my alternatives. Obviously, I've found it easier to accept and work around the limitations I know about than to jump between 4 different appraisalware solutions trying to find the perfect tool for the assignment at hand, but again that's a business decision, not an appraisal standards decision.
The much larger issues is communication. If I understand your postion:
1. You would find it acceptable if a client requires you to send your report through a designated portal so they can do a QC function. I may or may not - that would probably be a matter of negotiation. From a USPAP perspective that doesn't appear to be a problem.
2. You would find unacceptable in if the converter that you must use; deletes pages, changes the order , mixes stuff from one page to another and then requires you to send it in via a portal. If the converter was unreliable and inconsistent about what it was moving around and deleting I'd find that unacceptable. It would be even more unacceptable if the converter moved a "declining market" rating to a "stable market" rating or made other edits to my analyses to change the substantiaitve content of my reports.
OTOH, If I could recognize and then work within the limitations of the converter AND provide a workproduct that would meet the needs of my intended users without causing a USPAP compliance problem then that would be acceptable for me. Others may decide differently, but that still appears to me to be a business decision rather than an appraisal standards decision.
So far so good?
a. As long as you could fix the conversion to be presented properly within the conversion final report before sending it.
or not acceptable
b. you are not able to fix the conversion either from within or prior to the conversion so that it appears as you want.
If the limitations of the conversion are so significant that I can't use it to communicate my appraisal then I can always choose to use a different mode of communication. There are some assignments that really don't fit well on any type of form - that doesn't seem to stop appraisers from working around those limitations and using them anyway. Most appraisers can work within virtually all known limitations if they really want to. I've been doing that since I first started; I see no difference in doing it again to accomodate yet another set of limitations.
What concerns me (a little) are the unknowns, but there are unknowns with most reporting formats. I have no assurance that the kid with the color copier isn't altering my printed reports; that lack of confidence doesn't stop me from using that mode of communication if my client requests hard copies.
If this is what your saying then the problem is "b." You can not fix the conversion within or outside the process.
I wouldn't attempt to fix the limitations in FNCs templates any more than I'd try to fix the limitations in the Wintotal formats. I can complain to them about those limitations but whether they do or don't get fixed is a decision that they will make. My decision comes down to deciding whether I can TCOB within those limitations; and if not, to identify my alternatives. Obviously, I've found it easier to accept and work around the limitations I know about than to jump between 4 different appraisalware solutions trying to find the perfect tool for the assignment at hand, but again that's a business decision, not an appraisal standards decision.