I am a review appraiser and appraisal consultant. I do not perform appraisals. I review commercial and residential appraisals for financial institutions, attorneys, homeowners, appraiser credential applicants and a state regulatory agency. As as former appraiser, I understand the frustration with review appraisers. I doubt if any of them have 20 years experience appraising as I do. Few reviewers understand the challenges faced by appraisers in this insane lending climate.
I am not afraid to be sworn at, as long as my side gets heard as well. Because of my problem solving experience, I have a great capacity to assist appraisers who are trying to improve their work product and comply with ever-changing appraisal requirements and USPAP. We may only discuss one appraisal report, but what you learn from WORKING with me will help you in many future appraisal you complete.
It's not that tough to make the underwriters happy when you know what they are looking for. The issue is - do you, as an appraiser, REALLY know what is required when you fill out a form report? Do you understand that form-filling is NOT appraising? Do you understand the practical side of appraisal compliance - yes, that comp within 90 days isn't one you would normally use but the underwriter is asking for it. So, what then? Not something that's covered by USPAP and there is no manual to suggest how to comply.
I own an appraisal management company. My job is to facilitate the appraiser and lender in the time span between the assignment and closing the transaction. My firm does NOT operate like any other AMC. We advocate for the appraiser and help the lenders understand that there are limitations to how appraisals can be completed as a result of having to comply with USPAP. There are numerous other differences between my firm and the traditional AMC business model.
Go ahead - let me have it - in the name of improving our profession I will attempt to address your issues.