In a release earlier today CAI alerted our industry to the Federal Housing Finance Authority’s position expressing concern about state statutes, such as our super lien statute, that allow community associations to obtain lien priority over first mortgages for unpaid association assessments. FHFA has asked a federal court to intervene to help mortgage companies atGo to Article

As you may recall, Article IV of CCIOA requires community associations to register annually with DORA.  In 2012, DORA issued a statement interpreting Article IV of CCIOA to only require registration by communities created on or after July 1, 1992. Those associations created prior to July 1, 1992, therefore, relying on the DORA statement, mayGo to Article