
The U.S. Department of Housing and Urban Development (HUD) has suspended the requirement to use the CNA eTool for 10-year updated Capital Needs Assessments and several other Office of Asset Management transactions. HUD has also paused its routine review of 10-year updates, placing greater emphasis on lender review and confirmation.
For FHA-insured multifamily properties, the change is most impactful in the context of 10-year updated CNAs, where lender confirmation of reserve adequacy now serves as the primary compliance checkpoint.
The suspension applies to several Asset Management CNA submission scenarios, including:
Importantly, the notice does not eliminate CNA requirements. Owners must still complete and submit required assessments.
Under the updated guidance:
Lenders have always reviewed these assessments. What has changed is that HUD will no longer conduct its own routine review. Instead, lenders must formally confirm to HUD whether reserves are sufficient for the next ten years.
If reserves are not adequate, lenders must indicate whether deposits should increase or whether a recapitalization plan may be required.
HUD also updated its recommended minimum reserve benchmark. While the recommendation is not mandatory, HUD now advises that reserves equal or exceed the greater of:
With HUD stepping back from routine review, lender expectations carry greater weight in how capital needs are evaluated and documented.
Removing the CNA eTool format may also reduce administrative rigidity and allow more flexibility in presentation. Consultants and lenders can align reporting more directly with underwriting requirements instead of a fixed system template.
For owners and buyers, particularly in refinancing or preservation scenarios, this may support more direct discussions around capital planning priorities, including useful life assumptions, reserve sizing, and repair timing.
Flexibility does not mean reduced scrutiny. Lenders must formally confirm reserve adequacy to HUD, and their underwriting conclusions may lead to deposit increases or recapitalization planning.
Several requirements remain in effect:
The CNA eTool requirement continues to apply to new Federal Housing Administration insurance applications and certain RAD transactions.
Given the increased dependence on lender confirmation, owners and buyers may want to consider:
In practice, successful outcomes will depend on coordination between owners, lenders, and consultants rather than minimum compliance execution.
This notice reflects an effort to streamline administrative processes and reallocate oversight resources. For multifamily stakeholders, it represents a redistribution of review authority rather than a relaxation of capital planning discipline.
As HUD steps back from routine review, lenders will rely more heavily on the quality of the CNA itself when evaluating reserve adequacy and long-term capital needs. That places greater importance on assessments that clearly document assumptions, support reserve projections, and align with lender underwriting expectations.
Owners who approach this transition with clear capital planning, defensible reserve analysis, and early coordination with lenders and consultants will be best positioned to navigate this evolving regulatory environment.
