Annual Report — Form 10-K
Filing Table of Contents
Document/Exhibit Description Pages Size
1: 10-K Merrill Lynch 2006-Fm1 Form 10-K HTML 45K
3: EX-33.A Assessment of Compliance, Wilshire Credit HTML 68K
Corporation, as Servicer
4: EX-33.B Assessment of Compliance, Lasalle Bank N.A., as HTML 85K
Trustee
5: EX-33.C Assessment of Compliance, Wells Fargo Bank HTML 17K
National Association, as Custodian
6: EX-33.D Assessment of Compliance, Landamerica Tax and HTML 14K
Flood Services, Inc., as Servicing
Function Participant
7: EX-34.A Attestation Report on Assessment of Compliance, HTML 20K
Wilshire Credit Corporation, as Servicer
8: EX-34.B Attestation Report on Assessment of Compliance, HTML 14K
Lasalle Bank N.A., as Trustee
9: EX-34.C Attestation Report on Assessment of Compliance, HTML 16K
Wells Fargo Bank National Association,
as Custodian
10: EX-34.D Attestation Report on Assessment of Compliance, HTML 14K
Landamerica Tax and Flood Services,
Inc., as Servicing Function Participant
11: EX-35.A Servicer Compliance Statement, Wilshire Credit HTML 18K
Corporation, as Servicer
12: EX-35.B Servicer Compliance Statement, Lasalle Bank N.A., HTML 12K
as Trustee
2: EX-31 Merrill Lynch 2006-Fm1 Sarbanes Oxley HTML 18K
Certification
EX-33.D — Assessment of Compliance, Landamerica Tax and Flood Services, Inc., as Servicing Function Participant
This Exhibit is an HTML Document rendered as filed. [ Alternative Formats ]
Report
on Assessment of Compliance
with
Regulation AB Servicing Criteria
1. The
undersigned authorized officer of LandAmerica Tax and Flood Services, Inc.
(the
“Company”) is responsible for assessing the Company’s compliance with the
applicable servicing criteria as defined in 17 CFR Part 229 Section 1122(d)
(4)
(xi) and 1122(d) (4) (xii) (the “Regulation AB Servicing Criteria”) for
residential mortgage backed securities for which the Company served as
third-party property tax payment provider on the underlying collateral (the
“Platform”). Except as set forth in the preceding sentence, the servicing
criteria set forth in 17 CFR Part 229 Section 1122(d) are not applicable
to the
activities the Company performed with respect to the Platform.
2. The
Company used the criteria in 17 CFR Part 229 Section 1122(d) to assess the
compliance with the Regulation AB Servicing Criteria.
3. Under
one
of the services offered by the Company, some customers may elect to remit
tax
payments directly to tax agencies without having the Company remit those
property tax payments through our tax payment service. We refer to these
customers as “non-outsourced servicer customers.” With respect to these
non-outsourced customers and the services the Company delivered pursuant
to the
servicing criteria set forth in 17 CFR Part 229 Section 1122(d)(4)(xi), the
Company’s assertion is strictly limited to its processing of tax payments
submitted through the Company’s tax payment service.
4.
With
respect to servicing criteria set forth in 17 CFR Part 229 Section
1122(d)(4)(xii), the Company’s assertion is strictly limited to its processing
of property tax penalty payments. The Company has determined that its servicer
customers may also have access to systems that enable those servicers to
process
penalties through obligor escrow accounts. Management’s assessment of compliance
does not relate to the actual or potential activities of other parties with
access to obligor escrow accounts.
5. Based
on
such assessment, management believes that, as of and for the year ended December
31, 2006, the Company has complied in all material respects with the Regulation
AB Servicing Criteria related to the servicing of the Platform.
6. The
registered public accounting firm of Grant Thornton, LLP, has issued an
attestation report on the Company’s assessment of compliance with the Regulation
AB Servicing Criteria as of and for the year ended December 31,
2006.
LandAmerica
Tax and Flood Services, Inc.