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Banks continue to face pressure from maturing commercial real estate (“CRE”) loans originated in a materially different rate, market, and valuation environment. Around $1.7 trillion of CRE debt is scheduled to mature through 2026, while refinancing conditions remain constrained by elevated interest rates, soft markets and sometimes significantly weaker property valuations.[1] While extensions and other accommodations over the last few years have helped manage near‑term credit stress, repeated accommodations now present heightened legal, regulatory, and safety‑and‑soundness risks for many institutions.

This alert highlights when continued accommodation may undermine a bank’s position—and how to transition toward moving the credit out of the bank while preserving examiner defensibility and recovery options.

Repeated Extensions Increase Supervisory and Legal Exposure

Loan modifications were widely used as interest rates rose and transaction markets slowed. However, serial accommodations without a credible repayment or refinance path increasingly raise supervisory concerns. Federal banking regulators have emphasized that CRE loan accommodations must be supported by prudent risk management, updated reviews of the financial strength of borrowers, guarantors and sponsors, realistic repayment analysis, and appropriate risk grading.[2]

For banks, key risks include:

At a certain point, accommodation no longer stabilizes the credit but instead amplifies supervisory and recovery risk and supports a conclusion that continued accommodation is inconsistent with prudent CRE risk management expectations. Banks should reassess extension strategies when:

 Proper Documentation is Key to Preserving Remedies and Avoiding Regulatory Scrutiny

 Where banks elect to provide limited additional relief, modification documentation must be structured to withstand examiner and litigation scrutiny. Regulatory guidance emphasizes that accommodations should preserve lender rights and be supported by sound underwriting and credit administration.[4]

Key practices for banks should include:

 Key Takeaways for Banks

 Regulators expect banks to demonstrate that CRE accommodations are:

In many cases, a well‑documented transition from a shorter-term accommodation to a longer-term loan workout or restructuring better aligns with supervisory expectations than continued extensions lacking a realistic exit strategy. Banks should:

In the current CRE environment, a thoughtful, consistent and well‑documented accommodation and workout strategy offers the strongest legal footing—from both a recovery and regulatory standpoint.

 

[1] National Association of REALTORS®, Don’t Panic as Trillions in Commercial Loans Come Due (Nov. 11, 2024) (discussing volume of CRE loan maturities through 2026 and refinancing pressure).

[2] Federal Reserve Board, Supervisory Policy and Guidance Topics – Commercial Real Estate (including Interagency Statements on Prudent CRE Loan Accommodations and Workouts) (accessed 2026).

[3] Bob Smeltz, Commercial Real Estate Debt Crisis 2026 (Jan. 2026) (reporting record CMBS office delinquencies and declining office fundamentals).

[4] See supra Note 2.

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