Management’s Report on Assessment of Compliance with SEC Regulation AB Servicing Criteria
1. |
CoreLogic Solutions, LLC (the “Company” or “CoreLogic”) is responsible for providing an assertion on the Company’s assessment of compliance with the servicing criteria applicable to it under paragraph (d) of Item 1122 of Regulation AB as of and for the year ended December 31, 2025, (the “specified period”). The transactions covered by this report include commercial mortgage loan outsourcing customers for which CoreLogic acted as the tax service provider (the “Platform”). |
2. |
Except as set forth in paragraph 3 below, CoreLogic used the criteria set forth in paragraph (d) of Item 1122 of Regulation AB to provide an assertion on the Company’s assessment of compliance with the applicable servicing criteria. |
3. |
The criteria listed in the column titled “Inapplicable Servicing Criteria” in Appendix A hereto are inapplicable to CoreLogic based on the activities performed with respect to the Platform for the specified period. |
4. |
CoreLogic has complied, in all material respects, with the applicable servicing criteria for the specified period with respect to the Platform taken as a whole. |
5. |
Grant Thornton LLP, an independent registered public accounting firm, has issued an attestation report on CoreLogic’s assertion on compliance with the applicable servicing criteria for the reporting period. |
CoreLogic Solutions, LLC
January 30, 2026
By: /s/ Kirk Randlett
Kirk Randlett, VP, Operations
