Attached files

file filename
10-K - Morgan Stanley Bank of America Merrill Lynch Trust 2013-C9msb13c09_10k-2013.txt
EX-31 - Morgan Stanley Bank of America Merrill Lynch Trust 2013-C9msb13c09_31.txt
EX-33.6 - Morgan Stanley Bank of America Merrill Lynch Trust 2013-C9msb13c09_33-6.txt
EX-34.6 - Morgan Stanley Bank of America Merrill Lynch Trust 2013-C9msb13c09_34-6.txt
EX-35.5 - Morgan Stanley Bank of America Merrill Lynch Trust 2013-C9msb13c09_35-5.txt
EX-33.2 - Morgan Stanley Bank of America Merrill Lynch Trust 2013-C9msb13c09_33-2.txt
EX-35.1 - Morgan Stanley Bank of America Merrill Lynch Trust 2013-C9msb13c09_35-1.txt
EX-35.3 - Morgan Stanley Bank of America Merrill Lynch Trust 2013-C9msb13c09_35-3.txt
EX-33.4 - Morgan Stanley Bank of America Merrill Lynch Trust 2013-C9msb13c09_33-4.txt
EX-35.4 - Morgan Stanley Bank of America Merrill Lynch Trust 2013-C9msb13c09_35-4.txt
EX-34.2 - Morgan Stanley Bank of America Merrill Lynch Trust 2013-C9msb13c09_34-2.txt
EX-33.5 - Morgan Stanley Bank of America Merrill Lynch Trust 2013-C9msb13c09_33-5.txt
EX-34.5 - Morgan Stanley Bank of America Merrill Lynch Trust 2013-C9msb13c09_34-5.txt
EX-34.1 - Morgan Stanley Bank of America Merrill Lynch Trust 2013-C9msb13c09_34-1.txt
EX-35.6 - Morgan Stanley Bank of America Merrill Lynch Trust 2013-C9msb13c09_35-6.txt
EX-34.4 - Morgan Stanley Bank of America Merrill Lynch Trust 2013-C9msb13c09_34-4.txt

  EX-33.1
(logo) GEMSA
Loan Services, L.P.

GEMSA Loan Services, L.P.
929 Gessner, Suite 1700
Houston, TX 77024
713.458.7200
800.456.1443

Management Assessment
Compliance with Regulation AB Criteria

GEMSA Loan Services, L.P. a Delaware limited partnership, (the "Assessing
Party") is responsible for assessing compliance as of and for the year ended
December 31, 2103, (the "Reporting Period"), with the Servicing Criteria set
forth in Title 17, Section 229.1122(d) of the Code of Federal Regulations (the
"CFR") excluding the criteria set forth in sections 1122(d)(i)(iii), 1122(d)
(3)(i)(a),(b),(c),(d), 1122(d)(3)(ii), 1122(d)(3)(iii), 1122(d)(3)(iv),
1122(d)(4)(iii), 1122(d)(4)(vii), and 1122(d)(4)(xv) of Regulation AB in the
CFR, which the Assessing Party has concluded are not applicable to the
activities it performs with respect to the asset-backed securities transactions
covered by this report (such criteria, after giving effect to the exclusions
identified above, the "Applicable Servicing Criteria"). With respect to
applicable servicing criteria 1122(d)(2)(iii), 1122(d)(4)(ix), 1122(d)(4)(x)(c),
and 1122(d)(4)(xii), there were no activities performed during the year ended
December 31, 2013 with respect to the Platform, because there were no
occurrences of events that would require the Assessing Party to perform such
activities. Appendix A identifies the individual asset backed transaction and
securities defined by management as constituting the Platform. The transactions
covered by this report include all asset-backed securities transactions holding
assets sub-serviced by the Assessing Party that were registered with the
Securities and Exchange Commission pursuant to the Securities Act of 1933 where
the related asset-backed securities were outstanding, excluding securitized
transactions registered prior to January 1, 2006, and/or unregistered and/or
unsecuritized transactions.

With respect to servicing criteria 1122(d)(2)(i), 1122(d)(2)(ii), 1122(d)(2)
(vii)(a),(b) and (d), 1122(d)(4)(i), 1122(d)(4)(vi), 1122(d)(4)(x)(a) and (b),
and 1122(d)(4)(xi), management has engaged various vendors to perform certain
specific and limited activities relating to these servicing criteria. The
Assessing Party's management has determined that none of these vendors is
considered a "servicer" as defined in Item 1101(j) of Regulation AB, and the
management has elected to take responsibility for assessing compliance with the
servicing criteria applicable to each vendor as permitted by Interpretation
17.06 of the SEC Division of Corporation Finance Manual of Publicly Available
Telephone Interpretations ("Interpretation 17.06"). Management has policies and
procedures in place designed to provide reasonable assurance that the vendors'
activities comply in all material respects with the servicing criteria
applicable to each vendor. The Assessing Party's management is solely
responsible for determining that it meets SEC requirements to apply
Interpretation 17.06 for the vendors and related criteria

The Assessing Party has assessed its compliance with the Applicable Servicing
Criteria for the Reporting Period and has concluded that the Assessing Party has
complied, in all

A Joint Venture of GE Capital Real Estate and CBRE Capital Markets
www.gemsals.com


(page)


material respects, with the Applicable Servicing Criteria as of December 31,
2013, and for the Reporting Period with respect to the Platform Transactions.

KPMG LLP , a registered public accounting firm, has issued an attestation report
with respect to the Assessing Party's assessment of compliance with the
Applicable Servicing Criteria as of and for the year ended 31 December 2013.


/s/ Joseph F. Beggins
Joseph F. Beggins
Chief Executive Officer

February 21,2014
Date


/s/ Kirk A. White
Kirk A. White
Chief Operating Officer

February 21,2014
Date