Groups sue HUD over AFFH

Earlier today, three groups (the National Fair Housing Alliance [NFHA], the Texas Low Income Housing Information Service, and Texas Appleseed) filed a complaint in Federal Court (the United States District Court for the District of Columbia) against HUD regarding its recent actions to extend the deadline for local governments to submit their Assessments of Fair Housing (AFHs).

The complaint states that HUD “published a three-page notice . . . suspending the key requirements of the [Affirmatively Furthering Fair Housing (AFFH)] rule” (HUD characterizes this action as an “Extension of Deadline for Submission of Assessment of Fair Housing for Consolidated Plan Participants“). The action caused “irreparable and ongoing injury” for the three groups suing. As a result of HUD’s action, Texas Appleseed and the Texas Low Income Housing Information Service will have to “divert [mission-critical] resources” to “remedying the effects of [HUD’s] actions.” Additionally, NFHA will have to “divert resources to assisting its members around the country . . . to combat the effects of [HUD’s] actions.”

The groups believe that HUD erred in three ways. First, “[b]y failing to engage in notice-and-comment rulemaking before delaying and altering the AFFH Rule, HUD failed to observe procedures required by law, in contravention of the [Administrative Procedure Act].” Second, “HUD’s delay of the Rule is arbitrary, capricious, or an abuse of discretion, in contravention of the [Administrative Procedure Act]” because HUD’s rationale for extending the deadline (inadequate technical assistance among other reasons) does not explain why HUD cannot improve its technical assistance or why it is acceptable to go back to the previous regulatory framework (i.e., the Analysis of Impediments). Third, “HUD’s effective suspension of the AFFH Rule violates the Fair Housing Act, in contravention of the [Administrative Procedure Act].” Here, the complaint states that HUD is violating its own “affirmative obligation under the Fair Housing Act to ensure that federal housing programs are administered, and federal housing funds spent, in a manner that furthers fair housing.”

The complaint asks that the Court do five things. First, enter a declaratory judgment that HUD’s action is “arbitrary, capricious, an abuse of discretion or contrary to law, and without observance of procedure required by law.” Second, issue preliminary and permanent injunctions requiring HUD to suspend its notice extending the deadline for submission of AFHs for local governments and implement and enforce the requirements of the AFFH rule moving forward. Third, direct HUD to take affirmative steps to remedy the harms caused by the extension. Fourth, award the groups attorney’s fees and costs. Fifth, award any other relief that may be “just and equitable.”

The full complaint can be found here.

Tomorrow – NAHRO e-Briefing on Rent Reform: A Review of Current Proposals

Join the NAHRO policy team to learn more about HUD’s proposed rent reform proposal; proposed rent reform proposals in Congress; and the President’s executive order on rent reform. While the proposals may be superficially similar, there are several differences between them, which this presentation will discuss. Participants will also learn about the President’s executive order and its potential impact on HUD. The briefing will be followed by a question and answer period.

Registration closes tonight at 11:59 pm ET. The webinar will occur tomorrow, Tuesday, May 8, 2018 from 1:30 pm to 3 pm ET.

The registration process can be found here.

CPD Funding Matrix and Dashboard Reports Posted

HUD has posted the CPD Funding Matrix and Dashboard Reports, as of May 1, 2018, to the HUD Exchange. These reports provide funding information for cities and states that are recipients of CPD funds, including Community Development Block Grant (CDBG), Continuum of Care (CoC), Emergency Solutions Grants (ESG), HOME, Housing Opportunities for Persons with AIDS (HOPWA), and Housing Trust Fund (HTF). The reports detail the size of the grant recipients have received over the past several years as well as the total amount of funds currently available.

Additional TAC Mainstream Voucher Webinars

HUD recently released a Notice of Funding Opportunity for $100 million in new Mainstream vouchers. To assist in applying, the Technical Assistance Collaborative, along with NAHRO, hosted a webinar for PHAs on Tuesday, May 1st.

If you missed Tuesday’s TAC webinar on Mainstream vouchers for PHAs, you can download the slide deck from that webinar here. Additionally, TAC is planning on hosting two more webinars. Click on the links below the webinar title and time to register.

Mainstream NOFA webinar for Continuums of Care – Thursday, May 3rd at 1 pm ET

https://www.surveymonkey.com/r/VoucherMay3

Mainstream NOFA webinar for Disability Organizations – Tuesday, May 8th at 1 pm ET

https://www.surveymonkey.com/r/VoucherMay8

New Voucher Funding Opportunities (FUP Vouchers and Mainstream Vouchers)

There are currently two open notice of funding opportunities (NOFAs) for new vouchers for PHAs: Family  Unification Program Vouchers and Mainstream Vouchers.

Family Unification Program Vouchers

Application Due Date: 7/24/18.

Amount: $30 million.

The Family Unification Program (FUP) allows PHAs to partner with Public Child Welfare Agencies (PCWAs) to provide housing choice vouchers to two groups:

  • Families for whom the lack of housing is a primary factor in the placement of the family’s child in out-of-home care (or the delay in discharge to the family from out-of-home care); and
  • Youth who are at least 18 and have not yet reached their 25th birthday, who left foster care (or will leave foster care in 90 days) and are homeless or are at risk of becoming homeless.

This NOFA now requires that in addition to PHAs and PCWAs to being parties to a required memorandum of understanding (MOU), Continuums of Care (COCs) must also be a party to the MOU. Additionally, there is now a threshold to to prevent FUP low utilizers from receiving a new allocation of FUP vouchers, and the CoC must now contribute to the PCWA’s Statement of Need. Finally, in addition to definitional revisions, this NOFA incorporates HOTMA’s FUP related changes.

Relevant links include the following:

  • The FUP NOFA for FY 2017 and FY 2018 can be found here;
  • A sample FUP MOU can be found here; and
  • HUD’s FUP FAQ can be found here.

Mainstream (Section 811) Vouchers

Application Due Date: 6/18/18.

Amount: $100 million.

This NOFA provides funding for vouchers which must be used to assist non-elderly persons with disabilities and their families. The funding is provided to assist non-elderly persons with disabilities who are:

  • Transitioning out of institutional or other segregated setting;
  • At serious risk of institutionalization;
  • Homeless; or
  • At risk of becoming homeless.

The rating criteria for applications is the following:

  • PHA Capacity and Experience (60 points);
  • Leveraging Resources (30 points); and
  • Achieving Results and Program Evaluation (10 points).

Relevant links include the following:

  • The Mainstream NOFA can be found here;
  • HUD’s NOFA Summary Presentation can be found here;
  • HUD’s NOFA FAQ can be found here; and
  • Additional resources from the Technical Assistance Collaborative can be found here. [5/2/18 Edit – link corrected.]

Allocations for CPD Formula Programs Announced

HUD has announced its allocations for the Office of Community Planning and Development’s (CPD) formula programs, including: the Community Development Block Grant (CDBG), HOME Investment Partnerships (HOME), Housing Opportunities for Persons with AIDS (HOPWA), Emergency Solutions Grants (ESG), and the Housing Trust Fund (HTF). Allocations reflect the level of funding approved for your community.  Allocations can be found on HUD’s CPD Formula Allocations for FY 2018 website.

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HUD Posts 2018 CoC Registration Forms

HUD has posted it’s FY 2018 Continuum of Care (CoC) registration form to e-snaps with a submission deadline of 5:00 PM EDT on May 14, 2018. Collaborative applicants for CoCs that have changes from FY 2017 must complete the registration forms to access the Consolidated Application in the FY 2018 CoC Program Competition. This includes the CoC Application, the CoC Priority Listing, and project applications. If a CoC has no changes, they do not need to complete the registration, as HUD will move the previous year’s CoC registration information forward with no changes.

HUD also plans to release CPD Notice-18-06 “Applying to be a High Performing Community (HPC)” to the FY 2018 CoC Program Competition Funding Availability Page no earlier than May 2, 2018. The Notice will provide information applicants need to complete the 2018 Registration Process.

HUD Issues Memo on Delayed RAD Closings

Recently, HUD’s Office of Recapitalization (Recap) Director Tom Davis issued a memo announcing new guidelines for closing RAD transactions after issuance of the RAD Conversion Commitment (RCC). Once an RCC is issued, agencies undergoing RAD conversions have 90 days to close their RAD transactions unless granted an extension by HUD. Recap notes that they expect PHAs to be ready to begin the closing process once the RCC is issued, however, HUD notes that some agencies undergoing RAD transactions have not submitted their closing packages “in a timely manner” once the RCC is issued. According to Recap, this “unnecessarily diverts staff attention away from transactions that are ready to close.” As a result, Recap is now introducing a “more standardized framework for processing transactions with a delayed submission of the draft closing package” through a new “Delayed Submission” RCC status.

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