80_FR_42244 80 FR 42108 - Affirmatively Furthering Fair Housing Assessment Tool: Solicitation of Comment-30-Day Notice Under Paperwork Reduction Act of 1995

80 FR 42108 - Affirmatively Furthering Fair Housing Assessment Tool: Solicitation of Comment-30-Day Notice Under Paperwork Reduction Act of 1995

DEPARTMENT OF HOUSING AND URBAN DEVELOPMENT

Federal Register Volume 80, Issue 136 (July 16, 2015)

Page Range42108-42117
FR Document2015-17463

This notice solicits public comment, for a period of 30 days, consistent with the Paperwork Reduction Act of 1995 (PRA), on the Assessment Tool that would be provided by HUD for use by program participants in completing their assessment of fair housing as required by HUD's Affirmatively Furthering Fair Housing (AFFH) rule. The purpose of the assessment of fair housing (AFH) is to aid HUD program participants in carrying out their statutory duty to affirmatively further fair housing. The Assessment Tool is designed to guide HUD program participants in undertaking a more thorough evaluation of fair housing issues in their respective jurisdictions, and setting goals to overcome issues that are barriers, among other things, to fair housing choice and opportunity. As stated in HUD's September 26, 2014, notice, this Assessment Tool is designed primarily for entitlement jurisdictions and for entitlement jurisdictions partnering with public housing agencies to use in submitting an AFH. The ``primary'' design is also for local governments and consortia required to submit consolidated plans under HUD's Consolidated Plan regulations. Although in the September 26, 2014, notice, HUD previously stated this assessment tool would not be used for regional collaborations, HUD believes that, given the changes made to this assessment tool based on comments received, this assessment tool can also be used for regional collaborations. The Assessment Tool published on September 26, 2014 provided a 60- day comment period, which commenced the notice and comment process required by the PRA. This 30-day notice completes the public comment process required by the PRA. With the issuance of this notice, and following consideration of public comments received in response to this notice, HUD will seek approval of the Assessment Tool from the Office of Management and Budget (OMB) and assignment of an OMB control number. In accordance with the PRA, the Assessment Tool will undergo this public comment process every 3 years to retain OMB approval. With this 30-day notice, HUD is publishing two formats of the same assessment tool, each with the same content but slightly different organization. Specifically, the placement of the contributing factor analysis is the only difference between the two formats of the assessment tool. HUD is seeking comments on which format would be the most effective and efficient for program participants to use in conducting the required analysis of contributing factors and related fair housing issues.

Federal Register, Volume 80 Issue 136 (Thursday, July 16, 2015)
[Federal Register Volume 80, Number 136 (Thursday, July 16, 2015)]
[Notices]
[Pages 42108-42117]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-17463]


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DEPARTMENT OF HOUSING AND URBAN DEVELOPMENT

[Docket No. FR-5173-N-05]


Affirmatively Furthering Fair Housing Assessment Tool: 
Solicitation of Comment--30-Day Notice Under Paperwork Reduction Act of 
1995

AGENCY: Office of General Counsel, HUD.

ACTION: Notice.

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SUMMARY: This notice solicits public comment, for a period of 30 days, 
consistent with the Paperwork Reduction Act of 1995 (PRA), on the 
Assessment Tool that would be provided by HUD for use by program 
participants in completing their assessment of fair housing as required 
by HUD's Affirmatively Furthering Fair Housing (AFFH) rule. The purpose 
of the assessment of fair housing (AFH) is to aid HUD program 
participants in carrying out their statutory duty to affirmatively 
further fair housing. The Assessment Tool is designed to guide HUD 
program participants in undertaking a more thorough evaluation of fair 
housing issues in their respective jurisdictions, and setting goals to 
overcome issues that are barriers, among other things, to fair housing 
choice and opportunity. As stated in HUD's September 26, 2014, notice, 
this Assessment Tool is designed primarily for entitlement 
jurisdictions and for entitlement jurisdictions partnering with public 
housing agencies to use in submitting an AFH. The ``primary'' design is 
also for local governments and consortia required to submit 
consolidated plans under HUD's Consolidated Plan regulations. Although 
in the September 26, 2014, notice, HUD previously stated this 
assessment tool would not be used for regional collaborations, HUD 
believes that, given the changes made to this assessment tool based on 
comments received, this assessment tool can also be used for regional 
collaborations.
    The Assessment Tool published on September 26, 2014 provided a 60-
day comment period, which commenced the notice and comment process 
required by the PRA. This 30-day notice completes the public comment 
process required by the PRA. With the issuance of this notice, and 
following consideration of public comments received in response to this 
notice, HUD will seek approval of the Assessment Tool from the Office 
of Management and Budget (OMB) and assignment of an OMB control number. 
In accordance with the PRA, the Assessment Tool will undergo this 
public comment process every 3 years to retain OMB approval.
    With this 30-day notice, HUD is publishing two formats of the same 
assessment tool, each with the same content but slightly different 
organization. Specifically, the placement of the contributing factor 
analysis is the only difference between the two formats of the 
assessment tool. HUD is seeking comments on which format would be the 
most effective and efficient for program participants to use in 
conducting the required analysis of contributing factors and related 
fair housing issues.

DATES: Comment Due Date: August 17, 2015.

ADDRESSES: Interested persons are invited to submit comments regarding 
this notice to the Regulations Division, Office of General Counsel, 
Department of Housing and Urban Development, 451 7th Street SW., Room 
10276, Washington, DC 20410-0500. Communications must refer to the 
above docket number and title. There are two methods for submitting 
public comments. All submissions must refer to the above docket number 
and title.
    1. Submission of Comments by Mail. Comments may be submitted by 
mail to the Regulations Division, Office of General Counsel, Department 
of Housing and Urban Development, 451 7th Street SW., Room 10276, 
Washington, DC 20410-0500.
    2. Electronic Submission of Comments. Interested persons may submit 
comments electronically through the Federal eRulemaking Portal at 
www.regulations.gov. HUD strongly encourages commenters to submit 
comments electronically. Electronic submission of comments allows the 
commenter maximum time to prepare and submit a comment, ensures timely 
receipt by HUD, and enables HUD to make them immediately available to 
the public. Comments submitted electronically through the 
www.regulations.gov Web site can be viewed by other commenters and 
interested members of the public. Commenters should follow the 
instructions provided on that site to submit comments electronically.

    Note:  To receive consideration as public comments, comments 
must be submitted through one of the two methods specified above. 
Again, all submissions must refer to the docket number and title of 
the rule.

    No Facsimile Comments. Facsimile (fax) comments are not acceptable.
    Public Inspection of Public Comments. All properly submitted 
comments and communications submitted to HUD will be available for

[[Page 42109]]

public inspection and copying between 8 a.m. and 5 p.m. weekdays at the 
above address. Due to security measures at the HUD Headquarters 
building, an advance appointment to review the public comments must be 
scheduled by calling the Regulations Division at 202-708-3055 (this is 
not a toll-free number). Individuals who are deaf or hard of hearing 
and individuals with speech impairments may access this number via TTY 
by calling the Federal Relay Service at 800-877-8339. Copies of all 
comments submitted are available for inspection and downloading at 
www.regulations.gov.

FOR FURTHER INFORMATION CONTACT: Camille E. Acevedo, Associate General 
Counsel for Legislation and Regulations, Office of General Counsel, 
Department of Housing and Urban Development, 451 7th Street SW., Room 
10282, Washington, DC 20410-0500; telephone number 202-708-1793 (this 
is not a toll-free number). Persons who are deaf or hard of hearing and 
persons with speech impairments may access this number through TTY by 
calling the toll-free Federal Relay Service at 800-877-8339.

SUPPLEMENTARY INFORMATION:

I. Background

    On July 19, 2013, at 78 FR 43710, HUD published, for public 
comment, a proposed rule entitled ``Affirmatively Furthering Fair 
Housing'' (AFFH). The July 19, 2013, AFFH rule proposed a new approach 
that would enable program participants to more fully incorporate fair 
housing considerations into their existing planning processes and 
assist them in complying with their duty to affirmatively further fair 
housing as required by the Fair Housing Act (Title VIII of the Civil 
Rights Act) and other authorities. The new process, the Assessment of 
Fair Housing (AFH), builds upon and refines the prior fair housing 
planning process, called the analysis of impediments (AI). As part of 
the new AFH process HUD advised that it would issue an ``Assessment 
Tool'' for use by program participants in completing and submitting 
their AFHs. The Assessment Tool, which includes instructions and 
nationally-uniform data provided by HUD, consists of a series of 
questions designed to help program participants identify, among other 
things, areas of racially and ethnically concentrated areas of poverty, 
patterns of integration and segregation, disparities in access to 
opportunity, and disproportionate housing needs.
    At the time of publication of the July 19, 2013, AFFH proposed 
rule, HUD also posted and sought public comment on a draft ``Data 
Documentation'' paper online at www.huduser.org/portal/affht_pt.html 
(under the heading Data Methodology). HUD requested public comments on 
the categories, sources, and format of data that would be provided by 
HUD to program participants to assist them in completing their AFH, and 
many program participants responded with comments on the Data 
Documentation paper.
    The Assessment Tool that HUD issued for public comment on September 
26, 2014 (79 FR 57949) (Initial Assessment Tool), and found at 
www.huduser.org/portal/affht_pt.html was, as HUD noted in the Summary 
of this notice, primarily designed for use by entitlement jurisdictions 
and by entitlement jurisdictions and PHAs that are jointly submitting 
an AFH. As further noted in the Summary, the Assessment Tool, which was 
the subject of the September 26, 2014, notice and this notice, is also 
designed for use by local governments and consortia required to submit 
consolidated plans under HUD's Consolidated Plan regulations, codified 
in 24 CFR part 91, specifically subparts C and E, which pertain to 
local governments and consortia.\1\ In this notice, HUD uses the term 
``entitlement jurisdictions'' to refer to all jurisdictions for which 
this tool is primarily designed.
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    \1\ In HUD's AFFH proposed rule published on July 19, 2013, at 
78 FR 43710, HUD noted that a consortium participating in HUD's HOME 
Investment Partnerships program (HOME program), and which term 
(consortium) is defined 24 CFR 91.5, must submit an AFH. HUD stated 
that a HOME consortium is considered a single unit of general local 
government (see 78 FR at 43731).
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    In the September 26, 2014, notice HUD also advised that the Initial 
Assessment Tool was not the tool that would be used by the following 
program participants: PHAs that would not be making a joint submission; 
States; and Insular Areas. While the Initial Assessment Tool was 
tailored primarily for entitlement jurisdictions and joint submissions 
by entitlement jurisdictions and PHAs, HUD invited comments by all 
types of program participants, as it, ``present[ed] the basic structure 
of the Assessment Tool to be used by all program participants, and is 
illustrative of the questions that will be asked of all program 
participants.''
    HUD followed the September 26, 2014, publication with a notice 
published on January 15, 2015, at 80 FR 2062, which solicited public 
comment on a staggered submission deadline for AFHs to be submitted for 
specific types of program participants. In the January 2015 notice, HUD 
advised that it was considering providing certain HUD program 
participants--States, Insular Areas, qualified PHAs,\2\ and 
jurisdictions receiving a small Community Development Block Grant 
(CDBG) grant with the option of submitting their first AFH at a date 
later than would otherwise be required for other program participants. 
In addition to proposing a staggered submission deadline, HUD had 
previously announced that it would be developing separate assessment 
tools for certain types of program participants, including States and 
insular areas, PHAs and program participants submitting AFHs in a 
regional collaboration.
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    \2\ Section 2702 of title II of the Housing and Economic 
Recovery Act (HERA) defined ``qualified PHAs'' as PHAs that have 
fewer than 550 units, including public housing and section 8 
vouchers.
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II. The 60-Day Notice and Initial Assessment Tool

    In developing the assessment tool, HUD had four key objectives in 
mind. First, the assessment tool must ask questions that would be 
sufficient to enable program participants to perform a meaningful 
assessment of key fair housing issues and contributing factors \3\ and 
set meaningful fair housing goals and priorities. Second, the 
assessment tool must clearly convey the analysis of fair housing issues 
and contributing factors that program participants must undertake in 
order for an AFH to be accepted by HUD. Third, the assessment tool must 
be designed so program participants would be able to use it to prepare 
an AFH that would be accepted by HUD without unnecessary burden. 
Fourth, the assessment tool must facilitate HUD's review of the AFHs 
submitted by program participants, since the Affirmatively Furthering 
Fair Housing rule requires HUD to determine within a certain period of 
time whether to accept or not accept each AFH or revised AFH submitted 
to HUD.
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    \3\ The term ``fair housing determinants'' was changed to ``fair 
housing contributing factors'' in the AFFH final rule. This notice 
therefore uses the term ``fair housing contributing factors.''
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    With these objectives in mind, HUD issued the Initial Assessment 
Tool for public comment for a period of 60 days. The 60-day notice then 
provided a detailed description of the five main sections of the 
Assessment Tool: Section I--Cover Sheet and Certification; Section II--
Executive Summary; Section III--Community Participation Process; 
Section IV--Analysis; and Section V--Fair Housing Goals and Priorities.
    In the 60-day notice, in addition to soliciting comment on the 
Initial Assessment Tool overall, HUD specifically solicited comments on 
the following topics:

[[Page 42110]]

    1. The description of local data and local knowledge;
    2. The clarity of the options for including information about the 
community participation in the AFH;
    3. The adequacy of the list of determinants (now contributing 
factors) in order to produce a meaningful AFH;
    4. Aspects of the Publicly Supported Housing (PSH) subsection, 
specifically: (a) The type of program participant required to include 
project-level data in tabular format for various categories of PSH; (b) 
the formatting of the tables; (c) the most effective ways of providing 
assessment of project-level data in an Assessment Tool used by States;
    5. Whether HUD inadvertently failed to consider fair housing issues 
relating to individuals with disabilities by considering Disability and 
Access issues separately;
    6. The sufficiency and clarity of the Initial Assessment Tool for 
addressing additional fair housing issues and inability to answer 
questions due to a lack of data and whether HUD should include 
instructions on how to address these issues;
    7. The content of the tool, the clarity of the questions, and areas 
of information that are included in the tool, but that are unnecessary 
to conduct a meaningful AFH, and areas that HUD may have overlooked 
that should be included in the Initial Assessment Tool;
    8. Whether the Initial Assessment Tool can be used by program 
participants independently, without the need to rely on outside 
contractors to conduct an AFH;
    9. Any additional instructions that would be helpful;
    10. The costs associated with gathering and analyzing data 
necessary for conducting an AFH;
    11. Whether program participants anticipate using federal funds to 
complete an AFH;
    12. What strategies program participants can use to reduce the cost 
and burden of completing an AFH and how to reduce costs of obtaining 
local data and local knowledge;
    13. How do program participants envision joint participation in 
completing the AFH;
    14. Whether the proposed collection of information is necessary for 
the proper performance of the agency and whether it will have practical 
utility;
    15. The accuracy of the agency's estimate of the burden of 
collecting the information;
    16. Ways to enhance the quality, utility, and clarity of the 
information to be collected; and
    17. Ways to minimize the burden of the collection on those who are 
required to respond.

III. Public Comments on the 60-Day Notice

    By the close of the comment period on November 25, 2015, HUD 
received 198 public comments. Commenters included PHAs, CDBG grantees, 
including States and local governments, advocacy groups, nonprofit 
organizations, and various individuals. All public comments received in 
response to the 60-day notice can be found at: http://www.regulations.gov/#!documentDetail;D=HUD-2014-0080-0001. HUD 
appreciates the time and effort of all the public commenters in 
preparing their comments. The information was helpful and valuable.
    This section provides a summary of the most significant issues 
raised by commenters and HUD's responses, including where HUD made 
changes to the Assessment Tool.

Overview of Significant Issues Raised

    The majority of comments offered positive and constructive 
recommendations for improving the Assessment Tool. Many commenters 
provided suggestions for expanding certain portions of the assessment 
tool and for improving the questions and analysis required. Many 
comments also raised concerns about the assessment tool's burden, the 
timing of introducing a new analysis mechanism, the reliability of the 
data to be provided, and its content and the impact on specific types 
of program participants, including small entities, States, and others. 
The areas of concern identified by the majority of commenters are 
discussed below.
Burden
    Many commenters stated that the Initial Assessment Tool imposes a 
significant burden on program participants in several ways. They stated 
that the amount of time and resources required to complete the Initial 
Assessment Tool itself is unduly burdensome, especially in light of the 
amount of local data and local knowledge that program participants must 
use. Commenters also stated that the community participation process 
could be very burdensome, especially for jurisdictions such as an 
entire State. Commenters stated that the additional time and resources 
required to conduct the type of community participation contemplated 
would be unduly burdensome. Commenters further stated that the amount 
of information, both HUD-provided data supplemented by local data and 
local knowledge, and the number of questions, makes the Initial 
Assessment Tool unreasonably complex and would likely result in the 
additional burden of having to hire a consultant in order to complete 
the AFH.
    Commenters also stated that the Initial Assessment Tool would be 
overly and unnecessarily burdensome on States. While commenters stated 
that they understood there would be a separate assessment tool for 
States, they nevertheless expressed concern with having to analyze data 
that entitlement jurisdictions in their respective States may have 
already analyzed in preparing their own AFHs. The commenters stated 
that States should not have to engage in duplicative, redundant 
analyses.
    Other commenter stated that they thought the Initial Assessment 
Tool would clarify the ``region'' to be analyzed by program 
participants because the rule did not provide sufficient specificity.
Timing
    Several commenters stated that the release of the Initial 
Assessment Tool is premature. They stated that the AFFH rule should be 
finalized, the development of the other types of assessment tools to be 
used should be completed, and that HUD should wait to complete 
development of the Assessment Tool based on the recent disparate impact 
case and the upcoming Supreme Court case, which was heard in early 2015 
and decided June 25, 2015. The Supreme Court ruled that the Fair 
Housing Act prohibits discrimination caused by policies or practices 
that have an unjustified disparate impact because of race, color, 
religion, sex, familial status, national origin, or disability. Texas 
Dep't of Hous. & Cmty Affairs v. Inclusive Cmtys Project, No. 13-1371, 
2015 U.S. LEXIS 4249 (June 25, 2015). In that decision, the Supreme 
Court also acknowledged ``the Fair Housing Act's continuing role in 
moving the Nation toward a more integrated society.'' Id. at *42.
Data
    Commenters stated that the Initial Assessment Tool requires too 
much local data and local knowledge. Other commenters took issue with 
the data provided by HUD, stating that, in the past, HUD data has been 
inaccurate and out of date. Commenters stated that the HUD-provided 
data is unwieldy and difficult to understand. Several commenters 
specifically referred to the efficacy of using dot density maps and the 
requirement that the analysis be conducted by neighborhood when the 
data is at the Census tract level.
    Commenters stated that, assuming the HUD-provided data is reliable, 
the data is most useful at the regional level, but

[[Page 42111]]

will be inefficient for use by States. Other commenters requested that 
the HUD-provided data include datasets of local information that are 
already available to HUD, so that program participants need not expend 
additional resources to gather such data.
Content of the Assessment Tool
    Several commenters stated that the Initial Assessment Tool is too 
subjective, stating that the Initial Assessment Tool makes an 
inappropriate leap from correlation to causation. The commenters stated 
that there may be alternative causes for the demographic makeup of a 
certain jurisdiction. Commenters requested that HUD eliminate any 
questions in the Initial Assessment Tool requiring an essay-type of 
response, which, the commenters stated, only adds to the subjective 
nature of the analysis. These commenters stated that they believe the 
Initial Assessment Tool will not achieve its stated objective because 
it promotes the creation of policy based on incomplete, and often 
subjective, information.
    Commenters stated that they found the Initial Assessment Tool to be 
incomplete. These commenters stated that HUD should be asking different 
questions than those posed in the Initial Assessment Tool, or should 
add questions to account for situations that HUD may have overlooked. 
For example, several commenters expressed appreciation for the separate 
section in the Initial Assessment Tool dedicated to Disability and 
Access Issues. However, other commenters stated that disability should 
be a topic that is discussed throughout the Initial Assessment Tool and 
not confined to one section.
    Other commenters stated that HUD does not adequately take into 
account the issues of housing opportunity and equity affecting women, 
especially in terms of domestic and sexual violence issues, and 
lesbian, gay, bisexual, transgender (LGBT) individuals and families. 
Commenters stated that while there is a lack of data on LGBT 
individuals and families at the national level, the next version of the 
assessment tool could provide a mechanism to begin gathering such data. 
Commenters also made recommendations about items that should be added 
to the list of contributing factors and suggested edits to the existing 
language in the Initial Assessment Tool.
    Several commenters raised concerns about the Dissimilarity Index. 
The commenters stated that the next version of the assessment tool 
should use multiple measures of segregation, because, according to the 
commenters, the Dissimilarity Index alone is insufficient to fully 
understand residential segregation patterns in a community and region. 
The commenters recommended that HUD include additional measures of 
segregation besides only providing the Dissimilarity Index.
    Many commenters stated that the lack of a section on ``Action 
Steps'' to be taken by program participants weakens the overall purpose 
of the AFH, and inclusion of such a section would aid in enforcement.
    Other commenters stated that the Initial Assessment Tool lacked 
sufficient guidance for program participants. The commenters requested 
that HUD define certain terms, add clearer instructions, provide hands-
on, in-person training for completing the tool, and develop a helpline 
at HUD to aid program participants in navigating the complexities of 
the tool and the data provided.
Small Entities, Joint Participation, and Local Control Issues
    Commenters that are or that represent small PHAs and small 
jurisdictions stated that the Initial Assessment Tool would not be 
useful for them, and would impose a significant burden. These 
commenters stated that one way to deal with this burden would be for 
HUD to encourage, or even require, program participants to complete the 
AFH jointly in order to reduce the costs of the community participation 
process and the actual analysis conducted in the Initial Assessment 
Tool. In contrast, other commenters who stated they would be willing to 
participate in jointly submitting an AFH raised concerns about doing so 
and signing a joint certification. The commenters requested that HUD 
modify the certification language because the commenters stated that 
they cannot attest to the veracity of the information provided by other 
program participants.
    In a similar vein, commenters, mostly States and local governments, 
expressed concern that the AFH will result in a loss of local control 
and will interfere with local decision-making. States and local 
governments, and PHAs all submitted comments relating to their 
respective scopes of authority with respect to assessing fair housing 
choice. These commenters stated that the Assessment Tool appears to be 
asking program participants to conduct an analysis and take actions 
beyond the scope of their authority in order to implement plans to 
effect change with respect to fair housing. The commenters stated that 
they lack control over other entities and, consequently, cannot be 
expected to implement plans relating to fair housing.

III. This 30-Day Notice and Revised Assessment Tool

A. Changes to the Assessment Tool

General Approach to Content
    In response to public comment HUD has made several changes to the 
Initial Assessment Tool, which HUD believes address many of the burden 
and content concerns expressed by the commenters. These changes have 
resulted in a revised Assessment Tool (Revised Assessment Tool) that is 
shorter in length, contains fewer questions, and clarifies many of the 
questions that were in the previous version, and reduces the need for 
some duplicative analysis. The Revised Assessment Tool also includes 
detailed instructions to further assist program participants in 
answering the questions in the AFH and guide them on how to use the 
HUD-provided data. It also includes an Appendix providing further 
detail on each of the Contributing Factors referenced in the tool.
    HUD is also providing a link for program participants and the 
public to the Geospatial Mapping Tool (Data Tool), which contains 
interactive maps and exportable tables. The Data Tool also attempts to 
provide greater clarity in response to commenters' concerns about the 
area of analysis, and provides data for the region based on the program 
participant's Core-Based Statistical Area (CBSA). The Data Tool will 
also be posted online at: http://www.huduser.org/portal/affht_pt.html.
    The Data Tool contains the same data as that which was released on 
September 26, 2014, with some minor changes. Now, the data is 
accessible through an interactive application on a Web-based interface. 
Additionally, Table 14 now includes two transit-related indices.
    HUD anticipates further changes to the Data Tool prior to its final 
release for use by program participants. Some of those anticipated 
changes include:
     Consolidating several redundant tables;
     Modifications to improve the visual presentation of the 
maps (i.e., contrast and sizes of dots and icons on maps);
     Improved Data Tool functionality to allow the user to 
better access data on: (1) Locations and demographics of publicly 
supported housing developments, including census tracts; and (2) the 
ability to export maps and tables by the program participant for use 
during the community participation process and as part of the AFH 
submission to HUD. The export

[[Page 42112]]

functionality would apply to both maps and tables. It would not only 
provide access to the data, but also allow users to filter and sort 
demographic data for both developments and census tracts by common 
characteristics. The functionality would be similar to that in HUD's 
CPD Maps tool. This is intended to reduce burden in using the HUD-
provided data to answer the required questions in the Assessment Tool 
while providing the data that will enable program participants to 
conduct analyses required to identify key fair housing issues;
     Addition of maps to match updates in the Opportunity 
Indices;
     Additional datasets to correspond with the analysis in the 
Assessment Tool;
     Minor changes in terminology to match with the AFH Tool 
and final rule; and
     Minor changes in descriptions of the data provided (i.e., 
``top 5'' becoming ``5 most populous'').
    The Revised Assessment Tool includes substantial revisions to the 
questions that were in the Initial Assessment Tool. HUD has reduced the 
total number of questions in the analysis section while improving the 
clarity and utility of the analysis that is required. The Initial 
Assessment Tool would have required contributing factors to be 
identified twice, once separately and again in answering the specific 
questions. The Revised Assessment Tool only requires that contributing 
factors be identified once. The contributing factors analysis has also 
been revised by removing the previous requirement to list all 
contributing factors and then rate their degree of significance. In the 
Revised Assessment Tool, program participants are required to identify 
those contributing factors that significantly impact specific fair 
housing issues, and for the purposes of setting goals prioritize them, 
giving the highest priority to those factors that limit or deny fair 
housing choice or access to opportunity, or negatively impact 
compliance with fair housing or civil rights law.
    In the Revised Assessment Tool, program participants are asked to 
provide one overarching narrative to justify the prioritization of 
contributing factors, rather than a separate explanation for each 
factor and that factor's level of significance as presented in the 
Initial Assessment Tool. In addition, the requirement to prioritize 
goals that was in the Initial Assessment Tool is removed in the Revised 
Assessment Tool. HUD expects that these changes will reduce burden 
while still providing the needed information and analysis regarding 
contributing factors. So long as program participants' goals address 
significant contributing factors and related fair housing issues, and 
can be reasonably expected to affirmatively further fair housing, 
participants' goals can vary.
    In the Initial Assessment Tool, separate questions that asked about 
different protected classes have been combined in the Revised 
Assessment Tool into one question about all protected classes for which 
data are provided (for example, race, national origin, and limited 
English proficiency (LEP)). With this change, program participants can 
now formulate one answer taking into account all of the data at one 
time, rather than provide two or three separate answers.
    In the Revised Assessment Tool, the wording of certain questions in 
the analysis section was improved to remove unnecessary complexity and 
hone the analysis to have the greatest impact. Several questions were 
reworded to avoid any interpretation that HUD was asking program 
participants to prepare an ``inventory'' or long list of projects or 
developments. Other questions were revised because some program 
participants might construe them to include unintended requests for 
unduly complex analyses. HUD found that other questions were worded too 
broadly and left program participants with uncertainty as to the 
information needed. These questions were narrowed in scope. Throughout 
the Assessment, HUD made an effort to clarify questions so program 
participants would understand the question being asked and the analysis 
sought.
    In response to commenters concerns that the requirement to obtain 
and use local data was too burdensome, the AFFH Final Rule clarifies 
that ``local data'' refer to ``metrics, statistics, and other 
quantified information, that are subject to a determination of 
statistical validity by HUD, relevant to the program participant's 
geographic areas of analysis,'' and are data ``that can be found 
through a reasonable amount of searching, are readily available at 
little or no cost, and are necessary for the completion of the AFH 
using the Assessment Tool.'' This clarification is based on the 
definition of local data included in the final rule, and referenced in 
the instructions, as data that is already available and easily 
accessible by the program participant, or data that can be made 
available at little or no cost. Local knowledge is also defined in the 
AFFH final rule as information to be provided by the program 
participant that relates to the participant's geographic areas of 
analysis and that is relevant to the program participant's AFH, is 
known or becomes known to the program participant, and is necessary for 
the completion of the AFH using the Assessment Tool. The instructions 
in the Revised Assessment Tool elaborate on ``information'' as 
including laws and policies, common neighborhood or area names and 
borders, information about the housing market and housing stock. 
Program participants are also required to consider additional 
information obtained through the community participation and 
consultation process that is required by the rule.
    Additional comments were received on the Initial Assessment Tool 
requesting further instructions and guidance for program participants. 
Accordingly, instructions have been added to the Revised Assessment 
Tool. These instructions provide additional explanations on the use of 
local data and knowledge in addition to the HUD-provided data. The 
instructions link each question to the specific maps and data tables 
that are relevant to that question, along with additional 
considerations or examples that program participants should keep in 
mind when answering. These instructions add clarity and guidelines for 
effective use of the assessment tool. Additionally, HUD is providing an 
additional appendix in the Revised Assessment Tool, Appendix C, which 
contains short explanations of each contributing factor contained in 
the Revised Assessment Tool.
    The inclusion of instructions also allows HUD to remove blocks of 
references to maps and tables that were included in various places in 
the Initial Assessment Tool, and instead provides a list and short 
description of the data that will be available on the Data Tool in 
Appendix A (maps) and Appendix B (tables) of the Revised Assessment 
Tool. These references, while helpful, in some cases provided less 
guidance and had the effect of breaking up the flow of questions, with 
the result that the questions were difficult to comprehend and follow. 
By removing these references and including instructions HUD believes 
the Revised Assessment Tool is clearer and easier to understand and 
complete.
    In response to the Initial Assessment Tool, commenters requested 
more clarity regarding joint submissions. The instructions in the 
Revised Assessment Tool specify that, when submitting jointly, each 
program participant is responsible for identifying contributing factors 
and setting goals within its jurisdiction; however, program

[[Page 42113]]

participants submitting jointly are permitted to set joint goals where 
appropriate. The Initial Assessment Tool did not include this 
instruction.
Cover Sheet
    HUD is committed to assisting program participants in completing 
their assessment tool in a manner that will allow them to make progress 
in affirmatively furthering fair housing. While the Initial Assessment 
Tool provided, at part I item 12, for ``Departmental acceptance or 
rejection,'' the Revised Assessment Tool refers, at item 11, to 
``Departmental acceptance or non-acceptance.'' This change signifies 
that rather than ending the submission and review of the AFH, non-
acceptance will result in a process in which HUD works with the program 
participant by explaining the reasons for non-acceptance and provides 
the program participant with an opportunity to submit a revised AFH to 
address those concerns.
Executive Summary
    The Initial Assessment Tool only contained a heading of ``Executive 
Summary,'' but did not include any further guidance for program 
participants on what to include in the Executive Summary. The Revised 
Assessment Tool explains and clarifies the information that program 
participants should include in the Executive Summary.
Assessment of Past Goals and Actions
    The Initial Assessment Tool sought information, at the very end of 
the analysis, on past goals and actions, asking ``how has the 
experience . . . with past goals influenced the selection of current 
goals?'' HUD proposes to place this information at the beginning of the 
assessment rather than at the end, so that the assessment of current 
goals can be informed by past experience. Accordingly, the Revised 
Assessment Tool moves the assessment of past goals and actions to 
Section IV, immediately prior to the analysis.
Analysis
Segregation/Integration
    The Revised Assessment Tool simplifies this topic, which in the 
Initial Assessment Tool included segregation, integration, and racially 
and ethnically concentrated areas of poverty (R/ECAPS) under one 
heading. However, since segregated neighborhoods may be R/ECAPs, but 
are not always R/ECAPS, the same analysis may not apply equally to 
segregation/integration and R/ECAPS. In order to facilitate the 
analysis in these cases, in the Revised Assessment Tool, R/ECAPS is 
moved to its own separate subsection, and the questions are narrowed in 
scope to reflect this change.
    Also, in the context of segregation/integration, the Initial 
Assessment Tool considered the Dissimilarity Index a topic area, B.1, 
but did not provide sufficient guidance as to how this topic was to be 
addressed. The Dissimilarity Index is a method of analyzing the degree 
of segregation or integration in a particular geographic area and 
serves as an analytical tool rather than being a distinct topic within 
the analysis. The instructions in the Revised Assessment Tool describe, 
in detail, how it should be appropriately used in conducting the 
analysis.
    In addition, the Revised Assessment Tool removed B.2., the separate 
Geographic Analysis subtopic, because a geography-based analysis is 
already required in the analysis of segregation/integration and R/ECAPS 
(and, indeed, throughout the assessment tool), and a separate topic on 
geography is redundant in this context.
R/ECAPs
    As previously discussed in this notice, HUD has created a separate 
subsection for R/ECAPs, instead of having the analysis be combined with 
the Segregation/Integration analysis. The Revised Assessment Tool 
contains questions specifically about R/ECAPs and the questions have 
been narrowed in scope from the Initial Assessment Tool.
Disparities in Access to Opportunity
    In the Revised Assessment Tool, this topic is changed from the 
topic entitled ``Disparities in Access to Community Assets and Exposure 
to Adverse Community Factors'' in the Initial Assessment Tool to 
``Disparities in Access to Opportunity.'' Instead of two separate 
topics on disparities in access to community assets and exposure to 
adverse community factors, the Revised Assessment Tool combines the 
questions under these topics under a single heading. HUD has also 
consolidated and streamlined questions, including those on access to 
jobs, access to transportation, and exposure to poverty and 
environmental health hazards.
Disproportionate Housing Needs
    In the Revised Assessment Tool, HUD has consolidated certain 
questions in this section to eliminate duplication.
Publicly Supported Housing \4\ Analysis
---------------------------------------------------------------------------

    \4\ The term ``publicly supported housing'' refers to housing 
assisted with funding through federal, state, or local agencies or 
programs as well as housing that is financed or administered by or 
through any such agencies or programs. HUD is currently providing 
data on five specific categories of housing: Public Housing; 
Project-Based Section 8; other HUD multifamily housing (including 
Section 202--Supportive Housing for the Elderly, Section 811--
Supportive Housing for Persons with Disabilities, and other 
multifamily assisted properties); Low Income Housing Tax Credit 
(LIHTC) housing; and Housing Choice Vouchers (HCV). Other publicly 
supported housing relevant to the analysis includes housing funded 
through state and local programs, other federal agencies, such as 
USDA and VA, or other HUD-funded housing not captured in the five 
categories listed above.
---------------------------------------------------------------------------

    In the Revised Assessment Tool, HUD makes several revisions to this 
subtopic. Under ``Publicly Supported Housing Location and Occupancy,'' 
question ii, which in the Initial Assessment Tool was on ``the racial 
composition of occupants in publicly supported housing in R/ECAPs,'' is 
broadened in the Revised Assessment Tool to ``publicly supported 
housing demographics.'' This revision recognizes that segregation in 
housing can involve protected characteristics other than race.
    Also under this subtopic, question iii, iv, and v in the Initial 
Assessment Tool asked the same question about race or ethnicity of 
residents of public housing, other HUD multifamily developments, and 
project-based Section 8 housing, and Low-Income Housing Tax Credit 
(LIHTC) housing. The Revised Assessment Tool streamlines these 
questions into a single question to be answered with respect to each of 
the four categories of housing. Additionally the question itself is 
streamlined by removing a sentence about segregation that would be 
redundant of an earlier question under the same topic, and the wording 
of the subtopic has been simplified to be more understandable. HUD also 
determined that several questions relating to policies for various 
housing programs were more appropriately considered in the Contributing 
Factors analysis.
    The Revised Assessment Tool also includes properties converted 
under the Rental Assistance Demonstration (RAD) in new question 
(1)(b)(iv)(A).
    The Revised Assessment Tool also contains an analysis within the 
publicly supported housing section of disparities in access to 
opportunities for residents of publicly supported housing.
Disability and Access Analysis
    The Revised Assessment Tool removes an instruction that was

[[Page 42114]]

included in the Initial Assessment Tool that read:

    There are limited sources of nationally consistent data on the 
extent to which individuals with different types of disabilities are 
able to access housing and community assets. To complete this 
section, program participants should solicit input from individuals 
with disabilities and disability advocates, who often have the most 
relevant information on these topics.

This instruction was included in the Initial Assessment Tool to help 
explain why HUD was placing Disability and Access Issues in a separate 
section of the AFH analysis. However, HUD recognizes that this 
instruction in the Initial Assessment Tool may have been confusing to 
some public commenters and may have suggested that extra efforts to 
obtain local data and local knowledge would be required to complete the 
Disability and Access Issues section of the assessment tool. To 
eliminate the potential confusion that this instruction may have 
caused, the instruction in the Revised Assessment Tool identifies 
specific questions for which HUD provides data as well as those 
questions for which HUD does not have data. There is no requirement in 
the Disability and Access Issues section for program participants to 
make an extra effort to obtain specific local data. Instead, as 
required in all sections of the Assessment Tool, program participants 
are only required to obtain and use local data that can be found 
through a reasonable amount of search and are readily available at 
little or no cost.
    The Disability and Access Analysis section has been streamlined in 
the Revised Assessment Tool. A question on ``the principal challenges 
faced by persons with disabilities in the Jurisdiction and Region'' has 
been removed, as that question is answered by the discussion of the 
disparities in access to opportunity and the contributing factors 
within the same section. Additionally, the list of opportunity 
indicators (in the context of disparities in access to opportunity) is 
streamlined in the Revised Assessment Tool.
    In the list of ``Disability and Access Issues Contributing 
Factors,'' a new item on ``State or local laws, policies, or practices 
that discourage individuals with disabilities from being placed in or 
living in apartments, family homes, and other integrated settings'' is 
added in the Revised Assessment Tool. This addition recognizes that 
there can be laws, policies, or practices affecting persons with 
disabilities other than land use and zoning laws, especially in the 
context of the Supreme Court's decision in Olmstead v. L.C., 527 U.S. 
581 (1999).\5\
---------------------------------------------------------------------------

    \5\ HUD's Statement on the Role of Housing in Accomplishing the 
Goals of Olmstead can be found at http://portal.hud.gov/hudportal/documents/huddoc?id=OlmsteadGuidnc060413.pdf.
---------------------------------------------------------------------------

Fair Housing Enforcement, Outreach Capacity, and Resources Analysis
    This section, which was titled ``Fair Housing Compliance and 
Infrastructure'' in the Initial Assessment Tool, has been abbreviated 
through the elimination of a question and the questions associated with 
the contributing factors, and has been renamed in the Revised 
Assessment Tool.
Contributing Factors
    As noted in the Summary above, HUD is providing two formats of the 
Revised Assessment Tool for public comment. The two formats do not 
differ in content or analysis required by the assessment tool, but do 
differ with respect to where the analysis of contributing factors 
occurs.
    Option A of the Revised Assessment Tool provides a categorized list 
of the most common contributing factors relating to all fair housing 
issues (but it is not an exhaustive list of all possible contributing 
factors) in one location following the analysis sections of 
Segregation/Integration, R/ECAPs, Disparities in Access to Opportunity, 
and Disproportionate Housing Needs. The same categorized list of 
contributing factors also follows each of the following sections: 
Publicly Supported Housing Analysis; Disability and Access Analysis; 
and Fair Housing Enforcement, Outreach Capacity, and Resources 
Analysis. In identifying contributing factors, program participants are 
instructed to note which fair housing issue(s) (Segregation/
Integration, R/ECAPs, Disparities in Access to Opportunity, and 
Disproportionate Housing Needs) the selected contributing factor 
impacts. Program participants must also include any other contributing 
factors impacting fair housing issues in their jurisdiction or region 
that are not included in the provided lists.
    Option B of the Revised Assessment Tool contains more discrete 
lists of the most common contributing factors (but each list is not an 
exhaustive list of all possible contributing factors) after each 
section of analysis: Segregation/Integration, R/ECAPs, Disparities in 
Access to Opportunity, Disproportionate Housing Needs, Publicly 
Supported Housing Analysis, Disability and Access Analysis, and Fair 
Housing Enforcement, Outreach Capacity, and Resources Analysis. For the 
last three sections of analysis, program participants are instructed to 
note which fair housing issue(s) (Segregation/Integration, R/ECAPs, 
Disparities in Access to Opportunity, and Disproportionate Housing 
Needs) the selected contributing factor impacts. It is unnecessary to 
do this step for the first four sections of Option B because of the 
placement of the more discrete contributing factor lists after each of 
those sections. Program participants are also required to include any 
other contributing factors impacting fair housing issues in their 
jurisdiction or region that are not included in the provided lists.
    Both formats of the Revised Assessment Tool also contain short 
explanations of all the listed contributing factors in Appendix C. 
These explanations provide program participants with additional 
guidance about each contributing factor, which may enable program 
participants to make more informed selections of contributing factors 
when conducting their analyses.
Fair Housing Goals and Priorities
    The Initial Assessment Tool contained a table that seemed 
confusing, as well as subjective questions that related to the 
selection and prioritization of contributing factors (then called 
determinants) and goals. The Revised Assessment Tool provides program 
participants with additional guidance on how to prioritize contributing 
factors, creating a more objective framework for analysis. 
Additionally, the requirement that goals also be prioritized has been 
removed. The Revised Assessment Tool provides a new table for program 
participants to use when setting goals. The table is designed to make 
it easier for program participants to set goals as required by the AFFH 
final rule.

IV. Findings and Certifications

Paperwork Reduction Act

    With HUD's decision to prepare program participant-specific 
assessment tools, the information collection burden addressed in this 
notice is limited to this assessment tool that has been designed for 
entitlement jurisdictions and the possibility of program participants 
seeking to collaborate regionally on an AFH. The public reporting is 
estimated to include the time for reviewing the instructions, searching 
existing data sources, gathering and maintaining the data needed, and 
completing and reviewing the collection of information.

[[Page 42115]]

    As HUD is furnishing a significant amount of data directly to the 
program participants, the burden in completing the Assessment Tool is 
reduced. Where HUD is not providing data, as noted earlier in this 
preamble, program participants are to consider and in some cases 
utilize local data and local knowledge that is available or can be 
found at little or no cost. This refers to data already publicly 
available and reasonably easy to access. This does not refer to obscure 
data that may not be known or easily found, that requires an 
independent data or information collection effort such as a local 
survey or that requires extensive analytical expertise or staff effort, 
for instance, in manipulating data sets or developing a complex 
methodology for analyzing complex data that may be available. With the 
data that HUD provides for use with the Assessment Tool supplemented by 
available local data and local knowledge, HUD does not anticipate the 
need for any program participant to turn to outside consultants to 
collect data and conduct the assessment.
    In addition, local knowledge may be supplemented with information 
received through the public participation process. In such cases, 
program participants retain the discretion to consider data or 
information collected through this process as well as the manner in 
which it may be incorporated into the AFH, whether in the Section V 
(Analysis) or Section III (Community Participation Process) of the AFH, 
with an option to include extensive or lengthy comments in appendices 
or attachments. In short, the receipt of extensive public comments may 
require staff effort to review and consider input but would not result 
in a mandate to incur substantial additional costs and staff hours to 
do so. To the contrary, the public participation process should be 
viewed as a tool to acquire additional information to reduce burden.
    It is also important to note that the estimate of burden, in terms 
of staff hours and costs, is not an estimate of net new costs. That is, 
the cost of conducting the existing AI that was a legal obligation 
prior to the AFFH final rule, and which is now replaced by the AFH, is 
not deducted from the new estimate. Costs for conducting the AI for 
entitlement jurisdictions varied substantially and often involved costs 
for hiring consultants and outside parties to conduct the AI. HUD is 
making substantial effort and investment, by providing the data and 
mapping tool and ongoing technical assistance to improve the entire AFH 
process as compared to the previous, often cumbersome AI process.
Changes in Estimate From the 60-Day PRA Notice
    Compared to previous hour/burden estimate in the 60-day notice, 
several key changes, as discussed above, were made in an effort to 
reduce the burden of the analysis required in the assessment. Changes 
in the methodology for the estimate of total burden compared to the 
estimate in the 60-day notice are discussed here below.
    In addition, HUD is revising the estimate of how many program 
participants will employ this version of the Assessment Tool, by 
lowering the estimate of the number of PHAs that will likely engage in 
joint collaboration with block grant entitlement jurisdictions from 
one-half of all PHAs to approximately one-third of all PHAs. Many PHAs 
will however continue to engage in joint participation for the 
completion of the AFH, for instance by partnering with a State entity, 
particularly in the case of small PHAs who are located outside the 
geographic area of an entitlement jurisdiction.
    In addition to the changes discussed, HUD has also increased its 
estimate of the burden involved in completing an AFH using this 
Assessment Tool. While the Revised Assessment Tool has been streamlined 
compared to the Initial Assessment Tool, many public comments were 
received during the 60-day public comment period stating that the 200-
hour per program participant estimate as too low. Accordingly, HUD has 
increased this to 240 hours per entitlement jurisdiction submitting an 
AFH. However, it is not likely that all entities participating together 
will all incur the full cost as they would if they were submitting an 
AFH separately. Thus, the hour estimate for PHA partners using this 
Assessment Tool is estimated at 120 hours, which would include fixed 
costs (e.g. staff training, conducting community participation, setting 
PHA goals) but includes reduced costs for performing the entirety of 
the assessment itself. It is also foreseeable that many entities will 
choose to divide responsibilities differently based on their local 
characteristics and that the split of hours used for the overall 
estimate may vary in many cases.
Costs in the First Year
    Approximately 25 entitlement jurisdictions will be required to 
submit an AFH in the summer and fall of 2016. In recognition of the 
need to mitigate any new burden associated with this effort, the AFFH 
final rule provides for staggered submission of AFHs. Staggered 
submission delays the application of the AFFH final rule for certain 
program participants, such as States, Insular Areas, and PHAs that opt 
to submit their own AFH without an entitlement jurisdiction partner. In 
addition, because of the Consolidated Plan cycle, a relatively small 
group of program participants will submit an AFH within the first year 
following the effective date of the AFFH final rule, but the majority 
of program participants will be submitting their AFH in later years. 
For program participants that will submit an AFH in later years, HUD 
anticipates taking additional steps to reduce regulatory burden, which 
may include dissemination of best practices obtained from the first 
round of AFH submissions.
    Assuming approximately the same number of PHAs choose to partner 
with entitlement jurisdictions in the first round of AFH submissions 
(joint AFH), the burden estimate for completing an AFH would increase 
somewhat, to take into account some additional effort for community 
participation and goal setting. However, the cost of conducting the 
analysis would be shared. For instance, PHAs could conduct the portion 
of the assessment related to publicly supported housing, with the 
entitlement jurisdiction conducting the bulk of the remainder of the 
analysis. There would be some costs for the two types of program 
participants to coordinate and communicate with each other, but in 
general total costs are expected to be less than if each program 
participant chose to complete their own separate AFH.
    Using the estimated hours of the effort required by type of program 
participant, and assuming approximately 25 entitlement jurisdictions 
will partner with 25 PHAs to submit joint AFHs, the first year's burden 
would be approximately 9,000 total hours (6,000 for 25 entitlement 
jurisdictions and 3,000 for 25 PHAs). This estimate is included within 
the total estimated burden.
    HUD has committed to provide technical assistance to program 
participants in completing their AFHs, and HUD anticipates targeted 
technical assistance for the relatively small number of program 
participants that would be required to submit an AFH in the first year 
following the effective date of the AFFH final rule. Such targeted 
technical assistance is anticipated to mitigate burden due to the 
change in the AFH from the AI model which relied heavily on the Fair 
Housing Planning Guide that was last issued in the 1990s.

[[Page 42116]]

Small Entities
    HUD has adopted several important changes to reduce burden for 
small entities in particular. HUD's AFFH final rule includes a delay in 
the submission date for small entitlement jurisdictions, defined as 
jurisdictions receiving $500,000 or less in Fiscal Year (FY) 2015 CDBG 
funds, and small PHAs that are qualified PHAs (with respect to size are 
defined as PHAs with fewer than 550 units, including public housing and 
section 8 vouchers).
    The costs for entitlement jurisdictions receiving a small CDBG 
grant are included in the total burden estimate for this notice, even 
though they have a later AFH submission date and their costs will arise 
in later years. The burden estimate also allows that some qualified 
PHAs may choose to participate with entitlement jurisdictions that will 
use this Assessment Tool, which is the subject of this notice. However, 
because many such PHAs are located outside of metropolitan areas, HUD 
anticipates that these PHAs will choose, instead, to partner with a 
State. All program participants that are required to submit an AFH 
under the AFFH final rule are encouraged to partner with other entities 
to submit a joint AFH, or regional AFH.
    Also, as stated above, the estimated burden per program participant 
is an average within a wider range of actual costs. Smaller program 
participants will have much less total burden both in terms of staff 
hours and costs.
Encouraging Coordination
    All HUD program participants are greatly encouraged to issue joint 
AFHs and to consider regional cooperation. More coordination in the 
initial years between entitlement jurisdictions and PHAs will reduce 
total costs for both types of program participants in later years. In 
addition, combining and coordinating some elements of the Consolidated 
Plan and the PHA Plan will reduce total costs for both types of program 
participants. Completing an AFH in earlier years will also help reduce 
costs later, for instance by incorporating the completed analysis into 
later planning documents, such as the PHA plan, will help to better 
inform planning and goal setting decisions ahead of time.
    The Revised Assessment Tool is available at http://www.huduser.org/portal/affht_pt.html. Information on the estimated public reporting 
burdens is provided in the following table.

                                       Reporting and Recordkeeping Burden
----------------------------------------------------------------------------------------------------------------
                                                                                     Estimated
                                                    Number of                      average  time     Estimated
                                   Number of      responses per    Frequency of         for         burden  (in
                                 respondents *     respondent      response **      requirement       hours)
                                                                                  (in hours) ***
----------------------------------------------------------------------------------------------------------------
CFR Section Reference: Sec.    2,508 total                    1  Once every five  ..............  ..............
 5.154(d) (Assessment of Fair   entities (1,194                   years (or
 Housing).                      Entitlement                       three years in
                                Jurisdictions                     the case of 3-
                                and                               Year
                                approximately                     Consolidated
                                1,314 PHAs) *.                    Plans) **.
Entitlement Jurisdiction.....  1,194...........  ..............  ...............         *** 240         286,560
PHAs.........................  1,314 *.........  ..............  ...............        **** 120         157,680
                              ----------------------------------------------------------------------------------
    Total Burden.............  2,508...........         * 1,194  ...............  ..............         444,240
----------------------------------------------------------------------------------------------------------------
* This template is primarily designed for entitlement jurisdictions, of which there are approximately 1,194, and
  PHAs seeking to join with entitlement jurisdictions on a jointly submitted AFH. There are 3,942 PHAs and HUD
  estimates that approximately 1/3 of PHAs may seek to join with an entitlement jurisdiction and submit a joint
  AFH. The Total Number of responses is listed as 1,194 based on the number of entitlement jurisdictions that
  will submit AFHs using this Assessment Tool. The total hours and burden are based on the total estimated
  number of both types of program participants and the ``estimated average time'' listed for type of program
  participant.
** The timing of submission depends upon whether an entitlement jurisdiction submits its consolidated plan every
  3 years or every 5 years.
*** As noted in the explanatory text, this is an average within a range, with some AFH requiring either more or
  less time and effort based on jurisdiction size and complexity. The 240 hour estimate is an increase from the
  previous 200 hour estimate in the 60-Day PRA Notice, published on September 26, 2014. The increased time
  estimate takes into account public comments on the 60-Day Notice. For some joint participants, the division of
  hours may be higher or lower based on the program participant's areas of expertise, program operations or
  through mutual agreement.
**** PHAs participating in joint submissions using the Assessment Tool under this notice are assumed to have
  some fixed costs, including staff training, conducting community participation costs, but reduced costs for
  conducting the analysis in the assessment itself.

    In accordance with 5 CFR 1320.8(d)(1), HUD is specifically 
soliciting comment from members of the public and affected program 
participants on the Assessment Tool on the following:
    (1) Whether the proposed collection of information is necessary for 
the proper performance of the functions of the agency, including 
whether the information will have practical utility;
    (2) The accuracy of the agency's estimate of the burden of the 
proposed collection of information;
    (3) Ways to enhance the quality, utility, and clarity of the 
information to be collected;
    (4) Ways to minimize the burden of the collection of information on 
those who are to respond, including through the use of appropriate 
automated collection techniques or other forms of information 
technology, e.g., permitting electronic submission of responses;
    (5) Whether Option A or Option B of the Revised Assessment Tool 
would be the most effective and efficient way of conducting the 
analysis with respect to the selection of contributing factors. If one 
option is preferred over the other, please state the reasons for the 
preference;
    (6) While the Revised Assessment Tool was designed to set minimum 
AFH requirements as well as providing a straightforward process for HUD 
to review the AFH, how might program participants use the template to 
conduct broader collaborations including more comprehensive cross-
sector collaborations? How could the Revised Assessment Tool provide 
greater flexibility for participants to collaborate and expand upon the 
framework HUD has set in the Revised Assessment Tool? How could the 
Revised Assessment Tool allow program participants to incorporate 
better or additional data, alternative mapping tools, or other data 
presentations; and
    (7) Whether additional changes to the Revised Assessment Tool would 
better

[[Page 42117]]

facilitate regional collaboration among program participants.
    HUD encourages not only program participants but interested persons 
to submit comments regarding the information collection requirements in 
this proposal. Comments must be received by August 17, 2015 to 
www.regulations.gov as provided under the ADDRESSES section of this 
notice. Comments must refer to the proposal by name and docket number 
(FR-5173-N-05).

    Dated: July 13, 2015.
Camille E. Acevedo,
Associate General Counsel for Legislation and Regulations.
[FR Doc. 2015-17463 Filed 7-15-15; 8:45 am]
BILLING CODE 4210-67-P



                                              42108                          Federal Register / Vol. 80, No. 136 / Thursday, July 16, 2015 / Notices

                                              Approval Application, Form 92001–A,                      DEPARTMENT OF HOUSING AND                             public comment process every 3 years to
                                              can be downloaded from HUD’s Web                         URBAN DEVELOPMENT                                     retain OMB approval.
                                              site at: http://portal.hud.gov/hudportal/                                                                         With this 30-day notice, HUD is
                                              documents/huddoc?id=92001-a.pdf.                         [Docket No. FR–5173–N–05]                             publishing two formats of the same
                                                                                                                                                             assessment tool, each with the same
                                              VI. Evaluation of the Initiative                         Affirmatively Furthering Fair Housing                 content but slightly different
                                                                                                       Assessment Tool: Solicitation of                      organization. Specifically, the
                                                 One of the principal purposes of the                  Comment—30-Day Notice Under                           placement of the contributing factor
                                              Initiative is to determine whether, by                   Paperwork Reduction Act of 1995                       analysis is the only difference between
                                              providing Federal credit enhancement                                                                           the two formats of the assessment tool.
                                              for refinancing and rehabilitation of                    AGENCY:    Office of General Counsel,
                                                                                                       HUD.                                                  HUD is seeking comments on which
                                              small multifamily housing, the Initiative                                                                      format would be the most effective and
                                              is successful in increasing the flow of                  ACTION:   Notice.                                     efficient for program participants to use
                                              credit to small multifamily properties.                                                                        in conducting the required analysis of
                                                                                                       SUMMARY:   This notice solicits public
                                              HUD will, therefore, undertake an                                                                              contributing factors and related fair
                                                                                                       comment, for a period of 30 days,
                                              evaluation of the Initiative to determine                                                                      housing issues.
                                                                                                       consistent with the Paperwork
                                              the success of the Initiative and will                   Reduction Act of 1995 (PRA), on the                   DATES: Comment Due Date: August 17,
                                              expect participation by selected lenders.                Assessment Tool that would be                         2015.
                                              VII. Findings and Certifications                         provided by HUD for use by program                    ADDRESSES: Interested persons are
                                                                                                       participants in completing their                      invited to submit comments regarding
                                              A. Paperwork Reduction Act                               assessment of fair housing as required                this notice to the Regulations Division,
                                                                                                       by HUD’s Affirmatively Furthering Fair                Office of General Counsel, Department
                                                The information collection
                                                                                                       Housing (AFFH) rule. The purpose of                   of Housing and Urban Development,
                                              requirements contained in this                                                                                 451 7th Street SW., Room 10276,
                                                                                                       the assessment of fair housing (AFH) is
                                              document have been approved by the                       to aid HUD program participants in                    Washington, DC 20410–0500.
                                              Office of Management and Budget                          carrying out their statutory duty to                  Communications must refer to the above
                                              (OMB) under the Paperwork Reduction                      affirmatively further fair housing. The               docket number and title. There are two
                                              Act of 1995 (44 U.S.C. 3501–3520) and                    Assessment Tool is designed to guide                  methods for submitting public
                                              assigned OMB control number 2502–                        HUD program participants in                           comments. All submissions must refer
                                              0500 and 2502–0541. In accordance                        undertaking a more thorough evaluation                to the above docket number and title.
                                              with the Paperwork Reduction Act,                        of fair housing issues in their respective              1. Submission of Comments by Mail.
                                              HUD may not conduct or sponsor, and                      jurisdictions, and setting goals to                   Comments may be submitted by mail to
                                              a person is not required to respond to,                  overcome issues that are barriers, among              the Regulations Division, Office of
                                              a collection of information unless the                   other things, to fair housing choice and              General Counsel, Department of
                                              collection displays a currently valid                    opportunity. As stated in HUD’s                       Housing and Urban Development, 451
                                              OMB control number.                                      September 26, 2014, notice, this                      7th Street SW., Room 10276,
                                                                                                       Assessment Tool is designed primarily                 Washington, DC 20410–0500.
                                              B. Environmental Impact                                  for entitlement jurisdictions and for                   2. Electronic Submission of
                                                                                                       entitlement jurisdictions partnering                  Comments. Interested persons may
                                                 A Finding of No Significant Impact
                                                                                                       with public housing agencies to use in                submit comments electronically through
                                              (FONSI) with respect to the
                                                                                                       submitting an AFH. The ‘‘primary’’                    the Federal eRulemaking Portal at
                                              environment has been made for this                                                                             www.regulations.gov. HUD strongly
                                                                                                       design is also for local governments and
                                              notice in accordance with HUD                                                                                  encourages commenters to submit
                                                                                                       consortia required to submit
                                              regulations at 24 CFR part 50, which                                                                           comments electronically. Electronic
                                                                                                       consolidated plans under HUD’s
                                              implement Section 102(2)(C) of the                                                                             submission of comments allows the
                                                                                                       Consolidated Plan regulations. Although
                                              National Environmental Policy Act of                     in the September 26, 2014, notice, HUD                commenter maximum time to prepare
                                              1969 (42 U.S.C. 4332(2)(C)). The FONSI                   previously stated this assessment tool                and submit a comment, ensures timely
                                              is available for public inspection                       would not be used for regional                        receipt by HUD, and enables HUD to
                                              between 8 a.m. and 5 p.m. weekdays in                    collaborations, HUD believes that, given              make them immediately available to the
                                              the Regulations Division, Office of                      the changes made to this assessment                   public. Comments submitted
                                              General Counsel, Department of                           tool based on comments received, this                 electronically through the
                                              Housing and Urban Development,                           assessment tool can also be used for                  www.regulations.gov Web site can be
                                              4517th Street SW., Room 10276,                           regional collaborations.                              viewed by other commenters and
                                              Washington, DC 20410–0500. Due to                           The Assessment Tool published on                   interested members of the public.
                                              security measures at this HUD                            September 26, 2014 provided a 60-day                  Commenters should follow the
                                              Headquarters Building, an advance                        comment period, which commenced the                   instructions provided on that site to
                                              appointment to review the FONSI must                     notice and comment process required by                submit comments electronically.
                                              be scheduled by calling the Regulations                  the PRA. This 30-day notice completes                   Note: To receive consideration as public
                                              Division at 202–708–3055 (not a toll free                the public comment process required by                comments, comments must be submitted
                                              number).                                                 the PRA. With the issuance of this                    through one of the two methods specified
                                                                                                       notice, and following consideration of                above. Again, all submissions must refer to
                                                Dated: June 30, 2015.                                                                                        the docket number and title of the rule.
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                                                                                                       public comments received in response
                                              Edward L. Golding,                                       to this notice, HUD will seek approval                   No Facsimile Comments. Facsimile
                                              Principal Deputy Assistant Secretary for                 of the Assessment Tool from the Office                (fax) comments are not acceptable.
                                              Housing.                                                 of Management and Budget (OMB) and                       Public Inspection of Public
                                              [FR Doc. 2015–17464 Filed 7–15–15; 8:45 am]              assignment of an OMB control number.                  Comments. All properly submitted
                                              BILLING CODE 4210–67–P                                   In accordance with the PRA, the                       comments and communications
                                                                                                       Assessment Tool will undergo this                     submitted to HUD will be available for


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                                                                             Federal Register / Vol. 80, No. 136 / Thursday, July 16, 2015 / Notices                                                   42109

                                              public inspection and copying between                    online at www.huduser.org/portal/affht_               program participants—States, Insular
                                              8 a.m. and 5 p.m. weekdays at the above                  pt.html (under the heading Data                       Areas, qualified PHAs,2 and
                                              address. Due to security measures at the                 Methodology). HUD requested public                    jurisdictions receiving a small
                                              HUD Headquarters building, an advance                    comments on the categories, sources,                  Community Development Block Grant
                                              appointment to review the public                         and format of data that would be                      (CDBG) grant with the option of
                                              comments must be scheduled by calling                    provided by HUD to program                            submitting their first AFH at a date later
                                              the Regulations Division at 202–708–                     participants to assist them in                        than would otherwise be required for
                                              3055 (this is not a toll-free number).                   completing their AFH, and many                        other program participants. In addition
                                              Individuals who are deaf or hard of                      program participants responded with                   to proposing a staggered submission
                                              hearing and individuals with speech                      comments on the Data Documentation                    deadline, HUD had previously
                                              impairments may access this number                       paper.                                                announced that it would be developing
                                              via TTY by calling the Federal Relay                        The Assessment Tool that HUD issued                separate assessment tools for certain
                                              Service at 800–877–8339. Copies of all                   for public comment on September 26,                   types of program participants, including
                                              comments submitted are available for                     2014 (79 FR 57949) (Initial Assessment                States and insular areas, PHAs and
                                              inspection and downloading at                            Tool), and found at www.huduser.org/                  program participants submitting AFHs
                                              www.regulations.gov.                                     portal/affht_pt.html was, as HUD noted                in a regional collaboration.
                                                                                                       in the Summary of this notice, primarily
                                              FOR FURTHER INFORMATION CONTACT:                                                                               II. The 60-Day Notice and Initial
                                                                                                       designed for use by entitlement
                                              Camille E. Acevedo, Associate General                                                                          Assessment Tool
                                                                                                       jurisdictions and by entitlement
                                              Counsel for Legislation and Regulations,                                                                          In developing the assessment tool,
                                                                                                       jurisdictions and PHAs that are jointly
                                              Office of General Counsel, Department                                                                          HUD had four key objectives in mind.
                                                                                                       submitting an AFH. As further noted in
                                              of Housing and Urban Development,                                                                              First, the assessment tool must ask
                                                                                                       the Summary, the Assessment Tool,
                                              451 7th Street SW., Room 10282,                                                                                questions that would be sufficient to
                                                                                                       which was the subject of the September
                                              Washington, DC 20410–0500; telephone                                                                           enable program participants to perform
                                                                                                       26, 2014, notice and this notice, is also
                                              number 202–708–1793 (this is not a toll-                                                                       a meaningful assessment of key fair
                                                                                                       designed for use by local governments
                                              free number). Persons who are deaf or                                                                          housing issues and contributing factors 3
                                                                                                       and consortia required to submit
                                              hard of hearing and persons with speech                                                                        and set meaningful fair housing goals
                                                                                                       consolidated plans under HUD’s
                                              impairments may access this number                                                                             and priorities. Second, the assessment
                                                                                                       Consolidated Plan regulations, codified
                                              through TTY by calling the toll-free                                                                           tool must clearly convey the analysis of
                                                                                                       in 24 CFR part 91, specifically subparts
                                              Federal Relay Service at 800–877–8339.                                                                         fair housing issues and contributing
                                                                                                       C and E, which pertain to local
                                              SUPPLEMENTARY INFORMATION:                               governments and consortia.1 In this                   factors that program participants must
                                              I. Background                                            notice, HUD uses the term ‘‘entitlement               undertake in order for an AFH to be
                                                                                                       jurisdictions’’ to refer to all jurisdictions         accepted by HUD. Third, the assessment
                                                 On July 19, 2013, at 78 FR 43710,                                                                           tool must be designed so program
                                                                                                       for which this tool is primarily
                                              HUD published, for public comment, a                                                                           participants would be able to use it to
                                                                                                       designed.
                                              proposed rule entitled ‘‘Affirmatively                                                                         prepare an AFH that would be accepted
                                                                                                          In the September 26, 2014, notice
                                              Furthering Fair Housing’’ (AFFH). The                                                                          by HUD without unnecessary burden.
                                                                                                       HUD also advised that the Initial
                                              July 19, 2013, AFFH rule proposed a                                                                            Fourth, the assessment tool must
                                                                                                       Assessment Tool was not the tool that
                                              new approach that would enable                                                                                 facilitate HUD’s review of the AFHs
                                                                                                       would be used by the following program
                                              program participants to more fully                                                                             submitted by program participants,
                                                                                                       participants: PHAs that would not be
                                              incorporate fair housing considerations                                                                        since the Affirmatively Furthering Fair
                                                                                                       making a joint submission; States; and
                                              into their existing planning processes                                                                         Housing rule requires HUD to determine
                                                                                                       Insular Areas. While the Initial
                                              and assist them in complying with their                                                                        within a certain period of time whether
                                                                                                       Assessment Tool was tailored primarily
                                              duty to affirmatively further fair housing                                                                     to accept or not accept each AFH or
                                                                                                       for entitlement jurisdictions and joint
                                              as required by the Fair Housing Act                                                                            revised AFH submitted to HUD.
                                                                                                       submissions by entitlement jurisdictions
                                              (Title VIII of the Civil Rights Act) and                                                                          With these objectives in mind, HUD
                                                                                                       and PHAs, HUD invited comments by
                                              other authorities. The new process, the                                                                        issued the Initial Assessment Tool for
                                                                                                       all types of program participants, as it,
                                              Assessment of Fair Housing (AFH),                                                                              public comment for a period of 60 days.
                                                                                                       ‘‘present[ed] the basic structure of the
                                              builds upon and refines the prior fair                                                                         The 60-day notice then provided a
                                                                                                       Assessment Tool to be used by all
                                              housing planning process, called the                                                                           detailed description of the five main
                                                                                                       program participants, and is illustrative
                                              analysis of impediments (AI). As part of                                                                       sections of the Assessment Tool: Section
                                                                                                       of the questions that will be asked of all
                                              the new AFH process HUD advised that                                                                           I—Cover Sheet and Certification;
                                                                                                       program participants.’’
                                              it would issue an ‘‘Assessment Tool’’ for                   HUD followed the September 26,                     Section II—Executive Summary; Section
                                              use by program participants in                           2014, publication with a notice                       III—Community Participation Process;
                                              completing and submitting their AFHs.                    published on January 15, 2015, at 80 FR               Section IV—Analysis; and Section V—
                                              The Assessment Tool, which includes                      2062, which solicited public comment                  Fair Housing Goals and Priorities.
                                              instructions and nationally-uniform                      on a staggered submission deadline for                   In the 60-day notice, in addition to
                                              data provided by HUD, consists of a                      AFHs to be submitted for specific types               soliciting comment on the Initial
                                              series of questions designed to help                     of program participants. In the January               Assessment Tool overall, HUD
                                              program participants identify, among                     2015 notice, HUD advised that it was                  specifically solicited comments on the
                                              other things, areas of racially and                      considering providing certain HUD                     following topics:
                                              ethnically concentrated areas of poverty,
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                                              patterns of integration and segregation,                   1 In HUD’s AFFH proposed rule published on July       2 Section 2702 of title II of the Housing and

                                              disparities in access to opportunity, and                19, 2013, at 78 FR 43710, HUD noted that a            Economic Recovery Act (HERA) defined ‘‘qualified
                                              disproportionate housing needs.                          consortium participating in HUD’s HOME                PHAs’’ as PHAs that have fewer than 550 units,
                                                 At the time of publication of the July                Investment Partnerships program (HOME program),       including public housing and section 8 vouchers.
                                                                                                       and which term (consortium) is defined 24 CFR           3 The term ‘‘fair housing determinants’’ was
                                              19, 2013, AFFH proposed rule, HUD                        91.5, must submit an AFH. HUD stated that a           changed to ‘‘fair housing contributing factors’’ in
                                              also posted and sought public comment                    HOME consortium is considered a single unit of        the AFFH final rule. This notice therefore uses the
                                              on a draft ‘‘Data Documentation’’ paper                  general local government (see 78 FR at 43731).        term ‘‘fair housing contributing factors.’’



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                                              42110                          Federal Register / Vol. 80, No. 136 / Thursday, July 16, 2015 / Notices

                                                 1. The description of local data and                  III. Public Comments on the 60-Day                    and would likely result in the additional
                                              local knowledge;                                         Notice                                                burden of having to hire a consultant in
                                                 2. The clarity of the options for                                                                           order to complete the AFH.
                                                                                                          By the close of the comment period
                                              including information about the                                                                                  Commenters also stated that the
                                                                                                       on November 25, 2015, HUD received
                                              community participation in the AFH;                                                                            Initial Assessment Tool would be overly
                                                 3. The adequacy of the list of                        198 public comments. Commenters
                                                                                                                                                             and unnecessarily burdensome on
                                              determinants (now contributing factors)                  included PHAs, CDBG grantees,
                                                                                                                                                             States. While commenters stated that
                                              in order to produce a meaningful AFH;                    including States and local governments,
                                                                                                                                                             they understood there would be a
                                                 4. Aspects of the Publicly Supported                  advocacy groups, nonprofit                            separate assessment tool for States, they
                                              Housing (PSH) subsection, specifically:                  organizations, and various individuals.               nevertheless expressed concern with
                                              (a) The type of program participant                      All public comments received in                       having to analyze data that entitlement
                                              required to include project-level data in                response to the 60-day notice can be                  jurisdictions in their respective States
                                              tabular format for various categories of                 found at: http://www.regulations.gov/                 may have already analyzed in preparing
                                              PSH; (b) the formatting of the tables; (c)               #!documentDetail;D=HUD-2014-0080-                     their own AFHs. The commenters stated
                                              the most effective ways of providing                     0001. HUD appreciates the time and                    that States should not have to engage in
                                              assessment of project-level data in an                   effort of all the public commenters in                duplicative, redundant analyses.
                                              Assessment Tool used by States;                          preparing their comments. The                           Other commenter stated that they
                                                 5. Whether HUD inadvertently failed                   information was helpful and valuable.                 thought the Initial Assessment Tool
                                              to consider fair housing issues relating                    This section provides a summary of                 would clarify the ‘‘region’’ to be
                                              to individuals with disabilities by                      the most significant issues raised by                 analyzed by program participants
                                              considering Disability and Access issues                 commenters and HUD’s responses,                       because the rule did not provide
                                              separately;                                              including where HUD made changes to                   sufficient specificity.
                                                 6. The sufficiency and clarity of the                 the Assessment Tool.
                                              Initial Assessment Tool for addressing                                                                         Timing
                                                                                                       Overview of Significant Issues Raised
                                              additional fair housing issues and                                                                                Several commenters stated that the
                                              inability to answer questions due to a                     The majority of comments offered                    release of the Initial Assessment Tool is
                                              lack of data and whether HUD should                      positive and constructive                             premature. They stated that the AFFH
                                              include instructions on how to address                   recommendations for improving the                     rule should be finalized, the
                                              these issues;                                            Assessment Tool. Many commenters                      development of the other types of
                                                 7. The content of the tool, the clarity               provided suggestions for expanding                    assessment tools to be used should be
                                              of the questions, and areas of                           certain portions of the assessment tool               completed, and that HUD should wait to
                                              information that are included in the                     and for improving the questions and                   complete development of the
                                              tool, but that are unnecessary to conduct                analysis required. Many comments also                 Assessment Tool based on the recent
                                              a meaningful AFH, and areas that HUD                     raised concerns about the assessment                  disparate impact case and the upcoming
                                              may have overlooked that should be                       tool’s burden, the timing of introducing              Supreme Court case, which was heard
                                              included in the Initial Assessment Tool;                 a new analysis mechanism, the                         in early 2015 and decided June 25,
                                                 8. Whether the Initial Assessment                     reliability of the data to be provided,               2015. The Supreme Court ruled that the
                                              Tool can be used by program                              and its content and the impact on                     Fair Housing Act prohibits
                                              participants independently, without the                  specific types of program participants,               discrimination caused by policies or
                                              need to rely on outside contractors to                   including small entities, States, and                 practices that have an unjustified
                                              conduct an AFH;                                          others. The areas of concern identified               disparate impact because of race, color,
                                                 9. Any additional instructions that                   by the majority of commenters are                     religion, sex, familial status, national
                                              would be helpful;                                        discussed below.                                      origin, or disability. Texas Dep’t of
                                                 10. The costs associated with
                                                                                                       Burden                                                Hous. & Cmty Affairs v. Inclusive Cmtys
                                              gathering and analyzing data necessary
                                              for conducting an AFH;                                                                                         Project, No. 13–1371, 2015 U.S. LEXIS
                                                                                                         Many commenters stated that the                     4249 (June 25, 2015). In that decision,
                                                 11. Whether program participants                      Initial Assessment Tool imposes a
                                              anticipate using federal funds to                                                                              the Supreme Court also acknowledged
                                                                                                       significant burden on program                         ‘‘the Fair Housing Act’s continuing role
                                              complete an AFH;                                         participants in several ways. They
                                                 12. What strategies program                                                                                 in moving the Nation toward a more
                                                                                                       stated that the amount of time and                    integrated society.’’ Id. at *42.
                                              participants can use to reduce the cost
                                                                                                       resources required to complete the
                                              and burden of completing an AFH and                                                                            Data
                                                                                                       Initial Assessment Tool itself is unduly
                                              how to reduce costs of obtaining local
                                                                                                       burdensome, especially in light of the                   Commenters stated that the Initial
                                              data and local knowledge;
                                                 13. How do program participants                       amount of local data and local                        Assessment Tool requires too much
                                              envision joint participation in                          knowledge that program participants                   local data and local knowledge. Other
                                              completing the AFH;                                      must use. Commenters also stated that                 commenters took issue with the data
                                                 14. Whether the proposed collection                   the community participation process                   provided by HUD, stating that, in the
                                              of information is necessary for the                      could be very burdensome, especially                  past, HUD data has been inaccurate and
                                              proper performance of the agency and                     for jurisdictions such as an entire State.            out of date. Commenters stated that the
                                              whether it will have practical utility;                  Commenters stated that the additional                 HUD-provided data is unwieldy and
                                                 15. The accuracy of the agency’s                      time and resources required to conduct                difficult to understand. Several
                                              estimate of the burden of collecting the                 the type of community participation                   commenters specifically referred to the
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                                              information;                                             contemplated would be unduly                          efficacy of using dot density maps and
                                                 16. Ways to enhance the quality,                      burdensome. Commenters further stated                 the requirement that the analysis be
                                              utility, and clarity of the information to               that the amount of information, both                  conducted by neighborhood when the
                                              be collected; and                                        HUD-provided data supplemented by                     data is at the Census tract level.
                                                 17. Ways to minimize the burden of                    local data and local knowledge, and the                  Commenters stated that, assuming the
                                              the collection on those who are required                 number of questions, makes the Initial                HUD-provided data is reliable, the data
                                              to respond.                                              Assessment Tool unreasonably complex                  is most useful at the regional level, but


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                                                                             Federal Register / Vol. 80, No. 136 / Thursday, July 16, 2015 / Notices                                             42111

                                              will be inefficient for use by States.                   the Dissimilarity Index alone is                      expected to implement plans relating to
                                              Other commenters requested that the                      insufficient to fully understand                      fair housing.
                                              HUD-provided data include datasets of                    residential segregation patterns in a
                                                                                                                                                             III. This 30-Day Notice and Revised
                                              local information that are already                       community and region. The commenters
                                                                                                                                                             Assessment Tool
                                              available to HUD, so that program                        recommended that HUD include
                                              participants need not expend additional                  additional measures of segregation                    A. Changes to the Assessment Tool
                                              resources to gather such data.                           besides only providing the Dissimilarity
                                                                                                                                                             General Approach to Content
                                                                                                       Index.
                                              Content of the Assessment Tool                             Many commenters stated that the lack                   In response to public comment HUD
                                                 Several commenters stated that the                    of a section on ‘‘Action Steps’’ to be                has made several changes to the Initial
                                              Initial Assessment Tool is too                           taken by program participants weakens                 Assessment Tool, which HUD believes
                                              subjective, stating that the Initial                     the overall purpose of the AFH, and                   address many of the burden and content
                                              Assessment Tool makes an                                 inclusion of such a section would aid in              concerns expressed by the commenters.
                                              inappropriate leap from correlation to                   enforcement.                                          These changes have resulted in a
                                              causation. The commenters stated that                      Other commenters stated that the                    revised Assessment Tool (Revised
                                              there may be alternative causes for the                  Initial Assessment Tool lacked                        Assessment Tool) that is shorter in
                                              demographic makeup of a certain                          sufficient guidance for program                       length, contains fewer questions, and
                                              jurisdiction. Commenters requested that                  participants. The commenters requested                clarifies many of the questions that were
                                              HUD eliminate any questions in the                       that HUD define certain terms, add                    in the previous version, and reduces the
                                              Initial Assessment Tool requiring an                     clearer instructions, provide hands-on,               need for some duplicative analysis. The
                                              essay-type of response, which, the                       in-person training for completing the                 Revised Assessment Tool also includes
                                              commenters stated, only adds to the                      tool, and develop a helpline at HUD to                detailed instructions to further assist
                                              subjective nature of the analysis. These                 aid program participants in navigating                program participants in answering the
                                              commenters stated that they believe the                  the complexities of the tool and the data             questions in the AFH and guide them on
                                              Initial Assessment Tool will not achieve                 provided.                                             how to use the HUD-provided data. It
                                              its stated objective because it promotes                                                                       also includes an Appendix providing
                                                                                                       Small Entities, Joint Participation, and
                                              the creation of policy based on                                                                                further detail on each of the
                                                                                                       Local Control Issues
                                              incomplete, and often subjective,                                                                              Contributing Factors referenced in the
                                              information.                                                Commenters that are or that represent              tool.
                                                 Commenters stated that they found                     small PHAs and small jurisdictions                       HUD is also providing a link for
                                              the Initial Assessment Tool to be                        stated that the Initial Assessment Tool               program participants and the public to
                                              incomplete. These commenters stated                      would not be useful for them, and                     the Geospatial Mapping Tool (Data
                                              that HUD should be asking different                      would impose a significant burden.                    Tool), which contains interactive maps
                                              questions than those posed in the Initial                These commenters stated that one way                  and exportable tables. The Data Tool
                                              Assessment Tool, or should add                           to deal with this burden would be for                 also attempts to provide greater clarity
                                              questions to account for situations that                 HUD to encourage, or even require,                    in response to commenters’ concerns
                                              HUD may have overlooked. For                             program participants to complete the                  about the area of analysis, and provides
                                              example, several commenters expressed                    AFH jointly in order to reduce the costs              data for the region based on the program
                                              appreciation for the separate section in                 of the community participation process                participant’s Core-Based Statistical Area
                                              the Initial Assessment Tool dedicated to                 and the actual analysis conducted in the              (CBSA). The Data Tool will also be
                                              Disability and Access Issues. However,                   Initial Assessment Tool. In contrast,                 posted online at: http://
                                              other commenters stated that disability                  other commenters who stated they                      www.huduser.org/portal/affht_pt.html.
                                              should be a topic that is discussed                      would be willing to participate in                       The Data Tool contains the same data
                                              throughout the Initial Assessment Tool                   jointly submitting an AFH raised                      as that which was released on
                                              and not confined to one section.                         concerns about doing so and signing a                 September 26, 2014, with some minor
                                                 Other commenters stated that HUD                      joint certification. The commenters                   changes. Now, the data is accessible
                                              does not adequately take into account                    requested that HUD modify the                         through an interactive application on a
                                              the issues of housing opportunity and                    certification language because the                    Web-based interface. Additionally,
                                              equity affecting women, especially in                    commenters stated that they cannot                    Table 14 now includes two transit-
                                              terms of domestic and sexual violence                    attest to the veracity of the information             related indices.
                                              issues, and lesbian, gay, bisexual,                      provided by other program participants.                  HUD anticipates further changes to
                                              transgender (LGBT) individuals and                          In a similar vein, commenters, mostly              the Data Tool prior to its final release for
                                              families. Commenters stated that while                   States and local governments, expressed               use by program participants. Some of
                                              there is a lack of data on LGBT                          concern that the AFH will result in a                 those anticipated changes include:
                                              individuals and families at the national                 loss of local control and will interfere                 • Consolidating several redundant
                                              level, the next version of the assessment                with local decision-making. States and                tables;
                                              tool could provide a mechanism to                        local governments, and PHAs all                          • Modifications to improve the visual
                                              begin gathering such data. Commenters                    submitted comments relating to their                  presentation of the maps (i.e., contrast
                                              also made recommendations about                          respective scopes of authority with                   and sizes of dots and icons on maps);
                                              items that should be added to the list of                respect to assessing fair housing choice.                • Improved Data Tool functionality to
                                              contributing factors and suggested edits                 These commenters stated that the                      allow the user to better access data on:
                                              to the existing language in the Initial                  Assessment Tool appears to be asking                  (1) Locations and demographics of
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                                              Assessment Tool.                                         program participants to conduct an                    publicly supported housing
                                                 Several commenters raised concerns                    analysis and take actions beyond the                  developments, including census tracts;
                                              about the Dissimilarity Index. The                       scope of their authority in order to                  and (2) the ability to export maps and
                                              commenters stated that the next version                  implement plans to effect change with                 tables by the program participant for use
                                              of the assessment tool should use                        respect to fair housing. The commenters               during the community participation
                                              multiple measures of segregation,                        stated that they lack control over other              process and as part of the AFH
                                              because, according to the commenters,                    entities and, consequently, cannot be                 submission to HUD. The export


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                                              42112                          Federal Register / Vol. 80, No. 136 / Thursday, July 16, 2015 / Notices

                                              functionality would apply to both maps                   information and analysis regarding                    participant’s geographic areas of
                                              and tables. It would not only provide                    contributing factors. So long as program              analysis and that is relevant to the
                                              access to the data, but also allow users                 participants’ goals address significant               program participant’s AFH, is known or
                                              to filter and sort demographic data for                  contributing factors and related fair                 becomes known to the program
                                              both developments and census tracts by                   housing issues, and can be reasonably                 participant, and is necessary for the
                                              common characteristics. The                              expected to affirmatively further fair                completion of the AFH using the
                                              functionality would be similar to that in                housing, participants’ goals can vary.                Assessment Tool. The instructions in
                                              HUD’s CPD Maps tool. This is intended                      In the Initial Assessment Tool,                     the Revised Assessment Tool elaborate
                                              to reduce burden in using the HUD-                       separate questions that asked about                   on ‘‘information’’ as including laws and
                                              provided data to answer the required                     different protected classes have been                 policies, common neighborhood or area
                                              questions in the Assessment Tool while                   combined in the Revised Assessment                    names and borders, information about
                                              providing the data that will enable                      Tool into one question about all                      the housing market and housing stock.
                                              program participants to conduct                          protected classes for which data are                  Program participants are also required
                                              analyses required to identify key fair                   provided (for example, race, national                 to consider additional information
                                              housing issues;                                          origin, and limited English proficiency               obtained through the community
                                                 • Addition of maps to match updates                   (LEP)). With this change, program                     participation and consultation process
                                              in the Opportunity Indices;                              participants can now formulate one                    that is required by the rule.
                                                 • Additional datasets to correspond                   answer taking into account all of the                    Additional comments were received
                                              with the analysis in the Assessment                      data at one time, rather than provide                 on the Initial Assessment Tool
                                              Tool;                                                    two or three separate answers.                        requesting further instructions and
                                                 • Minor changes in terminology to                       In the Revised Assessment Tool, the                 guidance for program participants.
                                              match with the AFH Tool and final rule;                  wording of certain questions in the                   Accordingly, instructions have been
                                              and                                                      analysis section was improved to                      added to the Revised Assessment Tool.
                                                 • Minor changes in descriptions of                    remove unnecessary complexity and                     These instructions provide additional
                                              the data provided (i.e., ‘‘top 5’’                       hone the analysis to have the greatest                explanations on the use of local data
                                              becoming ‘‘5 most populous’’).                           impact. Several questions were                        and knowledge in addition to the HUD-
                                                 The Revised Assessment Tool                           reworded to avoid any interpretation                  provided data. The instructions link
                                              includes substantial revisions to the                    that HUD was asking program                           each question to the specific maps and
                                              questions that were in the Initial                       participants to prepare an ‘‘inventory’’              data tables that are relevant to that
                                              Assessment Tool. HUD has reduced the                     or long list of projects or developments.             question, along with additional
                                              total number of questions in the analysis                Other questions were revised because                  considerations or examples that
                                              section while improving the clarity and                  some program participants might                       program participants should keep in
                                              utility of the analysis that is required.                construe them to include unintended                   mind when answering. These
                                              The Initial Assessment Tool would have                   requests for unduly complex analyses.                 instructions add clarity and guidelines
                                              required contributing factors to be                      HUD found that other questions were                   for effective use of the assessment tool.
                                              identified twice, once separately and                    worded too broadly and left program                   Additionally, HUD is providing an
                                              again in answering the specific                          participants with uncertainty as to the               additional appendix in the Revised
                                              questions. The Revised Assessment Tool                   information needed. These questions                   Assessment Tool, Appendix C, which
                                              only requires that contributing factors                  were narrowed in scope. Throughout                    contains short explanations of each
                                              be identified once. The contributing                     the Assessment, HUD made an effort to                 contributing factor contained in the
                                              factors analysis has also been revised by                clarify questions so program                          Revised Assessment Tool.
                                              removing the previous requirement to                     participants would understand the                        The inclusion of instructions also
                                              list all contributing factors and then rate              question being asked and the analysis                 allows HUD to remove blocks of
                                              their degree of significance. In the                     sought.                                               references to maps and tables that were
                                              Revised Assessment Tool, program                           In response to commenters concerns                  included in various places in the Initial
                                              participants are required to identify                    that the requirement to obtain and use                Assessment Tool, and instead provides
                                              those contributing factors that                          local data was too burdensome, the                    a list and short description of the data
                                              significantly impact specific fair                       AFFH Final Rule clarifies that ‘‘local                that will be available on the Data Tool
                                              housing issues, and for the purposes of                  data’’ refer to ‘‘metrics, statistics, and            in Appendix A (maps) and Appendix B
                                              setting goals prioritize them, giving the                other quantified information, that are                (tables) of the Revised Assessment Tool.
                                              highest priority to those factors that                   subject to a determination of statistical             These references, while helpful, in some
                                              limit or deny fair housing choice or                     validity by HUD, relevant to the                      cases provided less guidance and had
                                              access to opportunity, or negatively                     program participant’s geographic areas                the effect of breaking up the flow of
                                              impact compliance with fair housing or                   of analysis,’’ and are data ‘‘that can be             questions, with the result that the
                                              civil rights law.                                        found through a reasonable amount of                  questions were difficult to comprehend
                                                 In the Revised Assessment Tool,                       searching, are readily available at little            and follow. By removing these
                                              program participants are asked to                        or no cost, and are necessary for the                 references and including instructions
                                              provide one overarching narrative to                     completion of the AFH using the                       HUD believes the Revised Assessment
                                              justify the prioritization of contributing               Assessment Tool.’’ This clarification is              Tool is clearer and easier to understand
                                              factors, rather than a separate                          based on the definition of local data                 and complete.
                                              explanation for each factor and that                     included in the final rule, and                          In response to the Initial Assessment
                                              factor’s level of significance as                        referenced in the instructions, as data               Tool, commenters requested more
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                                              presented in the Initial Assessment                      that is already available and easily                  clarity regarding joint submissions. The
                                              Tool. In addition, the requirement to                    accessible by the program participant, or             instructions in the Revised Assessment
                                              prioritize goals that was in the Initial                 data that can be made available at little             Tool specify that, when submitting
                                              Assessment Tool is removed in the                        or no cost. Local knowledge is also                   jointly, each program participant is
                                              Revised Assessment Tool. HUD expects                     defined in the AFFH final rule as                     responsible for identifying contributing
                                              that these changes will reduce burden                    information to be provided by the                     factors and setting goals within its
                                              while still providing the needed                         program participant that relates to the               jurisdiction; however, program


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                                                                             Federal Register / Vol. 80, No. 136 / Thursday, July 16, 2015 / Notices                                                     42113

                                              participants submitting jointly are                      Tool, R/ECAPS is moved to its own                     Publicly Supported Housing 4 Analysis
                                              permitted to set joint goals where                       separate subsection, and the questions
                                                                                                                                                                In the Revised Assessment Tool, HUD
                                              appropriate. The Initial Assessment                      are narrowed in scope to reflect this                 makes several revisions to this subtopic.
                                              Tool did not include this instruction.                   change.                                               Under ‘‘Publicly Supported Housing
                                              Cover Sheet                                                Also, in the context of segregation/                Location and Occupancy,’’ question ii,
                                                 HUD is committed to assisting                         integration, the Initial Assessment Tool              which in the Initial Assessment Tool
                                              program participants in completing                       considered the Dissimilarity Index a                  was on ‘‘the racial composition of
                                              their assessment tool in a manner that                   topic area, B.1, but did not provide                  occupants in publicly supported
                                              will allow them to make progress in                      sufficient guidance as to how this topic              housing in R/ECAPs,’’ is broadened in
                                              affirmatively furthering fair housing.                   was to be addressed. The Dissimilarity                the Revised Assessment Tool to
                                              While the Initial Assessment Tool                        Index is a method of analyzing the                    ‘‘publicly supported housing
                                              provided, at part I item 12, for                         degree of segregation or integration in a             demographics.’’ This revision
                                              ‘‘Departmental acceptance or rejection,’’                particular geographic area and serves as              recognizes that segregation in housing
                                              the Revised Assessment Tool refers, at                   an analytical tool rather than being a                can involve protected characteristics
                                              item 11, to ‘‘Departmental acceptance or                 distinct topic within the analysis. The               other than race.
                                              non-acceptance.’’ This change signifies                  instructions in the Revised Assessment                   Also under this subtopic, question iii,
                                              that rather than ending the submission                   Tool describe, in detail, how it should               iv, and v in the Initial Assessment Tool
                                              and review of the AFH, non-acceptance                    be appropriately used in conducting the               asked the same question about race or
                                              will result in a process in which HUD                    analysis.                                             ethnicity of residents of public housing,
                                              works with the program participant by                                                                          other HUD multifamily developments,
                                                                                                         In addition, the Revised Assessment                 and project-based Section 8 housing,
                                              explaining the reasons for non-
                                              acceptance and provides the program                      Tool removed B.2., the separate                       and Low-Income Housing Tax Credit
                                              participant with an opportunity to                       Geographic Analysis subtopic, because a               (LIHTC) housing. The Revised
                                              submit a revised AFH to address those                    geography-based analysis is already                   Assessment Tool streamlines these
                                              concerns.                                                required in the analysis of segregation/              questions into a single question to be
                                                                                                       integration and R/ECAPS (and, indeed,                 answered with respect to each of the
                                              Executive Summary                                        throughout the assessment tool), and a                four categories of housing. Additionally
                                                The Initial Assessment Tool only                       separate topic on geography is                        the question itself is streamlined by
                                              contained a heading of ‘‘Executive                       redundant in this context.                            removing a sentence about segregation
                                              Summary,’’ but did not include any                                                                             that would be redundant of an earlier
                                              further guidance for program                             R/ECAPs
                                                                                                                                                             question under the same topic, and the
                                              participants on what to include in the                     As previously discussed in this                     wording of the subtopic has been
                                              Executive Summary. The Revised                           notice, HUD has created a separate                    simplified to be more understandable.
                                              Assessment Tool explains and clarifies                   subsection for R/ECAPs, instead of                    HUD also determined that several
                                              the information that program                                                                                   questions relating to policies for various
                                                                                                       having the analysis be combined with
                                              participants should include in the                                                                             housing programs were more
                                                                                                       the Segregation/Integration analysis.
                                              Executive Summary.                                                                                             appropriately considered in the
                                                                                                       The Revised Assessment Tool contains
                                              Assessment of Past Goals and Actions                     questions specifically about R/ECAPs                  Contributing Factors analysis.
                                                                                                       and the questions have been narrowed                     The Revised Assessment Tool also
                                                The Initial Assessment Tool sought
                                              information, at the very end of the                      in scope from the Initial Assessment                  includes properties converted under the
                                              analysis, on past goals and actions,                     Tool.                                                 Rental Assistance Demonstration (RAD)
                                              asking ‘‘how has the experience . . .                                                                          in new question (1)(b)(iv)(A).
                                                                                                       Disparities in Access to Opportunity                     The Revised Assessment Tool also
                                              with past goals influenced the selection
                                              of current goals?’’ HUD proposes to                                                                            contains an analysis within the publicly
                                                                                                          In the Revised Assessment Tool, this
                                              place this information at the beginning                                                                        supported housing section of disparities
                                                                                                       topic is changed from the topic entitled              in access to opportunities for residents
                                              of the assessment rather than at the end,                ‘‘Disparities in Access to Community
                                              so that the assessment of current goals                                                                        of publicly supported housing.
                                                                                                       Assets and Exposure to Adverse
                                              can be informed by past experience.                      Community Factors’’ in the Initial                    Disability and Access Analysis
                                              Accordingly, the Revised Assessment                      Assessment Tool to ‘‘Disparities in
                                              Tool moves the assessment of past goals                                                                          The Revised Assessment Tool
                                                                                                       Access to Opportunity.’’ Instead of two               removes an instruction that was
                                              and actions to Section IV, immediately                   separate topics on disparities in access
                                              prior to the analysis.                                   to community assets and exposure to                      4 The term ‘‘publicly supported housing’’ refers to
                                              Analysis                                                 adverse community factors, the Revised                housing assisted with funding through federal,
                                              Segregation/Integration                                  Assessment Tool combines the                          state, or local agencies or programs as well as
                                                                                                       questions under these topics under a                  housing that is financed or administered by or
                                                The Revised Assessment Tool                                                                                  through any such agencies or programs. HUD is
                                                                                                       single heading. HUD has also                          currently providing data on five specific categories
                                              simplifies this topic, which in the Initial              consolidated and streamlined questions,               of housing: Public Housing; Project-Based Section
                                              Assessment Tool included segregation,                    including those on access to jobs, access             8; other HUD multifamily housing (including
                                              integration, and racially and ethnically                 to transportation, and exposure to                    Section 202—Supportive Housing for the Elderly,
                                              concentrated areas of poverty (R/                                                                              Section 811—Supportive Housing for Persons with
                                                                                                       poverty and environmental health                      Disabilities, and other multifamily assisted
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                                              ECAPS) under one heading. However,                       hazards.                                              properties); Low Income Housing Tax Credit
                                              since segregated neighborhoods may be                                                                          (LIHTC) housing; and Housing Choice Vouchers
                                              R/ECAPs, but are not always R/ECAPS,                     Disproportionate Housing Needs                        (HCV). Other publicly supported housing relevant
                                              the same analysis may not apply equally                                                                        to the analysis includes housing funded through
                                              to segregation/integration and R/ECAPS.                    In the Revised Assessment Tool, HUD                 state and local programs, other federal agencies,
                                                                                                                                                             such as USDA and VA, or other HUD-funded
                                              In order to facilitate the analysis in                   has consolidated certain questions in                 housing not captured in the five categories listed
                                              these cases, in the Revised Assessment                   this section to eliminate duplication.                above.



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                                              42114                          Federal Register / Vol. 80, No. 136 / Thursday, July 16, 2015 / Notices

                                              included in the Initial Assessment Tool                  in Olmstead v. L.C., 527 U.S. 581                     Resources Analysis. For the last three
                                              that read:                                               (1999).5                                              sections of analysis, program
                                                 There are limited sources of nationally                                                                     participants are instructed to note
                                                                                                       Fair Housing Enforcement, Outreach
                                              consistent data on the extent to which                                                                         which fair housing issue(s)
                                                                                                       Capacity, and Resources Analysis
                                              individuals with different types of                                                                            (Segregation/Integration, R/ECAPs,
                                              disabilities are able to access housing and                 This section, which was titled ‘‘Fair              Disparities in Access to Opportunity,
                                              community assets. To complete this section,              Housing Compliance and                                and Disproportionate Housing Needs)
                                              program participants should solicit input                Infrastructure’’ in the Initial Assessment            the selected contributing factor impacts.
                                              from individuals with disabilities and                   Tool, has been abbreviated through the                It is unnecessary to do this step for the
                                              disability advocates, who often have the most            elimination of a question and the                     first four sections of Option B because
                                              relevant information on these topics.                    questions associated with the                         of the placement of the more discrete
                                              This instruction was included in the                     contributing factors, and has been                    contributing factor lists after each of
                                              Initial Assessment Tool to help explain                  renamed in the Revised Assessment                     those sections. Program participants are
                                              why HUD was placing Disability and                       Tool.                                                 also required to include any other
                                              Access Issues in a separate section of                   Contributing Factors                                  contributing factors impacting fair
                                              the AFH analysis. However, HUD                                                                                 housing issues in their jurisdiction or
                                              recognizes that this instruction in the                     As noted in the Summary above, HUD
                                                                                                                                                             region that are not included in the
                                              Initial Assessment Tool may have been                    is providing two formats of the Revised
                                                                                                                                                             provided lists.
                                                                                                       Assessment Tool for public comment.
                                              confusing to some public commenters                                                                               Both formats of the Revised
                                                                                                       The two formats do not differ in content
                                              and may have suggested that extra                                                                              Assessment Tool also contain short
                                                                                                       or analysis required by the assessment
                                              efforts to obtain local data and local                                                                         explanations of all the listed
                                                                                                       tool, but do differ with respect to where
                                              knowledge would be required to                                                                                 contributing factors in Appendix C.
                                                                                                       the analysis of contributing factors
                                              complete the Disability and Access                                                                             These explanations provide program
                                                                                                       occurs.
                                              Issues section of the assessment tool. To                   Option A of the Revised Assessment                 participants with additional guidance
                                              eliminate the potential confusion that                   Tool provides a categorized list of the               about each contributing factor, which
                                              this instruction may have caused, the                    most common contributing factors                      may enable program participants to
                                              instruction in the Revised Assessment                    relating to all fair housing issues (but it           make more informed selections of
                                              Tool identifies specific questions for                   is not an exhaustive list of all possible             contributing factors when conducting
                                              which HUD provides data as well as                       contributing factors) in one location                 their analyses.
                                              those questions for which HUD does not                   following the analysis sections of                    Fair Housing Goals and Priorities
                                              have data. There is no requirement in                    Segregation/Integration, R/ECAPs,
                                              the Disability and Access Issues section                 Disparities in Access to Opportunity,                    The Initial Assessment Tool
                                              for program participants to make an                      and Disproportionate Housing Needs.                   contained a table that seemed confusing,
                                              extra effort to obtain specific local data.              The same categorized list of                          as well as subjective questions that
                                              Instead, as required in all sections of the              contributing factors also follows each of             related to the selection and
                                              Assessment Tool, program participants                    the following sections: Publicly                      prioritization of contributing factors
                                              are only required to obtain and use local                Supported Housing Analysis; Disability                (then called determinants) and goals.
                                              data that can be found through a                         and Access Analysis; and Fair Housing                 The Revised Assessment Tool provides
                                              reasonable amount of search and are                      Enforcement, Outreach Capacity, and                   program participants with additional
                                              readily available at little or no cost.                  Resources Analysis. In identifying                    guidance on how to prioritize
                                                 The Disability and Access Analysis                    contributing factors, program                         contributing factors, creating a more
                                              section has been streamlined in the                      participants are instructed to note                   objective framework for analysis.
                                              Revised Assessment Tool. A question on                   which fair housing issue(s)                           Additionally, the requirement that goals
                                              ‘‘the principal challenges faced by                      (Segregation/Integration, R/ECAPs,                    also be prioritized has been removed.
                                              persons with disabilities in the                         Disparities in Access to Opportunity,                 The Revised Assessment Tool provides
                                              Jurisdiction and Region’’ has been                       and Disproportionate Housing Needs)                   a new table for program participants to
                                              removed, as that question is answered                    the selected contributing factor impacts.             use when setting goals. The table is
                                              by the discussion of the disparities in                  Program participants must also include                designed to make it easier for program
                                              access to opportunity and the                            any other contributing factors impacting              participants to set goals as required by
                                              contributing factors within the same                     fair housing issues in their jurisdiction             the AFFH final rule.
                                              section. Additionally, the list of                       or region that are not included in the                IV. Findings and Certifications
                                              opportunity indicators (in the context of                provided lists.
                                              disparities in access to opportunity) is                    Option B of the Revised Assessment                 Paperwork Reduction Act
                                              streamlined in the Revised Assessment                    Tool contains more discrete lists of the                With HUD’s decision to prepare
                                              Tool.                                                    most common contributing factors (but                 program participant-specific assessment
                                                 In the list of ‘‘Disability and Access                each list is not an exhaustive list of all            tools, the information collection burden
                                              Issues Contributing Factors,’’ a new item                possible contributing factors) after each             addressed in this notice is limited to
                                              on ‘‘State or local laws, policies, or                   section of analysis: Segregation/                     this assessment tool that has been
                                              practices that discourage individuals                    Integration, R/ECAPs, Disparities in                  designed for entitlement jurisdictions
                                              with disabilities from being placed in or                Access to Opportunity, Disproportionate               and the possibility of program
                                              living in apartments, family homes, and                  Housing Needs, Publicly Supported                     participants seeking to collaborate
                                              other integrated settings’’ is added in                  Housing Analysis, Disability and Access
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                                                                                                                                                             regionally on an AFH. The public
                                              the Revised Assessment Tool. This                        Analysis, and Fair Housing                            reporting is estimated to include the
                                              addition recognizes that there can be                    Enforcement, Outreach Capacity, and                   time for reviewing the instructions,
                                              laws, policies, or practices affecting                                                                         searching existing data sources,
                                                                                                          5 HUD’s Statement on the Role of Housing in
                                              persons with disabilities other than land                                                                      gathering and maintaining the data
                                                                                                       Accomplishing the Goals of Olmstead can be found
                                              use and zoning laws, especially in the                   at http://portal.hud.gov/hudportal/documents/         needed, and completing and reviewing
                                              context of the Supreme Court’s decision                  huddoc?id=OlmsteadGuidnc060413.pdf.                   the collection of information.


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                                                                             Federal Register / Vol. 80, No. 136 / Thursday, July 16, 2015 / Notices                                            42115

                                                 As HUD is furnishing a significant                    process as compared to the previous,                  Staggered submission delays the
                                              amount of data directly to the program                   often cumbersome AI process.                          application of the AFFH final rule for
                                              participants, the burden in completing                                                                         certain program participants, such as
                                                                                                       Changes in Estimate From the 60-Day
                                              the Assessment Tool is reduced. Where                                                                          States, Insular Areas, and PHAs that opt
                                                                                                       PRA Notice
                                              HUD is not providing data, as noted                                                                            to submit their own AFH without an
                                              earlier in this preamble, program                           Compared to previous hour/burden                   entitlement jurisdiction partner. In
                                              participants are to consider and in some                 estimate in the 60-day notice, several                addition, because of the Consolidated
                                              cases utilize local data and local                       key changes, as discussed above, were                 Plan cycle, a relatively small group of
                                              knowledge that is available or can be                    made in an effort to reduce the burden                program participants will submit an
                                              found at little or no cost. This refers to               of the analysis required in the                       AFH within the first year following the
                                              data already publicly available and                      assessment. Changes in the                            effective date of the AFFH final rule, but
                                              reasonably easy to access. This does not                 methodology for the estimate of total                 the majority of program participants
                                              refer to obscure data that may not be                    burden compared to the estimate in the                will be submitting their AFH in later
                                              known or easily found, that requires an                  60-day notice are discussed here below.               years. For program participants that will
                                              independent data or information                             In addition, HUD is revising the
                                                                                                                                                             submit an AFH in later years, HUD
                                              collection effort such as a local survey                 estimate of how many program
                                                                                                                                                             anticipates taking additional steps to
                                              or that requires extensive analytical                    participants will employ this version of
                                                                                                       the Assessment Tool, by lowering the                  reduce regulatory burden, which may
                                              expertise or staff effort, for instance, in                                                                    include dissemination of best practices
                                              manipulating data sets or developing a                   estimate of the number of PHAs that
                                                                                                       will likely engage in joint collaboration             obtained from the first round of AFH
                                              complex methodology for analyzing                                                                              submissions.
                                              complex data that may be available.                      with block grant entitlement
                                              With the data that HUD provides for use                  jurisdictions from one-half of all PHAs                  Assuming approximately the same
                                              with the Assessment Tool                                 to approximately one-third of all PHAs.               number of PHAs choose to partner with
                                              supplemented by available local data                     Many PHAs will however continue to                    entitlement jurisdictions in the first
                                              and local knowledge, HUD does not                        engage in joint participation for the                 round of AFH submissions (joint AFH),
                                              anticipate the need for any program                      completion of the AFH, for instance by                the burden estimate for completing an
                                              participant to turn to outside                           partnering with a State entity,                       AFH would increase somewhat, to take
                                              consultants to collect data and conduct                  particularly in the case of small PHAs                into account some additional effort for
                                              the assessment.                                          who are located outside the geographic                community participation and goal
                                                 In addition, local knowledge may be                   area of an entitlement jurisdiction.                  setting. However, the cost of conducting
                                              supplemented with information                               In addition to the changes discussed,              the analysis would be shared. For
                                              received through the public                              HUD has also increased its estimate of                instance, PHAs could conduct the
                                              participation process. In such cases,                    the burden involved in completing an                  portion of the assessment related to
                                              program participants retain the                          AFH using this Assessment Tool. While                 publicly supported housing, with the
                                              discretion to consider data or                           the Revised Assessment Tool has been                  entitlement jurisdiction conducting the
                                              information collected through this                       streamlined compared to the Initial                   bulk of the remainder of the analysis.
                                              process as well as the manner in which                   Assessment Tool, many public                          There would be some costs for the two
                                              it may be incorporated into the AFH,                     comments were received during the 60-                 types of program participants to
                                              whether in the Section V (Analysis) or                   day public comment period stating that                coordinate and communicate with each
                                              Section III (Community Participation                     the 200-hour per program participant                  other, but in general total costs are
                                              Process) of the AFH, with an option to                   estimate as too low. Accordingly, HUD                 expected to be less than if each program
                                              include extensive or lengthy comments                    has increased this to 240 hours per                   participant chose to complete their own
                                              in appendices or attachments. In short,                  entitlement jurisdiction submitting an                separate AFH.
                                              the receipt of extensive public                          AFH. However, it is not likely that all
                                                                                                                                                                Using the estimated hours of the effort
                                              comments may require staff effort to                     entities participating together will all
                                                                                                                                                             required by type of program participant,
                                              review and consider input but would                      incur the full cost as they would if they
                                                                                                                                                             and assuming approximately 25
                                              not result in a mandate to incur                         were submitting an AFH separately.
                                                                                                                                                             entitlement jurisdictions will partner
                                              substantial additional costs and staff                   Thus, the hour estimate for PHA
                                                                                                                                                             with 25 PHAs to submit joint AFHs, the
                                              hours to do so. To the contrary, the                     partners using this Assessment Tool is
                                                                                                                                                             first year’s burden would be
                                              public participation process should be                   estimated at 120 hours, which would
                                                                                                                                                             approximately 9,000 total hours (6,000
                                              viewed as a tool to acquire additional                   include fixed costs (e.g. staff training,
                                                                                                                                                             for 25 entitlement jurisdictions and
                                              information to reduce burden.                            conducting community participation,
                                                                                                                                                             3,000 for 25 PHAs). This estimate is
                                                 It is also important to note that the                 setting PHA goals) but includes reduced
                                                                                                                                                             included within the total estimated
                                              estimate of burden, in terms of staff                    costs for performing the entirety of the
                                                                                                                                                             burden.
                                              hours and costs, is not an estimate of net               assessment itself. It is also foreseeable
                                              new costs. That is, the cost of                          that many entities will choose to divide                 HUD has committed to provide
                                              conducting the existing AI that was a                    responsibilities differently based on                 technical assistance to program
                                              legal obligation prior to the AFFH final                 their local characteristics and that the              participants in completing their AFHs,
                                              rule, and which is now replaced by the                   split of hours used for the overall                   and HUD anticipates targeted technical
                                              AFH, is not deducted from the new                        estimate may vary in many cases.                      assistance for the relatively small
                                              estimate. Costs for conducting the AI for                                                                      number of program participants that
                                              entitlement jurisdictions varied                         Costs in the First Year                               would be required to submit an AFH in
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                                              substantially and often involved costs                      Approximately 25 entitlement                       the first year following the effective date
                                              for hiring consultants and outside                       jurisdictions will be required to submit              of the AFFH final rule. Such targeted
                                              parties to conduct the AI. HUD is                        an AFH in the summer and fall of 2016.                technical assistance is anticipated to
                                              making substantial effort and                            In recognition of the need to mitigate                mitigate burden due to the change in the
                                              investment, by providing the data and                    any new burden associated with this                   AFH from the AI model which relied
                                              mapping tool and ongoing technical                       effort, the AFFH final rule provides for              heavily on the Fair Housing Planning
                                              assistance to improve the entire AFH                     staggered submission of AFHs.                         Guide that was last issued in the 1990s.


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                                              42116                                 Federal Register / Vol. 80, No. 136 / Thursday, July 16, 2015 / Notices

                                              Small Entities                                                       jurisdictions that will use this                                            and to consider regional cooperation.
                                                 HUD has adopted several important                                 Assessment Tool, which is the subject of                                    More coordination in the initial years
                                              changes to reduce burden for small                                   this notice. However, because many                                          between entitlement jurisdictions and
                                              entities in particular. HUD’s AFFH final                             such PHAs are located outside of                                            PHAs will reduce total costs for both
                                              rule includes a delay in the submission                              metropolitan areas, HUD anticipates                                         types of program participants in later
                                              date for small entitlement jurisdictions,                            that these PHAs will choose, instead, to                                    years. In addition, combining and
                                              defined as jurisdictions receiving                                   partner with a State. All program                                           coordinating some elements of the
                                              $500,000 or less in Fiscal Year (FY)                                 participants that are required to submit                                    Consolidated Plan and the PHA Plan
                                              2015 CDBG funds, and small PHAs that                                 an AFH under the AFFH final rule are                                        will reduce total costs for both types of
                                              are qualified PHAs (with respect to size                             encouraged to partner with other                                            program participants. Completing an
                                              are defined as PHAs with fewer than                                  entities to submit a joint AFH, or                                          AFH in earlier years will also help
                                              550 units, including public housing and                              regional AFH.                                                               reduce costs later, for instance by
                                              section 8 vouchers).                                                   Also, as stated above, the estimated                                      incorporating the completed analysis
                                                 The costs for entitlement jurisdictions                           burden per program participant is an                                        into later planning documents, such as
                                              receiving a small CDBG grant are                                     average within a wider range of actual                                      the PHA plan, will help to better inform
                                              included in the total burden estimate for                            costs. Smaller program participants will                                    planning and goal setting decisions
                                              this notice, even though they have a                                 have much less total burden both in                                         ahead of time.
                                              later AFH submission date and their                                  terms of staff hours and costs.                                               The Revised Assessment Tool is
                                              costs will arise in later years. The                                                                                                             available at http://www.huduser.org/
                                                                                                                   Encouraging Coordination
                                              burden estimate also allows that some                                                                                                            portal/affht_pt.html. Information on the
                                              qualified PHAs may choose to                                           All HUD program participants are                                          estimated public reporting burdens is
                                              participate with entitlement                                         greatly encouraged to issue joint AFHs                                      provided in the following table.

                                                                                                                REPORTING AND RECORDKEEPING BURDEN
                                                                                                                                                                                                                         Estimated
                                                                                                                                           Number of                                                                      average                   Estimated
                                                                                                        Number of                        responses per                 Frequency of response **                           time for                    burden
                                                                                                      respondents *                        respondent                                                                  requirement                  (in hours)
                                                                                                                                                                                                                       (in hours) ***

                                              CFR Section Reference:                       2,508 total entities (1,194                                        1     Once every five years (or                         ........................   ........................
                                               § 5.154(d) (Assessment of                     Entitlement Jurisdictions                                                 three years in the case of
                                               Fair Housing).                                and approximately 1,314                                                   3-Year Consolidated
                                                                                             PHAs) *.                                                                  Plans) **.
                                              Entitlement Jurisdiction ..........          1,194 .....................................   ........................   ...............................................               *** 240                  286,560
                                              PHAs .....................................   1,314 * ..................................    ........................   ...............................................              **** 120                  157,680

                                                    Total Burden ...................       2,508 .....................................               * 1,194        ...............................................   ........................             444,240
                                                 * This template is primarily designed for entitlement jurisdictions, of which there are approximately 1,194, and PHAs seeking to join with entitle-
                                              ment jurisdictions on a jointly submitted AFH. There are 3,942 PHAs and HUD estimates that approximately 1/3 of PHAs may seek to join with
                                              an entitlement jurisdiction and submit a joint AFH. The Total Number of responses is listed as 1,194 based on the number of entitlement jurisdic-
                                              tions that will submit AFHs using this Assessment Tool. The total hours and burden are based on the total estimated number of both types of
                                              program participants and the ‘‘estimated average time’’ listed for type of program participant.
                                                 ** The timing of submission depends upon whether an entitlement jurisdiction submits its consolidated plan every 3 years or every 5 years.
                                                 *** As noted in the explanatory text, this is an average within a range, with some AFH requiring either more or less time and effort based on ju-
                                              risdiction size and complexity. The 240 hour estimate is an increase from the previous 200 hour estimate in the 60-Day PRA Notice, published
                                              on September 26, 2014. The increased time estimate takes into account public comments on the 60-Day Notice. For some joint participants, the
                                              division of hours may be higher or lower based on the program participant’s areas of expertise, program operations or through mutual agree-
                                              ment.
                                                 **** PHAs participating in joint submissions using the Assessment Tool under this notice are assumed to have some fixed costs, including staff
                                              training, conducting community participation costs, but reduced costs for conducting the analysis in the assessment itself.


                                                In accordance with 5 CFR                                             (4) Ways to minimize the burden of                                        straightforward process for HUD to
                                              1320.8(d)(1), HUD is specifically                                    the collection of information on those                                      review the AFH, how might program
                                              soliciting comment from members of the                               who are to respond, including through                                       participants use the template to conduct
                                              public and affected program                                          the use of appropriate automated                                            broader collaborations including more
                                              participants on the Assessment Tool on                               collection techniques or other forms of                                     comprehensive cross-sector
                                              the following:                                                       information technology, e.g., permitting                                    collaborations? How could the Revised
                                                                                                                   electronic submission of responses;                                         Assessment Tool provide greater
                                                (1) Whether the proposed collection
                                              of information is necessary for the                                    (5) Whether Option A or Option B of                                       flexibility for participants to collaborate
                                              proper performance of the functions of                               the Revised Assessment Tool would be                                        and expand upon the framework HUD
                                              the agency, including whether the                                    the most effective and efficient way of                                     has set in the Revised Assessment Tool?
                                              information will have practical utility;                             conducting the analysis with respect to                                     How could the Revised Assessment
                                                                                                                   the selection of contributing factors. If
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                                                                                                                                                                                               Tool allow program participants to
                                                (2) The accuracy of the agency’s                                   one option is preferred over the other,                                     incorporate better or additional data,
                                              estimate of the burden of the proposed                               please state the reasons for the                                            alternative mapping tools, or other data
                                              collection of information;                                           preference;                                                                 presentations; and
                                                (3) Ways to enhance the quality,                                     (6) While the Revised Assessment
                                              utility, and clarity of the information to                                                                                                          (7) Whether additional changes to the
                                                                                                                   Tool was designed to set minimum AFH
                                              be collected;                                                        requirements as well as providing a                                         Revised Assessment Tool would better



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                                                                             Federal Register / Vol. 80, No. 136 / Thursday, July 16, 2015 / Notices                                                 42117

                                              facilitate regional collaboration among                  submit comments electronically through                administrative fee formula, and any
                                              program participants.                                    the Federal eRulemaking Portal at                     other issues that may arise with the
                                                HUD encourages not only program                        www.regulations.gov. HUD strongly                     development and implementation of a
                                              participants but interested persons to                   encourages commenters to submit                       new administrative fee formula.
                                              submit comments regarding the                            comments electronically. Electronic                     In the June 26, 2015 notice, HUD
                                              information collection requirements in                   submission of comments allows the                     established a comment due date of July
                                              this proposal. Comments must be                          commenter maximum time to prepare                     27, 2015. In response to recent requests
                                              received by August 17, 2015 to                           and submit comments, ensures timely                   for additional time to submit comments,
                                              www.regulations.gov as provided under                    receipt by HUD, and enables HUD to                    HUD believes an extension of the
                                              the ADDRESSES section of this notice.                    make them immediately available to the                deadline would provide the time
                                              Comments must refer to the proposal by                   public. Comments submitted                            needed for interested parties to submit
                                              name and docket number (FR–5173–N–                       electronically through the                            comments. Therefore, HUD is
                                              05).                                                     www.regulations.gov Web site can be                   announcing through this notice an
                                                Dated: July 13, 2015.                                  viewed by other commenters and                        extended comment period, for an
                                              Camille E. Acevedo,
                                                                                                       interested members of the public.                     additional 15-day period, to August 11,
                                                                                                       Commenters should follow the                          2015.
                                              Associate General Counsel for Legislation and
                                              Regulations.
                                                                                                       instructions provided on that site to                   Dated: July 13, 2015.
                                                                                                       submit comments electronically.                       Camille Acevedo,
                                              [FR Doc. 2015–17463 Filed 7–15–15; 8:45 am]
                                              BILLING CODE 4210–67–P
                                                                                                         Note: To receive consideration as public            Associate General Counsel for Legislation and
                                                                                                       comments, comments must be submitted                  Regulations.
                                                                                                       through one of the two methods specified              [FR Doc. 2015–17462 Filed 7–15–15; 8:45 am]
                                                                                                       above. All submissions must refer to the
                                              DEPARTMENT OF HOUSING AND                                docket number and title of the rule.                  BILLING CODE 4210–67–P
                                              URBAN DEVELOPMENT
                                                                                                          No Facsimile Comments. Facsimile
                                              [Docket No. FR–5874–N–02]                                (fax) comments are not acceptable.
                                                                                                          Public Inspection of Public                        DEPARTMENT OF THE INTERIOR
                                              HUD Administrative Fee Formula—                          Comments. All properly submitted
                                              Extension of Public Comment                                                                                    Fish and Wildlife Service
                                                                                                       comments and communications
                                                                                                       submitted to HUD will be available for                [FWS–R6–ES–2015–N112];
                                              AGENCY:  Office of the Assistant
                                                                                                       public inspection and copying between                 [FXES11130600000–156–FF06E00000]
                                              Secretary for Policy Development and
                                              Research, HUD.                                           8 a.m. and 5 p.m. eastern time,
                                                                                                                                                             Endangered and Threatened Wildlife
                                              ACTION: Notice: Extension of public                      weekdays, at the above address. Due to
                                                                                                                                                             and Plants; Draft Recovery Plan for the
                                              comment period.                                          security measures at the HUD
                                                                                                                                                             Salt Creek Tiger Beetle
                                                                                                       Headquarters building, an advance
                                              SUMMARY:    On June 26, 2015, HUD                        appointment to review the public                      AGENCY:   Fish and Wildlife Service,
                                              published a notice in the Federal                        comments must be scheduled by calling                 Interior.
                                              Register entitled ‘‘HUD Administrative                   the Regulations Division at 202–708–                  ACTION: Notice of document availability
                                              Fee Formula–Solicitation of Comment,’’                   3055 (this is not a toll-free number).                for review and comment.
                                              inviting public comment through July                     Individuals with speech or hearing
                                              27, 2015. This document announces that                   impairments may access this number                    SUMMARY:   The U.S. Fish and Wildlife
                                              HUD is extending the public comment                      through TTY by calling the Federal                    Service (Service) announces the
                                              period, for an additional 15-day period,                 Relay Service, toll free, at 800–877–                 availability of a draft recovery plan for
                                              to August 11, 2015.                                      8339. Copies of all comments submitted                the Salt Creek Tiger Beetle. This species
                                              DATES: Comment Due Date: For the                         are available for inspection and                      is federally listed as endangered under
                                              notice published on June 26, 2015 (80                    downloading at www.regulations.gov.                   the Endangered Species Act of 1973, as
                                              FR 36832), the comment due date is                       FOR FURTHER INFORMATION CONTACT:                      amended (Act). The Service solicits
                                              extended to August 11, 2015.                             Todd Richardson, Associate Deputy                     review and comment from the public on
                                                                                                       Assistant Secretary for Policy                        this draft plan.
                                              ADDRESSES: Interested persons are
                                                                                                       Development, Office of Policy                         DATES: Comments on the draft recovery
                                              invited to submit comments regarding
                                                                                                       Development and Research, Department                  plan must be received on or before
                                              this rule to the Regulations Division,
                                                                                                       of Housing and Urban Development,                     September 14, 2015.
                                              Office of General Counsel, 451 7th
                                              Street SW., Room 10276, Department of                    451 7th Street SW., Room 8106,                        ADDRESSES: Copies of the draft recovery
                                              Housing and Urban Development,                           Washington, DC 20410; telephone                       plan are available on request from the
                                              Washington, DC 20410–0500.                               number 202–402–5706 (this is not a toll-              U.S. Fish and Wildlife Service,
                                              Communications must refer to the above                   free number). Persons with hearing or                 Nebraska Ecological Services Field
                                              docket number and title. There are two                   speech impairments may access this                    Office, 9325 South Alda Road, Wood
                                              methods for submitting public                            number by calling the Federal Relay                   River, Nebraska 68883; telephone 308–
                                              comments. All submissions must refer                     Service at 800–877–8339 (this is a toll-              382–6468. Submit comments on the
                                              to the above docket number and title.                    free number).                                         draft recovery plan to the Project Leader
                                                1. Submission of Comments by Mail.                     SUPPLEMENTARY INFORMATION: On June                    at this same address. An electronic copy
                                              Comments may be submitted by mail to                     26, 2015 (80 FR 36832), HUD published                 of the draft recovery plan is available at
                                                                                                                                                             http://www.fws.gov/endangered/
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                                              the Regulations Division, Office of                      a notice in the Federal Register that
                                              General Counsel, Department of                           invited public comment on the variables               species/recovery-plans.html.
                                              Housing and Urban Development, 451                       identified by the Housing Choice                      FOR FURTHER INFORMATION CONTACT:
                                              7th Street SW., Room 10276,                              Voucher Program Administrative Fee                    Eliza Hines, Project Leader, at the above
                                              Washington, DC 20410–0500.                               Study as impacting administrative fee                 address, or telephone 308–382–6468.
                                                2. Electronic Submission of                            costs, how HUD might use these study                  SUPPLEMENTARY INFORMATION: The
                                              Comments. Interested persons may                         findings to develop a new                             Service announces the availability of a


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Document Created: 2015-12-15 13:13:52
Document Modified: 2015-12-15 13:13:52
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionNotices
ActionNotice.
ContactCamille E. Acevedo, Associate General Counsel for Legislation and Regulations, Office of General Counsel, Department of Housing and Urban Development, 451 7th Street SW., Room 10282, Washington, DC 20410-0500; telephone number 202-708-1793 (this is not a toll-free number). Persons who are deaf or hard of hearing and persons with speech impairments may access this number through TTY by calling the toll-free Federal Relay Service at 800-877-8339.
FR Citation80 FR 42108 

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