80_FR_70333 80 FR 70115 - Factors Considered When Evaluating a Governor's Request for Individual Assistance for a Major Disaster

80 FR 70115 - Factors Considered When Evaluating a Governor's Request for Individual Assistance for a Major Disaster

DEPARTMENT OF HOMELAND SECURITY
Federal Emergency Management Agency

Federal Register Volume 80, Issue 218 (November 12, 2015)

Page Range70115-70143
FR Document2015-28570

FEMA proposes to revise its regulations to comply with Section 1109 of the Sandy Recovery Improvement Act of 2013 which requires FEMA, in cooperation with State, local, and Tribal emergency management agencies, to review, update, and revise through rulemaking the Individual Assistance factors FEMA uses to measure the severity, magnitude, and impact of a disaster.

Federal Register, Volume 80 Issue 218 (Thursday, November 12, 2015)
[Federal Register Volume 80, Number 218 (Thursday, November 12, 2015)]
[Proposed Rules]
[Pages 70115-70143]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-28570]



[[Page 70115]]

Vol. 80

Thursday,

No. 218

November 12, 2015

Part III





Department of Homeland Security





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Federal Emergency Management Agency





44 CFR Part 206





Factors Considered When Evaluating a Governor's Request for Individual 
Assistance for a Major Disaster; Proposed Rule

Federal Register / Vol. 80 , No. 218 / Thursday, November 12, 2015 / 
Proposed Rules

[[Page 70116]]


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DEPARTMENT OF HOMELAND SECURITY

Federal Emergency Management Agency

44 CFR Part 206

[Docket ID FEMA-2014-0005]
RIN 1660-AA83


Factors Considered When Evaluating a Governor's Request for 
Individual Assistance for a Major Disaster

AGENCY: Federal Emergency Management Agency, DHS.

ACTION: Notice of proposed rulemaking.

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SUMMARY: FEMA proposes to revise its regulations to comply with Section 
1109 of the Sandy Recovery Improvement Act of 2013 which requires FEMA, 
in cooperation with State, local, and Tribal emergency management 
agencies, to review, update, and revise through rulemaking the 
Individual Assistance factors FEMA uses to measure the severity, 
magnitude, and impact of a disaster.

DATES: Comments must be received on or before January 11, 2016.

ADDRESSES: You may submit comments, identified by docket ID FEMA-2014-
0005, by one of the following methods:
    Federal eRulemaking Portal: http://www.regulations.gov. Follow the 
instructions for submitting comments.
    Mail/Hand Delivery/Courier: Regulatory Affairs Division, Office of 
Chief Counsel, 500 C Street SW., 8NE, Washington, DC 20472-3100.
    Instructions: All submissions received must include the agency name 
and docket ID. Regardless of the method used for submitting comments or 
material, all submissions will be posted, without change, to the 
Federal e-Rulemaking Portal at http://www.regulations.gov, and will 
include any personal information you provide. Therefore, submitting 
this information makes it public. You may wish to read the Privacy Act 
notice that is available via the Privacy Notice link on the homepage of 
http://www.regulations.gov.
    Docket: For access to the docket to read background documents or 
comments received, go to the Federal eRulemaking Portal at http://www.regulations.gov, click on ``Advanced Search,'' then enter ``FEMA-
2014-0005'' in the ``By Docket ID'' box, then select ``FEMA'' under 
``By Agency,'' and then click ``Search.'' Submitted comments may also 
be inspected at the Office of Chief Counsel, Federal Emergency 
Management Agency, 500 C Street SW., 8NE, Washington, DC 20472-3100.

FOR FURTHER INFORMATION CONTACT: Mark Millican, FEMA, Individual 
Assistance Division, 500 C Street SW., Washington, DC 20472-3100, 
(phone) 202-212-3221 or (email) [email protected].

SUPPLEMENTARY INFORMATION: 

Table of Contents

I. Public Participation
II. Executive Summary
    A. Purpose of the Regulatory Action
    1. The Need for the Regulatory Action and How the Action Will 
Meet the Need
    2. Legal Authority
    B. Summary of Major Provisions
III. Background
    A. The Federal Disaster Declaration Process
    1. Preliminary Damage Assessment (PDA)
    2. State's Submission of Its Declaration Request to FEMA
    3. FEMA's Analysis and Recommendation to the President
    4. Approval or Denial of the Declaration Request
    5. Types of Assistance Approved Under the Declaration Request
    B. Sandy Recovery Improvement Act of 2013
    C. FEMA's Outreach Efforts Required by the Sandy Recovery 
Improvement Act
    1. The Role of Voluntary, Faith, and Community Based 
Organizations During Disasters
    2. The Correlation Between the Population Size of a State and 
Its Capability To Recover
    3. Issues With Widespread Damage and Contiguous States
    4. Impact on Businesses
    5. Decoupling Individual Assistance Programs
    6. Impacts to Community
    7. Linking Individual Assistance Declarations With Public 
Assistance Estimated Cost Factor
    8. Thresholds
    9. Insurance
    10. Homes in Foreclosure
    11. Incentives for State Sponsored IA Programs
IV. Discussion of the Proposed Rule
    A. 44 CFR 206.48--Paragraph (b)(1) State Fiscal Capacity and 
Resource Availability
    B. 44 CFR 206.48--Paragraph (b)(2) Uninsured Home and Personal 
Property Losses
    C. 44 CFR 206.48--Paragraph (b)(3) Disaster Impacted Population 
Profile
    D. 44 CFR 206.48--Paragraph (b)(4) Impact to Community 
Infrastructure
    E. 44 CFR 206.48--Paragraph (b)(5) Casualties
    F. 44 CFR 206.48--Paragraph (b)(6) Disaster Related Unemployment
    G. Principal Factors for Evaluating the Need for the Individuals 
and Households Program
V. Regulatory Analysis
    A. Executive Order 12866, Regulatory Planning and Review and 
Executive Order 13563, Improving Regulation and Regulatory Review
    1. Executive Summary & A-4 Accounting Statement
    2. Need for Regulatory Action
    3. Affected Population
    4. Current Baseline and Changes From Proposed Rule
    5. Impacts to Costs, Benefits, and Transfer Payments
    a. State Costs
    b. Federal Costs
    c. Benefits
    d. Transfer Payments
    9. Cumulative Impact of the Proposed Rule
    10. Marginal Analysis of the Proposed Factors
    11. Regulatory Alternatives
    a. Voluntary, Faith and Community Based Organizations Resources
    b. Maintain the 44 CFR 206.48(b)(6) Table
    c. Automatically Trigger Contiguous Counties and States
    d. Considering Negative Impact on Businesses
    e. Linking Individual Assistance Cost Factor With Public 
Assistance Cost Factor
    f. Use of Factor Thresholds
    g. Homes in Foreclosure
    h. Do Not Include Fiscal Capacity Indicators
    i. Do Not Include State Resources Indicators
    B. Regulatory Flexibility Act
    C. Unfunded Mandates Reform Act of 1995
    D. National Environmental Policy Act
    E. Paperwork Reduction Act of 1995
    F. Privacy Act
    G. Executive Order 13175, Consultation and Coordination With 
Indian Tribal Governments
    H. Executive Order 13132, Federalism
    I. Executive Order 11988, Floodplain Management
    J. Executive Order 11990, Protection of Wetlands
    K. Executive Order 12898, Environmental Justice
    L. Congressional Review of Agency Rulemaking

I. Public Participation

    We encourage you to participate in this rulemaking by submitting 
comments and related materials. We will consider all comments and 
material received during the comment period.
    If you submit a comment, identify the agency name and the docket ID 
for this rulemaking, indicate the specific section of this document to 
which each comment applies, and give the reason for each comment. You 
may submit your comments and material by electronic means, mail, or 
delivery to the address under the ADDRESSES section. Please submit your 
comments and material by only one means.
    Regardless of the method used for submitting comments or material, 
all submissions will be posted, without change, to the Federal e-
Rulemaking Portal at http://www.regulations.gov,

[[Page 70117]]

and will include any personal information you provide. Therefore, 
submitting this information makes it public. You may wish to read the 
Privacy Act notice that is available via a link on the homepage of 
www.regulations.gov.
    Viewing comments and documents: For access to the docket to read 
background documents or comments received, go to the Federal e-
Rulemaking Portal at http://www.regulations.gov. Background documents 
and submitted comments may also be inspected at the Office of Chief 
Counsel, Federal Emergency Management Agency, 500 C Street SW., 8NE, 
Washington, DC 20472-3100.

II. Executive Summary

A. Purpose of the Regulatory Action

1. The Need for the Regulatory Action and How the Action Will Meet the 
Need
    On January 29, 2013, the President signed the Sandy Recovery 
Improvement Act of 2013 (SRIA) into law (Pub. L. 113-2). Section 1109 
of SRIA requires FEMA in cooperation with State, local, and Tribal 
emergency management agencies, to review, update, and revise through 
rulemaking the factors found at 44 CFR 206.48 that FEMA uses to 
determine whether to recommend provision of Individual Assistance (IA) 
during a major disaster. These factors help FEMA measure the severity, 
magnitude, and impact of a disaster.
    FEMA is proposing this rule to comply with SRIA and to provide 
clarity on the IA declaration factors that FEMA currently considers in 
support of its recommendation to the President on whether a major 
disaster declaration authorizing IA is warranted. The additional 
clarity may reduce delays in the declaration process by decreasing the 
back and forth between States and FEMA in the declaration process. FEMA 
is also proposing new factors on Fiscal Capacity and Resource 
Availability to provide additional context on potential disaster 
situations. The proposed rule would also satisfy the requirements 
outlined above in Section 1109 of SRIA.
2. Legal Authority
    FEMA has authority for this proposed rule pursuant to the Robert T. 
Stafford Disaster Relief and Emergency Assistance Act (Stafford Act). 
42 U.S.C. 5121 et seq. Section 401 of the Stafford Act lays out the 
procedures for a declaration for FEMA's major disaster assistance 
programs when a catastrophe occurs in a State. The specific changes 
proposed by this NPRM are intended to comply with Section 1109 of the 
Sandy Recovery Improvement Act of 2013. Public Law 113-2.

B. Summary of Major Provisions

    FEMA proposed to revise the factors found at 44 CFR 206.48 that 
FEMA uses to determine whether to recommend provision of Individual 
Assistance during a major disaster. The current factors found at 44 CFR 
206.48 for Individual Assistance include the following factors: (1) 
Concentration of Damages, (2) Trauma, (3) Special Populations, (4) 
Voluntary Agency Assistance, (5) Insurance, and (6) Average Amount of 
Individual Assistance by State.
    FEMA is proposing to revise the current factors by providing 
additional clarity regarding the considerations FEMA evaluates when 
making a recommendation on whether Individual Assistance is warranted 
for a major disaster declaration. FEMA is proposing to revise 44 CFR 
206.48 to include the following factors: (1) State Fiscal Capacity and 
Resource Availability, (2) Uninsured Home and Personal Property Losses, 
(3) Disaster Impacted Population Profile, (4) Impact to Community 
Infrastructure, (5) Casualties, and (6) Disaster Related Unemployment. 
As is currently the practice, FEMA will continue to use a myriad of 
factors and data to formulate its recommendations to the President on 
major disaster declarations that authorize IA. No single data point or 
factor would determine on its own FEMA's ultimate recommendation nor 
would any single factor necessarily affect the President's ultimate 
determination of whether a major disaster declaration authorizing IA is 
warranted. FEMA purposely declined to be more specific in areas of the 
proposed rule so that FEMA does not limit Presidential discretion for 
declaring a major disaster declaration that authorized Individual 
Assistance because the parameters for a major disaster declaration can 
change from Administration to Administration. FEMA wants to ensure that 
we retain as much flexibility as possible so that we can conform to 
what the President wants in their disaster declaration recommendations. 
The proposed factors would not limit the President's discretion 
regarding major disaster declarations.

III. Background

A. The Federal Disaster Declaration Process

    When a catastrophe occurs in a State, the State's Governor may 
request a Presidential declaration of a major disaster \1\ pursuant to 
Section 401 of the Robert T. Stafford Disaster Relief and Emergency 
Assistance Act (Stafford Act). 42 U.S.C. 5170; 44 CFR 206.36(a). Such a 
request must be based on a finding that the disaster is of such 
severity and magnitude that an effective response is beyond the 
capabilities of the State and the affected local governments and that 
Federal assistance is necessary. 42 U.S.C. 5170.
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    \1\ A major disaster is any natural catastrophe (including any 
hurricane, tornado, storm, high water, wind driven water, tidal 
wave, tsunami, earthquake, volcanic eruption, landslide, mudslide, 
snowstorm, or drought), or, regardless of cause, any fire, flood, or 
explosion, in any part of the United States, which in the 
determination of the President causes damage of sufficient severity 
and magnitude to warrant major disaster assistance under this Act to 
supplement the efforts and available resources of States, local 
governments, and disaster relief organizations in alleviating the 
damage, loss, hardship, or suffering caused thereby. 42 U.S.C. 5122; 
44 CFR 206.2(17).
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    The capacity to respond to a catastrophe varies from State to 
State. The initial decision on whether supplemental Federal assistance 
is necessary for a State responding to and recovering from a natural 
disaster lies with each State. The basis for any State request for a 
major disaster declaration must be a finding that (1) the situation is 
of such severity and magnitude that an effective response is beyond the 
capacities of the State and affected local governments, and (2) Federal 
assistance under the Stafford Act is necessary to supplement the 
efforts and available resources of the State, local governments, 
disaster relief organizations, and compensations by insurance for 
disaster-related losses. 44 CFR 206.36(b)(1)-(2).
    The President's declaration may authorize various types of Federal 
assistance, falling under three main program areas: Public Assistance, 
Individual Assistance (IA), and Hazard Mitigation. Public Assistance 
provides supplemental Federal disaster grant assistance for debris 
removal, emergency protective measures, and the repair, replacement, or 
restoration of disaster-damaged, publicly owned facilities and the 
facilities of certain Private Non-Profit organizations. Individual 
Assistance provides financial or direct assistance to individuals and 
households who have been injured or whose property has been damaged or 
destroyed as a result of a Federally-declared disaster, and whose 
losses are not covered by insurance or other means. Additionally, a 
declaration authorizing Individual Assistance may authorize crisis 
counseling, disaster case management, disaster unemployment assistance, 
and disaster legal services.

[[Page 70118]]

The Hazard Mitigation Grant Program provides grants to States and local 
governments to implement long term hazard mitigation measures after a 
major disaster declaration. FEMA's regulations at 44 CFR part 206 
Subpart B describe the process leading to a Presidential declaration of 
a major disaster and the actions triggered by such a declaration. 44 
CFR 206.31.
1. Preliminary Damage Assessment (PDA)
    An initial step in the major disaster declaration process is the 
preliminary damage assessment (PDA). The PDA is used to determine the 
impact and magnitude of damage and the resulting unmet needs of 
individuals, businesses, the public sector, and the community as a 
whole. 44 CFR 206.33. When the State official responsible for disaster 
operations determines that an event may be beyond the capabilities of 
the State and local government to respond, the State will request that 
the FEMA Regional Administrator perform a joint FEMA-State PDA. 44 CFR 
206.33(a). A damage assessment team is formed, which is composed of at 
least one representative of the Federal government and one 
representative of the State. 44 CFR 206.33(b). A local government 
representative familiar with the extent and location of damage in the 
community is also included if possible. 44 CFR 206.33(b). Other State 
and Federal agencies, and voluntary relief organizations may also be 
asked to participate, as needed. 44 CFR 206.33(b). A FEMA official will 
brief team members on damage criteria, the kind of information to be 
collected for the particular incident, and reporting requirements. 44 
CFR 206.33(b).
    The length of time required to conduct a PDA varies based upon the 
circumstances of the event. In large disasters, a major disaster 
declaration may be made prior to completing a PDA, in which case a 
damage assessment is conducted following the declaration in order to 
determine additional program needs. Damage that is widespread may take 
considerably longer to verify than damage in a concentrated area, as 
there is a greater geographic area to assess. Certain types of 
disasters such as flooding, or disasters affecting remote or isolated 
areas, may slow PDAs down due to limited accessibility. Depending on 
the above circumstances, a PDA can take anywhere from a day or two to a 
week or more. On average, a PDA can be completed within a week. At the 
close of the PDA, FEMA consults with State officials to discuss 
findings and reconcile any differences. 44 CFR 206.33(c).
2. State's Submission of Its Declaration Request to FEMA
    During or at the close of the PDA, the Governor of a State submits 
the request for a major disaster declaration through the appropriate 
FEMA Regional Administrator. 44 CFR 206.36. The request must be 
submitted within 30 days of the occurrence of the incident in order to 
be considered. 44 CFR 206.36(a). The basis for the request must be a 
finding that (1) the situation is of such severity and magnitude that 
an effective response is beyond the capabilities of the State and 
affected local governments, and (2) Federal assistance under the 
Stafford Act is necessary to supplement the efforts and available 
resources of the State, local governments, disaster relief 
organizations, and compensation by insurance for disaster-related 
losses. 44 CFR 206.36(b)(1)-(2). In addition, the request must include: 
Confirmation that the Governor has taken appropriate action under State 
law and directed the execution of the State emergency plan; an estimate 
of the amount and severity of damages and losses stating the impact of 
the disaster on the public and private sectors; information describing 
the nature and amount of State and local resources which have been or 
will be committed to alleviate the results of the disaster; preliminary 
estimates of the types and amount of supplementary Federal disaster 
assistance needed under the Stafford Act; and certification by the 
Governor that State and local government obligations and expenditures 
for the current disaster will comply with all applicable cost sharing 
requirements of the Stafford Act. 44 CFR 206.36(c)(1)-(5).
3. FEMA's Analysis and Recommendation to the President
    Upon receipt of the Governor's request, the FEMA Regional 
Administrator provides written acknowledgement of the request. 44 CFR 
206.37(a). Based on information obtained by the PDA and consultations 
with appropriate State and Federal officials and other interested 
parties, the FEMA Regional Administrator promptly prepares a summary of 
the PDA findings, analyzes the data, and submits a recommendation to 
FEMA Headquarters. 44 CFR 206.37(b). This Regional Analysis must 
include a discussion of State and local resources and capabilities and 
other assistance available to meet the major disaster-related needs. 44 
CFR 206.37(b).
    Based on all available information, the FEMA Administrator 
formulates a recommendation which is forwarded to the President with 
the Governor's request. 44 CFR 206.37(c). A recommendation for a major 
disaster declaration is based on a finding that the situation is or is 
not of such severity and magnitude as to be beyond the capabilities of 
the State and its local governments, and must include a determination 
of whether or not supplemental Federal assistance \2\ under the 
Stafford Act is necessary and appropriate. 44 CFR 206.37(c)(1). In 
developing a recommendation, FEMA considers factors such as the amount 
and type of damages; the impact of damages on affected individuals, the 
State, and local governments; the available resources of the State and 
local governments, and other disaster relief organizations; the extent 
and type of insurance in effect to cover losses; assistance available 
from other Federal programs and other sources; imminent threats to 
public health and safety; recent disaster history in the State; hazard 
mitigation measures taken by the State or local governments, especially 
implementation of measures required as a result of previous major 
disaster declarations; and other factors pertinent to a given incident. 
44 CFR 206.37(c)(1). When preparing its recommendation for Individual 
Assistance in particular, FEMA considers specific factors described in 
44 CFR 206.48(b).
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    \2\ The supplemental nature of Federal disaster assistance is a 
longstanding principle of emergency management and disaster response 
in this country. After any event, the local officials are the first 
to respond, by nature of their proximity to the event and knowledge 
of the area and circumstances. If additional resources are needed, 
the State then steps in to assist. Once those resources are 
overwhelmed, or it is clear that they will be overwhelmed, the 
Governor may request a major disaster declaration. 44 CFR 206.36(a). 
In the event of a declaration, State and local officials continue to 
lead their respective response and recovery missions, with Federal 
support provided under the Stafford Act.
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4. Approval or Denial of the Declaration Request
    Upon completion of its recommendation, FEMA forwards it to the 
President along with the Governor's request. The Governor's request may 
result in either a Presidential declaration of a major disaster or an 
emergency, or denial of the Governor's request. 44 CFR 206.38(a). The 
Governor will be promptly notified by the FEMA Administrator of a 
declaration by the President that a major disaster exists, or that the 
Governor's request does not justify the use of the authorities of the 
Stafford Act. 44 CFR 206.39. A State may appeal a denial of declaration 
request within 30 days after the date of the letter denying the 
request. 44 CFR 206.46(a).

[[Page 70119]]

5. Types of Assistance Approved Under the Declaration Request
    A major disaster declaration will include the types of assistance 
that are authorized under the declaration, 44 CFR 206.40(a), although 
other types may be authorized later, 44 CFR 206.40(c). The types of 
assistance authorized under the declaration are based upon whether the 
damage involved and its effects are of such severity and magnitude as 
to be beyond the response capabilities of the State, the affected local 
governments, and other potential recipients of supplementary Federal 
assistance. 44 CFR 206.40(a). A major disaster declaration may 
authorize all, or only particular types of, supplementary Federal 
assistance requested by the Governor. 44 CFR 206.40(a). As noted above, 
when evaluating requests for Individual Assistance, FEMA considers the 
factors under 44 CFR 206.48(b) to determine whether supplemental 
Federal Individual Assistance is warranted.
    A major disaster declaration authorizing Individual Assistance may 
include any or all of the following programs:
    Individuals and Households Program: The Individuals and Households 
Program (IHP) provides grants, direct assistance, or both to eligible 
disaster survivors who have necessary expenses and serious needs that 
they are unable to meet through other means, such as insurance. 44 CFR 
206.110-120. This help may be in the form of housing assistance 
(including Temporary Housing, Repair, Replacement, and Semi-Permanent 
or Permanent Housing Construction) as well as assistance to meet 
``other needs'' such as medical, dental, child care, funeral, personal 
property, and transportation costs.
    Crisis Counseling Program: The Crisis Counseling Program (CCP) 
assists individuals and communities recovering from the effects of a 
natural or human caused disaster through the provision of community 
based outreach and psycho-educational services. 44 CFR 206.171. 
Supplemental Federal funding for crisis counseling is available to the 
State through two grant mechanism: (1) Immediate Services Program, 
which provides funds for up to 60 days of services immediately 
following a disaster declaration; and (2) the Regular Services Program, 
which provides funds for up to nine months following a disaster 
declaration.
    Disaster Case Management Program: The Disaster Case Management 
Program (DCMP) is a program that involves a partnership between a 
disaster case manager and a survivor to develop and carry out a 
Disaster Recovery Plan. 42 U.S.C. 5189d. The process involves an 
assessment of the survivor's verified disaster caused unmet needs, 
development of a goal oriented plan that outlines the steps necessary 
to achieve recovery, organization and coordination of information on 
available resources that match the disaster caused unmet need, 
monitoring of progress towards the recovery plan goals and, when 
necessary, client advocacy.
    Disaster Legal Services: Disaster Legal Services provides legal 
assistance to low income individuals who, prior to or as a result of 
the disaster, are unable to secure legal services adequate to meet 
their disaster related needs. 44 CFR 206.164. FEMA, through an 
agreement with the Young Lawyers Division of the American Bar 
Association, provides free legal help for disaster survivors.
    Disaster Unemployment Assistance: Disaster Unemployment Assistance 
(DUA) provides unemployment benefits and re-employment services to 
individuals who have become unemployed as a result of a major disaster 
and who are not eligible for regular State unemployment insurance. 44 
CFR 206.141.

B. Sandy Recovery Improvement Act of 2013

    On January 29, 2013, the President signed the Sandy Recovery 
Improvement Act of 2013 (SRIA) into law (Pub. L. 113-2). Section 1109 
of SRIA requires FEMA, in cooperation with State, local, and Tribal 
emergency management agencies, to review, update, and revise through 
rulemaking the factors found at 44 CFR 206.48 that FEMA uses to 
determine whether to recommend provision of Individual Assistance 
during a major disaster. These factors help FEMA measure the severity, 
magnitude, and impact of a disaster.
    Congress directed FEMA to review, update, and revise these factors, 
including 44 CFR 206.48(b)(2) related to trauma and the specific 
conditions or losses that contribute to trauma, to provide more 
objective criteria for evaluating the need for assistance to 
individuals, to clarify the threshold for eligibility, and to speed a 
declaration of a major disaster or emergency \3\ under the Stafford 
Act. Pursuant to SRIA, this rulemaking must be completed by January 29, 
2014. Although the necessary process to revise the factors is not yet 
complete, FEMA intends to complete this process as expeditiously as 
possible.
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    \3\ The factors that FEMA considers to evaluate the need for 
assistance to individuals under the Stafford Act are at 44 CFR 
206.48. FEMA uses these factors to evaluate a governor's request for 
a declaration of a major disaster, not an emergency. SRIA Section 
1109 states that FEMA must review, update, and revise the factors in 
44 CFR 206.48(b). The factors that FEMA uses to evaluate a 
governor's request for emergency assistance, however, are not 
provided in 44 CFR 206.48(b) or in FEMA's regulations. Therefore, 
the scope of this rulemaking will apply only to Individual 
Assistance factors that FEMA considers when evaluating a Governor's 
request for a major disaster declaration. Section 502 of the 
Stafford Act authorizes FEMA to provide IHP assistance as part of an 
emergency declaration. FEMA has previously considered some of the 
factors found at 206.48(b) when considering an emergency declaration 
request that includes IHP assistance. FEMA will continue to consider 
some of the factors, when applicable, at 44 CFR 206.48(b) when 
evaluating an emergency declaration request that includes IHP 
assistance.
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    SRIA also authorized, among other things, the option for Federally 
recognized Indian Tribal governments to make a request directly to the 
President for a Federal emergency or major disaster declaration. FEMA 
will implement this provision of SRIA in a separate rulemaking.

C. FEMA's Outreach Efforts Required by the Sandy Recovery Improvement 
Act

    Section 1109 of SRIA requires FEMA to cooperate with State, local, 
and Tribal emergency management agencies during the process of 
reviewing, updating, and revising the factors found at 44 CFR 
206.48(b). FEMA conducted outreach with stakeholders, including 
meetings with the National Emergency Managers Association, the 
International Association of Emergency Managers, the National Advisory 
Council, FEMA regional offices, and Tribal governments (hereinafter 
``stakeholder group''). The stakeholder group had widespread 
participation from individuals involved in emergency management at the 
State, local, and tribal levels. These outreach efforts were conducted 
from February 2013 through May 2013 and consisted of in-person 
conferences and conference calls. During this outreach, a series of 
themes emerged from the members of the stakeholder group which are 
discussed below.
1. The Role of Voluntary, Faith, and Community Based Organizations 
During Disasters
    Many in the stakeholder group felt that the consideration of 
services and benefits provided by voluntary, faith-based, and 
community-based organizations during a disaster should not continue to 
serve as an indicator for when supplemental Federal assistance is 
warranted. The stakeholders felt that voluntary, faith-based, and 
community-based organization involvement may not be available at the 
time of a disaster declaration and those organizations do

[[Page 70120]]

not provide funding for the rebuilding or replacement of houses. FEMA 
currently considers, as an Individual Assistance factor, the extent to 
which voluntary agencies and State or local programs can meet the needs 
of disaster survivors. 44 CFR 206.48(b)(4). Voluntary, faith-based, and 
community-based organizations are often among the first to respond to 
an event. Following a disaster, voluntary, faith-based, and community-
based organizations mobilize to provide immediate assistance such as 
food, clothing, shelter, cleaning supplies, comfort kits, first aid, 
and medical care, as well as services including coordinating donations, 
counseling, home repairs, and rebuilding. FEMA is proposing to continue 
consideration of the resources made available by such organizations as 
part of the new ``Resource Availability'' factor discussed below. FEMA 
recognizes that the resources provided by the voluntary, faith-based, 
and community-based organizations are typically not a long term 
recovery solution for a disaster affected community and that these 
organizations' financial capabilities are mostly donor-based and 
dependent on the economic climate. FEMA also believes that information 
on voluntary, faith-based, and community-based organizations is 
valuable because it can enhance the picture of disaster needs at a 
local, grass roots level and may either offset the need for, or reveal 
a need for, supplemental Federal assistance.
2. The Correlation Between the Population Size of a State and Its 
Capability To Recover
    Several members of the stakeholder group discouraged FEMA from 
making a correlation between State population size and the capability 
of that State to recover. More specifically, multiple members of the 
stakeholder group expressed concern with the table in the current 
regulations which provides the average amount of Individual Assistance 
by State. See 206.48(b)(6). This table of averages does not set a 
threshold for recommending Individual Assistance, but was intended as 
guidance to States and voluntary agencies as they develop plans and 
programs to meet the needs of disaster survivors. 44 CFR 206.48(b)(6).
    In developing this proposed rule, FEMA evaluated the utility of 
this table. FEMA determined that the table should be removed because it 
causes confusion among States, and may be viewed incorrectly as a 
threshold for whether a State should request Individual Assistance. In 
addition, the table is based on 1990 Census data, uses assistance 
information from 1994-1999, and is based on the previous iteration of 
the IHP which consisted of two separate programs: (1) The Temporary 
Housing Assistance Program and (2) the Individual and Family Grant 
Program. FEMA recognizes that there are many factors, including 
population, that contribute to a State's capability to respond to and 
recover from a disaster. FEMA is proposing several factors, discussed 
below, that will be used in evaluating State capability.
3. Issues With Widespread Damage and Contiguous States
    Current 44 CFR 206.48(b)(1) notes that high concentrations of 
damages generally indicate a greater need for Federal assistance than 
widespread and scattered damages throughout a State. Stakeholders were 
concerned that the cost of widespread minimal damage across counties 
within a State may not be appropriately considered within the 
concentration of damage factor. The stakeholders wanted greater 
consideration to widespread events that are costly. FEMA recognizes 
that as a practical matter, widespread minimal damage spread across a 
larger geographic area, can overwhelm a State's capability to 
adequately respond to a disaster. Therefore, FEMA is proposing a 
factor, discussed below, that will evaluate the estimated cost of 
assistance for a State.
    In events where disasters cross state lines, several emergency 
managers recommended that a major disaster declaration in one of the 
States should automatically trigger a major disaster declaration in the 
other affected State or States. The Stafford Act requires that a 
Governor's request for a major disaster declaration is based on a 
finding that the disaster is of such severity and magnitude to be 
beyond the capabilities of the State and affected local governments. 42 
U.S.C. 5170(a). FEMA's major disaster recommendation to the President 
is based on this same finding. 44 CFR 206.37(c). Each State has 
different capabilities to respond to, recover from, and mitigate the 
effects of a disaster. Moreover a disaster that crosses state lines may 
have differing impacts in the affected states. As such, it is unlikely 
that every event that impacts multiple states will necessarily be 
beyond each affected State's respective capabilities. Therefore, rather 
than recommending that the President automatically declare a disaster 
for each adjoining State affected by a disaster, FEMA proposes to 
continue to base its major disaster declaration recommendation on the 
capability of the affected State and local governments to respond to 
the event, in accordance with the requirements for a major disaster 
declaration in the Stafford Act.
4. Impact on Businesses
    Multiple members of the stakeholder group asked FEMA to consider 
the impact of an incident on businesses. They believe that there is a 
direct correlation between impacts on businesses and a community's 
ability to recovery. As discussed below, FEMA is proposing revised IA 
factors that consider the impact to businesses because the impacts of a 
disaster on businesses may impede a community's ability to recover. 
Business losses alone, however, will not result in a Presidential major 
disaster declaration that authorizes IA because the IA grant programs 
do not provide assistance to businesses. Instead, FEMA considers the 
effect that business disruptions have on disaster survivors. For 
example, some survivors may lose work or become unemployed due to a 
disaster, and may otherwise be ineligible for standard unemployment 
insurance benefits, thus showing an increased need for DUA.
    In addition, the Small Business Administration (SBA) has separate 
statutory authority and programs, which may be available to assist 
businesses absent a Presidential major disaster declaration.
5. Decoupling Individual Assistance Programs
    Several members of the stakeholder group suggested decoupling IA 
programs so that States can request specific IA programs instead of 
receiving a generic major disaster declaration that authorizes all IA 
programs. The manner in which IA programs are requested and authorized 
is outside the scope of this proposed rulemaking, which is to revise 
the factors which FEMA uses to evaluate the need for IA. However, 
current FEMA policy and practice already allows States to request all 
IA programs or specific IA programs, as appropriate, via its 
standardized form, Request for Presidential Disaster Declaration Major 
Disaster or Emergency, OMB Control Number 1660-0009. This form allows 
States to ``check off'' the IA programs they are requesting.
    Indeed, there have been recent major disaster declarations, which 
authorized Disaster Unemployment Assistance and the Crisis Counseling 
Program, without the other IA programs.\4\ These programs

[[Page 70121]]

meet specific needs in the disaster-impacted community that may be 
unrelated to physical disaster damage. FEMA may consider recommending 
authorization of these programs when they are needed, even in the 
absence of authorization of the Individuals and Households Program, 
which is generally directly tied to physical disaster damage.
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    \4\ For example South Dakota, DR-4155, Severe Winter Storm, 
Snowstorm, and Flooding, Declared November 8, 2013 (DUA and CCP), 78 
FR 72093; Colorado, DR-4134, Black Forest Wildfire, Declared July 
26, 2013 (DUA and CCP), 78 FR 51204; Colorado, DR-4133, Royal Gorge 
Wildfire, Declared July 26, 2013 (DUA only), 78 FR 51204.
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6. Impacts to Community
    FEMA received comments from the stakeholder group suggesting that 
FEMA assess the impacts from a disaster to a community as a whole and 
not just consider the damage that occurred to individual houses and 
residences to determine the need for a major disaster declaration that 
authorizes IA and the specific IA programs required. FEMA is 
considering implementing this recommendation in the proposed factor 
described below entitled, ``Impact to Community Infrastructure.'' FEMA 
believes that by reporting and examining community impacts instead of 
just individual residence impacts, FEMA and the State will have a 
better understanding of the overall impact of the disaster on the lives 
of individuals in the community and which IA programs would benefit 
disaster survivors. As discussed in more detail below, significant 
disruptions to important services such as transportation, schools, 
child care, eldercare, or police services are likely to impede recovery 
of that community and may be indicative of a heightened need for 
Federal assistance. In addition, such impacts may show a specific need 
for certain IA programs. For example, a community may have relatively 
low damage impacts to individual residences but a large amount of the 
community's infrastructure, such as schools or roads, may have been 
destroyed. Such impacts can be quite traumatic to the community and may 
suggest a need for specific IA programs such as the Crisis Counseling 
Program, but not necessarily the Individuals and Households Program. 
This information will assist FEMA in determining which IA programs to 
approve when granting a major disaster declaration.
7. Linking Individual Assistance Declarations With Public Assistance 
Estimated Cost Factor
    Some members of the stakeholder group suggested aligning the 
financial indicators for IA and Public Assistance major disaster 
declarations. Currently, FEMA uses the following factors to evaluate 
the need for a Public Assistance major disaster declaration: Estimated 
cost of assistance, localized impacts, insurance coverage, hazard 
mitigation, recent multiple disasters, and programs of other Federal 
assistance. These factors are focused almost entirely on the impact of 
the event on State, local, and tribal governments, as well as certain 
private non-profit organizations. Members of the stakeholder group 
specifically identified the estimated cost of assistance factor as an 
approach that could be applied to IA. Under this factor, FEMA evaluates 
the estimated cost of Federal and non-federal public assistance against 
the statewide population to give a measure of the per capita impact 
within the State. 44 CFR 206.48(a)(1). That factor also establishes a 
$1 million threshold, based on the proposition that even the smallest 
population States have the capability to cover that level of public 
assistance infrastructure damage. Under FEMA's current regulations, 
there is no corresponding IA single indicator designed to evaluate the 
total cost of the disaster against the capability of a requesting 
State.
    FEMA agrees with the comments received from emergency managers that 
the fiscal capacity of a State should be considered, but FEMA does not 
agree that the Public Assistance per capita indicator measure should be 
adopted for this purpose. Instead, as discussed below, FEMA proposes to 
use Total Taxable Resources and Gross Domestic Product by State as 
indicators of a State's fiscal capacity. For reasons discussed below, 
FEMA believes that these indicators, calculated by the U.S. Department 
of Treasury and the U.S. Commerce Department's Bureau of Economic 
Analysis (BEA), are more appropriate for the purposes of evaluating a 
State's fiscal capacity and its capability to meet the needs of 
individuals after an event. In addition to Total Taxable Resources and 
Gross Domestic Product by State, FEMA will consider the estimated cost 
of assistance and States would also have the ability to submit other 
information relevant to their fiscal capacity. FEMA's proposal of a 
fiscal capacity factor is discussed further below.
8. Thresholds
    Some members of the stakeholder group indicated that they would 
like a specific ``hard'' threshold that indicates whether a State would 
be eligible to receive a major disaster declaration authorizing IA. The 
stakeholders felt that if there was an established threshold it would 
give States a clear idea of what level of damage and need the State 
must have before requesting assistance. The stakeholders believed that 
this would prevent States from spending the time compiling the data and 
requesting a declaration when they have not sustained enough damage to 
qualify for a major disaster declaration that authorizes IA.
    Section 320 of the Stafford Act prohibits the denial of assistance 
to a geographic area based solely use of an arithmetic formula or a 
sliding scale based on income or population. 42 U.S.C. 5163. Although 
FEMA determined that any hard thresholds or inflexible formula would 
offend the principles of Section 320,\5\ FEMA believes that a 
systematic and objective approach using standardized factors is 
important for making informed and consistent recommendations to the 
President as well as enhancing predictability for a State when they 
request IA. As discussed throughout section IV, FEMA is proposing to 
use objective data from other Federal agencies to inform the overall 
assessment of the request, but, in keeping with the principles of 
Section 320 and recognizing that every disaster presents unique 
circumstances, this data alone will not be independently dispositive of 
whether FEMA recommends the need for IA.
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    \5\ As noted above, FEMA applies a $1 million minimum threshold 
when evaluating requests for Public Assistance. This is based upon a 
determination that even the smallest states can be expected to cover 
that level of damage and that disaster assistance is intended to be 
supplemental in nature. The minimum threshold is not a sliding scale 
or an arithmetic formula, nor is it based on population or income. 
Rather, it is related directly to the degree of damage only. As 
such, there is no conflict with section 320 of the Stafford Act.
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9. Insurance
    Under its current regulations, FEMA considers the amount of 
insurance coverage when evaluating the need for IA. 44 CFR 
206.48(b)(5). FEMA received comments from the stakeholder group that 
said that this insurance coverage factor could be viewed as a penalty 
for people that have limited insurance or insurance that does not cover 
the specific disaster damage. FEMA does not agree that the insurance 
coverage factor penalizes disaster survivors for maintaining private 
homeowner's insurance or flood insurance. FEMA's programs are not loss 
indemnification programs. They do not ensure that an applicant is 
returned to their pre-disaster living condition nor can they cover all 
disaster-related losses. FEMA assistance is not as comprehensive as 
insurance coverage and the amount of money that an insurance company 
will

[[Page 70122]]

provide as a settlement is typically greater than the dollar amount of 
assistance FEMA is legally permitted to provide.\6\ FEMA takes 
insurance coverage into consideration under current 44 CFR 206.48(b)(5) 
because, under the Stafford Act, Federal disaster assistance cannot 
duplicate assistance from any source, including available insurance 
proceeds. When evaluating this factor, FEMA considers the type of 
disaster damage when determining whether there is insurance coverage. 
For disaster survivors with insurance that does not cover the specific 
disaster damage, their losses are considered uninsured.
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    \6\ For disasters occurring in Fiscal Year 2016 the maximum 
amount of financial assistance provided to an individual or 
household under section 408 of the Stafford Act (IHP) with respect 
to any single emergency or major disaster is $33,000. See 80 FR 
62086, Oct. 15, 2015. This amount is adjusted annually based on the 
Consumer Price Index for All Urban Consumers as calculated by the 
Department of Labor, Bureau of Labor Statistics.
---------------------------------------------------------------------------

    Comments that FEMA received from the stakeholder group raised 
additional concern with the insurance data that FEMA uses because it 
can be inaccurate leading FEMA to under- or over-estimate the actual 
insurance penetration rates \7\ within a community. FEMA currently 
utilizes National Flood Insurance Program (NFIP) data to determine 
insurance penetration rates for flood damages and Census data to 
determine homeowners' insurance coverage percentages. FEMA uses the 
percentage of owner-occupied homes with a mortgage based on Census data 
to determine an insurance penetration rate. FEMA assumes that a home 
with a mortgage would require home insurance coverage. FEMA is pursuing 
additional resources beyond NFIP and Census data to verify insurance 
penetration rates in order to have the most accurate insurance 
information available. FEMA is requesting that stakeholders and the 
public provide information and suggestions on potential sources of data 
for the most accurate insurance information. FEMA will consider 
suggestions during the development of the final rule.
---------------------------------------------------------------------------

    \7\ Insurance coverage rates and insurance penetration rates are 
both currently captured in 44 CFR 206.48(b)(5). In the new proposed 
regulation, both of these insurance rates will be captured at 
206.48(b)(2)(vi).
---------------------------------------------------------------------------

10. Homes in Foreclosure
    FEMA received comments from the stakeholder group related to homes 
in foreclosure. Some commenters stated that if an area with a high 
foreclosure rate is affected by a disaster, these foreclosed homes 
without an owner could be a greater burden to the State in the recovery 
process. FEMA considered this information and has preliminarily 
concluded that foreclosure data should not be specified in our 
evaluation factors. FEMA's IA programs do not provide any form of 
assistance for foreclosed homes. Repair assistance is available only 
for owner-occupied primary residences. As such, homes without an owner, 
or homes owned by a bank or other creditor would not be eligible for 
assistance. FEMA recognizes that high levels of foreclosure may be 
associated with economic difficulties in the affected area that could 
also negatively impact a community's ability to recover. However, FEMA 
believes other factors including poverty level, pre-disaster 
unemployment, and per capita personal income will be adequate 
indicators of economic health in most circumstances. If a State 
believes that homes in foreclosure will impact their capability to 
respond to the disaster, then the State may articulate this concern in 
the narrative portion of their declaration request. FEMA considers all 
relevant information provided in a State's request. 44 CFR 206.48.
11. Incentives for State Sponsored IA Programs
    FEMA received comments from the stakeholder group stating that FEMA 
should provide incentives for States to have their own IA programs. 
Commenters stated that currently there is no consideration by FEMA of 
the disasters that are paid for by States and that States should not be 
penalized for having a program that assists its citizens during the 
time it takes for PDAs to be completed and a major disaster declaration 
authorized. FEMA agrees with the comments received from emergency 
managers that any efforts or programs to help citizens by a State 
should be considered. As discussed below in the ``Planning After Prior 
Disasters'' factor, FEMA proposes to include consideration of any 
planning and disaster relief programs a State establishes after a prior 
disaster because States are ultimately responsible for the well-being 
of their citizens and therefore should continuously evaluate and 
improve their disaster planning and relief programs based on lessons 
learned from previous disasters.

IV. Discussion of the Proposed Rule

    This rule proposes to implement Section 1109 of SRIA, which 
requires FEMA to revise and update through rulemaking the Individual 
Assistance factors that are used to make a major disaster 
recommendation to the President. States are not required to provide 
information on every single factor listed below; the amount of 
information and data provided by each State is voluntary. However, the 
failure of a State to provide sufficient evidence that supplemental 
Federal assistance is necessary may result in a delay or possibly 
denial of a request for a major disaster declaration authorizing IA.
    As is currently the practice, FEMA will continue to use a myriad of 
factors and data to formulate its recommendations to the President on 
major disaster declarations that authorize IA. No single data point or 
factor would determine on its own FEMA's ultimate recommendation nor 
would any single factor necessarily affect the President's ultimate 
determination of whether a major disaster declaration authorizing IA is 
warranted. The proposed factors would not limit the President's 
discretion regarding major disaster declarations. FEMA reviewed the 
current factors and proposes to revise the current factors as follows.

A. 44 CFR 206.48--Paragraph (b)(1) State Fiscal Capacity and Resource 
Availability

    FEMA is proposing to add at 44 CFR 206.48(b)(1) a factor entitled 
``State Fiscal Capacity and Resource Availability.'' The factors 
discussed below will be used by FEMA to evaluate a State's fiscal 
capacity to respond to a disaster as well as a State's available 
resources that can or have been committed to the disaster recovery 
process.
    Fiscal Capacity. FEMA is proposing to evaluate a State's fiscal 
capacity to respond to and recover from a disaster in 44 CFR 
206.48(b)(1)(i)(A)-(D). As discussed above, major disaster declarations 
are based upon a finding that the event is of such severity and 
magnitude that an effective response is beyond the capabilities of the 
State and affected local governments. Economic conditions of the State 
and affected local governments are clearly relevant to such a finding. 
However, the current regulations do not specifically include 
consideration of economic factors that could affect a State's 
capability to respond to or recover from a disaster. The proposed data 
points will help FEMA evaluate through independently calculated data 
whether a State is financially overwhelmed and unable to adequately 
respond to a disaster.
    In addition, the United States Government Accountability Office 
(GAO) has suggested in multiple reports \8\ that FEMA should 
incorporate

[[Page 70123]]

States' fiscal capacity into its considerations for recommendations on 
disaster declarations to the President. The GAO reports have 
historically focused on fiscal capacity in FEMA's Public Assistance 
(PA) factor criteria, but changes to the PA criteria are outside the 
scope of this proposed rule. FEMA believes that the same principle 
applies to IA and PA, in that there is a need to assess a State's 
capacity to respond and recover from a disaster on its own when 
determining whether a major disaster declaration is warranted because 
Federal assistance is supplemental. Each State's capacity to respond 
and recover varies based on the circumstances of the disaster and the 
State's resources.
---------------------------------------------------------------------------

    \8\ United States Government Accountability Office, FEDERAL 
DISASTER ASSISTANCE: Improved Criteria Needed to Assess a 
Jurisdiction's Capability to Respond and Recover on Its Own, GAO-12-
838, September 2012. Available at: http://www.gao.gov/assets/650/648162.pdf. United States Government Accountability Office, DISASTER 
ASSISTANCE: Improvement Needed in Disaster Declaration Criteria and 
Eligibility Assurance Procedures, August 2001. Available at: http://www.gao.gov/assets/240/232622.pdf.
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    FEMA therefore proposes to include in 44 CFR 206.48(b)(1)(i)(A)-(C) 
the following three factors which will help evaluate a State and local 
jurisdiction's fiscal capacity: (A) The Total Taxable Resources (TTR) 
of the State,\9\ (B) the Gross Domestic Product (GDP) by State,\10\ (C) 
and the Per Capita Personal Income by Local Area. FEMA anticipates that 
these data points are readily available so that the State can discuss 
the data points in their request for a major disaster declaration. 
These publicly available data points, calculated by third-party 
government agencies, will allow FEMA to use standardized data to 
evaluate the economic capability of a State to effectively respond to 
an event.
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    \9\ For a more detailed discussion of the methodology estimating 
the total taxable resources (TTR) of the State, please refer to 
Dep't of the Treasury, Treasury Methodology for Estimating Total 
Taxable Resources (TTR) (last revised Nov. 2002), http://www.treasury.gov/resource-center/economic-policy/Documents/nmpubsum.pdf. This document is also available in the docket for this 
rulemaking. The data on TTR by State is available at http://www.treasury.gov/resource-center/economic-policy/taxable-resources/Pages/Total-Taxable-Resources.aspx. FEMA provides this Web site for 
reference purposes, the Web site may change based on U.S. Treasury's 
future actions, and FEMA will adjust its use of the Web page and 
data as necessary.
    \10\ Gross Domestic Product of the State was formerly referred 
to as Gross State Product. For a more detailed discussion of the 
methodology estimating the Gross Domestic Product of the State, 
please refer to http://bea.gov/regional/pdf/gsp/GDPState.pdf. This 
document is also available in the docket for this rulemaking. An 
example of GDP by State is available at http://www.bea.gov/newsreleases/regional/gdp_state/gsp_newsrelease.htm; however, FEMA 
will use updated data as new information is published.
---------------------------------------------------------------------------

    The TTR of the State is an annual estimate of the relative fiscal 
capacity of a State, calculated by the U.S. Department of Treasury. TTR 
is defined as the unduplicated sum of the income flows produced within 
a State and the income flows, received by its residents, which a State 
could potentially tax. Calculation of the TTR is based on the GDP by 
State and additional accounting for resident earnings (wages, salaries, 
proprietor's income, etc.) from out-of-state, and resident dividend and 
interest income, as well as reduction for components that are presumed 
not taxable by States (employee and employer contributions to social 
insurance, federal indirect business taxes, federal civilian 
enterprises surplus/deficit). While TTR does not consider the actual 
fiscal choices made by the States, it does reflect their potential 
resources. Increases or decreases in TTR could indicate a strengthening 
or declining State economy for FEMA to consider when making a 
determination of the State's capacity. In summary, TTR is a flow 
concept, a comprehensive measure of all the income flows a State can 
potentially tax. TTR data is updated annually with a two year lag in 
the data.
    The GDP by State is calculated by the BEA.\11\ GDP by State 
estimates are measured as the sum of the distributions by industry and 
state of the components of gross domestic income which is the sum of 
the costs incurred and incomes earned in the production of GDP. 
Currently, TTR is only provided for the fifty States and the District 
of Columbia,\12\ but not the territories; but GDP by State includes 
calculations for U.S. territories.\13\ FEMA would use GDP by State 
primarily as an alternative fiscal capacity measure when the TTR of an 
area is unavailable. GDP by State may also be used by a State when 
their TTR is inaccurate due to the two year lag in TTR data. It is 
possible that a State's TTR data could be strong or trending upwards 
when in fact recent events may have caused a significant drop in the 
State fiscal capacity that is not yet reflected. This significant drop 
could be caused by, for instance, a previous disaster or a financial 
downturn. Additionally, if a disaster had a significant amount of 
damages and impacts, so much so that it could have a major impact on 
the real or actual TTR, FEMA would likely recommend granting IA, 
assuming the damages were not covered by home, property, or flood 
insurance and IA assistance would not duplicate benefits. TTR is one 
data point along with numerous others and will not on its own determine 
FEMA's recommendation. States also have the opportunity, as they have 
in the past, to tell FEMA how their economy is impacted by the disaster 
and previous disasters. The State may also present, and FEMA will 
evaluate, the GDP trend in addition to simply the TTR data.
---------------------------------------------------------------------------

    \11\ GDP by State is a component of the TTR calculation.
    \12\ The District of Columbia's TTR does not include income 
earned by out-of-state commuters. Since the District of Columbia is 
proscribed by Federal law from taxing the earnings of commuters from 
outside its borders, the U.S. Treasury has subtracted the earnings 
of non-residents (commuter income).
    \13\ GDP by State data is currently available from the BEA for 
the following territories: Virgin Islands, Guam, American Samoa, and 
the Commonwealth of the Northern Mariana Islands. The U.S. Census 
publishes GDP for Puerto Rico.
---------------------------------------------------------------------------

    Generally, FEMA assumes a State with a low TTR may have a lower 
threshold for requiring supplemental Federal assistance than a State 
with a higher TTR because its economy may not be as resilient against 
the increased financial burdens that are attributed to a large 
disaster. FEMA assumes territories with lower GDP may have a relatively 
lower threshold for requiring Federal assistance. While a higher TTR or 
GDP are indicative of greater fiscal capability, FEMA recognizes that 
there are disasters that are so large or so destructive as to overwhelm 
even the most fiscally capable States.
    Per capita personal income by local area is calculated by the 
BEA,\14\ and is the personal income of the residents of a given area 
divided by the resident population of the area. BEA uses the Census 
Bureau's annual midyear population estimates when computing the per 
capita personal income. FEMA anticipates using per capita personal 
income by local area as a measure to better assess the need for 
supplemental Federal assistance within each local area. A local area 
with a relatively low per capita personal income that is affected by a 
disaster may have a lower threshold for requiring supplemental Federal 
assistance. Local governments in areas with low per capita personal 
income will typically have lower tax bases and therefore may have fewer 
resources available to help local residents impacted by a disaster, 
which may indicate a lower threshold for requiring supplemental Federal 
assistance. Per capita personal income by local area when considered 
holistically with TTR (and when

[[Page 70124]]

appropriate GDP by State) will help to identify areas of concentrated 
need at the micro local area and individual level in addition to the 
macro State level.
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    \14\ Data on per capita personal income is available on the 
BEA's ``Local Areas Personal Income & Employment'' Table CA1. FEMA 
may need to update this source if the BEA provides a new table for 
per capita personal income, and it is provided here for 
clarification purposes only.
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    FEMA also proposes to include at 44 CFR 206.48(b)(1)(i)(D) a factor 
entitled ``Other Factors.'' ``Other Factors'' is included to explicitly 
prompt the State to raise and discuss any other additional factors 
related to the State's fiscal capacity, i.e., burdens on a State 
treasury or a State's inability to collect funds. This factor will 
encourage a State to provide an explanation of a State's fiscal 
capacity that might not be captured or accurately reflected in the 
above factors. A State may have an extraordinary fiscal circumstance 
that is not reflected in the above factors and FEMA encourages the 
State to discuss the circumstances. For example, a hurricane may cause 
extensive damage in a coastal area and negatively impact tourism, which 
in turn, will have a negative impact on the tax base and fiscal 
capacity.
    Resource Availability. FEMA proposes to include at 44 CFR 
206.48(b)(1)(ii) a factor entitled ``Resource Availability.'' Federal 
disaster assistance is supplemental in nature. FEMA's current 
regulations do not provide for the level of granularity and detail for 
FEMA to fully evaluate what and where the resource shortfalls are for a 
community and State that was affected by a disaster. ``Resource 
Availability'' will be an evaluation of the disaster assistance 
resources available from State, Tribal, and local governments as well 
as non-governmental organizations and the private sector so that FEMA 
can determine where, if any, gaps in resources exist. This factor also 
provides for consideration of those circumstances that may prevent a 
State from having sufficient resources to devote to the disaster 
recovery process. Supplemental Federal assistance under the Stafford 
Act is not warranted or necessary if a State's disaster-caused needs 
can be met by the available resources provided by a State, Tribal, 
local governments, non-governmental organizations, or the private 
sector.
    FEMA is proposing to include at 44 CFR 206.48(b)(1)(ii)(A)-(D) four 
factors that will enable FEMA to fully evaluate a State's available 
resources post disaster: (1) State, Tribal, and local government, Non-
Governmental Organizations (NGO), and Private Sector Activity; (2) 
Cumulative Effect of Recent Disasters; (3) State Services; and (4) 
Planning After Prior Disasters.
    In current regulations, FEMA evaluates voluntary agency assistance 
to determine the need for assistance to individuals under the Stafford 
Act. 44 CFR 206.48(b)(4). While the current factor's title is 
``Voluntary agency assistance,'' both State and local government 
programs are included. FEMA is clarifying the inclusion of State and 
local government programs and is also expanding 44 CFR 
206.48(b)(1)(ii)(A) to include private sector assistance. FEMA is also 
specifying Tribal government assistance, which was previously 
considered under local government programs. FEMA is proposing this as a 
factor because the level of assistance available to disaster survivors 
from State, Tribal, and local government, NGOs, and the private sector, 
may offset a need or reveal an increased need for supplemental 
assistance. Assistance provided by State, Tribal, and local government, 
NGOs, and the private sector can include but is not limited to 
Emergency Management Assistance Compact (EMAC) resources, sheltering, 
housing programs, feeding, mental health services, child care, elder 
care, reunification services, clean up kits, blankets and cots, 
financial assistance, and other donations.
    This factor is an attempt to include the ``Whole Community'' 
approach to emergency management that reinforces the fact that FEMA is 
only one part of our nation's emergency management team; that FEMA must 
evaluate all of the resources of the collective team in preparing for, 
protecting against, responding to, recovering from and mitigating 
against all hazards; and that collectively we must meet the needs of 
the entire community in each of these areas. FEMA fully recognizes that 
a government-centric approach to emergency management is not enough to 
meet the challenges posed by a catastrophic incident. When the 
community is engaged in emergency management, it becomes empowered to 
identify its needs and the existing resources that may be used to 
address them. Collectively, we can determine the best ways to organize 
and strengthen community assets, capacities, and interests. This allows 
us, as a nation, to expand our reach and deliver services more 
efficiently and cost effectively to build, sustain, and improve our 
capability to prepare for, protect against, respond to, recover from, 
and mitigate all hazards. The ``Whole Community'' approach is an 
ongoing component of the nation's larger, coordinated effort to enhance 
emergency planning and strengthen the nation's overall level of 
preparedness.
    FEMA proposes to add a new factor ``Cumulative Effect of Recent 
Disasters,'' at 44 CFR 206.48(b)(1)(ii)(B), to evaluate a State's 
disaster history, both Presidential (public and individual assistance) 
and gubernatorial disaster declarations, for the previous 24-month 
period. FEMA is particularly interested in information from a State 
highlighting any disasters that have occurred within the State's 
current budget cycle. FEMA is proposing this as a factor because 
multiple disasters in a 24-month period, and particularly within one 
State budget cycle, may significantly strain a State budget and reduce 
the State's capability to adequately respond to and recover from a 
disaster without supplemental Federal assistance. In addition, pursuant 
to FEMA's regulations, at 44 CFR 206.48(a)(5), in evaluating the need 
for assistance under the Public Assistance program, FEMA considers the 
disaster history of the State for the last 12-month period. FEMA is 
requesting 24 months of State disaster history data because it closely 
aligns with the length of time for IA programs. For example, IHP 
assistance is available for 18 months and DCMP is available for 24 
months from the date of a major disaster declaration. A State with an 
open disaster period that is affected by another disaster might have 
various unique issues related to recovery and the compounded effects of 
two disasters within a short amount of time. Review of disaster 
activity occurring within the past 24 months will help to capture any 
ongoing disaster activity where individuals may still be receiving IHP 
assistance. If the length of time were limited to only 12 months, this 
factor might not identify that the State currently has an open major 
disaster declaration where individuals are potentially still receiving 
FEMA IA assistance. This time period will also align with most State 
government fiscal cycles, which are typically one or two years. An 
unanticipated number of disasters within a fiscal cycle may contribute 
to budget shortfalls that may render a State less able to respond to an 
event.
    FEMA is proposing a new factor, ``State Services,'' at 44 CFR 
206.48(b)(1)(ii)(C). Under this factor, FEMA would evaluate information 
regarding any circumstances that prevent a State from having the 
resources to provide sufficient services to its citizens. FEMA strongly 
believes that it is important for a State to have pre-identified 
funding sources or sufficient disaster relief funds or programs that 
can be utilized to assist its citizens after a disaster. A State 
requesting a major disaster declaration should address the reasons why 
the State does not have sufficient funds, or

[[Page 70125]]

why the funding sources are insufficient to meet the needs of its 
citizens.
    Finally, under the ``Resource Availability'' factor, FEMA is 
proposing to consider a State's ``Planning After Prior Disasters,'' at 
44 CFR 206.48(b)(1)(ii)(D). Federal disaster assistance is supplemental 
and is not intended to take the place of State disaster assistance 
programs. States are strongly encouraged to develop and continuously 
improve their own disaster assistance programs. For this factor, States 
should identify any new and existing individual assistance programs as 
well as any improvements to existing individual assistance programs 
made as a result of previous disasters. States that continually fail to 
address limitations or shortfalls identified by FEMA or the State after 
previous events will receive negative consideration under this factor. 
FEMA is proposing this as a factor because States are ultimately 
responsible for the well-being of their citizens and therefore should 
continuously evaluate and improve their disaster planning and relief 
programs based on lessons learned from previous disasters.

B. 44 CFR 206.48--Paragraph (b)(2) Uninsured Home and Personal Property 
Losses

    Under FEMA's current regulations, FEMA evaluates the concentration 
of damages to individuals. 44 CFR 206.48(b)(1). FEMA also considers the 
amount of insurance coverage pursuant to 44 CFR 206.48(b)(5). FEMA is 
proposing to incorporate both of the current factors, as well as 
additional information collected during the PDA process, into a new 
factor entitled ``Uninsured Home and Personal Property Losses'' in a 
new 44 CFR 206.48(b)(2). As described above in section (III)(A)(1) of 
the Background section, FEMA and the State participate in the joint PDA 
process, which includes an examination of the extent of damage to 
individual residences. The PDA data points help to illustrate the 
extent of damage that a community has sustained and help FEMA estimate 
the probable grant assistance under the Individuals and Households 
Program. The proposed data points save FEMA time when evaluating a 
major disaster declaration request because the requested data has 
already been evaluated and validated by FEMA during the joint PDA 
process. FEMA currently collects this information via the joint PDA 
process and uses them when evaluating requests for major disaster 
declaration.\15\ This proposed factor will more accurately describe the 
information collected and evaluated during joint PDAs.
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    \15\ Preliminary Damage Assessment for Individual Assistance 
Operations Manual (9327.2). Available at: http://www.fema.gov/media-library/assets/documents/29569.
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    The first proposed data point is the cause of damage in a new 
paragraph 44 CFR 206.48(b)(2)(i). FEMA is requesting this information 
in part because it is directly relates to insurance coverage. The cause 
of disaster damage refers to the peril that caused the disaster damage 
such as a tornado or wind driven rain. Insurance policies typically 
only cover damage resulting from a specific peril or perils. FEMA is 
legally prohibited from duplicating insurance proceeds when providing 
disaster assistance and must know the level of insurance coverage and 
the cause of the damage to estimate the potential amount of Federal IA 
available.
    The second proposed data point is information on the jurisdictions 
impacted and the concentration of damages in a new paragraph 44 CFR 
206.48(b)(2)(ii). FEMA is requesting this information because it will 
highlight the counties within a State that may require IA as well as 
whether the damages were in one concentrated area of the State or 
widespread. This information will be gathered during the PDA process by 
either the damage assessment teams or via geographic information system 
(GIS) data. IA is typically authorized based on county or parish 
jurisdictional boundaries.
    The third proposed data point is the number of homes impacted and 
degree of damage in a new paragraph 44 CFR 206.48(b)(2)(iii). Degree of 
damage refers to the extent of disaster damage and its impact on the 
habitability of a home. FEMA is requesting this information because it 
illustrates how a community was affected and what types and the extent 
of IA that may be needed for the community. This information is 
typically given at both the county or parish jurisdictional level and 
the State wide level.
    The fourth proposed data point is the estimated cost of assistance 
in a new paragraph 44 CFR 206.48(b)(2)(iv). The estimated cost of 
assistance is typically generated by the joint FEMA-State PDA and is 
already currently collected in FEMA's current declarations process. The 
estimated cost of damage will help FEMA gather information about the 
cost of a disaster and the potential amount of FEMA assistance that 
would be awarded. This data point is often determined using information 
obtained from the other data points outlined in this factor. This data 
point is important because it will capture the probable grant 
assistance that will be awarded for personal property in addition to 
grant assistance for housing.
    The fifth proposed data point is information on the homeownership 
rate of impacted homes in a new paragraph 44 CFR 206.48(b)(2)(v). This 
factor is an estimated rate of the homeownership of impacted homes in 
the disaster-affected area. FEMA may provide assistance for real 
property repair or replacement to homeowners for their primary 
residence and rental assistance to homeowners or renters; therefore, it 
is important to know homeownership rates in order to estimate probable 
assistance.
    The sixth proposed data point is information on the percentage of 
affected households with insurance coverage appropriate to the peril in 
a new paragraph 44 CFR 206.48(b)(2)(vi). FEMA is requesting this 
information because FEMA will consider the percentage of affected 
households with insurance coverage as part of the evaluation of whether 
the IHP is necessary and to assist in determining probable grant 
assistance. Insurance appropriate to the peril is, for example, if the 
cause of the damage is wind and the homeowner has homeowner's 
insurance, then the homeowner has insurance appropriate to the peril. 
If the homeowner has homeowner's insurance, but no flood insurance, and 
the cause of the damage is flooding, then the homeowner does not have 
insurance appropriate to the peril. If a homeowner has sufficient and 
appropriate insurance to the peril, Federal assistance may be limited 
to ONA, CCP, DCMP, or DUA programs because the Stafford Act prohibits 
FEMA from duplicating benefits received from any other source, 
including insurance proceeds. The State should attempt to provide this 
information through the State insurance commissioner or office and 
other appropriate sources. FEMA will verify the data using the best 
analysis methods available. FEMA currently utilizes National Flood 
Insurance Program (NFIP) data to determine insurance penetration rates 
for flood damages and Census data to determine homeowners' insurance 
coverage percentages. Since insurance coverage is not collected during 
the Census, the percentage of owner-occupied homes with a mortgage is 
used to determine an insurance penetration rate, due to assumption that 
a home with a mortgage would require home insurance coverage. FEMA is 
pursuing additional resources beyond NFIP and Census data to verify

[[Page 70126]]

insurance penetration rates in order to have the most accurate 
insurance information available. As previously mentioned in Section 
III(C)(9), FEMA is requesting that stakeholders and the public provide 
information and suggestions on potential sources of data for the most 
accurate insurance information. FEMA will consider any suggestions 
during the development of the final rule.
    Finally, the seventh proposed data point is any other relevant 
preliminary damage assessment data in a new paragraph 44 CFR 
206.48(b)(2)(vii). FEMA is proposing this factor to explicitly prompt 
the State to discuss any other damage assessment information that was 
gathered during the joint FEMA-State PDA that the State believes 
demonstrates that an effective response is beyond the capability of the 
State and affected local governments and that supplemental Federal 
assistance for individuals is appropriate.

C. 44 CFR 206.48--Paragraph (b)(3) Disaster Impacted Population Profile

    In FEMA's current regulations at 44 CFR 206.48(b)(3), FEMA 
considers special populations in evaluating the need for assistance to 
individuals under the Stafford Act. FEMA proposes to expand on this 
current factor, in the proposed factor ``Disaster Impacted Population 
Profile'' at a revised 44 CFR 206.48(b)(3). Currently, in the ``special 
populations'' factor FEMA considers demographic information regarding 
low income, elderly, or unemployed populations that are affected by a 
major disaster because those populations may have a greater need for 
assistance. 44 CFR 206.48(b)(3). FEMA also considers whether a State 
has any American Indian or Alaskan Native Tribal populations. 44 CFR 
206.48(b)(3).
    FEMA is proposing to consider additional demographic data points 
related to the disaster impacted community. This information will help 
FEMA to identify the specific issues or obstacles that a community may 
face in their disaster recovery. FEMA will consider the following U.S. 
Census and other Federal agency \16\ demographic data points \17\ in 
making a recommendation for IA under a major disaster declaration: (1) 
The percentage of the population for whom poverty status is determined; 
(2) the percentage of the population already receiving government 
assistance, such as Supplemental Security Income and Supplemental 
Nutrition Assistance Program benefits; (3) the pre-disaster 
unemployment rate; (4) the percentage of the population that is 65 
years or older; (5) the percentage of the population 18 years or 
younger; (6) the percentage of the population with a disability; and 
(7) the percentage of the population who speak a language other than 
English and speak English less than ``very well.'' In addition, FEMA 
will continue to consider any unique considerations regarding American 
Indian and Alaskan Native Tribal populations raised in the State's 
request for a major disaster declaration, even if such considerations 
are not be reflected in the U.S. Census Bureau data. These data points 
are readily available so that the State can discuss the data points in 
its request for a major disaster declaration.
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    \16\ Poverty data comes from the U.S. Census Small Area Estimate 
Branch, ``Poverty and Median Income Estimates for Counties.'' 
Supplemental Nutrition Assistance Program data is from the U.S. 
Census's American Community Survey (ACS) using the American 
FactFinder, Advanced Search, Geographies: ``All Counties within the 
United States,'' Topics: S2201, 5-year estimates. Supplemental 
Security Income data comes from ACS using the American FactFinder, 
Advanced Search, Geographies: ``All Counties within the United 
States,'' Topics: B19056, 5-year estimates. The unemployment data at 
the state and county level are respectively available at http://www.bls.gov/web/laus/laumstrk.htm and http://www.bls.gov/lau/#cntyaa. Data on county populations of ``65 or Older'' and ``18 or 
Younger'' data comes from the ACS using the American FactFinder, 
Advanced Search, Geographies: ``All Counties within the United 
States,'' Topics: DP05, 5-year estimates. Data on populations with a 
disability comes from the ACS, American FactFinder, Advanced Search, 
Geographies: ``All Counties within the United States,'' Topics: 
S1810, 3-year estimates. Data on ``percent of population who speaks 
English less than very well'' comes from the ACS, American 
FactFinder, Advanced Search, Geographies: ``All Counties in the 
United States,'' Topics: B06007, 5-year estimates. Data on American 
Indian and Alaska Native populations comes from the ACS, American 
FactFinder, Advanced Search, Geographies: ``All Counties within the 
United States,'' Topics: DP05, 5-year estimates. FEMA may update 
these sources to account for future improvement and changes in the 
U.S. Census, BLS, BEA, and Treasury data reporting, and the sources 
are provided here for example.
    \17\ For definitions related to demographic data points, please 
refer to the associated organizations Web sites. For example, refer 
to U.S. Census Small Area Income and Poverty Estimates definitions 
at http://www.census.gov/did/www/saipe/methods/statecounty/20102012county.html for percentage of the population for whom 
poverty status is determined. For a definition of the pre-disaster 
unemployment rate, refer to Bureau of Labor Statics at http://www.bls.gov/bls/glossary.htm and search for the term ``unemployment 
rate''. The U.S. Census glossary at http://www.census.gov/glossary 
and American Community Survey also provide definitions related to 
demographic data points including the following terms: Assistance 
and Subsidies, Age, Disability, Language Spoken at Home, and Ability 
to Speak English.
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    The proposed population demographic data points are relevant to all 
of FEMA's IA programs and are a valuable source of information to 
determine if specific programs are needed after a disaster. For 
example, demographic information revealing a large number of low 
income, unemployed, or elderly populations in a disaster area could 
indicate a need for supplemental Federal assistance because those 
populations may not have a large amount of disposable income or qualify 
for a Small Business Administration (SBA) disaster loan. With respect 
to demographic information that reveals a large non-English speaking 
population, this will help FEMA to structure their outreach efforts to 
ensure that any messaging efforts are in the appropriate languages.

D. 44 CFR 206.48--Paragraph (b)(4) Impact to Community Infrastructure

    In FEMA's current regulations, at 44 CFR 206.48(b), FEMA considers 
the degree of trauma to a State and to communities when evaluating a 
State's need for IA. FEMA considers conditions that might cause trauma, 
such as large scale disruption of normal community functions and 
services and emergency needs such as extended or widespread loss of 
power or water. 44 CFR 206.48(b)(2)(ii) and (iii). SRIA specifically 
identified trauma as a factor that required clarification as to the 
specific conditions or losses that contribute to trauma. FEMA proposes 
to examine what was previously identified as part of the ``trauma'' 
factor by identifying and evaluating several more objective factors 
which contribute to the level of trauma caused by a disaster.\18\ The 
``Impact to Community Infrastructure'' factor at a proposed new 44 CFR 
206.48(b)(4) includes several considerations which relate to the level 
of trauma, as well as considerations that shed light on a community's 
ability to recover from a disaster. This factor has three components: 
(1) Life-Saving and Life-Sustaining Services; (2) Essential Community 
Services; and (3) Transportation Infrastructure and Utilities. 
Significant levels of damage, disruption, or destruction to any or all 
of these components may hinder the ability of individuals and families 
to make a timely recovery, be indicative of higher levels of trauma, 
and suggest an increased need for supplemental Federal assistance--for 
example Other Needs Assistance, Crisis Counseling Program, or Disaster 
Case Management Program. FEMA anticipates information on the three 
components will be provided by the State.
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    \18\ FEMA is also providing additional clarity on what 
constituted trauma in the Casualties factor which can be found in 
the proposed new 44 CFR 206.48(b)(5) and is discussed below.

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[[Page 70127]]

    FEMA is requesting information on an activity or disruption that 
lasts for more than 72 hours for each of the below components. As a 
general matter members of the public should be prepared to potentially 
be on their own at least 72 hours after a disaster.\19\ It may take 
FEMA up to 72 hours to assess and mobilize Federal assets to help a 
State that is overwhelmed by a disaster. In addition, preparing for at 
least this amount of time will allow emergency responders to focus on 
those individuals requiring more immediate assistance.
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    \19\ See the following Web sites as examples: The FEMA run 
national public service advertising (PSA) campaign Web site http://www.ready.gov/build-a-kit; the Texas Division of Emergency 
Management Web site http://www.txdps.state.tx.us/dem/Preparedness/emerSupplyKits.htm; the San Francisco Department of Emergency 
Management Web site http://www.sf72.org/home; and the New York City 
Office of Emergency Management Web site http://www.nyc.gov/html/oem/html/get_prepared/supplies.shtml.
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    Life-Saving and Life-Sustaining Services. FEMA is proposing that a 
State provide information regarding the impact of the disaster on life-
saving and life-sustaining services for a period of greater than 72 
hours in a new paragraph 44 CFR 206.48(b)(4)(i). FEMA is specifically 
seeking information on services such as, but not limited to, police, 
fire/EMS, hospital/medical, sewage, and water treatment services 
because prolonged disruption may affect the viability of a community 
and necessitate survivor relocation. The effects of a disaster will 
increase the demand for life-saving and life-sustaining services and 
necessitate a more robust response. Significant or extended disruptions 
to these services will hinder a community's ability to recover from a 
disaster.
    Life-saving services are services that provide an essential 
community function that, if interrupted, will affect public health and 
safety in a community. Some typical examples of life-saving services 
data that FEMA is requesting are whether emergency medical services 
such as ambulances, fire services, police services, or hospital 
services are affected by the disaster. Life-sustaining services are 
services that are required to support life and well-being within a 
community and are necessary for the community to function as normal. 
Some typical examples of life-sustaining services data that FEMA is 
requesting are whether any community healthcare programs, assistance to 
homebound individuals such as Meals on Wheels, or food providers such 
as grocery stores or restaurants are affected by the disaster.
    Essential Community Services. FEMA is proposing that a State 
provide information regarding the impact on essential community 
services for a period greater than 72 hours in a new paragraph 44 CFR 
206.48(b)(4)(ii). Essential community services are services that 
improve the quality of life for a person in a community but do not 
sustain a person's life. FEMA is requesting information on the impact 
of the disaster on essential community services such as, but not 
limited to, schools, social services programs and providers, child 
care, and eldercare. Information on the impact of the disaster on 
essential community services can include, for instance, the number of 
schools closed, whether any social service programs or providers such 
as Meals on Wheels were affected by the disaster, and the number of 
providers of child care or eldercare in the community that closed. 
Significant or extended disruptions to these services will hinder the 
affected community's ability to recover from a disaster.
    Transportation Infrastructure and Utilities. FEMA is proposing that 
the State provide information regarding the impact of the disaster on 
transportation infrastructure and utilities in a new paragraph 44 CFR 
206.48(b)(4)(iii). Specifically, FEMA is seeking information on the 
number of roads, bridges, tunnels, and public transit closures and 
utility outages of water, power, sewage, and gas that last longer than 
72 hours. Transportation infrastructure or utility disruptions can 
render housing uninhabitable or inaccessible for disaster survivors, 
affect the delivery of life sustaining commodities, provision of 
emergency services, ability to shelter in place, and efforts to 
rebuild. Significant or extended disruptions to this infrastructure 
will hinder the affected community's ability to recover from a 
disaster.

E. 44 CFR 206.48--Paragraph (b)(5) Casualties

    In FEMA's current regulations, at 44 CFR 206.48(b)(2)(i), FEMA 
evaluates the degree of trauma to a State and to communities, including 
consideration of ``large numbers of injuries and deaths.'' As discussed 
above, SRIA specifically directed FEMA to clarify the factor related to 
trauma; the proposed changes to the Impact to Community Infrastructure 
factor, described above, represent part of this effort.
    In addition, FEMA is proposing in a new 44 CFR 206.48(b)(5) that 
States submit information on the number of individuals who are missing, 
injured, or deceased due to a disaster. FEMA believes that this 
information may indicate a heightened need for supplemental Federal 
assistance because casualties are clearly indicative of the level of 
trauma in the affected area. Moreover, each of the proposed data points 
link to one or more types of assistance under IA programs. The 
estimated number of missing individuals can highlight how traumatic an 
event was for a community and indicate a potential need for crisis 
counseling. This information may also be an indicator that additional 
injured or deceased individuals may be discovered during the course of 
the disaster recovery. The estimated number of injured individuals may 
also indicate a need for crisis counseling as well as medical or dental 
assistance under the ONA provision of the Individuals and Households 
Program. The estimated number of deceased individuals may indicate a 
need for crisis counseling as well as funeral assistance under ONA. 
These proposed data points are typically provided by the State already.

F. 44 CFR 206.48--Paragraph (b)(6) Disaster Related Unemployment

    In FEMA's current regulations, FEMA considers whether ``special 
populations,'' such as the unemployed, are affected by the disaster and 
whether they may have a greater need for assistance in 44 CFR 
206.48(b)(3). As discussed above, FEMA is proposing to add a ``Disaster 
Impacted Population Profile'' factor, which incorporates consideration 
of a number of special populations, including the percentage of low-
income, unemployed, and elderly individuals within the population.
    In addition, FEMA is proposing a new factor, ``Disaster Related 
Unemployment,'' in a new paragraph 44 CFR 206.48(b)(6) that will 
evaluate unemployment in a different manner than FEMA's current 
regulations. FEMA's current regulations are focused primarily on those 
that are unemployed prior to the disaster. In this new factor, FEMA 
will seek to identify individuals that may have lost work or become 
unemployed as a result of the disaster.
    The Disaster Unemployment Assistance program (DUA), operation of 
which has been delegated to the Department of Labor, 44 CFR 206.141, 
provides unemployment benefits and re-employment services to 
individuals who have become unemployed as a result of a major disaster 
and who are not eligible for regular State unemployment insurance. The 
types of workers who typically receive such assistance are self-
employed, service industry workers, and seasonal workers such as those 
employed in tourism, fishing, or agriculture industries. In

[[Page 70128]]

order to fully evaluate whether or not DUA is appropriate, FEMA is 
requesting that a State provide information on the estimated number of 
disaster survivors who lost work or became unemployed due to a disaster 
and who do not qualify for standard unemployment insurance.
    In addition, FEMA is requesting that a State provide information 
regarding any major employers that are affected in the area by the 
disaster because it may highlight an additional need for the community 
in their recovery efforts. When a major employer in a community is 
affected by a disaster, it can signal to FEMA that the community will 
have a prolonged recovery because a large amount of individuals may be 
out of work and unable to support their own recovery efforts. This may 
further indicate need for DUA and other IA programs. FEMA anticipates 
that the State will provide this information.

G. Principal Factors for Evaluating the Need for the Individuals and 
Households Program

    FEMA is proposing that the principal factors it will consider in 
evaluation of any major disaster declaration request for IHP will be 
the fiscal capacity of the requesting State (44 CFR 206.48(b)(1)(i)) 
and the uninsured home and personal property losses (44 CFR 
206.46(b)(2)). As discussed above, major disaster declarations are 
based upon a finding that the event is of such severity and magnitude 
that effective response and recovery is beyond the capabilities of the 
State and affected local governments. IHP provides grants and direct 
assistance to eligible disaster survivors who have necessary and 
serious needs that they are unable to meet through other means. In 
order to determine the need for IHP, it is important to evaluate the 
total estimated need for such assistance resulting from the event and 
to compare that estimated need to the fiscal capability of the 
requesting State.
    FEMA evaluated major disaster declaration requests including IHP 
between January 2008 and July 2013 and determined that the uninsured 
home and personal property losses' estimated cost of assistance was an 
important factor driving whether a major disaster declaration 
authorizing IHP was declared by the President. FEMA found that 97% of 
requests involving estimated costs of assistance that were equal to or 
greater than $7.5 million were granted major disaster declarations 
authorizing IHP, while only 6% of requests involving estimated costs of 
assistance equal to or less than $1.5 million were granted. Requests 
falling between those numbers were much more uncertain, with 
approximately 44% granted, as reflected in Table 1.

                    Table 1--Estimated Cost of Assistance to Declaration Decision Comparative
----------------------------------------------------------------------------------------------------------------
                                                                     Number of       Number of    Percentage  of
         Dollar amount of estimated costs of  assistance             disaster        disasters       disasters
                                                                     requests        declared        declared
----------------------------------------------------------------------------------------------------------------
$7.5 million or more............................................              32              31              97
$1.5 million to $7.5 million....................................              87              38              44
$1.5 million or less............................................              34               2               6
----------------------------------------------------------------------------------------------------------------
* Based on major disaster declaration requests including IHP between January 2008 and July 2013.

    Similarly, FEMA found that the ratio of IA Cost to Capacity 
(ICC),\20\ which is the estimated cost of IA divided by the State's TTR 
in millions, was particularly indicative of the declaration result 
above and below certain levels. FEMA conducted a review of 153 \21\ 
major disaster declaration requests that included IA that were 
submitted between January 2008 to July 2013 to determine if there would 
be any impact from using TTR in assessing a State's need for a major 
disaster declaration authorizing IA. Each State request included an 
estimate of the costs from the damages attributed to the disaster 
event. FEMA retrieved the TTR per State at the time of each request. 
For each request, FEMA divided the estimated cost by the State TTR in 
millions. For example, if a State estimated $2,000,000 in IA costs and 
the State's TTR was $30,000,000,000, FEMA divided $30,000,000,000 by 
$1,000,000 to get the State's TTR in millions which is $30,000. FEMA 
then divided $2,000,000 by $30,000 to get the ratio of IA Cost to 
Capacity (ICC) of 66.7.
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    \20\ See the discussion in V. Regulatory Analysis; A. Executive 
Order 12866; 5. Impacts to Costs, Benefits, and Transfer Payments; 
d. Transfer Payments, for more detailed explanation of ICC and these 
findings.
    \21\ For the analysis on TTR, FEMA excluded disaster declaration 
requests that did not include a request for IA. FEMA also excluded 
duplicate requests, U.S. territories' requests (because there is no 
TTR data available), requests without summaries of the PDA data or 
with insufficient data, and requests that involved an expedited 
decision.
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    Based on the ICC calculation for all 153 State requests, there is a 
general trend that shows the greater the ICC ratio for a major disaster 
declaration request that included IA, especially above 25, the more 
likely the request would be granted. Additionally, the lower the ICC 
ratio for a major disaster declaration request that included IA, 
especially below 10, the more likely the request was denied. Major 
disaster declaration requests for IA with an ICC greater than 25 were 
granted 95% of the time, while requests with an ICC below 10 were 
granted only 7% of the time. Requests with ICCs falling in between 10 
and 25 were granted approximately half the time.
    FEMA is not proposing to use these numbers as a hard ``threshold'' 
or incorporate them into regulation because there is no one factor 
required to receive a major disaster declaration authorizing IA and we 
want to preserve the President and FEMA's discretion to consider the 
circumstances of each event. Moreover, FEMA recognizes that this kind 
of analysis can help identify trends and ensure consistent 
decisionmaking over time, but does not always provide the full scope of 
information necessary for FEMA to make an informed recommendation.
    However, FEMA believes that providing these types of trends and 
historic data is important to help guide States in their consideration 
of whether or not an event might warrant a major disaster declaration 
authorizing IA. The trends and historical data will also help guide 
State planning with respect to what level of IHP damage they should 
expect to handle without supplemental Federal assistance. This type of 
planning guidance is consistent with the original intent behind the 
table currently in 44 CFR 206.48(b)(6). As discussed above, the data in 
that table eventually became out of date and it no longer has any 
utility as a planning tool.
    In order to ensure that the most useful and up to date data and 
information are available to States for guidance and planning purposes, 
FEMA proposes to compile and periodically publish aggregate PDA data 
for major disaster requests, including IHP. Currently,

[[Page 70129]]

FEMA publishes Preliminary Damage Assessment Reports \22\ for every 
request for a major disaster declaration. These reports lay out the PDA 
data that was provided in the Governor's request and indicate whether 
or not the request resulted in a declaration. Upon finalization of new 
IA declaration factors, FEMA intends to continue publishing these 
reports with new declaration factors. In addition, FEMA intends to 
periodically publish the aggregate data from these reports in a format 
that will assist States in evaluating the likelihood of receiving a 
major disaster declaration for a specific event and for planning for 
future events. By publishing this information in periodic guidance, and 
not codifying it in regulation, FEMA would ensure that the data remains 
timely and useful.
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    \22\ These can be found on FEMA's Web site at: https://www.fema.gov/preliminary-damage-assessment-reports.
---------------------------------------------------------------------------

    In addition to publishing PDA data, FEMA intends to publish 
guidance that provides clarity to States on how FEMA would utilize the 
new proposed factors when it evaluates major disaster declaration 
requests that include IA. This guidance will provide additional detail 
regarding analysis of the principal factors as well as other factors 
identified in the proposed rule. FEMA intends to publish the guidance 
for public comment to this rulemaking docket, and FEMA will develop the 
final rule and guidance as a pair taking into consideration all 
comments received on the NPRM and guidance. Over time, FEMA may update 
this guidance as necessary. The provision of more specific details 
regarding evaluation of the specific factors through guidance will 
allow FEMA to be more nimble in adapting to changing circumstances or 
changing priorities, while also creating an important transparency 
benefit for State and local governments.
    It is important to note that certain disasters may present unique 
circumstances which cannot be anticipated by regulation or policy 
guidance, as such States may submit, and FEMA may evaluate, all 
relevant information. In addition, FEMA only evaluates requests and 
makes recommendations to the President. The sole discretion to approve 
or deny any request for major disaster declaration request lies with 
the President.

V. Regulatory Analysis

A. Executive Order 12866, Regulatory Planning and Review and Executive 
Order 13563, Improving Regulation and Regulatory Review

1. Executive Summary & A-4 Accounting Statement
    Executive Orders 13563 and 12866 direct agencies to assess the 
costs and benefits of available regulatory alternatives and, if 
regulation is necessary, to select regulatory approaches that maximize 
net benefits (including potential economic, environmental, public 
health and safety effects, distributive impacts, and equity). Executive 
Order 13563 emphasizes the importance of quantifying both costs and 
benefits, of reducing costs, of harmonizing rules, and of promoting 
flexibility. This rule has been designated a ``significant regulatory 
action'' although not economically significant, under section 3(f) of 
Executive Order 12866. Accordingly, the rule has been reviewed by the 
Office of Management and Budget.
    This proposed rule would impose a cost burden of $3,752 in the 
first year of implementation and $1,609 annually for subsequent years. 
During the ten year period following the final rule's effective date, 
the total cost would be $18,233 undiscounted. The ten year present 
value total cost would be $15,806 and $13,302 if discounted at three 
and seven percent, respectively. The small annualized cost of the 
proposed rule would be $1,853 at three percent and $1,894 at seven 
percent.\23\
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    \23\ FEMA includes estimates of discounted present value costs 
and annualized costs according to guidance from OMB Circular A-4. 
Office of Management and Budget, Published September 17, 2003. 
Available at: http://www.whitehouse.gov/sites/default/files/omb/assets/omb/circulars/a004/a-4.pdf.
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    Despite the newly identified factors, this proposed rule would not 
change the total amount of assistance available to individuals and 
households because much of the proposed rule codifies FEMA's evolving 
declarations practice since 1999. FEMA does not anticipate the two 
newly proposed factors would change the total amount of individual 
assistance as well, which is discussed in the following sections. 
Benefits of the proposed rule include clarifying FEMA's existing 
practices, reducing processing time for requests due to clarifications, 
and providing States with notice of the new factor information FEMA is 
proposing to consider as part of the IA declarations process.

                                                                  A-4 Accounting Table
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                     Estimates                                      Units
                                      ------------------------------------------------------------------------------------------
               Category                  Primary        Low          High                    Discount                                     Notes
                                         estimate     estimate     estimate   Year dollar      rate          Period covered
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                        Benefits
--------------------------------------------------------------------------------------------------------------------------------------------------------
Annualized Monetized ($millions/year)         None         None         None           NA           NA  NA.....................  Not Quantified.
Annualized Quantified................         None         None         None           NA           NA  NA.....................  Not Quantified.
--------------------------------------------------------------------------------------------------------------------------------------------------------
Qualitative..........................   The proposed rule more clearly identifies declaration factors FEMA considers in making
                                        its recommendation to the President on a major disaster declaration authorizing IA. It
                                       codifies many factors FEMA currently considers but are not specifically identified in 44
                                          CFR 206.48(b). The proposed rule may also result in regulatory efficiencies due to
                                          reduced process time and effort (back and forth). In addition, the newly identified
                                           factors would provide FEMA additional information on a requesting State's fiscal
                                                                  capacity and resource availability.
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                          Costs
--------------------------------------------------------------------------------------------------------------------------------------------------------
Annualized Monetized.................     $1,894.0         $0.0         $0.0         2013           7%  10 Years...............  None.
                                          $1,853.0         $0.0         $0.0         2013           3%  10 Years...............

[[Page 70130]]

 
Annualized Quantified................         None         None         None         2013          N/A  10 Years...............
--------------------------------------------------------------------------------------------------------------------------------------------------------
Qualitative..........................  None.
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                        Transfers
--------------------------------------------------------------------------------------------------------------------------------------------------------
Federal Annualized Monetized                  None         None         None           NA           7%  NA.....................  None.
 ($millions/year).
Other Annualized Monetized ($millions/        None         None         None           NA           7%  NA.....................  None.
 year).
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                         Effects
--------------------------------------------------------------------------------------------------------------------------------------------------------
State, Local, and/or Tribal                   None         None         None          N/A           NA  NA.....................  None.
 Government.
--------------------------------------------------------------------------------------------------------------------------------------------------------
Small Business.......................  FEMA certifies under 5 U.S.C. 605(b) that this proposed rule would not, if promulgated, have a significant
                                       economic impact on a substantial number of small entities.
Wages................................  None.
Growth...............................  Not Measured.
--------------------------------------------------------------------------------------------------------------------------------------------------------

2. Need for Regulatory Action
    FEMA is proposing this rule to provide clarity on the IA 
declaration factors that FEMA currently considers in support of its 
recommendation to the President on whether a major disaster declaration 
authorizing IA is warranted. The additional clarity may reduce delays 
in the declaration process by decreasing back and forth between States 
and FEMA in the declarations process. FEMA is also proposing two new 
factors on Fiscal Capacity and Resource Availability to provide 
additional context on potential disaster situations. The proposed rule 
would also satisfy the requirements outlined in Section 1109 of SRIA.
3. Affected Population
    Requests for a Federal major disaster declaration authorizing IA 
must come from a State's Governor. 44 CFR 206.36(a). As such, the 
proposed rule affects the 56 States that are eligible to request a 
Presidential major disaster declaration authorizing IA. States are 
defined in 44 CFR 206.2(a)(22), and include any State of the United 
States, the District of Columbia, Puerto Rico, the Virgin Islands, 
Guam, American Samoa, and the Commonwealth of the Northern Mariana 
Islands.
    Although Section 1110 of SRIA amended the Stafford Act to allow 
Federally recognized Indian Tribal governments to submit requests for 
emergency or major disaster declarations, SRIA charged FEMA to 
implement that authority separately by rulemaking. Thus such 
declarations would be covered by a separate process and are not 
included in this proposed rule. Local governments are also not affected 
by the proposed rule because the disaster related information local 
governments provide to the State is part of their current disaster 
response process to provide situational awareness and ascertain need 
for further assistance.
4. Current Baseline and Changes From Proposed Rule
    The proposed rule largely codifies many considerations that FEMA 
has applied for several years under the ``other relevant information'' 
prong of the regulation but were not specifically identified in FEMA 
regulations. FEMA reviewed State major disaster declaration letters 
that requested IA for numerous disasters and found that States 
typically included more information and data than what is specifically 
identified in the current regulations at 44 CFR 206.48(b).\24\ As such, 
costs for States would be minimally impacted by the proposed rule 
because States currently provide FEMA with the proposed information for 
major disaster declaration requests, as appropriate. A marginal 
analysis table evaluating each of the considerations is provided later 
in the preamble and a more detailed table is provided in the rulemaking 
docket.
---------------------------------------------------------------------------

    \24\ FEMA reviewed a sample of State major disaster declaration 
request letters and found that each letter was unique and provided 
many of the data points and information that would be explicitly 
included under the proposed regulation. The information submitted 
will vary depending on the disaster, the scope of damages and the 
need for assistance. FEMA does not require every data point to be 
submitted to get a declaration. Some requests will have more data or 
information, while other requests will have less. For instance, in 
more severe events to less resilient areas, the States did not need 
to provide a large amount of information to get a declaration, 
because it was evident to FEMA and the White House that the 
individual assistance needs were outside the capacity of the 
requesting State.
---------------------------------------------------------------------------

    In addition, as stated previously, Indian Tribal governments 
(requesting assistance through the State) and local governments 
currently provide the proposed factor information for their local area 
and affected residents to the State in support of a State's request and 
its determination on whether a request for a major disaster declaration 
authorizing IA is warranted. Therefore, FEMA anticipates Indian Tribal 
governments (requesting assistance through the State) and local 
governments will not incur additional costs by the proposed regulation.
    FEMA is also proposing to include two new factors: Fiscal Capacity 
and Resource Availability. Both new factors have small burden increases 
associated with obtaining the additional information. FEMA considers 
Fiscal Capacity data solely a Federal burden increase since it intends 
to collect the information. Resource Availability information is 
considered a State burden increase since States would provide such 
information. However, FEMA does not anticipate either new factor to 
impact the number of IA declaration requests received or the amount of 
IA assistance provided, and therefore no impact to transfer payments.
    Fiscal Capacity. FEMA recognizes that each State's capacity to 
respond

[[Page 70131]]

and recover varies based on the circumstances of the disaster and the 
State's resources. FEMA intends to include the consideration of fiscal 
capacity data to better evaluate a State's ability to adequately 
respond to a disaster with or without supplemental Federal assistance. 
The GAO has suggested in multiple reports that FEMA should incorporate 
States' fiscal capacity into its considerations for recommendations on 
disaster declarations to the President. Though the GAO reports have 
focused on including fiscal capacity in FEMA's PA declaration factor 
criteria, FEMA believes that there is a need to assess a State's 
capacity to respond and recover on its own when determining whether a 
major disaster declaration that authorizes IA is warranted as well. 
Furthermore, the GAO supported the use of TTR as a measure of a State's 
fiscal capacity because it is a comprehensive estimate of the resources 
that could potentially be subject to State taxation.\25\ Therefore, 
FEMA is proposing to include fiscal capacity as an additional factor in 
its determination.
---------------------------------------------------------------------------

    \25\ United States Government Accountability Office, FEDERAL 
DISASTER ASSISTANCE: Improved Criteria Needed to Assess a 
Jurisdiction's Capability to Respond and Recover on Its Own, GAO-12-
838, September 2012, Page 31. Available at: http://www.gao.gov/assets/650/648162.pdf.
---------------------------------------------------------------------------

    To ascertain a State's fiscal capacity to respond to a major 
disaster, FEMA intends to review data on a State's Total Taxable 
Resources (TTR). The U.S. Department of Treasury calculates the TTR of 
the State, which is used as a measure of a State's fiscal capacity.\26\ 
TTR is based on the GDP per State but makes adjustments for additional, 
potentially-taxable income flows like capital gains and commuter 
income. FEMA acknowledges that TTR does not capture a State's actual 
tax revenue or expenditures and cannot be viewed as a financial 
accounting of a State's budget. TTR is instead intended to measure all 
income flows a State can potentially tax.
---------------------------------------------------------------------------

    \26\ A 2012 GAO report stated that other Federal departments and 
agencies have used TTR data to determine a jurisdiction's fiscal 
capacity and the extent to which a jurisdiction should be eligible 
for Federal assistance; specifically the Department of Health and 
Human Services' Substance Abuse and Mental Health Services 
Administration's block grant program and Community Mental Health 
Service.
---------------------------------------------------------------------------

    Resource Availability. Relative to State services and planning 
after prior disasters, FEMA encourages States to continuously improve 
their own disaster assistance programs for their citizens. States 
should identify any new individual assistance programs as well as any 
improvements to existing individual assistance programs made as a 
result of previous disasters. FEMA intends to include this factor to 
encourage States to continuously evaluate and improve their disaster 
planning and relief programs based on lessons learned from previous 
disasters. On the other hand, States that continually fail to address 
limitations or shortfalls identified after previous events would be a 
consideration in FEMA's deliberation. Nonetheless, FEMA does not expect 
that the inclusion of this factor would affect the overall number of 
major disaster declarations authorizing IA as this factor would be 
considered with a number of other factors and would not, in isolation, 
determine whether a declaration is recommended.
5. Impacts to Costs, Benefits, and Transfer Payments
    In the following section, FEMA discusses the proposed rule's 
quantified costs for States and the Federal government, qualitative 
benefits, and why there are no expected impacts to transfer payments.
a. State Costs
    As stated previously, many of the factors listed in the proposed 
rule have previously been submitted or requested subsequent to a State 
request and thus are estimated to have no new costs. The two proposed 
additional factors that have not been typically provided or considered 
would impose a new cost. FEMA intends to obtain data related to fiscal 
capacity from publicly accessible databases and Web sites at no cost to 
States. Providing information on State services and planning after 
prior disasters would impose a new cost on States. In addition, FEMA 
assumes the proposed rule may have an initial implementation cost for 
States to familiarize themselves and understand the new factor data 
requirements.
    If a State is unable to provide information for a particular factor 
or factors, FEMA would evaluate and provide a recommendation on the 
State's need for Federal assistance based on the information submitted 
and data available from other sources, as appropriate. The only 
required elements of a State's major disaster declaration request 
appear at 44 CFR 206.36. FEMA's intent, through this proposed rule, is 
to clearly identify the considered data points that are previously 
captured under the ``other relevant information'' prong of the 
regulation to inform the States' formulation of their request. In some 
scenarios, certain pieces of information identified in the proposed 
rule may be inapplicable or unavailable. In addition, FEMA recognizes 
that the circumstances of a disaster may not allow a State to collect 
all of the information identified within the proposed rule. States 
would need to provide information that supports their request for a 
major disaster declaration authorizing IA, but would not have to 
address every data point in the proposed rule to be granted the 
request. For example, for a catastrophe of unusual severity and 
magnitude such that preliminary damage assessments are not necessary to 
determine the requirement for Federal assistance, States may submit an 
abbreviated request pursuant to 44 CFR 206.36(d), which need only 
contain limited information required by that provision. The proposed 
rule is identifying factors, which FEMA would consider in its review of 
a major disaster declaration request that includes IA when making 
recommendations to the President, but ultimately the amount of data 
provided by the State is voluntary.
    FEMA anticipates information on State services and planning after 
prior disasters would be addressed in a short summary in the Governor's 
request. FEMA program employees who work with declarations estimate 
that a State would spend an additional 30 minutes collecting and 
incorporating information on State services and planning after prior 
disasters into the State's declaration request. FEMA assumes this time 
would be used to write a paragraph or two on why the State lacks the 
resources to provide sufficient services to its citizens and any new or 
existing State individual assistance programs or improvements made to 
State individual assistance programs as a result of previous disasters. 
FEMA assumes that a State would be aware of their own service and 
program capabilities prior to considering whether a request for a major 
disaster declaration that authorizes IA is warranted. In addition, a 
State may build upon past requests in subsequent requests depending on 
whether their program efforts have been ongoing or have changed.\27\ 
FEMA previously estimated that States spend 33 hours on average to 
compile, write, and submit a request for a declaration.\28\ FEMA 
assumed the equivalent of a State Government Chief Executive, a senior

[[Page 70132]]

level government official familiar with State emergency assistance 
programs, would prepare the Request for Presidential Disaster 
Declaration Major Disaster or Emergency, FEMA Form 010-0-13. Per the 
U.S. Department of Labor Bureau of Labor Statistics, the average hourly 
wage rate for a State Government Chief Executive is $54.66 which FEMA 
multiplied by 1.4 to account for benefits.\29\ This results in a fully 
loaded State Government Chief Executive hourly wage rate of $76.52. 
Between January 2004 and December 2013, FEMA received 413 requests for 
a major disaster declaration that authorized IA. FEMA divided 413 by 
ten years to estimate that States would submit an average of 41 
requests for major disaster declarations authorizing IA per year. FEMA 
multiplied 30 minutes (0.5 hours) by the fully loaded hourly wage rate 
of $76.52 and 41 submissions to get an annual cost of $1,569 (0.5 x 
$76.52 x 41 = $1,568.66).
---------------------------------------------------------------------------

    \27\ FEMA recognizes there may be a level of repetition in a 
State's request, but FEMA would prefer to ensure it has up to date 
information, including recent efforts from previous disasters, for 
the White House and FEMA to consider.
    \28\ FEMA has provided the supporting statement document for the 
information collection, OMB Control Number 1660-0009, in the public 
rulemaking docket. The supporting statement dated February 25, 2013 
was the latest supporting statement prior to this proposed 
regulation.
    \29\ U.S. Department of Labor, Bureau of Labor Statistics, 
Occupational Employment Statistics, May 2013 National Industry-
Specific Occupational Employment and Wage Estimates, NAICS code 
999200, State Government excluding schools and hospitals, and 
Standard Occupational Classification (SOC) code 11-1011 for Chief 
Executive. http://www.bls.gov/oes/2013/may/naics4_999200.htm.
---------------------------------------------------------------------------

    As noted above, most of the information included in the proposed 
factors is information that was previously captured under the ``other 
relevant information'' prong of the regulation and has been considered, 
as appropriate, when evaluating requests for a major disaster 
declaration that authorized IA. However, FEMA at times has had to reach 
back to the State for additional information.\30\ By clearly 
identifying information considered in the proposed rule, FEMA 
anticipates that such delays in the declaration process would be 
diminished. With the changes in the proposed rule, the regulations 
would improve clarity regarding potentially relevant information. 
States would be encouraged to include the fulsome information in the 
original request, which could potentially eliminate follow-up 
correspondence and speed up the determination of a major disaster 
declaration request. Although FEMA recognizes that large scale 
disasters may not need as much detail or data to support a major 
disaster declaration request due to the extent of IA damage costs; 
other disasters may be more difficult to determine if a need for 
Federal disaster assistance exists without the State providing 
additional information identified in the proposed rule. Thus the 
proposed rule provides the State with the types of requested data that 
informs FEMA's recommendation and ultimately, the President's 
determination of a State's need for a major disaster declaration that 
authorizes IA.
---------------------------------------------------------------------------

    \30\ Historically, FEMA has attempted to cure some of the lack 
of clarity by providing States with major disaster declaration 
request template letters, which provided a suggested organizational 
structure for States to follow when making their request for a major 
disaster declaration.
---------------------------------------------------------------------------

    To estimate the time for States to understand changes made to the 
regulations, State governments would spend time reading the proposed 
and existing regulations. Based on a sample of FEMA employees who 
formerly worked for State governments, FEMA estimates States would 
spend 30 minutes (0.5 hours) to familiarize themselves and understand 
the new factor data requirements.\31\ FEMA assumes the equivalent of a 
State Government Chief Executive, a senior level government official 
familiar with State emergency assistance programs, would read the 
existing and new regulations to understand the changes. FEMA multiples 
the fully loaded hourly wage rate of a State Government Chief 
Executive, calculated above as $76.52, by 0.5 hours and 56 States, to 
calculate an increased State cost of $2,143 ($76.52 x 0.5 x 56 = 
$2,142.56). FEMA assumes State governments would read the regulation 
once in the first year it goes into effect and would subsequently refer 
to supplemental guidance materials, such as the Governor's request 
template, to complete requests.
---------------------------------------------------------------------------

    \31\ To estimate the time for States to familiarize themselves 
and understand the new factor data requirements, FEMA surveyed its 
own employees who formerly worked for State governments. Thirteen 
employees were identified who worked for various States, 
representing multiple regions, State sizes, and a range in years of 
service in State government and FEMA. These employees were asked to 
read the proposed and existing regulations and answer questions to 
test their understanding of the changes. The employees were also 
provided a copy of excerpts of this regulatory preamble if they 
needed further information to answer the test. About 40 percent of 
the employees referred back to the preamble to answer the questions. 
It took an average of 17 minutes to read the existing and proposed 
regulatory text and 11 minutes to answer the questions, including 
referring back to the preamble. FEMA rounded 28 minutes (11minutes 
+17minutes) to 30 minutes and uses 0.5 hours to calculate the costs.
---------------------------------------------------------------------------

    FEMA estimates total State costs in the first year to be $3,712. 
FEMA estimates State costs in subsequent years to be $1,569.
b. Federal Costs
    FEMA anticipates the Federal government would incur minor 
additional costs by the rule because, as noted above, FEMA already 
considers most of these factors under the ``other relevant 
information'' prong of the regulation when reviewing major disaster 
declaration requests. In addition, FEMA has already begun to change the 
way it collects information for major disaster declaration 
recommendations that did not require regulatory action.
    In the past, FEMA would review pre-disaster data about a disaster 
location. This pre-disaster data provided FEMA information about the 
disaster location that helped to illustrate the population and area 
that was impacted by a disaster. The pre-disaster data came from 
Federal sources, such as the United States Census Bureau and the Bureau 
of Labor Statistics. Independent of the regulation, FEMA had begun a 
process to streamline how pre-disaster data is collected and 
disseminated as well as improving the efficiency and speed of the PDA 
process by using new technologies and processes to collect and transmit 
information faster.
    One of the areas where FEMA would incur costs is for the retrieval 
of fiscal capacity data from Treasury and BEA. To estimate the 
additional activity time, FEMA performed a dry run retrieval and 
storage of the relative fiscal capacity data. To retrieve, store, and 
update Treasury's TTR data (including all State data in a single 
retrieval), FEMA estimates it would take 10 to 15 minutes, and uses the 
average of this range, 12.5 minutes, for the purposes of this analysis. 
FEMA estimates it would take the equivalent amount of time for the 
BEA's GDP per State data, and uses 12.5 minutes as well. FEMA estimates 
it would take 15 to 30 minutes to retrieve BEA per capita personal 
income data and uses the average of 22.5 minutes. FEMA sums these three 
time burdens to calculate a total burden of 47.5 minutes and divides by 
60 minutes, for an estimated increase burden of 0.79 hours x 
((12.5+12.5+22.5)/60=0.7917).
    FEMA anticipates this data retrieval to take place once annually, 
and to be completed by a Federal employee in the DC area at the General 
Schedule 12, Step 1 level, at an hourly wage rate of $36.23.\32\ FEMA 
multiplies this wage rate by 1.4 to account for benefits, resulting in 
a fully loaded wage rate of $50.72. FEMA multiplies the time per year, 
0.79 hours by the fully loaded wage rate of $50.72, to get an annual 
Federal cost increase of $40 (0.79 x

[[Page 70133]]

$50.72 = $40.07), and ten-year total Federal increase of $400.
---------------------------------------------------------------------------

    \32\ The General Schedule (GS) 12 (Step 1) hourly wage of $36.23 
is taken from the Office of Personnel Management; 2014 General 
Schedule (GS) salaries & wages tables; locality pay tables 
(Washington-Baltimore-Northern Virginia, DC-MD-VA-WV-PA). Retrieved 
7/30/14 from http://www.opm.gov/policy-data-oversight/pay-leave/salaries-wages/2014/general-schedule/.
---------------------------------------------------------------------------

    The following table displays the ten year total costs 
(undiscounted, discounted at three percent, and discounted at seven 
percent) for the proposed rule.

                                                        Table 2--Total Costs of the Proposed Rule
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                              State costs
                 Year                     State initial        (providing         FEMA costs        Undiscounted       Annual costs       Annual costs
                                           review cost        information)    (retrieving data)     annual costs     discounted at 3%   discounted at 7%
--------------------------------------------------------------------------------------------------------------------------------------------------------
1.....................................             $2,143             $1,569                $40             $3,752             $3,643             $3,507
2.....................................  .................              1,569                 40              1,609              1,517              1,405
3.....................................  .................              1,569                 40              1,609              1,472              1,313
4.....................................  .................              1,569                 40              1,609              1,430              1,227
5.....................................  .................              1,569                 40              1,609              1,388              1,147
6.....................................  .................              1,569                 40              1,609              1,348              1,072
7.....................................  .................              1,569                 40              1,609              1,308              1,002
8.....................................  .................              1,569                 40              1,609              1,270                936
9.....................................  .................              1,569                 40              1,609              1,233                875
10....................................  .................              1,569                 40              1,609              1,197                818
                                       -----------------------------------------------------------------------------------------------------------------
    Total.............................              2,143             15,690                400             18,233             15,806             13,302
--------------------------------------------------------------------------------------------------------------------------------------------------------

c. Benefits
    Benefits of the proposed rule include clarifying FEMA's existing 
practices, reducing processing time for requests, and providing States 
with notice of the new factor information FEMA is proposing to consider 
as part of the IA declarations process. States have the ability to 
assess and determine what information supports a major declaration 
request. The proposed rule would identify factors considered in the IA 
declarations process, including many factors that FEMA previously 
considered under the ``other relevant information'' prong of the 
regulation, but are not currently specified in 44 CFR 206.48(b).
    In the past, FEMA may have at times had to follow up for additional 
information on major disaster declaration requests to better support 
FEMA's recommendation on a major disaster declaration authorizing IA. 
This regulation would improve clarity on the factors that FEMA 
considers when evaluating the need for a major disaster declaration 
authorizing IA. FEMA expects this to lessen or possibly eliminate the 
need to go back to the States for additional information.\33\
---------------------------------------------------------------------------

    \33\ In making past determinations, FEMA has not tracked the 
length of time or the number of written or oral correspondence with 
the State to retrieve additional data. Therefore FEMA cannot 
quantify the potential savings from the clarifications provided in 
the proposed regulation.
---------------------------------------------------------------------------

    The two newly identified factors would also provide additional 
context to a State's circumstances to help inform FEMA's 
recommendation. FEMA believes the inclusion of fiscal capacity would 
further inform and strengthen FEMA's recommendations to the President 
with regard to major disaster declarations that authorize IA. In 
addition, information considered may be available more quickly and 
provide a fuller context. Such measures may also be more objective 
compared to other perceptions of a State's capacity to respond. This 
would also provide notice to States of the new factor information FEMA 
would consider.
d. Transfer Payments
    First, it is important to note that the ultimate determination 
regarding whether or not to grant a State's request for a major 
disaster declaration resides with the President. FEMA does not 
anticipate or intend for this proposed rule to affect the number of 
major disaster declarations authorizing IA granted each year. As FEMA 
has previously considered the majority of the proposed factors in past 
declaration requests for individual assistance and data used in the 
proposed new factors are correlated to past declaration 
recommendations, FEMA anticipates this proposed rule would not have an 
impact on transfer payments, which are payments from the Federal 
government to States and individuals.
    FEMA intends the proposed rule to identify factors that it would 
use when making recommendations to the President. FEMA already 
considers the majority of factors described in the proposed rule during 
previous deliberations on whether to recommend a major disaster 
declaration authorizing IA to the President. The only data items that 
FEMA has not considered in the past are the data on (1) State services 
and planning after prior disasters and (2) the fiscal capacity factor.
    State Services and Planning after Prior Disasters. As stated 
previously, FEMA does not expect that the inclusion of these data items 
would affect the overall number of major disaster declarations 
authorizing IA as this factor would be considered with a number of 
other factors and would not, in isolation, determine whether a 
declaration is recommended.
    Fiscal Capacity. Although FEMA is introducing a factor for fiscal 
capacity, analysis conducted in preparation of this proposed rule 
reveals that FEMA's recommendations and major disaster declarations by 
the President in the past have a correlation to the fiscal capacity of 
the requesting State. Historically, FEMA captured an aspect of fiscal 
capacity when evaluating the damage caused by each disaster in relation 
to the population of the affected State. States with the highest TTR 
also tend to have the highest population. As such, major disaster 
declarations authorizing IA have had a correlation to the fiscal 
capacity of the requesting State.
    FEMA conducted a review of 153 \34\ major disaster declaration 
requests that included IA that were submitted between January 2008 to 
July 2013 to determine if there would be any impact from using TTR in 
assessing a State's need for a major disaster declaration authorizing 
IA. Each State request included an estimate of the costs from the 
damages attributed to the disaster event. FEMA retrieved the TTR per 
State at the time of each request. For each request, FEMA divided the 
estimated cost of IA by the State TTR in millions. For example, if a 
State estimated $2,000,000 in IA costs and the State's TTR was 
$30,000,000,000, FEMA

[[Page 70134]]

divided $30,000,000,000 by $1,000,000 to get the State's TTR in 
millions which is $30,000. FEMA then divided $2,000,000 by $30,000 to 
get the ratio of ICC (IA Cost to Capacity) of 66.7.
---------------------------------------------------------------------------

    \34\ For the analysis on TTR, FEMA excluded disaster declaration 
requests that did not include a request for IA. FEMA also excluded 
duplicate requests, U.S. territories' requests (because there is no 
TTR data available), requests without summaries of the PDA data or 
with insufficient data, and requests that involved an expedited 
decision.
---------------------------------------------------------------------------

    Based on the ICC calculation for all 153 State requests, there is a 
general trend that shows the greater the ICC ratio for a major disaster 
declaration request that included IA, especially above 25, the more 
likely the request would be granted. Additionally, the lower the ICC 
ratio for a major disaster declaration request that included IA, 
especially below 10, the more likely the request was denied. The 
following table displays the total number of requests and the total 
granted major disaster declarations based on ICC ratio size as well as 
the percentage of granted major disaster declaration requests within 
the respective ICC group.

                       Table 3--Number of IA Requests and Granted IA Requests by ICC Ratio
----------------------------------------------------------------------------------------------------------------
                                                             Number of        Percentage of      Percentage of
                                          Number of           approved           approved           approved
              ICC Ratio                requests  (2008-   requests (2008-    requests (2008-      requests  in
                                            2013)              2013)              2013)        range (2008-2013)
----------------------------------------------------------------------------------------------------------------
>25.................................                 43                 41              57.7%                95%
10-25...............................                 53                 26              36.6%                49%
<10.................................                 57                  4               5.6%                 7%
                                     ---------------------------------------------------------------------------
    Total...........................                153                 71               100%
----------------------------------------------------------------------------------------------------------------

    Based on the above data, there were 53 major disaster declaration 
requests that included IA with ICC ratios between 10 and 25; and 26 of 
these requests were declared major disasters that included IA. Hence, 
approximately half (26/53 = 49 percent) of major disaster declaration 
requests with ICC ratios between 10 and 25 that included IA were 
granted. FEMA believes this approval rate helps illustrate that other 
factors are taken into consideration when determining FEMA's 
recommendation especially in borderline events.
    In addition, based on the above data, the higher the estimated cost 
of IA damages and the lower the State TTR, the more likely a major 
disaster declaration request authorizing IA was granted in the past. 
FEMA did not review TTR data when making these previous decisions; 
however there appears to be a past trend that decisions had an inverse 
correlation between estimated IA costs and State TTR. This is likely 
because past declaration criteria, such as State population, are highly 
correlated with State TTR. Furthermore, depictions of States' economic 
health, similar to TTR, were already captured in data from State major 
disaster declaration requests in the past. For example, the State 
median household income and the State TTR per capita are highly 
correlated because States that have a higher median household income 
also tend to have a higher TTR per capita. Thus, FEMA assumes that the 
impact of considering TTR in future major disaster declaration 
recommendations would be minimal because FEMA previously considered 
data that follows the same trend as TTR.
    Furthermore, there were major disaster declaration requests that 
had high IA cost estimates, and though the State had a higher than 
average TTR, the major disaster declaration authorizing IA was still 
granted. FEMA recognizes that some disasters cause enough damage to 
overwhelm even the most prepared and fiscally capable States and local 
governments and that disasters may have special circumstances 
warranting assistance.
    FEMA's intent in this proposed rule is to continue to take multiple 
factors into consideration in addition to TTR. Therefore, fiscal 
capacity would be more relevant following events where it is not clear 
whether or not the State and affected local governments are, in fact, 
overwhelmed.
    Based on the above analysis, FEMA concluded that even though fiscal 
capacity is a new factor, it would not have an impact on the overall 
number of major disaster declarations granted each year that authorize 
IA because FEMA previously followed a trend that utilized similar 
economic data and takes various factors into account. Even though FEMA 
did not collect or factor the TTR per State in previous major disaster 
declaration recommendations that included IA to the President there was 
a correlation; and FEMA assumes that IA declarations will follow a 
similar trend in the future.
    FEMA also intends to review data on per capita personal income by 
local area to ascertain a local government's fiscal capacity. FEMA 
previously evaluated data on median household income per county and 
foresees minimal impact from also reviewing per capita personal income 
by local area because both data points are indicators of the economic 
circumstances of local areas.
    Again, FEMA proposes the use of the fiscal capacity factor in 
future recommendations regarding major disaster declarations that 
include IA and acknowledges that the new data points would be utilized 
in conjunction with several other data points. FEMA would continue to 
use a myriad of factors and data to formulate its recommendations to 
the President on major disaster declarations that authorize IA. No 
single data point or factor would singularly affect FEMA's 
recommendation nor would each individually affect the President's 
ultimate determination of whether a major disaster declaration 
authorizing IA is warranted.
9. Cumulative Impact of the Proposed Rule
    FEMA has reviewed the proposed rule's impact on States that request 
a Presidential major disaster declaration that authorizes IA. FEMA 
estimates the cumulative impact of all the factors together will result 
in a minor burden increase for States to provide more information in 
their requests and for FEMA to retrieve data for its consideration on 
requests. The net quantified impact is a ten-year total cost of 
$18,233. This cost may be offset by cost savings from efficiencies 
attributed to the information FEMA currently iteratively requests from 
States but are not captured in the current regulations. FEMA 
anticipates no cumulative impact to average annual transfer payments 
based on the inclusion of all the proposed factors. Based on the above 
analysis, FEMA estimates that this proposed rule is not an economically 
significant rulemaking because the proposed rule would impose an

[[Page 70135]]

additional average annual burden of less than $2,000 \35\ on the public 
and FEMA.
---------------------------------------------------------------------------

    \35\ FEMA estimated the first year implementation cost of 
approximately $3,700 and $1,600 annually for subsequent years in 
previous section of this regulatory analysis.
---------------------------------------------------------------------------

10. Marginal Analysis of the Proposed Factors
    The following table provides a breakdown of each IA declaration 
factor included in the proposed rule. It also identifies which factors 
are new or previously considered. Activity costs per year and 
associated benefits are also included. The proposed rule would not 
change the total amount of Federal assistance available to individuals 
and households. A more detailed table providing additional information 
is also included in the rulemaking docket on www.regulations.gov.

                                Table 4--IA Declarations Factor Marginal Analysis
----------------------------------------------------------------------------------------------------------------
                Factor                         Status          Activity cost per year           Benefits
----------------------------------------------------------------------------------------------------------------
Fiscal Capacity: Total Taxable          New.................  $11--FEMA will spend 10-  Informs States that FEMA
 Resources (TTR) of the State                                  15 minutes a year         may assess State's
44 CFR Sec.   206.48(b)(1)(i)(A)                               retrieving and storing    taxable resources based
                                                               Treasury data             on TTR and may use TTR
                                                               (including all State      to depict State
                                                               data in one retrieval).   economic growth or
                                                                                         decline and relative
                                                                                         fiscal capacity with
                                                                                         comparably-sized States
                                                                                         or the Nation.
Fiscal Capacity: Gross Domestic         New.................  $11--FEMA will spend 10-  Informs States that FEMA
 Product (GDP) by State                                        15 minutes a year for     may assess State fiscal
44 CFR Sec.   206.48(b)(1)(i)(B)                               retrieving and storing    capacity with this data
                                                               BEA GDP data (including   point when TTR data is
                                                               all State & Territory     not available or if the
                                                               data in one retrieval).   TTR data is inaccurate
                                                                                         due to the 2 year lag
                                                                                         in the data update.
Fiscal Capacity: Per Capita Personal    New.................  $19--FEMA will spend 15-  Provides FEMA the
 Income by Local Area                                          30 minutes a year for     flexibility to use
44 CFR Sec.   206.48(b)(1)(i)(C)                               retrieving and storing    information on the
                                                               BEA Per Capita Personal   local fiscal capacity
                                                               Income data annually      characteristics to
                                                               (including data on all    judge IA needs in
                                                               local areas in one        disaster affected
                                                               retrieval).               areas.
Fiscal Capacity: Other Factors          New.................  $0--State time will vary  Provides FEMA the
44 CFR Sec.   206.48(b)(1)(i)(D)                               and data will be used     flexibility to use any
                                                               on a case-by-case basis   other data or
                                                               as needed.                information on a State
                                                                                         or local area's fiscal
                                                                                         capacity to judge
                                                                                         disaster needs in
                                                                                         affected areas.
Resource Availability: State Tribal     Previously            $0--No change in time     Clarification of current
 and Local Government Non-Governmental   Considered.           burden due to current     practice in regulation.
 Organizations (NGO) and Private                               compliance.
 Sector Activity
44 CFR Sec.   206.48(b)(1)(ii)(A)
Resource Availability: Cumulative       Previously            $0--No change in time     Clarification of current
 Effect of Recent Disasters              Considered.           burden due to current     practice in regulation.
44 CFR Sec.   206.48(b)(1)(ii)(B)                              compliance.
Resource Availability: State Services   New.................  $784.5--15 minutes for    Provides FEMA more
44 CFR Sec.   206.48(b)(1)(ii)(C)                              States to discuss why     information to evaluate
                                                               the State does not have   the resources States
                                                               sufficient funding to     have used. States
                                                               provide adequate State    consider their
                                                               services to its own       resources in their
                                                               citizens after a major    request.
                                                               disaster.
Resource Availability: Planning After   New.................  $784.5--15 minutes for    Provides FEMA more
 Prior Disasters                                               States to discuss         information to evaluate
44 CFR Sec.   206.48(b)(1)(ii)(D)                              improvements to their     the State's resource
                                                               State IA programs and     planning. State's
                                                               any disaster planning     demonstrate they have
                                                               that occurred after       planned after recent
                                                               prior major disasters.    disasters.
Uninsured Home and Personal Property    Previously            $0--No change in time     Clarification of current
 Losses: The cause of damage             Considered.           burden due to current     practice in regulation.
44 CFR Sec.   206.48(b)(2)(i)                                  compliance.
Uninsured Home and Personal Property    Previously            $0--No change in time     Clarification of current
 Losses: The jurisdictions impacted      Considered.           burden due to current     practice in regulation.
 and concentration of damage                                   compliance.
44 CFR Sec.   206.48(b)(2)(ii)
Uninsured Home and Personal Property    Previously            $0--No change in time     Clarification of current
 Losses: The number of homes impacted    Considered.           burden due to current     practice in regulation.
 and degree of damage                                          compliance.
44 CFR Sec.   206.48(b)(2)(iii)
Uninsured Home and Personal Property    Previously            $0--No change in time     Clarification of current
 Losses: The estimated cost of           Considered.           burden due to current     practice in regulation.
 assistance                                                    compliance.
44 CFR Sec.   206.48(b)(2)(iv)
Uninsured Home and Personal Property    Previously            $0--No change in time     Clarification of current
 Losses: The homeownership rate of       Considered.           burden due to current     practice in regulation.
 impacted homes                                                compliance.
44 CFR Sec.   206.48(b)(2)(v)
Uninsured Home and Personal Property    Previously            $0--No change in time     Clarification of current
 Losses: The percentage of affected      Considered.           burden due to current     practice in regulation.
 households with insurance coverage                            compliance.
 appropriate to the peril
44 CFR Sec.   206.48(b)(2)(vi)
Uninsured Home and Personal Property    Previously            $0--No change in time     Clarification of current
 Losses: Other relevant preliminary      Considered.           burden due to current     practice in regulation.
 damage assessment data                                        compliance.
44 CFR Sec.   206.48(b)(2)(vii)

[[Page 70136]]

 
Disaster Impacted Population Profile:   Previously            $0--No change in time     Clarification of current
 The percentage of the population for    Considered.           burden due to current     practice in regulation.
 whom poverty status is determined                             compliance, data
44 CFR Sec.   206.48(b)(3)(i)                                  collected in PDA
                                                               process.
Disaster Impacted Population Profile:   Previously            $0--No change in time     Clarification of current
 The percentage of the population        Considered.           burden due to current     practice in regulation.
 already receiving government                                  compliance, data
 assistance such as Supplemental                               collected in PDA
 Security Income and Supplemental                              process.
 Nutrition Assistance Program benefits
44 C.F.R Sec.   206.48(b)(3)(ii)
Disaster Impacted Population Profile:   Previously            $0--No change in time     Clarification of current
 The pre-disaster unemployment rate      Considered.           burden due to current     practice in regulation.
44 CFR Sec.   206.48(b)(3)(iii)                                compliance, data
                                                               collected in PDA
                                                               process.
Disaster Impacted Population Profile:   Previously            $0--No change in time     Clarification of current
 The percentage of the population that   Considered.           burden due to current     practice in regulation.
 is 65 years old and older                                     compliance, data
44 CFR Sec.   206.48(b)(3)(iv)                                 collected in PDA
                                                               process.
Disaster Impacted Population Profile:   Previously            $0--No change in time     Clarification of current
 The percentage of the population 18     Considered.           burden due to current     practice in regulation.
 years old and younger                                         compliance, data
44 CFR Sec.   206.48(b)(3)(v)                                  collected in PDA
                                                               process.
Disaster Impacted Population Profile:   Previously            $0--No change in time     Clarification of current
 The percentage of the population with   Considered.           burden due to current     practice in regulation
 a disability                                                  compliance, data
44 CFR Sec.   206.48(b)(3)(vi)                                 collected in PDA
                                                               process.
Disaster Impacted Population Profile:   Previously            $0--No change in time     Clarification of current
 The percentage of the population who    Considered.           burden due to current     practice in regulation.
 speak a language other than English                           compliance, data
 and speak English less than ``very                            collected in PDA
 well''                                                        process.
44 CFR Sec.   206.48(b)(3)(vii)
Disaster Impacted Population Profile:   Previously            $0--No change in time     Clarification of current
 Any unique considerations regarding     Considered.           burden due to current     practice in regulation.
 American Indian and Alaskan Native                            compliance.
 Tribal populations that may not be
 reflected in the U.S. Census Bureau
 data
44 CFR Sec.   206.48(b)(3)(viii)
Impact to Community Infrastructure:     Previously            $0--No change in time     Clarification of current
 Life Saving and Life Sustaining         Considered.           burden due to current     practice in regulation.
 Services                                                      compliance.
44 CFR Sec.   206.48(b)(4)(i)
Impact to Community Infrastructure:     Previously            $0--No change in time     Clarification of current
 Essential Community Services            Considered.           burden due to current     practice in regulation.
44 CFR Sec.   206.48(b)(4)(ii)                                 compliance.
Impact to Community Infrastructure:     Previously            $0--No change in time     Clarification of current
 Transportation Infrastructure and       Considered.           burden due to current     practice in regulation.
 Utilities.                                                    compliance.
44 CFR Sec.   206.48(b)(4)(iii)
Casualties: The number of missing,      Previously            $0--No change in time     Clarification of current
 injured, or deceased individuals        Considered.           burden due to current     practice in regulation.
44 CFR Sec.   206.48(b)(5)                                     compliance.
Disaster Related Unemployment: The      Previously            $0--No change in time     Clarification of current
 number of disaster survivors who lost   Considered.           burden due to current     practice in regulation.
 work or became unemployed due to a                            compliance.
 disaster and who do not qualify for
 standard unemployment insurance
44 CFR Sec.   206.48(b)(6)
All Factors : All Data Points           6 New & 22            $3752 in the first year   Informs States with the
Sec.   206.48(b)                         Previously            and $1609 in the          information that FEMA
                                         Considered.           subsequent annual         considers when deciding
                                                               reoccurring costs--       whether to recommend an
                                                               Increase time burden      IA declaration to the
                                                               due to new factors and    President's Office.
                                                               time for the State to
                                                               read and understand the
                                                               new regulations.
----------------------------------------------------------------------------------------------------------------

11. Regulatory Alternatives
    FEMA includes the regulatory alternatives to the proposed rule and 
the reasons for choosing not to use each alternative in the following 
discussion. The decision on each alternative was based on qualitative 
factors and not on a quantitative analysis of these alternatives. When 
possible, FEMA acknowledges if the respective alternative could have an 
impact on economic transfer payments or costs.
a. Voluntary, Faith and Community Based Organizations Resources
    FEMA considered removing the information on resources available 
from voluntary, faith, and community based organizations during 
disasters from its list of determining factors. Stakeholders suggested 
removing these organizations because their availability may be limited 
by their financial circumstances, their donors' economic situations, 
and the circumstances of their volunteers. FEMA recognizes this concern 
but believes that information on the activities of these organizations 
is valuable because it can enhance the picture of disaster needs at a 
local level and may offset or reveal a need for supplemental Federal 
assistance. FEMA

[[Page 70137]]

also recognizes that these organizations have limited resources, and 
considers this point when determining the need for an IA declaration. 
FEMA anticipates there could be impacts on transfer payments due to 
changes in the number of disaster declarations if resources available 
from voluntary, faith, and community based organizations were no longer 
considered. If FEMA was to remove this factor from consideration in 
major disaster declaration request for IA, it could potentially move 
transfer payments in either direction, depending on the situation. For 
example, if a State no longer describes how their voluntary agencies 
are overwhelmed, then FEMA may not be inclined to recommend a major 
disaster declaration that authorizes IA and would decrease transfer 
payments. On the other hand, FEMA could potentially be more inclined to 
recommend a major disaster declaration that authorizes IA without 
information on the voluntary agencies' resources, which could increase 
transfer payments.
b. Maintain the 44 CFR 206.48(b)(6) Table
    FEMA evaluated the utility of the current 44 CFR 206.48(b)(6) table 
listing the average amount of IA based on State size, and determined it 
causes confusion with stakeholders. This table of averages does not set 
a threshold for recommending Individual Assistance, but was intended as 
guidance to States and voluntary agencies as they develop plans and 
programs to meet the needs of disaster survivors. FEMA determined that 
the table should be removed because it causes confusion among States, 
and may be used incorrectly as a threshold for whether a State should 
request Individual Assistance. Furthermore, the table has been 
interpreted by States to suggest that State population is the main 
factor or the only factor in determining State capability or fiscal 
capacity. In the proposed rule, FEMA would continue to consider various 
factors when making its recommendation. FEMA did not quantify the 
impacts of this alternative but assumed there would not be economic 
impacts from maintaining the table because other factors are already 
considered. FEMA has chosen to remove the table for clarification 
purposes.
c. Automatically Trigger Contiguous Counties and States
    Based on stakeholder recommendations, FEMA considered whether to 
include a provision that would allow contiguous affected counties and 
States to be automatically declared as a major disaster after an event 
that crosses the borders of a declared State or county. FEMA recognizes 
that State or county lines do not bind disaster events geographically, 
but in considering whether to declare a particular area, FEMA must 
consider the damages in the area as well as the capabilities of the 
jurisdictional governments. The Stafford Act requires that a Governor's 
request for a major disaster declaration be based on a finding that the 
disaster is of such severity and magnitude to be beyond the 
capabilities of the State and affected local governments to effectively 
respond. 42 U.S.C. 5170(a). Thus, FEMA is proposing to maintain the 
requirement that each county and State must request a major disaster 
declaration after determining that the disaster damages and impacts are 
beyond the capabilities of the affected area's State or local 
government. FEMA cannot automatically grant a major disaster 
declaration based on proximity to other declared areas without evidence 
that the disaster damage and impacts are beyond the affected area's 
capabilities.
    FEMA did not quantify the impacts of this alternative but does 
acknowledge there could be an increase in transfer payments if FEMA 
automatically declared affected counties and States contiguous to a 
declared State or county. FEMA assumed this alternative would result in 
transfer payment increases because specifics about damage information 
and resource capabilities of nearby counties would not be considered 
and less impacted counties would likely be provided assistance based on 
geographic location rather than need.
d. Considering Negative Impact on Businesses
    FEMA considered including the impact of an incident on businesses 
in affected areas, including business losses based on stakeholder 
recommendations. FEMA is proposing a revised factor that considers the 
impact to businesses because the negative impacts to employers and 
employees may affect a community's ability to recover. Business losses 
alone, however, will not result in a Presidential major disaster 
declaration that authorizes IA because the IA grant programs do not 
provide assistance to businesses. Instead, FEMA considers the effect 
that business disruptions have on disaster survivors. For example, if 
disaster survivors lose work or become unemployed due to business 
impacts from a disaster, this information may highlight an increased 
need for DUA. In addition, the Small Business Administration (SBA) has 
separate statutory authority and programs, which may be available to 
assist businesses absent a Presidential major disaster declaration. 
FEMA did not quantify the impacts of the alternative considering 
business losses separately from business impacts to disaster survivors.
e. Linking Individual Assistance Cost Factor With Public Assistance 
Cost Factor
    FEMA considered aligning the financial indicators for IA and PA 
major disaster declarations based on stakeholder recommendations. 
Currently, FEMA evaluates the need for a Public Assistance major 
disaster declaration by reviewing the estimated cost of Federal and 
non-federal public assistance against the statewide population to give 
a measure of the per capita impact within the State. 44 CFR 
206.48(a)(1). That factor also establishes a $1 million threshold, 
based on the proposition that even the smallest population States have 
the capability to cover that level of public assistance infrastructure 
damage. Under FEMA's current regulations, there is no corresponding IA 
single indicator designed to evaluate the total cost of the disaster 
against the capability of a requesting State.
    FEMA chose not to use the Public Assistance per capita indicator 
measure and instead choose to utilize the fiscal capacity factor as 
indicators of a State's fiscal capability to meet the needs of 
individuals after an event. FEMA considers multiple factors and does 
not believe a set limit, even based on estimated damages and 
population, is an appropriate indicator due to the varying needs and 
circumstances of disaster survivors. FEMA did not quantify the impact 
of this alternative but does assume that it could have an impact on 
transfer payments due to changes to the number of major disaster 
declarations that authorize IA.
f. Use of Factor Thresholds
    Some stakeholders indicated that they would prefer specific 
``hard'' thresholds that indicate whether a State would be eligible to 
receive a major disaster declaration authorizing IA. The stakeholders 
felt that established thresholds would give States a clear idea of what 
level of damage and need the State must have before requesting 
assistance. The stakeholders believed that this would prevent States 
from spending the time compiling the data and requesting a declaration 
when they have not sustained enough damage to qualify for a major 
disaster declaration that authorizes IA. FEMA rejected a threshold 
indicator because it would be

[[Page 70138]]

inconsistent with the principles of Section 320. FEMA also decided to 
not pursue using thresholds because they would be too restrictive, and 
would not be appropriately flexible to assess the various scenarios 
that demonstrate the State's need for a declaration authorizing IA. 
FEMA assumes this alternative could have an impact on transfer payments 
due to changes in the number of declarations and could reduce State 
costs if they chose not to pursue a declaration request for IA.
g. Homes in Foreclosure
    Some stakeholders stated that if an area with a high foreclosure 
rate is affected by a disaster, then these homes without an owner would 
be a greater burden to the State during the recovery process. FEMA's IA 
programs do not provide any form of assistance for foreclosed homes, 
and repair assistance is available only for owner-occupied primary 
residences. FEMA recognizes that high levels of foreclosure may be 
associated with economic difficulties in the affected area which could 
negatively impact a community's ability to recover. If a State believes 
that homes in foreclosure will impact their capability to respond to 
the disaster, then the State may articulate this concern in the 
narrative portion of their declaration request. FEMA considers all 
relevant information provided in a State's request. See 44 CFR 206.48. 
However, FEMA believes other factors including poverty level, pre-
disaster unemployment, and per capita personal income will be adequate 
indicators of economic health, and has chosen to not include home 
foreclosure rates in the proposed evaluation factors.
h. Do Not Include Fiscal Capacity Indicators
    FEMA considered the alternative of not including fiscal capacity 
indicators. This option would leave discretion on how to assess State 
capabilities up to FEMA and the White House without identifying 
quantified data utilized or encouraging States to provide more 
information on their fiscal capacity. FEMA chose to include the fiscal 
capacity indicators because they provide objective quantified data for 
FEMA and the White House to assess the capabilities of a State. The 
factor also provides notice to the State on what will be used to 
evaluate it and that the State can provide additional information 
describing their fiscal capabilities. In this alternative, the Federal 
cost of the proposed rule would decrease by a small amount, 
approximately $40 a year, based on FEMA no longer having to retrieve 
BEA and Treasury data. Considering the low cost and potentially useful 
information this factor could provide, FEMA chose to maintain fiscal 
capacity information in the proposed rule.
i. Do Not Include State Resources Indicators
    FEMA considered the alternative of not including State resource 
indicators. If this factor was not included, FEMA and the White House's 
ability to assess if States have programs suitable to respond to and 
recover from the disaster and if the States have prepared or improved 
their programs after recent disasters would not be improved. The State 
cost of the proposed rule would decrease, approximately $1,570 annually 
for all State's major disaster declaration requests that include IA. 
Considering the low cost, approximately $38 per request, and the 
potentially useful information this factor information could provide, 
FEMA chose not to use this alternative.

B. Regulatory Flexibility Act

    Under the Regulatory Flexibility Act (RFA), 5 U.S.C. 601 et seq., 
as amended by the Small Business Regulatory Enforcement Fairness Act of 
1996 (Pub. L. 104-121, 110 Stat. 857), FEMA must consider the impact of 
this proposed regulation on small entities. The term ``small entities'' 
comprises small businesses, not-for-profit organizations that are 
independently owned and operated and are not dominant in their fields, 
and governmental jurisdictions with populations of less than 50,000. 
When the Administrative Procedure Act requires an agency to publish a 
notice of proposed rulemaking under 5 U.S.C. 553, the RFA requires a 
regulatory flexibility analysis for both the proposed rule and the 
final rule if the rulemaking could ``have a significant economic impact 
on a substantial number of small entities.'' The RFA also provides that 
if a regulatory flexibility analysis is not required for this reason, 
the agency must certify in the rulemaking document that the rulemaking 
will not ``have a significant economic impact on a substantial number 
of small entities'' and must include a statement providing the factual 
basis for such certification.
    This proposed rule provides States with factors FEMA would consider 
when making a recommendation on a major disaster declaration that 
authorizes IA and codifies many factors that are currently considered 
but are not adequately captured in 44 CFR 206.48(b). This rule will not 
directly impact small businesses, small not-for-profit organizations, 
and small governmental jurisdictions. States are not considered small 
entities under the RFA since they have populations of more than 
50,000.\36\ Hence, FEMA certifies under 5 U.S.C. 605(b) that this 
proposed rule would not, if promulgated, have a significant economic 
impact on a substantial number of small entities.
---------------------------------------------------------------------------

    \36\ The District of Columbia, Puerto Rico, the Virgin Islands, 
Guam, American Samoa, and the Commonwealth of the Northern Mariana 
Islands, which are considered States under 44 CFR 206.2(a)(22), all 
have populations greater than 50,000.
---------------------------------------------------------------------------

C. Unfunded Mandates Reform Act of 1995

    The Unfunded Mandates Reform Act of 1995, 2 U.S.C. 658, 1501-1504, 
1531-1536, 1571, pertains to any notice of proposed rulemaking which 
implements any rule that includes a Federal mandate that may result in 
the expenditure by State, local, and Tribal governments, in the 
aggregate, or by the private sector, of $100 million (adjusted annually 
for inflation) or more in any one year. If the rulemaking includes a 
Federal mandate, the Act requires an agency to prepare an assessment of 
the anticipated costs and benefits of the Federal mandate. FEMA has 
determined that this proposed rule can be excluded from this assessment 
as the proposed rule meets the criteria set forth in 2 U.S.C. 1503(4), 
which states, ``This chapter shall not apply to . . . any provision in 
a proposed or final Federal regulation that--. . . (4) provides for 
emergency assistance or relief at the request of any State, local, or 
tribal government or any official of a State, local, or tribal 
government.'' Therefore, no actions are deemed necessary under the 
provisions of the Unfunded Mandates Reform Act of 1995.

D. National Environmental Policy Act

    Under the National Environmental Policy Act of 1969 (NEPA), as 
amended, 42 U.S.C. 42 U.S.C. 4321 et seq., an agency must prepare an 
environmental assessment or environmental impact statement for any 
rulemaking that significantly affects the quality of the human 
environment. As explained below, FEMA has determined that this 
rulemaking does not significantly affect the quality of the human 
environment and consequently has not prepared an environmental 
assessment or environmental impact statement.
    NEPA implementing regulations governing FEMA activities at 44 CFR 
10.8(d)(2)(ii) categorically exclude the preparation, revision, and 
adoption of regulations from the preparation of an EA or EIS, where the 
rule relates to actions that qualify for categorical

[[Page 70139]]

exclusions. Most activities under Section 408 and prior Section 411 of 
the Stafford Act pertaining to temporary housing and financial 
assistance are categorically excluded from NEPA review under 44 CFR 
10.8(d)(2)(xix)(D) and (F). Before undertaking other activities that 
are not categorically excluded (e.g., placement of manufactured 
temporary housing units on FEMA-constructed group sites; permanent or 
semi-permanent housing construction), FEMA follows the procedures set 
forth in 44 CFR part 10 to assure NEPA compliance.
    In addition, this proposed rule revises the criteria that FEMA 
considers when recommending an area eligible for IA under a major 
disaster declaration. A major disaster declaration recommendation to 
the President is falls into information and data gathering and 
reporting efforts in support of emergency and disaster response and 
recovery and hazard mitigation. Therefore, the activity this rule 
applies to meets FEMA's Categorical Exclusion in 44 CFR 
10.8(d)(2)(xviii)(E). Because no other extraordinary circumstances have 
been identified, this rule does not require the preparation of either 
an EA or an EIS as defined by NEPA.

E. Paperwork Reduction Act of 1995

    As required by the Paperwork Reduction Act of 1995 (PRA), Public 
Law 104-13, 109 Stat. 163, (May 22, 1995) (44 U.S.C. 3501 et seq.), an 
agency may not conduct or sponsor, and a person is not required to 
respond to, a collection of information unless the collection of 
information displays a valid control number.
    In this proposed rule, FEMA is seeking a revision to the already 
existing collection of information, OMB Control Number 1660-0009, 
because FEMA has refined our estimates related to 1660-0009. This 
proposed rule serves as the 60-day comment period for this proposed 
change pursuant to 5 CFR 1320.12. FEMA invites the general public to 
comment on the proposed collection of information.
Collection of Information
    Title: The Declaration Process: Requests for Preliminary Damage 
Assessment (PDA), Requests for Supplemental Federal Disaster 
Assistance, Appeals, and Requests for Cost Share Adjustments.
    Type of information collection: Revision of a currently approved 
collection.
    OMB Number: 1660-0009.
    Form Titles and Numbers: FEMA Form 010-0-13, Request for 
Presidential Disaster Declaration Major Disaster or Emergency.
    Abstract: When a disaster occurs in a State, the Governor of the 
State or the Acting Governor in his/her absence, may request a major 
disaster declaration or an emergency declaration. The Governor should 
submit the request to the President through the appropriate Regional 
Administrator to ensure prompt acknowledgement and processing. The 
information obtained by joint Federal, State, and local preliminary 
damage assessments will be analyzed by FEMA regional senior level 
staff. The regional summary and the regional analysis and 
recommendation will include a discussion of State and local resources 
and capabilities, and other assistance available to meet the disaster 
related needs. The Administrator of FEMA provides a recommendation to 
the President and also provides a copy of the Governor's request. In 
the event the information required by law is not contained in the 
request, the Governor's request cannot be processed and forwarded to 
the White House. In the event the Governor's request for a major 
disaster declaration or an emergency declaration is not granted, the 
Governor may appeal the decision.
    Affected Public: State, local, or Tribal Government.
    Estimated Number of Respondents: 622.
    Estimated Number of Responses: 355.
    Estimated Total Annual Burden Hours: 11,737.
    The previously approved Total Annual Burden Hours was 11,715 hours. 
Based on the proposed rule's minor increase in burden, the new 
estimated Total Annual Burden Hours is 11,737 hours. This increase of 
22 hours is attributed to the additional information FEMA requests in 
order to evaluate the need for a major disaster declaration that 
authorizes IA, specifically requesting a narrative discussion on 
improvements to State services provided to individuals in response to a 
disaster.
    Table A.12 provides estimates of annualized cost to respondents for 
the hour burdens for the collection of information.
---------------------------------------------------------------------------

    \37\ Note: Numbers rounded due to rounding in ROCIS.
    \38\ Note: The number of responses per respondent for entering 
in Request for Presidential Disaster Declaration Major Disaster or 
Emergency/FEMA Form 010-0-13 has been updated to 0.5707. FEMA 
reanalyzed this number to more accurately reflect the change in the 
proposed rule. FEMA calculated 0.5707 based on the previous 
supporting statement's total number of response hours, 3,195 divided 
by the number of hours, 9, resulting in 355, and then divided by 
622.
    \39\ Note: The ``Avg. Hourly Wage Rate'' for each respondent 
includes a 1.4 multiplier to reflect a fully-loaded wage rate.

                                              Table A.12--Estimated Annualized Burden Hours and Costs \37\
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                             Number of        Average
                                                             Number of     responses per    burden per     Total annual       Average      Total annual
        Type of respondent           Form name/form No.     respondents     respondent     response  (in    burden  (in     hourly wage     respondent
                                                                               \38\           hours)          hours)         rate \39\         cost
--------------------------------------------------------------------------------------------------------------------------------------------------------
State, Local or Tribal Government.  Request for                      622           .5707           9.062           3,217          $76.52     $246,164.84
                                     Presidential
                                     Disaster
                                     Declaration Major
                                     Disaster or
                                     Emergency/FEMA Form
                                     010-0-13.
State, Local or Tribal Government.  Initial Data                     622             .57              24           8,520           33.10      282,012.00
                                     Gathering for
                                     Governor's Request/
                                     No Form.
                                                         -----------------------------------------------------------------------------------------------
    Total.........................  ....................             622  ..............  ..............          11,737  ..............      528,176.84
--------------------------------------------------------------------------------------------------------------------------------------------------------

    Estimated Cost: $3,480,709.36.
    The estimated annual cost to respondents for the hour burden is 
$528,176.84. FEMA describes cost increases specifically for the 
proposed rule in the previous Regulatory Analysis Section. There are no 
annual costs to respondents operations and maintenance costs for 
technical services. There is no annual start-up or capital costs. The 
cost to the Federal government is unchanged at $3,038,639.60.

[[Page 70140]]

Comments
    Comments may be submitted as indicated in the ADDRESSES caption 
above. Comments are solicited to (a) evaluate whether the proposed data 
collection is necessary for the proper performance of the agency, 
including whether the information shall have practical utility; (b) 
evaluate the accuracy of the agency's estimate of the burden of the 
proposed collection of information, including the validity of the 
methodology and assumptions used; (c) enhance the quality, utility, and 
clarity of the information to be collected; and (d) minimize the burden 
of the collection of information on those who are to respond, including 
through the use of appropriate automated, electronic, mechanical, or 
other technological collection techniques or other forms of information 
technology, e.g., permitting electronic submission of responses.

F. Privacy Act

    Under the Privacy Act of 1974, 5 U.S.C. 552a, an agency must 
determine whether implementation of a proposed regulation will result 
in a system of records. A ``record'' is any item, collection, or 
grouping of information about an individual that is maintained by an 
agency, including, but not limited to, his/her education, financial 
transactions, medical history, and criminal or employment history and 
that contains his/her name, or the identifying number, symbol, or other 
identifying particular assigned to the individual, such as a finger or 
voice print or a photograph. See 5 U.S.C. 552a(a)(4). A ``system of 
records'' is a group of records under the control of an agency from 
which information is retrieved by the name of the individual or by some 
identifying number, symbol, or other identifying particular assigned to 
the individual. An agency cannot disclose any record which is contained 
in a system of records except by following specific procedures.
    FEMA completed a Privacy Threshold Analysis for this proposed rule. 
Any information will be collected in existing FEMA Form 010-0-13 and 
will still only include the Governor's point of contact and general 
office phone number as well as other State specific and disaster 
specific information of a non-personally[hyphen]identifiable nature. 
The information received through the form is neither retrieved nor 
retrievable by personally identifiable information (PII). Any retrieval 
would be done by utilizing State specific or disaster specific 
information of a non[hyphen]identifiable nature. This rulemaking does 
not impact FEMA's collection of PII in the disaster declarations 
process and form and no Privacy Impact Assessment or System of Records 
Notice is required at this time.

G. Executive Order 13175, Consultation and Coordination With Indian 
Tribal Governments

    Executive Order 13175, ``Consultation and Coordination with Indian 
Tribal Governments,'' 65 FR 67249, November 9, 2000, applies to agency 
regulations that have Tribal implications, that is, regulations that 
have substantial direct effects on one or more Indian tribes, on the 
relationship between the Federal Government and Indian Tribes, or on 
the distribution of power and responsibilities between the Federal 
Government and Indian Tribes. Under this Executive Order, to the extent 
practicable and permitted by law, no agency shall promulgate any 
regulation that has Tribal implications, that imposes substantial 
direct compliance costs on Indian Tribal governments, and that is not 
required by statute, unless funds necessary to pay the direct costs 
incurred by the Indian Tribal government or the Tribe in complying with 
the regulation are provided by the Federal Government, or the agency 
consults with Tribal officials.
    FEMA has reviewed this proposed rule under Executive Order 13132 
and has determined that this rule does not have a substantial direct 
effect on one or more Indian tribes, on the relationship between the 
Federal Government and Indian Tribes, or on the distribution of power 
and responsibilities between the Federal Government and Indian Tribes. 
The disaster assistance granted by a major disaster declaration 
addressed by this proposed rule is provided to individuals and 
families, and would not have tribal implications.
    Moreover, this rule proposes to revise regulations intended to 
address a State's request for an IA declaration. Although Section 1110 
of SRIA authorizes Indian Tribal governments to request a declaration 
directly, SRIA charged FEMA to implement that authority separately by 
rulemaking. Although FEMA is currently evaluating tribal declaration 
requests using its existing regulations, FEMA is implementing Section 
1110 through a separate process, which will involve extensive 
consultation with Tribes, issuance of forthcoming pilot guidance, and 
eventually, regulations.
    FEMA notes that Section 1109 of SRIA requires FEMA to develop this 
rulemaking ``in cooperation with State, local, and Tribal emergency 
management agencies.'' To that end, FEMA sought input from State, local 
and Tribal stakeholders at the Spring 2013 NEMA conference. In 
addition, in conjunction with the effort to initiate development of 
Section 1110 of SRIA, FEMA sought input from Tribal and other 
stakeholders via a Federal Register notice requesting comments on, 
among other things, the IA criteria that FEMA uses to make 
recommendations to the President for major disaster declarations in 44 
CFR 206.48(b). 78 FR 15026, 15028-15029 (March 8, 2013). In addition, 
throughout March and April 2013, FEMA held listening sessions \40\ with 
tribal leadership, their organizations and stakeholders to present 
information regarding FEMA programs, the Stafford Act and its 
amendment, and the declarations process.
---------------------------------------------------------------------------

    \40\ Please refer to the following Web site for further 
information on FEMA's listening sessions as well FEMA's consultation 
efforts: https://www.fema.gov/fema-tribal-affairs/consultation-archive-procedures-request-emergency-or-major-disaster-declarations.
---------------------------------------------------------------------------

    FEMA received input that many members of Tribes do not have 
insurance and are not homeowners. Data regarding whether a home has 
insurance and is rented or owned is typically gathered during the PDA 
process. In addition, Tribes were concerned with the use of 
unemployment data at a county level because the Tribal unemployment 
level could be much higher. FEMA will always consider relevant 
information when evaluating the requests for a major disaster 
declaration that authorizes IA. If the county level unemployment level 
is inaccurate because Tribal unemployment is higher, then FEMA 
encourages Tribes to provide data that is more accurate to the State or 
FEMA in their disaster request. FEMA considered this input in the 
development of this rule, and welcomes additional comments on this 
matter.

H. Executive Order 13132, Federalism

    Executive Order 13132, ``Federalism,'' 64 FR 43255, August 10, 
1999, sets forth principles and criteria that agencies must adhere to 
in formulating and implementing policies that have federalism 
implications, that is, regulations that have ``substantial direct 
effects on the States, on the relationship between the national 
government and the States, or on the distribution of power and 
responsibilities among the various levels of government.'' Federal 
agencies must closely examine the statutory authority supporting any 
action that would limit the policymaking discretion of the States, and 
to the extent practicable, must

[[Page 70141]]

consult with State and local officials before implementing any such 
action.
    FEMA has reviewed this proposed rule under Executive Order 13132 
and has determined that this rule does not have a substantial direct 
effects on the States, on the relationship between the national 
government and the States, or on the distribution of power and 
responsibilities among the various levels of government, and therefore 
does not have federalism implications as defined by the Executive 
Order. The disaster assistance granted by a major disaster declaration 
addressed by this proposed rule is provided to individuals and 
families, and would not have federalism implications.

I. Executive Orders 11988, Floodplain Management

    Executive Order 11988, ``Floodplain Management,'' 42 FR 26951, May 
24, 1977, sets forth that each agency is required to provide leadership 
and take action to reduce the risk of flood loss, to minimize the 
impact of floods on human safety, health and welfare, and to restore 
and preserve the natural and beneficial values served by floodplains in 
carrying out its responsibilities for (1) acquiring, managing, and 
disposing of Federal lands and facilities; (2) providing Federally 
undertaken, financed, or assisted construction and improvements; and 
(3) conducting Federal activities and programs affecting land use, 
including but not limited to water and related land resources planning, 
regulating, and licensing activities. In carrying out these 
responsibilities, each agency must evaluate the potential effects of 
any actions it may take in a floodplain; ensure that its planning 
programs and budget requests reflect consideration of flood hazards and 
floodplain management; and prescribe procedures to implement the 
policies and requirements of the Executive Order.
    Before promulgating any regulation, an agency must determine 
whether the proposed regulations will affect a floodplain(s), and if 
so, the agency must consider alternatives to avoid adverse effects and 
incompatible development in the floodplain(s). If the head of the 
agency finds that the only practicable alternative consistent with the 
law and with the policy set forth in Executive Order 11988 is to 
promulgate a regulation that affects a floodplain(s), the agency must, 
prior to promulgating the regulation, design or modify the regulation 
in order to minimize potential harm to or within the floodplain, 
consistent with the agency's floodplain management regulations and 
prepare and circulate a notice containing an explanation of why the 
action is proposed to be located in the floodplain.
    The requirements of Executive Order 11988 apply in the context of 
the provision of Federal financial assistance relating to, among other 
things, construction and property improvement activities, as well as 
conducting Federal programs affecting a floodplain(s). The changes 
proposed in this rule would not have an effect on floodplain 
management. This proposed rule revises the criteria that FEMA considers 
when recommending an area eligible for IA under a major disaster 
declaration. A major disaster declaration recommendation to the 
President is an administrative action for FEMA's IA Program. When FEMA 
undertakes specific actions in administering IA that may have effects 
on floodplain management (e.g., placement of manufactured housing units 
on FEMA-constructed group sites; permanent or semi-permanent housing 
construction), FEMA follows the procedures set forth in 44 CFR part 9 
to assure compliance with this Executive Order. This serves as the 
notice that is required by the EO.

J. Executive Order 11990, Protection of Wetlands

    Executive Order 11990, ``Protection of Wetlands,'' 42 FR 26961, May 
24, 1977, sets forth that each agency must provide leadership and take 
action to minimize the destruction, loss or degradation of wetlands, 
and to preserve and enhance the natural and beneficial values of 
wetlands in carrying out the agency's responsibilities for (1) 
acquiring, managing, and disposing of Federal lands and facilities; and 
(2) providing Federally undertaken, financed, or assisted construction 
and improvements; and (3) conducting Federal activities and programs 
affecting land use, including but not limited to water and related land 
resources planning, regulating, and licensing activities. Each agency, 
to the extent permitted by law, must avoid undertaking or providing 
assistance for new construction located in wetlands unless the head of 
the agency finds (1) that there is no practicable alternative to such 
construction, and (2) that the proposed action includes all practicable 
measures to minimize harm to wetlands which may result from such use. 
In making this finding the head of the agency may take into account 
economic, environmental and other pertinent factors.
    In carrying out the activities described in Executive Order 11990, 
each agency must consider factors relevant to a proposal's effect on 
the survival and quality of the wetlands. Among these factors are: 
Public health, safety, and welfare, including water supply, quality, 
recharge and discharge; pollution; flood and storm hazards; and 
sediment and erosion; maintenance of natural systems, including 
conservation and long term productivity of existing flora and fauna, 
species and habitat diversity and stability, hydrologic utility, fish, 
wildlife, timber, and food and fiber resources; and other uses of 
wetlands in the public interest, including recreational, scientific, 
and cultural uses.
    The requirements of Executive Order 11990 apply in the context of 
the provision of Federal financial assistance relating to, among other 
things, construction and property improvement activities, as well as 
conducting Federal programs affecting land use. The changes proposed in 
this rule would not have an effect on land use or wetlands. This 
proposed rule revises the criteria that FEMA considers when 
recommending an area eligible for IA under a major disaster 
declaration. A major disaster declaration recommendation to the 
President is an administrative action for FEMA's IA Program. When FEMA 
undertakes specific actions in administering IA that may have such 
effects (e.g., placement of manufactured housing units on FEMA-
constructed group sites; permanent or semi-permanent housing 
construction), FEMA follows the procedures set forth in 44 CFR part 9 
to assure compliance with this Executive Order.

K. Executive Order 12898, Environmental Justice

    Under Executive Order 12898, ``Federal Actions to Address 
Environmental Justice in Minority Populations and Low-Income 
Populations,'' 59 FR 7629, February 16, 1994, as amended by Executive 
Order 12948, 60 FR 6381, February 1, 1995, FEMA incorporates 
environmental justice into its policies and programs. The Executive 
Order requires each Federal agency to conduct its programs, policies, 
and activities that substantially affect human health or the 
environment in a manner that ensures that those programs, policies, and 
activities do not have the effect of excluding persons from 
participation in programs, denying persons the benefits of programs, or 
subjecting persons to discrimination because of race, color, or 
national origin. FEMA has incorporated environmental justice into its 
programs, policies, and activities, as well as this proposed 
rulemaking. This proposed rulemaking contains provisions that ensure 
that

[[Page 70142]]

FEMA's activities will not have a disproportionately high or adverse 
effect on human health or the environment or subject persons to 
discrimination because of race, color, or national origin. This 
proposed rule adds a provision specifically related to the demographics 
of a disaster impacted population. FEMA is requesting the demographics 
of a disaster impacted area because the demographics may identify 
additional needs that require a more robust community response and 
might otherwise delay a community's ability to recover from a disaster.
    No action that FEMA can anticipate under this rule will have a 
disproportionately high and adverse human health or environmental 
effect on any segment of the population.

L. Congressional Review of Agency Rulemaking

    Under the Congressional Review of Agency Rulemaking Act (CRA), 5 
U.S.C. 801-808, before a rule can take effect, the Federal agency 
promulgating the rule must submit to Congress and to the Government 
Accountability Office (GAO) a copy of the rule, a concise general 
statement relating to the rule, including whether it is a major rule, 
the proposed effective date of the rule, a copy of any cost-benefit 
analysis, descriptions of the agency's actions under the Regulatory 
Flexibility Act and the Unfunded Mandates Reform Act, and any other 
information or statements required by relevant executive orders.
    FEMA will send this rule to the Congress and to GAO pursuant to the 
CRA if the rule is finalized. The rule is not a ``major rule'' within 
the meaning of the CRA. It will not have an annual effect on the 
economy of $100,000,000 or more, it will not result in a major increase 
in costs or prices for consumers, individual industries, Federal, 
State, or local government agencies, or geographic regions, and it will 
not have significant adverse effects on competition, employment, 
investment, productivity, innovation, or on the ability of United 
States-based enterprises to compete with foreign-based enterprises in 
domestic and export markets.

List of Subjects in 44 CFR Part 206GG

    Administrative practice and procedure, Coastal zone, Community 
facilities, Disaster assistance, Fire prevention, Grant programs--
housing and community development, Housing, Insurance, 
Intergovernmental relations, Loan programs--housing and community 
development, Natural resources, Penalties, and Reporting and 
recordkeeping requirements.
    For the reasons stated in the preamble, the Federal Emergency 
Management Agency proposes to amend 44 CFR part 206, subpart B, as 
follows:

PART 206--FEDERAL DISASTER ASSISTANCE

0
1. The authority citation for part 206 continues to read as follows:

    Authority: Robert T. Stafford Disaster Relief and Emergency 
Assistance Act, 42 U.S.C. 5121 through 5207; Homeland Security Act 
of 2002, 6 U.S.C. 101 et seq.; Department of Homeland Security 
Delegation 9001.1; sec. 1105, Pub. L. 113-2, 127 Stat. 43 (42 U.S.C. 
5189a note).

0
2. Revise Sec.  206.48(b) to read as follows:


Sec.  206.48  Factors considered when evaluating a Governor's request 
for a major disaster declaration.

* * * * *
    (b) Factors for the Individual Assistance Program. The following 
factors are used to evaluate the need for supplemental Federal 
assistance to individuals under the Stafford Act, as Federal assistance 
may not supplant the combined capabilities of a State, Tribal, or local 
government. Federal Individual Assistance, if authorized, is intended 
to assist eligible individuals and families when State, Tribal, and 
local government resources and assistance programs are overwhelmed. 
State fiscal capacity (44 CFR 206.48(b)(1)(i)) and uninsured home and 
personal property losses (44 CFR 206.48(b)(2)) are the principal 
factors that FEMA will consider when evaluating the need for 
supplemental Federal assistance under the Individuals and Households 
Program. If the need for supplemental Federal assistance under the 
Individuals and Households Program is not clear from the evaluation of 
the principal factors, FEMA will turn to the other factors to determine 
the level of need.
    (1) State fiscal capacity and resource availability. FEMA will 
evaluate the availability of State resources, and where appropriate, 
any extraordinary circumstances that contributed to the absence of 
sufficient resources.
    (i) Fiscal capacity (Principal Factor for Individuals and 
Households Program). Fiscal capacity is a State's potential ability to 
raise revenue from its own sources to respond to and recover from a 
disaster. The following data points are indicators of fiscal capacity.
    (A) Total Taxable Resources (TTR) of the State. TTR is the U.S. 
Department of Treasury's annual estimate of the relative fiscal 
capacity of a State. A low TTR may indicate a greater need for 
supplemental Federal assistance than a high TTR.
    (B) Gross Domestic Product (GDP) by State. GDP by State is 
calculated by the Bureau of Economic Analysis. GDP by State may be used 
as an alternative or supplemental evaluation method to TTR.
    (C) Per capita personal income by local area. Per capita personal 
income by local area is calculated by the Bureau of Economic Analysis. 
A low per capita personal income by local area may indicate a greater 
need for supplemental Federal assistance than a high per capita 
personal income by local area.
    (D) Other factors. Other limits on a State's treasury or ability to 
collect funds may be considered.
    (ii) Resource availability. Federal disaster assistance under the 
Stafford Act is intended to be supplemental in nature, and is not a 
replacement for State emergency relief programs, services, and funds. 
FEMA evaluates the availability of resources from State, Tribal, and 
local governments as well as non-governmental organizations and the 
private sector.
    (A) State, Tribal, and local government; Non-Governmental 
Organizations (NGO); and private sector activity. State, Tribal, and 
local government, Non-Governmental Organizations, and private sector 
resources may offset the need for or reveal an increased need for 
supplemental Federal assistance. The State may provide information 
regarding the resources that have been and will be committed to meet 
the needs of disaster survivors such as housing programs, resources 
provided through financial and in-kind donations, and the availability 
of affordable (as determined by the U.S. Department of Urban and 
Housing Development's fair market rent standards) rental housing within 
a reasonable commuting distance of the impacted area.
    (B) Cumulative effect of recent disasters. The cumulative effect of 
recent disasters may affect the availability of State, Tribal, local 
government, NGO, and private sector disaster recovery resources. The 
State should provide information regarding the disaster history within 
the last 24-month period, particularly those occurring within the 
current fiscal cycle, including both Presidential (public and 
individual assistance) and gubernatorial disaster declarations.
    (C) State services. The State may provide information regarding the 
circumstances causing the State to lack the resources to provide 
sufficient services to its citizens.

[[Page 70143]]

    (D) Planning after prior disasters. States are encouraged to 
develop and continuously improve their own disaster assistance 
programs. States should identify new and existing individual assistance 
programs as well as improvements to existing individuals assistance 
programs made as a result of previous disasters. A State's failure to 
address limitations and shortfalls identified by FEMA or the State 
after previous events will also be considered.
    (2) Uninsured home and personal property losses (Principal Factor 
for Individuals and Households Program). Uninsured home and personal 
property losses may suggest a need for supplemental Federal assistance. 
The State may provide the following preliminary damage assessment data:
    (i) The cause of damage.
    (ii) The jurisdictions impacted and concentration of damage.
    (iii) The number of homes impacted and degree of damage.
    (iv) The estimated cost of assistance.
    (v) The homeownership rate of impacted homes.
    (vi) The percentage of affected households with sufficient 
insurance coverage appropriate to the peril.
    (vii) Other relevant preliminary damage assessment data.
    (3) Disaster impacted population profile. The demographics of a 
disaster impacted population may identify additional needs that require 
a more robust community response and delay a community's ability to 
recover from a disaster. FEMA will consider demographics of the 
impacted communities for the following data points as reported by the 
U.S. Census Bureau or other Federal agencies:
    (i) The percentage of the population for whom poverty status is 
determined.
    (ii) The percentage of the population already receiving government 
assistance such as Supplemental Security Income and Supplemental 
Nutrition Assistance Program benefits.
    (iii) The pre-disaster unemployment rate.
    (iv) The percentage of the population that is 65 years old and 
older.
    (v) The percentage of the population 18 years old and younger.
    (vi) The percentage of the population with a disability.
    (vii) The percentage of the population who speak a language other 
than English and speak English less than ``very well.''
    (viii) Any unique considerations regarding American Indian and 
Alaskan Native Tribal populations raised in the State's request for a 
major disaster declaration that may not be reflected in the data points 
referenced in paragraphs (b)(3)(i)-(vii) of this section.
    (4) Impact to community infrastructure. The following impacts to a 
community's infrastructure may adversely affect a population's ability 
to safely and securely reside within the community.
    (i) Lifesaving and life-sustaining services. The effects of a 
disaster may cause disruptions to or increase the demand for lifesaving 
and life-sustaining services, necessitate a more robust response, and 
may delay a community's ability to recover from a disaster. The State 
may provide information regarding the impact on life saving and life 
sustaining services for a period of greater than 72 hours. Such 
services include but are not limited to police, fire/EMS, hospital/
medical, sewage, and water treatment services.
    (ii) Essential community services. The effects of a disaster may 
cause disruptions to or increase the demand for essential community 
services and delay a community's ability to recover from a disaster. 
The State may provide information regarding the impact on essential 
community services for a period greater than 72 hours. Such services 
include but are not limited to schools, social services programs and 
providers, child care, and eldercare.
    (iii) Transportation infrastructure and utilities. Transportation 
infrastructure or utility disruptions may render housing uninhabitable 
or inaccessible. Such conditions may also affect the delivery of life 
sustaining commodities, provision of emergency services, ability to 
shelter in place, and efforts to rebuild. The State may provide 
information regarding the impact on transportation infrastructure and 
utilities for a period of greater than 72 hours.
    (5) Casualties. The number of individuals who are missing, injured, 
or deceased due to a disaster may indicate a heightened need for 
supplemental Federal disaster assistance. The State may report the 
number of missing, injured, or deceased individuals.
    (6) Disaster related unemployment. The number of disaster survivors 
who lost work or became unemployed due to a disaster and who do not 
qualify for standard unemployment insurance may indicate a heightened 
need for supplemental Federal assistance. This usually includes the 
self-employed, service industry workers, and seasonal workers such as 
those employed in tourism, fishing, or agriculture industries. The 
State may provide an estimate of the number of disaster survivors 
impacted under this paragraph as well as information regarding major 
employers affected.

    Dated: October 29, 2015.
W. Craig Fugate,
Administrator, Federal Emergency Management Agency.
[FR Doc. 2015-28570 Filed 11-10-15; 8:45 am]
 BILLING CODE 9111-23-P



                                                                                                          Vol. 80                           Thursday,
                                                                                                          No. 218                           November 12, 2015




                                                                                                          Part III


                                                                                                          Department of Homeland Security
                                                                                                          Federal Emergency Management Agency
                                                                                                          44 CFR Part 206
                                                                                                          Factors Considered When Evaluating a Governor’s Request for Individual
                                                                                                          Assistance for a Major Disaster; Proposed Rule
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                                                     70116               Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules

                                                     DEPARTMENT OF HOMELAND                                  Agency, 500 C Street SW., 8NE,                             Order 13563, Improving Regulation and
                                                     SECURITY                                                Washington, DC 20472–3100.                                 Regulatory Review
                                                                                                                                                                     1. Executive Summary & A–4 Accounting
                                                                                                             FOR FURTHER INFORMATION CONTACT:
                                                     Federal Emergency Management                                                                                       Statement
                                                                                                             Mark Millican, FEMA, Individual                         2. Need for Regulatory Action
                                                     Agency                                                  Assistance Division, 500 C Street SW.,                  3. Affected Population
                                                                                                             Washington, DC 20472–3100, (phone)                      4. Current Baseline and Changes From
                                                     44 CFR Part 206                                         202–212–3221 or (email) FEMA±IA-                           Proposed Rule
                                                     [Docket ID FEMA–2014–0005]                              Regulations@fema.dhs.gov.                               5. Impacts to Costs, Benefits, and Transfer
                                                                                                             SUPPLEMENTARY INFORMATION:                                 Payments
                                                     RIN 1660–AA83                                                                                                   a. State Costs
                                                                                                             Table of Contents                                       b. Federal Costs
                                                     Factors Considered When Evaluating a                                                                            c. Benefits
                                                                                                             I. Public Participation                                 d. Transfer Payments
                                                     Governor’s Request for Individual                       II. Executive Summary
                                                     Assistance for a Major Disaster                                                                                 9. Cumulative Impact of the Proposed Rule
                                                                                                                A. Purpose of the Regulatory Action                  10. Marginal Analysis of the Proposed
                                                     AGENCY: Federal Emergency                                  1. The Need for the Regulatory Action and               Factors
                                                                                                                   How the Action Will Meet the Need                 11. Regulatory Alternatives
                                                     Management Agency, DHS.                                    2. Legal Authority
                                                     ACTION: Notice of proposed rulemaking.                                                                          a. Voluntary, Faith and Community Based
                                                                                                                B. Summary of Major Provisions                          Organizations Resources
                                                                                                             III. Background                                         b. Maintain the 44 CFR 206.48(b)(6) Table
                                                     SUMMARY:    FEMA proposes to revise its                    A. The Federal Disaster Declaration
                                                     regulations to comply with Section 1109                                                                         c. Automatically Trigger Contiguous
                                                                                                                   Process                                              Counties and States
                                                     of the Sandy Recovery Improvement Act                      1. Preliminary Damage Assessment (PDA)               d. Considering Negative Impact on
                                                     of 2013 which requires FEMA, in                            2. State’s Submission of Its Declaration                Businesses
                                                     cooperation with State, local, and Tribal                     Request to FEMA                                   e. Linking Individual Assistance Cost
                                                     emergency management agencies, to                          3. FEMA’s Analysis and Recommendation                   Factor With Public Assistance Cost
                                                     review, update, and revise through                            to the President                                     Factor
                                                                                                                4. Approval or Denial of the Declaration             f. Use of Factor Thresholds
                                                     rulemaking the Individual Assistance                          Request
                                                     factors FEMA uses to measure the                                                                                g. Homes in Foreclosure
                                                                                                                5. Types of Assistance Approved Under the            h. Do Not Include Fiscal Capacity
                                                     severity, magnitude, and impact of a                          Declaration Request                                  Indicators
                                                     disaster.                                                  B. Sandy Recovery Improvement Act of                 i. Do Not Include State Resources
                                                     DATES: Comments must be received on                           2013                                                 Indicators
                                                                                                                C. FEMA’s Outreach Efforts Required by               B. Regulatory Flexibility Act
                                                     or before January 11, 2016.                                   the Sandy Recovery Improvement Act
                                                     ADDRESSES: You may submit comments,
                                                                                                                                                                     C. Unfunded Mandates Reform Act of 1995
                                                                                                                1. The Role of Voluntary, Faith, and                 D. National Environmental Policy Act
                                                     identified by docket ID FEMA–2014–                            Community Based Organizations During              E. Paperwork Reduction Act of 1995
                                                     0005, by one of the following methods:                        Disasters                                         F. Privacy Act
                                                        Federal eRulemaking Portal: http://                     2. The Correlation Between the Population            G. Executive Order 13175, Consultation
                                                     www.regulations.gov. Follow the                               Size of a State and Its Capability To                and Coordination With Indian Tribal
                                                     instructions for submitting comments.                         Recover                                              Governments
                                                        Mail/Hand Delivery/Courier:                             3. Issues With Widespread Damage and                 H. Executive Order 13132, Federalism
                                                                                                                   Contiguous States                                 I. Executive Order 11988, Floodplain
                                                     Regulatory Affairs Division, Office of                     4. Impact on Businesses
                                                     Chief Counsel, 500 C Street SW., 8NE,                                                                              Management
                                                                                                                5. Decoupling Individual Assistance
                                                     Washington, DC 20472–3100.                                                                                      J. Executive Order 11990, Protection of
                                                                                                                   Programs
                                                        Instructions: All submissions received                                                                          Wetlands
                                                                                                                6. Impacts to Community
                                                                                                                                                                     K. Executive Order 12898, Environmental
                                                     must include the agency name and                           7. Linking Individual Assistance
                                                                                                                                                                        Justice
                                                     docket ID. Regardless of the method                           Declarations With Public Assistance
                                                                                                                                                                     L. Congressional Review of Agency
                                                     used for submitting comments or                               Estimated Cost Factor
                                                                                                                                                                        Rulemaking
                                                     material, all submissions will be posted,                  8. Thresholds
                                                                                                                9. Insurance                                       I. Public Participation
                                                     without change, to the Federal
                                                                                                                10. Homes in Foreclosure
                                                     e-Rulemaking Portal at http://                             11. Incentives for State Sponsored IA                 We encourage you to participate in
                                                     www.regulations.gov, and will include                         Programs                                        this rulemaking by submitting
                                                     any personal information you provide.                   IV. Discussion of the Proposed Rule                   comments and related materials. We
                                                     Therefore, submitting this information                     A. 44 CFR 206.48—Paragraph (b)(1) State            will consider all comments and material
                                                     makes it public. You may wish to read                         Fiscal Capacity and Resource                    received during the comment period.
                                                     the Privacy Act notice that is available                      Availability                                       If you submit a comment, identify the
                                                     via the Privacy Notice link on the                         B. 44 CFR 206.48—Paragraph (b)(2)                  agency name and the docket ID for this
                                                                                                                   Uninsured Home and Personal Property
                                                     homepage of http://                                                                                           rulemaking, indicate the specific section
                                                                                                                   Losses
                                                     www.regulations.gov.                                       C. 44 CFR 206.48—Paragraph (b)(3)                  of this document to which each
                                                        Docket: For access to the docket to                        Disaster Impacted Population Profile            comment applies, and give the reason
                                                     read background documents or                               D. 44 CFR 206.48—Paragraph (b)(4) Impact           for each comment. You may submit
                                                     comments received, go to the Federal                          to Community Infrastructure                     your comments and material by
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                                                     eRulemaking Portal at http://                              E. 44 CFR 206.48—Paragraph (b)(5)                  electronic means, mail, or delivery to
                                                     www.regulations.gov, click on                                 Casualties                                      the address under the ADDRESSES
                                                     ‘‘Advanced Search,’’ then enter                            F. 44 CFR 206.48—Paragraph (b)(6)                  section. Please submit your comments
                                                     ‘‘FEMA–2014–0005’’ in the ‘‘By Docket                         Disaster Related Unemployment
                                                                                                                G. Principal Factors for Evaluating the
                                                                                                                                                                   and material by only one means.
                                                     ID’’ box, then select ‘‘FEMA’’ under ‘‘By                     Need for the Individuals and Households
                                                                                                                                                                      Regardless of the method used for
                                                     Agency,’’ and then click ‘‘Search.’’                          Program                                         submitting comments or material, all
                                                     Submitted comments may also be                          V. Regulatory Analysis                                submissions will be posted, without
                                                     inspected at the Office of Chief Counsel,                  A. Executive Order 12866, Regulatory               change, to the Federal e-Rulemaking
                                                     Federal Emergency Management                                  Planning and Review and Executive               Portal at http://www.regulations.gov,


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                                                                         Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules                                                   70117

                                                     and will include any personal                           Recovery Improvement Act of 2013.                     disaster 1 pursuant to Section 401 of the
                                                     information you provide. Therefore,                     Public Law 113–2.                                     Robert T. Stafford Disaster Relief and
                                                     submitting this information makes it                                                                          Emergency Assistance Act (Stafford
                                                                                                             B. Summary of Major Provisions
                                                     public. You may wish to read the                                                                              Act). 42 U.S.C. 5170; 44 CFR 206.36(a).
                                                     Privacy Act notice that is available via                   FEMA proposed to revise the factors                Such a request must be based on a
                                                     a link on the homepage of                               found at 44 CFR 206.48 that FEMA uses                 finding that the disaster is of such
                                                     www.regulations.gov.                                    to determine whether to recommend                     severity and magnitude that an effective
                                                        Viewing comments and documents:                      provision of Individual Assistance                    response is beyond the capabilities of
                                                     For access to the docket to read                        during a major disaster. The current                  the State and the affected local
                                                     background documents or comments                        factors found at 44 CFR 206.48 for                    governments and that Federal assistance
                                                     received, go to the Federal e-                          Individual Assistance include the                     is necessary. 42 U.S.C. 5170.
                                                     Rulemaking Portal at http://                            following factors: (1) Concentration of                  The capacity to respond to a
                                                     www.regulations.gov. Background                         Damages, (2) Trauma, (3) Special                      catastrophe varies from State to State.
                                                     documents and submitted comments                        Populations, (4) Voluntary Agency                     The initial decision on whether
                                                     may also be inspected at the Office of                  Assistance, (5) Insurance, and (6)                    supplemental Federal assistance is
                                                     Chief Counsel, Federal Emergency                        Average Amount of Individual                          necessary for a State responding to and
                                                     Management Agency, 500 C Street SW.,                    Assistance by State.                                  recovering from a natural disaster lies
                                                     8NE, Washington, DC 20472–3100.                                                                               with each State. The basis for any State
                                                                                                                FEMA is proposing to revise the
                                                     II. Executive Summary                                   current factors by providing additional               request for a major disaster declaration
                                                                                                             clarity regarding the considerations                  must be a finding that (1) the situation
                                                     A. Purpose of the Regulatory Action                                                                           is of such severity and magnitude that
                                                                                                             FEMA evaluates when making a
                                                     1. The Need for the Regulatory Action                   recommendation on whether Individual                  an effective response is beyond the
                                                     and How the Action Will Meet the Need                   Assistance is warranted for a major                   capacities of the State and affected local
                                                                                                             disaster declaration. FEMA is proposing               governments, and (2) Federal assistance
                                                        On January 29, 2013, the President                                                                         under the Stafford Act is necessary to
                                                     signed the Sandy Recovery                               to revise 44 CFR 206.48 to include the
                                                                                                             following factors: (1) State Fiscal                   supplement the efforts and available
                                                     Improvement Act of 2013 (SRIA) into                                                                           resources of the State, local
                                                     law (Pub. L. 113–2). Section 1109 of                    Capacity and Resource Availability, (2)
                                                                                                             Uninsured Home and Personal Property                  governments, disaster relief
                                                     SRIA requires FEMA in cooperation                                                                             organizations, and compensations by
                                                     with State, local, and Tribal emergency                 Losses, (3) Disaster Impacted Population
                                                                                                             Profile, (4) Impact to Community                      insurance for disaster-related losses. 44
                                                     management agencies, to review,                                                                               CFR 206.36(b)(1)–(2).
                                                     update, and revise through rulemaking                   Infrastructure, (5) Casualties, and (6)
                                                                                                                                                                      The President’s declaration may
                                                     the factors found at 44 CFR 206.48 that                 Disaster Related Unemployment. As is
                                                                                                                                                                   authorize various types of Federal
                                                     FEMA uses to determine whether to                       currently the practice, FEMA will
                                                                                                                                                                   assistance, falling under three main
                                                     recommend provision of Individual                       continue to use a myriad of factors and
                                                                                                                                                                   program areas: Public Assistance,
                                                     Assistance (IA) during a major disaster.                data to formulate its recommendations
                                                                                                                                                                   Individual Assistance (IA), and Hazard
                                                     These factors help FEMA measure the                     to the President on major disaster
                                                                                                                                                                   Mitigation. Public Assistance provides
                                                     severity, magnitude, and impact of a                    declarations that authorize IA. No single
                                                                                                                                                                   supplemental Federal disaster grant
                                                     disaster.                                               data point or factor would determine on
                                                                                                                                                                   assistance for debris removal,
                                                        FEMA is proposing this rule to                       its own FEMA’s ultimate
                                                                                                                                                                   emergency protective measures, and the
                                                     comply with SRIA and to provide                         recommendation nor would any single
                                                                                                                                                                   repair, replacement, or restoration of
                                                     clarity on the IA declaration factors that              factor necessarily affect the President’s
                                                                                                                                                                   disaster-damaged, publicly owned
                                                     FEMA currently considers in support of                  ultimate determination of whether a
                                                                                                                                                                   facilities and the facilities of certain
                                                     its recommendation to the President on                  major disaster declaration authorizing
                                                                                                                                                                   Private Non-Profit organizations.
                                                     whether a major disaster declaration                    IA is warranted. FEMA purposely
                                                                                                                                                                   Individual Assistance provides financial
                                                     authorizing IA is warranted. The                        declined to be more specific in areas of
                                                                                                                                                                   or direct assistance to individuals and
                                                     additional clarity may reduce delays in                 the proposed rule so that FEMA does
                                                                                                                                                                   households who have been injured or
                                                     the declaration process by decreasing                   not limit Presidential discretion for
                                                                                                                                                                   whose property has been damaged or
                                                     the back and forth between States and                   declaring a major disaster declaration
                                                                                                                                                                   destroyed as a result of a Federally-
                                                     FEMA in the declaration process. FEMA                   that authorized Individual Assistance
                                                                                                                                                                   declared disaster, and whose losses are
                                                     is also proposing new factors on Fiscal                 because the parameters for a major
                                                                                                                                                                   not covered by insurance or other
                                                     Capacity and Resource Availability to                   disaster declaration can change from
                                                                                                                                                                   means. Additionally, a declaration
                                                     provide additional context on potential                 Administration to Administration.
                                                                                                                                                                   authorizing Individual Assistance may
                                                     disaster situations. The proposed rule                  FEMA wants to ensure that we retain as
                                                                                                                                                                   authorize crisis counseling, disaster case
                                                     would also satisfy the requirements                     much flexibility as possible so that we
                                                                                                                                                                   management, disaster unemployment
                                                     outlined above in Section 1109 of SRIA.                 can conform to what the President
                                                                                                                                                                   assistance, and disaster legal services.
                                                                                                             wants in their disaster declaration
                                                     2. Legal Authority
                                                                                                             recommendations. The proposed factors                    1 A major disaster is any natural catastrophe
                                                        FEMA has authority for this proposed                 would not limit the President’s                       (including any hurricane, tornado, storm, high
                                                     rule pursuant to the Robert T. Stafford                 discretion regarding major disaster                   water, wind driven water, tidal wave, tsunami,
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                                                     Disaster Relief and Emergency                           declarations.                                         earthquake, volcanic eruption, landslide, mudslide,
                                                     Assistance Act (Stafford Act). 42 U.S.C.                                                                      snowstorm, or drought), or, regardless of cause, any
                                                     5121 et seq. Section 401 of the Stafford                III. Background                                       fire, flood, or explosion, in any part of the United
                                                                                                                                                                   States, which in the determination of the President
                                                     Act lays out the procedures for a                       A. The Federal Disaster Declaration                   causes damage of sufficient severity and magnitude
                                                     declaration for FEMA’s major disaster                   Process                                               to warrant major disaster assistance under this Act
                                                     assistance programs when a catastrophe                                                                        to supplement the efforts and available resources of
                                                                                                               When a catastrophe occurs in a State,               States, local governments, and disaster relief
                                                     occurs in a State. The specific changes                                                                       organizations in alleviating the damage, loss,
                                                     proposed by this NPRM are intended to                   the State’s Governor may request a                    hardship, or suffering caused thereby. 42 U.S.C.
                                                     comply with Section 1109 of the Sandy                   Presidential declaration of a major                   5122; 44 CFR 206.2(17).



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                                                     70118               Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules

                                                     The Hazard Mitigation Grant Program                     2. State’s Submission of Its Declaration              the President with the Governor’s
                                                     provides grants to States and local                     Request to FEMA                                       request. 44 CFR 206.37(c). A
                                                     governments to implement long term                         During or at the close of the PDA, the             recommendation for a major disaster
                                                     hazard mitigation measures after a major                Governor of a State submits the request               declaration is based on a finding that
                                                     disaster declaration. FEMA’s regulations                for a major disaster declaration through              the situation is or is not of such severity
                                                     at 44 CFR part 206 Subpart B describe                   the appropriate FEMA Regional                         and magnitude as to be beyond the
                                                     the process leading to a Presidential                   Administrator. 44 CFR 206.36. The                     capabilities of the State and its local
                                                     declaration of a major disaster and the                 request must be submitted within 30                   governments, and must include a
                                                     actions triggered by such a declaration.                days of the occurrence of the incident in             determination of whether or not
                                                     44 CFR 206.31.                                                                                                supplemental Federal assistance 2 under
                                                                                                             order to be considered. 44 CFR
                                                                                                                                                                   the Stafford Act is necessary and
                                                     1. Preliminary Damage Assessment                        206.36(a). The basis for the request must
                                                                                                                                                                   appropriate. 44 CFR 206.37(c)(1). In
                                                     (PDA)                                                   be a finding that (1) the situation is of
                                                                                                                                                                   developing a recommendation, FEMA
                                                        An initial step in the major disaster                such severity and magnitude that an
                                                                                                                                                                   considers factors such as the amount
                                                     declaration process is the preliminary                  effective response is beyond the
                                                                                                                                                                   and type of damages; the impact of
                                                     damage assessment (PDA). The PDA is                     capabilities of the State and affected
                                                                                                                                                                   damages on affected individuals, the
                                                     used to determine the impact and                        local governments, and (2) Federal
                                                                                                                                                                   State, and local governments; the
                                                     magnitude of damage and the resulting                   assistance under the Stafford Act is
                                                                                                                                                                   available resources of the State and local
                                                     unmet needs of individuals, businesses,                 necessary to supplement the efforts and
                                                                                                                                                                   governments, and other disaster relief
                                                     the public sector, and the community as                 available resources of the State, local
                                                                                                                                                                   organizations; the extent and type of
                                                     a whole. 44 CFR 206.33. When the State                  governments, disaster relief                          insurance in effect to cover losses;
                                                     official responsible for disaster                       organizations, and compensation by                    assistance available from other Federal
                                                     operations determines that an event may                 insurance for disaster-related losses. 44             programs and other sources; imminent
                                                     be beyond the capabilities of the State                 CFR 206.36(b)(1)–(2). In addition, the                threats to public health and safety;
                                                     and local government to respond, the                    request must include: Confirmation that               recent disaster history in the State;
                                                     State will request that the FEMA                        the Governor has taken appropriate                    hazard mitigation measures taken by the
                                                     Regional Administrator perform a joint                  action under State law and directed the               State or local governments, especially
                                                     FEMA-State PDA. 44 CFR 206.33(a). A                     execution of the State emergency plan;                implementation of measures required as
                                                     damage assessment team is formed,                       an estimate of the amount and severity                a result of previous major disaster
                                                     which is composed of at least one                       of damages and losses stating the impact              declarations; and other factors pertinent
                                                     representative of the Federal                           of the disaster on the public and private             to a given incident. 44 CFR 206.37(c)(1).
                                                     government and one representative of                    sectors; information describing the                   When preparing its recommendation for
                                                     the State. 44 CFR 206.33(b). A local                    nature and amount of State and local                  Individual Assistance in particular,
                                                     government representative familiar with                 resources which have been or will be                  FEMA considers specific factors
                                                     the extent and location of damage in the                committed to alleviate the results of the             described in 44 CFR 206.48(b).
                                                     community is also included if possible.                 disaster; preliminary estimates of the
                                                     44 CFR 206.33(b). Other State and                       types and amount of supplementary                     4. Approval or Denial of the Declaration
                                                     Federal agencies, and voluntary relief                  Federal disaster assistance needed                    Request
                                                     organizations may also be asked to                      under the Stafford Act; and certification                Upon completion of its
                                                     participate, as needed. 44 CFR                          by the Governor that State and local                  recommendation, FEMA forwards it to
                                                     206.33(b). A FEMA official will brief                   government obligations and                            the President along with the Governor’s
                                                     team members on damage criteria, the                    expenditures for the current disaster                 request. The Governor’s request may
                                                     kind of information to be collected for                 will comply with all applicable cost                  result in either a Presidential
                                                     the particular incident, and reporting                  sharing requirements of the Stafford                  declaration of a major disaster or an
                                                     requirements. 44 CFR 206.33(b).                         Act. 44 CFR 206.36(c)(1)–(5).                         emergency, or denial of the Governor’s
                                                        The length of time required to                                                                             request. 44 CFR 206.38(a). The Governor
                                                     conduct a PDA varies based upon the                     3. FEMA’s Analysis and
                                                                                                                                                                   will be promptly notified by the FEMA
                                                     circumstances of the event. In large                    Recommendation to the President
                                                                                                                                                                   Administrator of a declaration by the
                                                     disasters, a major disaster declaration                    Upon receipt of the Governor’s                     President that a major disaster exists, or
                                                     may be made prior to completing a PDA,                  request, the FEMA Regional                            that the Governor’s request does not
                                                     in which case a damage assessment is                    Administrator provides written                        justify the use of the authorities of the
                                                     conducted following the declaration in                  acknowledgement of the request. 44                    Stafford Act. 44 CFR 206.39. A State
                                                     order to determine additional program                   CFR 206.37(a). Based on information                   may appeal a denial of declaration
                                                     needs. Damage that is widespread may                    obtained by the PDA and consultations                 request within 30 days after the date of
                                                     take considerably longer to verify than                 with appropriate State and Federal                    the letter denying the request. 44 CFR
                                                     damage in a concentrated area, as there                 officials and other interested parties, the           206.46(a).
                                                     is a greater geographic area to assess.                 FEMA Regional Administrator promptly
                                                     Certain types of disasters such as                      prepares a summary of the PDA                           2 The supplemental nature of Federal disaster

                                                     flooding, or disasters affecting remote or              findings, analyzes the data, and submits              assistance is a longstanding principle of emergency
                                                                                                                                                                   management and disaster response in this country.
                                                     isolated areas, may slow PDAs down                      a recommendation to FEMA                              After any event, the local officials are the first to
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                                                     due to limited accessibility. Depending                 Headquarters. 44 CFR 206.37(b). This                  respond, by nature of their proximity to the event
                                                     on the above circumstances, a PDA can                   Regional Analysis must include a                      and knowledge of the area and circumstances. If
                                                     take anywhere from a day or two to a                    discussion of State and local resources               additional resources are needed, the State then
                                                                                                                                                                   steps in to assist. Once those resources are
                                                     week or more. On average, a PDA can                     and capabilities and other assistance                 overwhelmed, or it is clear that they will be
                                                     be completed within a week. At the                      available to meet the major disaster-                 overwhelmed, the Governor may request a major
                                                     close of the PDA, FEMA consults with                    related needs. 44 CFR 206.37(b).                      disaster declaration. 44 CFR 206.36(a). In the event
                                                                                                                                                                   of a declaration, State and local officials continue
                                                     State officials to discuss findings and                    Based on all available information,                to lead their respective response and recovery
                                                     reconcile any differences. 44 CFR                       the FEMA Administrator formulates a                   missions, with Federal support provided under the
                                                     206.33(c).                                              recommendation which is forwarded to                  Stafford Act.



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                                                                         Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules                                                    70119

                                                     5. Types of Assistance Approved Under                   carry out a Disaster Recovery Plan. 42                 the Stafford Act. Pursuant to SRIA, this
                                                     the Declaration Request                                 U.S.C. 5189d. The process involves an                  rulemaking must be completed by
                                                        A major disaster declaration will                    assessment of the survivor’s verified                  January 29, 2014. Although the
                                                     include the types of assistance that are                disaster caused unmet needs,                           necessary process to revise the factors is
                                                     authorized under the declaration, 44                    development of a goal oriented plan that               not yet complete, FEMA intends to
                                                     CFR 206.40(a), although other types may                 outlines the steps necessary to achieve                complete this process as expeditiously
                                                     be authorized later, 44 CFR 206.40(c).                  recovery, organization and coordination                as possible.
                                                                                                             of information on available resources                    SRIA also authorized, among other
                                                     The types of assistance authorized
                                                                                                             that match the disaster caused unmet                   things, the option for Federally
                                                     under the declaration are based upon
                                                                                                             need, monitoring of progress towards                   recognized Indian Tribal governments to
                                                     whether the damage involved and its
                                                                                                             the recovery plan goals and, when                      make a request directly to the President
                                                     effects are of such severity and
                                                                                                             necessary, client advocacy.                            for a Federal emergency or major
                                                     magnitude as to be beyond the response                     Disaster Legal Services: Disaster Legal             disaster declaration. FEMA will
                                                     capabilities of the State, the affected                 Services provides legal assistance to low              implement this provision of SRIA in a
                                                     local governments, and other potential                  income individuals who, prior to or as                 separate rulemaking.
                                                     recipients of supplementary Federal                     a result of the disaster, are unable to
                                                     assistance. 44 CFR 206.40(a). A major                   secure legal services adequate to meet                 C. FEMA's Outreach Efforts Required by
                                                     disaster declaration may authorize all,                 their disaster related needs. 44 CFR                   the Sandy Recovery Improvement Act
                                                     or only particular types of,                            206.164. FEMA, through an agreement                       Section 1109 of SRIA requires FEMA
                                                     supplementary Federal assistance                        with the Young Lawyers Division of the                 to cooperate with State, local, and Tribal
                                                     requested by the Governor. 44 CFR                       American Bar Association, provides free                emergency management agencies during
                                                     206.40(a). As noted above, when                         legal help for disaster survivors.                     the process of reviewing, updating, and
                                                     evaluating requests for Individual                         Disaster Unemployment Assistance:                   revising the factors found at 44 CFR
                                                     Assistance, FEMA considers the factors                  Disaster Unemployment Assistance                       206.48(b). FEMA conducted outreach
                                                     under 44 CFR 206.48(b) to determine                     (DUA) provides unemployment benefits                   with stakeholders, including meetings
                                                     whether supplemental Federal                            and re-employment services to                          with the National Emergency Managers
                                                     Individual Assistance is warranted.                     individuals who have become                            Association, the International
                                                        A major disaster declaration                         unemployed as a result of a major                      Association of Emergency Managers, the
                                                     authorizing Individual Assistance may                   disaster and who are not eligible for                  National Advisory Council, FEMA
                                                     include any or all of the following                     regular State unemployment insurance.                  regional offices, and Tribal governments
                                                     programs:                                               44 CFR 206.141.                                        (hereinafter ‘‘stakeholder group’’). The
                                                        Individuals and Households Program:                                                                         stakeholder group had widespread
                                                     The Individuals and Households                          B. Sandy Recovery Improvement Act of
                                                                                                             2013                                                   participation from individuals involved
                                                     Program (IHP) provides grants, direct                                                                          in emergency management at the State,
                                                     assistance, or both to eligible disaster                   On January 29, 2013, the President                  local, and tribal levels. These outreach
                                                     survivors who have necessary expenses                   signed the Sandy Recovery                              efforts were conducted from February
                                                     and serious needs that they are unable                  Improvement Act of 2013 (SRIA) into                    2013 through May 2013 and consisted of
                                                     to meet through other means, such as                    law (Pub. L. 113–2). Section 1109 of                   in-person conferences and conference
                                                     insurance. 44 CFR 206.110–120. This                     SRIA requires FEMA, in cooperation                     calls. During this outreach, a series of
                                                     help may be in the form of housing                      with State, local, and Tribal emergency                themes emerged from the members of
                                                     assistance (including Temporary                         management agencies, to review,                        the stakeholder group which are
                                                     Housing, Repair, Replacement, and                       update, and revise through rulemaking                  discussed below.
                                                     Semi-Permanent or Permanent Housing                     the factors found at 44 CFR 206.48 that
                                                     Construction) as well as assistance to                  FEMA uses to determine whether to                      1. The Role of Voluntary, Faith, and
                                                     meet ‘‘other needs’’ such as medical,                   recommend provision of Individual                      Community Based Organizations During
                                                     dental, child care, funeral, personal                   Assistance during a major disaster.                    Disasters
                                                     property, and transportation costs.                     These factors help FEMA measure the                       Many in the stakeholder group felt
                                                        Crisis Counseling Program: The Crisis                severity, magnitude, and impact of a                   that the consideration of services and
                                                     Counseling Program (CCP) assists                        disaster.                                              benefits provided by voluntary, faith-
                                                     individuals and communities recovering                     Congress directed FEMA to review,                   based, and community-based
                                                     from the effects of a natural or human                  update, and revise these factors,                      organizations during a disaster should
                                                     caused disaster through the provision of                including 44 CFR 206.48(b)(2) related to               not continue to serve as an indicator for
                                                     community based outreach and psycho-                    trauma and the specific conditions or                  when supplemental Federal assistance
                                                     educational services. 44 CFR 206.171.                   losses that contribute to trauma, to                   is warranted. The stakeholders felt that
                                                     Supplemental Federal funding for crisis                 provide more objective criteria for                    voluntary, faith-based, and community-
                                                     counseling is available to the State                    evaluating the need for assistance to                  based organization involvement may not
                                                     through two grant mechanism: (1)                        individuals, to clarify the threshold for              be available at the time of a disaster
                                                     Immediate Services Program, which                       eligibility, and to speed a declaration of             declaration and those organizations do
                                                     provides funds for up to 60 days of                     a major disaster or emergency 3 under
                                                     services immediately following a                                                                               will apply only to Individual Assistance factors that
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                                                     disaster declaration; and (2) the Regular                 3 The  factors that FEMA considers to evaluate the   FEMA considers when evaluating a Governor’s
                                                     Services Program, which provides funds                  need for assistance to individuals under the           request for a major disaster declaration. Section 502
                                                                                                             Stafford Act are at 44 CFR 206.48. FEMA uses these     of the Stafford Act authorizes FEMA to provide IHP
                                                     for up to nine months following a                       factors to evaluate a governor’s request for a         assistance as part of an emergency declaration.
                                                     disaster declaration.                                   declaration of a major disaster, not an emergency.     FEMA has previously considered some of the
                                                        Disaster Case Management Program:                    SRIA Section 1109 states that FEMA must review,        factors found at 206.48(b) when considering an
                                                     The Disaster Case Management Program                    update, and revise the factors in 44 CFR 206.48(b).    emergency declaration request that includes IHP
                                                                                                             The factors that FEMA uses to evaluate a governor’s    assistance. FEMA will continue to consider some of
                                                     (DCMP) is a program that involves a                     request for emergency assistance, however, are not     the factors, when applicable, at 44 CFR 206.48(b)
                                                     partnership between a disaster case                     provided in 44 CFR 206.48(b) or in FEMA’s              when evaluating an emergency declaration request
                                                     manager and a survivor to develop and                   regulations. Therefore, the scope of this rulemaking   that includes IHP assistance.



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                                                     70120               Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules

                                                     not provide funding for the rebuilding                  assistance information from 1994–1999,                respond to the event, in accordance
                                                     or replacement of houses. FEMA                          and is based on the previous iteration of             with the requirements for a major
                                                     currently considers, as an Individual                   the IHP which consisted of two separate               disaster declaration in the Stafford Act.
                                                     Assistance factor, the extent to which                  programs: (1) The Temporary Housing
                                                                                                                                                                   4. Impact on Businesses
                                                     voluntary agencies and State or local                   Assistance Program and (2) the
                                                     programs can meet the needs of disaster                 Individual and Family Grant Program.                     Multiple members of the stakeholder
                                                     survivors. 44 CFR 206.48(b)(4).                         FEMA recognizes that there are many                   group asked FEMA to consider the
                                                     Voluntary, faith-based, and community-                  factors, including population, that                   impact of an incident on businesses.
                                                     based organizations are often among the                 contribute to a State’s capability to                 They believe that there is a direct
                                                     first to respond to an event. Following                 respond to and recover from a disaster.               correlation between impacts on
                                                     a disaster, voluntary, faith-based, and                 FEMA is proposing several factors,                    businesses and a community’s ability to
                                                     community-based organizations                           discussed below, that will be used in                 recovery. As discussed below, FEMA is
                                                     mobilize to provide immediate                           evaluating State capability.                          proposing revised IA factors that
                                                     assistance such as food, clothing,                                                                            consider the impact to businesses
                                                                                                             3. Issues With Widespread Damage and                  because the impacts of a disaster on
                                                     shelter, cleaning supplies, comfort kits,
                                                                                                             Contiguous States                                     businesses may impede a community’s
                                                     first aid, and medical care, as well as
                                                     services including coordinating                            Current 44 CFR 206.48(b)(1) notes that             ability to recover. Business losses alone,
                                                     donations, counseling, home repairs,                    high concentrations of damages                        however, will not result in a
                                                     and rebuilding. FEMA is proposing to                    generally indicate a greater need for                 Presidential major disaster declaration
                                                     continue consideration of the resources                 Federal assistance than widespread and                that authorizes IA because the IA grant
                                                     made available by such organizations as                 scattered damages throughout a State.                 programs do not provide assistance to
                                                     part of the new ‘‘Resource Availability’’               Stakeholders were concerned that the                  businesses. Instead, FEMA considers the
                                                     factor discussed below. FEMA                            cost of widespread minimal damage                     effect that business disruptions have on
                                                     recognizes that the resources provided                  across counties within a State may not                disaster survivors. For example, some
                                                     by the voluntary, faith-based, and                      be appropriately considered within the                survivors may lose work or become
                                                     community-based organizations are                       concentration of damage factor. The                   unemployed due to a disaster, and may
                                                     typically not a long term recovery                      stakeholders wanted greater                           otherwise be ineligible for standard
                                                     solution for a disaster affected                        consideration to widespread events that               unemployment insurance benefits, thus
                                                     community and that these                                are costly. FEMA recognizes that as a                 showing an increased need for DUA.
                                                     organizations’ financial capabilities are               practical matter, widespread minimal                     In addition, the Small Business
                                                     mostly donor-based and dependent on                     damage spread across a larger                         Administration (SBA) has separate
                                                     the economic climate. FEMA also                         geographic area, can overwhelm a                      statutory authority and programs, which
                                                     believes that information on voluntary,                 State’s capability to adequately respond              may be available to assist businesses
                                                     faith-based, and community-based                        to a disaster. Therefore, FEMA is                     absent a Presidential major disaster
                                                     organizations is valuable because it can                proposing a factor, discussed below,                  declaration.
                                                     enhance the picture of disaster needs at                that will evaluate the estimated cost of              5. Decoupling Individual Assistance
                                                     a local, grass roots level and may either               assistance for a State.                               Programs
                                                     offset the need for, or reveal a need for,                 In events where disasters cross state
                                                     supplemental Federal assistance.                        lines, several emergency managers                        Several members of the stakeholder
                                                                                                             recommended that a major disaster                     group suggested decoupling IA
                                                     2. The Correlation Between the                          declaration in one of the States should               programs so that States can request
                                                     Population Size of a State and Its                      automatically trigger a major disaster                specific IA programs instead of
                                                     Capability To Recover                                   declaration in the other affected State or            receiving a generic major disaster
                                                        Several members of the stakeholder                   States. The Stafford Act requires that a              declaration that authorizes all IA
                                                     group discouraged FEMA from making                      Governor’s request for a major disaster               programs. The manner in which IA
                                                     a correlation between State population                  declaration is based on a finding that                programs are requested and authorized
                                                     size and the capability of that State to                the disaster is of such severity and                  is outside the scope of this proposed
                                                     recover. More specifically, multiple                    magnitude to be beyond the capabilities               rulemaking, which is to revise the
                                                     members of the stakeholder group                        of the State and affected local                       factors which FEMA uses to evaluate
                                                     expressed concern with the table in the                 governments. 42 U.S.C. 5170(a). FEMA’s                the need for IA. However, current FEMA
                                                     current regulations which provides the                  major disaster recommendation to the                  policy and practice already allows
                                                     average amount of Individual Assistance                 President is based on this same finding.              States to request all IA programs or
                                                     by State. See 206.48(b)(6). This table of               44 CFR 206.37(c). Each State has                      specific IA programs, as appropriate, via
                                                     averages does not set a threshold for                   different capabilities to respond to,                 its standardized form, Request for
                                                     recommending Individual Assistance,                     recover from, and mitigate the effects of             Presidential Disaster Declaration Major
                                                     but was intended as guidance to States                  a disaster. Moreover a disaster that                  Disaster or Emergency, OMB Control
                                                     and voluntary agencies as they develop                  crosses state lines may have differing                Number 1660–0009. This form allows
                                                     plans and programs to meet the needs                    impacts in the affected states. As such,              States to ‘‘check off’’ the IA programs
                                                     of disaster survivors. 44 CFR                           it is unlikely that every event that                  they are requesting.
                                                     206.48(b)(6).                                           impacts multiple states will necessarily                 Indeed, there have been recent major
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                                                        In developing this proposed rule,                    be beyond each affected State’s                       disaster declarations, which authorized
                                                     FEMA evaluated the utility of this table.               respective capabilities. Therefore, rather            Disaster Unemployment Assistance and
                                                     FEMA determined that the table should                   than recommending that the President                  the Crisis Counseling Program, without
                                                     be removed because it causes confusion                  automatically declare a disaster for each             the other IA programs.4 These programs
                                                     among States, and may be viewed                         adjoining State affected by a disaster,
                                                                                                                                                                     4 For example South Dakota, DR–4155, Severe
                                                     incorrectly as a threshold for whether a                FEMA proposes to continue to base its
                                                                                                                                                                   Winter Storm, Snowstorm, and Flooding, Declared
                                                     State should request Individual                         major disaster declaration                            November 8, 2013 (DUA and CCP), 78 FR 72093;
                                                     Assistance. In addition, the table is                   recommendation on the capability of the               Colorado, DR–4134, Black Forest Wildfire, Declared
                                                     based on 1990 Census data, uses                         affected State and local governments to               July 26, 2013 (DUA and CCP), 78 FR 51204;



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                                                                         Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules                                                    70121

                                                     meet specific needs in the disaster-                    evaluate the need for a Public                        idea of what level of damage and need
                                                     impacted community that may be                          Assistance major disaster declaration:                the State must have before requesting
                                                     unrelated to physical disaster damage.                  Estimated cost of assistance, localized               assistance. The stakeholders believed
                                                     FEMA may consider recommending                          impacts, insurance coverage, hazard                   that this would prevent States from
                                                     authorization of these programs when                    mitigation, recent multiple disasters,                spending the time compiling the data
                                                     they are needed, even in the absence of                 and programs of other Federal                         and requesting a declaration when they
                                                     authorization of the Individuals and                    assistance. These factors are focused                 have not sustained enough damage to
                                                     Households Program, which is generally                  almost entirely on the impact of the                  qualify for a major disaster declaration
                                                     directly tied to physical disaster                      event on State, local, and tribal                     that authorizes IA.
                                                     damage.                                                 governments, as well as certain private                 Section 320 of the Stafford Act
                                                                                                             non-profit organizations. Members of                  prohibits the denial of assistance to a
                                                     6. Impacts to Community                                                                                       geographic area based solely use of an
                                                                                                             the stakeholder group specifically
                                                        FEMA received comments from the                      identified the estimated cost of                      arithmetic formula or a sliding scale
                                                     stakeholder group suggesting that FEMA                  assistance factor as an approach that                 based on income or population. 42
                                                     assess the impacts from a disaster to a                 could be applied to IA. Under this                    U.S.C. 5163. Although FEMA
                                                     community as a whole and not just                       factor, FEMA evaluates the estimated                  determined that any hard thresholds or
                                                     consider the damage that occurred to                    cost of Federal and non-federal public                inflexible formula would offend the
                                                     individual houses and residences to                     assistance against the statewide                      principles of Section 320,5 FEMA
                                                     determine the need for a major disaster                 population to give a measure of the per               believes that a systematic and objective
                                                     declaration that authorizes IA and the                  capita impact within the State. 44 CFR                approach using standardized factors is
                                                     specific IA programs required. FEMA is                  206.48(a)(1). That factor also establishes            important for making informed and
                                                     considering implementing this                           a $1 million threshold, based on the                  consistent recommendations to the
                                                     recommendation in the proposed factor                   proposition that even the smallest                    President as well as enhancing
                                                     described below entitled, ‘‘Impact to                   population States have the capability to              predictability for a State when they
                                                     Community Infrastructure.’’ FEMA                        cover that level of public assistance                 request IA. As discussed throughout
                                                     believes that by reporting and                          infrastructure damage. Under FEMA’s                   section IV, FEMA is proposing to use
                                                     examining community impacts instead                     current regulations, there is no                      objective data from other Federal
                                                     of just individual residence impacts,                   corresponding IA single indicator                     agencies to inform the overall
                                                     FEMA and the State will have a better                   designed to evaluate the total cost of the            assessment of the request, but, in
                                                     understanding of the overall impact of                  disaster against the capability of a                  keeping with the principles of Section
                                                     the disaster on the lives of individuals                requesting State.                                     320 and recognizing that every disaster
                                                     in the community and which IA                              FEMA agrees with the comments                      presents unique circumstances, this data
                                                     programs would benefit disaster                         received from emergency managers that                 alone will not be independently
                                                     survivors. As discussed in more detail                  the fiscal capacity of a State should be              dispositive of whether FEMA
                                                     below, significant disruptions to                       considered, but FEMA does not agree                   recommends the need for IA.
                                                     important services such as                              that the Public Assistance per capita
                                                                                                                                                                   9. Insurance
                                                     transportation, schools, child care,                    indicator measure should be adopted for
                                                     eldercare, or police services are likely to             this purpose. Instead, as discussed                      Under its current regulations, FEMA
                                                     impede recovery of that community and                   below, FEMA proposes to use Total                     considers the amount of insurance
                                                     may be indicative of a heightened need                  Taxable Resources and Gross Domestic                  coverage when evaluating the need for
                                                     for Federal assistance. In addition, such               Product by State as indicators of a                   IA. 44 CFR 206.48(b)(5). FEMA received
                                                     impacts may show a specific need for                    State’s fiscal capacity. For reasons                  comments from the stakeholder group
                                                     certain IA programs. For example, a                     discussed below, FEMA believes that                   that said that this insurance coverage
                                                     community may have relatively low                       these indicators, calculated by the U.S.              factor could be viewed as a penalty for
                                                     damage impacts to individual                            Department of Treasury and the U.S.                   people that have limited insurance or
                                                     residences but a large amount of the                    Commerce Department’s Bureau of                       insurance that does not cover the
                                                     community’s infrastructure, such as                     Economic Analysis (BEA), are more                     specific disaster damage. FEMA does
                                                     schools or roads, may have been                         appropriate for the purposes of                       not agree that the insurance coverage
                                                     destroyed. Such impacts can be quite                    evaluating a State’s fiscal capacity and              factor penalizes disaster survivors for
                                                     traumatic to the community and may                      its capability to meet the needs of                   maintaining private homeowner’s
                                                     suggest a need for specific IA programs                 individuals after an event. In addition to            insurance or flood insurance. FEMA’s
                                                     such as the Crisis Counseling Program,                  Total Taxable Resources and Gross                     programs are not loss indemnification
                                                     but not necessarily the Individuals and                 Domestic Product by State, FEMA will                  programs. They do not ensure that an
                                                     Households Program. This information                    consider the estimated cost of assistance             applicant is returned to their pre-
                                                     will assist FEMA in determining which                   and States would also have the ability                disaster living condition nor can they
                                                     IA programs to approve when granting                    to submit other information relevant to               cover all disaster-related losses. FEMA
                                                     a major disaster declaration.                           their fiscal capacity. FEMA’s proposal of             assistance is not as comprehensive as
                                                                                                             a fiscal capacity factor is discussed                 insurance coverage and the amount of
                                                     7. Linking Individual Assistance                        further below.                                        money that an insurance company will
                                                     Declarations With Public Assistance
                                                                                                             8. Thresholds
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                                                     Estimated Cost Factor                                                                                           5 As noted above, FEMA applies a $1 million

                                                                                                                Some members of the stakeholder                    minimum threshold when evaluating requests for
                                                        Some members of the stakeholder                                                                            Public Assistance. This is based upon a
                                                     group suggested aligning the financial                  group indicated that they would like a                determination that even the smallest states can be
                                                     indicators for IA and Public Assistance                 specific ‘‘hard’’ threshold that indicates            expected to cover that level of damage and that
                                                     major disaster declarations. Currently,                 whether a State would be eligible to                  disaster assistance is intended to be supplemental
                                                                                                             receive a major disaster declaration                  in nature. The minimum threshold is not a sliding
                                                     FEMA uses the following factors to                                                                            scale or an arithmetic formula, nor is it based on
                                                                                                             authorizing IA. The stakeholders felt                 population or income. Rather, it is related directly
                                                     Colorado, DR–4133, Royal Gorge Wildfire, Declared       that if there was an established                      to the degree of damage only. As such, there is no
                                                     July 26, 2013 (DUA only), 78 FR 51204.                  threshold it would give States a clear                conflict with section 320 of the Stafford Act.



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                                                     70122               Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules

                                                     provide as a settlement is typically                    the recovery process. FEMA considered                 factor listed below; the amount of
                                                     greater than the dollar amount of                       this information and has preliminarily                information and data provided by each
                                                     assistance FEMA is legally permitted to                 concluded that foreclosure data should                State is voluntary. However, the failure
                                                     provide.6 FEMA takes insurance                          not be specified in our evaluation                    of a State to provide sufficient evidence
                                                     coverage into consideration under                       factors. FEMA’s IA programs do not                    that supplemental Federal assistance is
                                                     current 44 CFR 206.48(b)(5) because,                    provide any form of assistance for                    necessary may result in a delay or
                                                     under the Stafford Act, Federal disaster                foreclosed homes. Repair assistance is                possibly denial of a request for a major
                                                     assistance cannot duplicate assistance                  available only for owner-occupied                     disaster declaration authorizing IA.
                                                     from any source, including available                    primary residences. As such, homes                       As is currently the practice, FEMA
                                                     insurance proceeds. When evaluating                     without an owner, or homes owned by                   will continue to use a myriad of factors
                                                     this factor, FEMA considers the type of                 a bank or other creditor would not be                 and data to formulate its
                                                     disaster damage when determining                        eligible for assistance. FEMA recognizes              recommendations to the President on
                                                     whether there is insurance coverage. For                that high levels of foreclosure may be                major disaster declarations that
                                                     disaster survivors with insurance that                  associated with economic difficulties in              authorize IA. No single data point or
                                                     does not cover the specific disaster                    the affected area that could also                     factor would determine on its own
                                                     damage, their losses are considered                     negatively impact a community’s ability               FEMA’s ultimate recommendation nor
                                                     uninsured.                                              to recover. However, FEMA believes                    would any single factor necessarily
                                                        Comments that FEMA received from                     other factors including poverty level,                affect the President’s ultimate
                                                     the stakeholder group raised additional                 pre-disaster unemployment, and per                    determination of whether a major
                                                     concern with the insurance data that                    capita personal income will be adequate               disaster declaration authorizing IA is
                                                     FEMA uses because it can be inaccurate                  indicators of economic health in most                 warranted. The proposed factors would
                                                     leading FEMA to under- or over-                         circumstances. If a State believes that               not limit the President’s discretion
                                                     estimate the actual insurance                           homes in foreclosure will impact their                regarding major disaster declarations.
                                                     penetration rates 7 within a community.                 capability to respond to the disaster,                FEMA reviewed the current factors and
                                                     FEMA currently utilizes National Flood                  then the State may articulate this                    proposes to revise the current factors as
                                                     Insurance Program (NFIP) data to                        concern in the narrative portion of their             follows.
                                                     determine insurance penetration rates                   declaration request. FEMA considers all
                                                                                                             relevant information provided in a                    A. 44 CFR 206.48ÐParagraph (b)(1)
                                                     for flood damages and Census data to                                                                          State Fiscal Capacity and Resource
                                                     determine homeowners’ insurance                         State’s request. 44 CFR 206.48.
                                                                                                                                                                   Availability
                                                     coverage percentages. FEMA uses the                     11. Incentives for State Sponsored IA
                                                     percentage of owner-occupied homes                                                                               FEMA is proposing to add at 44 CFR
                                                                                                             Programs
                                                     with a mortgage based on Census data                                                                          206.48(b)(1) a factor entitled ‘‘State
                                                     to determine an insurance penetration                      FEMA received comments from the                    Fiscal Capacity and Resource
                                                     rate. FEMA assumes that a home with                     stakeholder group stating that FEMA                   Availability.’’ The factors discussed
                                                     a mortgage would require home                           should provide incentives for States to               below will be used by FEMA to evaluate
                                                     insurance coverage. FEMA is pursuing                    have their own IA programs.                           a State’s fiscal capacity to respond to a
                                                                                                             Commenters stated that currently there                disaster as well as a State’s available
                                                     additional resources beyond NFIP and
                                                                                                             is no consideration by FEMA of the                    resources that can or have been
                                                     Census data to verify insurance
                                                                                                             disasters that are paid for by States and             committed to the disaster recovery
                                                     penetration rates in order to have the
                                                                                                             that States should not be penalized for               process.
                                                     most accurate insurance information
                                                                                                             having a program that assists its citizens               Fiscal Capacity. FEMA is proposing to
                                                     available. FEMA is requesting that
                                                                                                             during the time it takes for PDAs to be               evaluate a State’s fiscal capacity to
                                                     stakeholders and the public provide
                                                                                                             completed and a major disaster                        respond to and recover from a disaster
                                                     information and suggestions on
                                                                                                             declaration authorized. FEMA agrees                   in 44 CFR 206.48(b)(1)(i)(A)-(D). As
                                                     potential sources of data for the most
                                                                                                             with the comments received from                       discussed above, major disaster
                                                     accurate insurance information. FEMA
                                                                                                             emergency managers that any efforts or                declarations are based upon a finding
                                                     will consider suggestions during the
                                                                                                             programs to help citizens by a State                  that the event is of such severity and
                                                     development of the final rule.
                                                                                                             should be considered. As discussed                    magnitude that an effective response is
                                                     10. Homes in Foreclosure                                below in the ‘‘Planning After Prior                   beyond the capabilities of the State and
                                                       FEMA received comments from the                       Disasters’’ factor, FEMA proposes to                  affected local governments. Economic
                                                     stakeholder group related to homes in                   include consideration of any planning                 conditions of the State and affected
                                                     foreclosure. Some commenters stated                     and disaster relief programs a State                  local governments are clearly relevant to
                                                     that if an area with a high foreclosure                 establishes after a prior disaster because            such a finding. However, the current
                                                     rate is affected by a disaster, these                   States are ultimately responsible for the             regulations do not specifically include
                                                     foreclosed homes without an owner                       well-being of their citizens and therefore            consideration of economic factors that
                                                     could be a greater burden to the State in               should continuously evaluate and                      could affect a State’s capability to
                                                                                                             improve their disaster planning and                   respond to or recover from a disaster.
                                                       6 For disasters occurring in Fiscal Year 2016 the     relief programs based on lessons learned              The proposed data points will help
                                                     maximum amount of financial assistance provided         from previous disasters.                              FEMA evaluate through independently
                                                     to an individual or household under section 408 of                                                            calculated data whether a State is
                                                                                                             IV. Discussion of the Proposed Rule
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                                                     the Stafford Act (IHP) with respect to any single
                                                     emergency or major disaster is $33,000. See 80 FR                                                             financially overwhelmed and unable to
                                                                                                               This rule proposes to implement                     adequately respond to a disaster.
                                                     62086, Oct. 15, 2015. This amount is adjusted
                                                     annually based on the Consumer Price Index for All      Section 1109 of SRIA, which requires                     In addition, the United States
                                                     Urban Consumers as calculated by the Department         FEMA to revise and update through                     Government Accountability Office
                                                     of Labor, Bureau of Labor Statistics.                   rulemaking the Individual Assistance                  (GAO) has suggested in multiple
                                                       7 Insurance coverage rates and insurance
                                                                                                             factors that are used to make a major                 reports 8 that FEMA should incorporate
                                                     penetration rates are both currently captured in 44
                                                     CFR 206.48(b)(5). In the new proposed regulation,
                                                                                                             disaster recommendation to the
                                                     both of these insurance rates will be captured at       President. States are not required to                   8 United States Government Accountability

                                                     206.48(b)(2)(vi).                                       provide information on every single                   Office, FEDERAL DISASTER ASSISTANCE:



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                                                                         Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules                                                      70123

                                                     States’ fiscal capacity into its                           The TTR of the State is an annual                     previous disaster or a financial
                                                     considerations for recommendations on                   estimate of the relative fiscal capacity of              downturn. Additionally, if a disaster
                                                     disaster declarations to the President.                 a State, calculated by the U.S.                          had a significant amount of damages
                                                     The GAO reports have historically                       Department of Treasury. TTR is defined                   and impacts, so much so that it could
                                                     focused on fiscal capacity in FEMA’s                    as the unduplicated sum of the income                    have a major impact on the real or
                                                     Public Assistance (PA) factor criteria,                 flows produced within a State and the                    actual TTR, FEMA would likely
                                                     but changes to the PA criteria are                      income flows, received by its residents,                 recommend granting IA, assuming the
                                                     outside the scope of this proposed rule.                which a State could potentially tax.                     damages were not covered by home,
                                                     FEMA believes that the same principle                   Calculation of the TTR is based on the                   property, or flood insurance and IA
                                                     applies to IA and PA, in that there is a                GDP by State and additional accounting                   assistance would not duplicate benefits.
                                                     need to assess a State’s capacity to                    for resident earnings (wages, salaries,                  TTR is one data point along with
                                                     respond and recover from a disaster on                  proprietor’s income, etc.) from out-of-                  numerous others and will not on its
                                                     its own when determining whether a                      state, and resident dividend and interest                own determine FEMA’s
                                                     major disaster declaration is warranted                 income, as well as reduction for                         recommendation. States also have the
                                                     because Federal assistance is                           components that are presumed not                         opportunity, as they have in the past, to
                                                     supplemental. Each State’s capacity to                  taxable by States (employee and                          tell FEMA how their economy is
                                                     respond and recover varies based on the                 employer contributions to social                         impacted by the disaster and previous
                                                     circumstances of the disaster and the                   insurance, federal indirect business                     disasters. The State may also present,
                                                     State’s resources.                                      taxes, federal civilian enterprises                      and FEMA will evaluate, the GDP trend
                                                        FEMA therefore proposes to include                   surplus/deficit). While TTR does not                     in addition to simply the TTR data.
                                                     in 44 CFR 206.48(b)(1)(i)(A)–(C) the                    consider the actual fiscal choices made                     Generally, FEMA assumes a State
                                                     following three factors which will help                 by the States, it does reflect their                     with a low TTR may have a lower
                                                     evaluate a State and local jurisdiction’s               potential resources. Increases or                        threshold for requiring supplemental
                                                     fiscal capacity: (A) The Total Taxable                  decreases in TTR could indicate a                        Federal assistance than a State with a
                                                     Resources (TTR) of the State,9 (B) the                  strengthening or declining State                         higher TTR because its economy may
                                                     Gross Domestic Product (GDP) by                         economy for FEMA to consider when                        not be as resilient against the increased
                                                     State,10 (C) and the Per Capita Personal                making a determination of the State’s                    financial burdens that are attributed to
                                                     Income by Local Area. FEMA                              capacity. In summary, TTR is a flow                      a large disaster. FEMA assumes
                                                     anticipates that these data points are                  concept, a comprehensive measure of all                  territories with lower GDP may have a
                                                     readily available so that the State can                 the income flows a State can potentially                 relatively lower threshold for requiring
                                                     discuss the data points in their request                tax. TTR data is updated annually with                   Federal assistance. While a higher TTR
                                                     for a major disaster declaration. These                 a two year lag in the data.                              or GDP are indicative of greater fiscal
                                                     publicly available data points,                            The GDP by State is calculated by the                 capability, FEMA recognizes that there
                                                     calculated by third-party government                    BEA.11 GDP by State estimates are                        are disasters that are so large or so
                                                     agencies, will allow FEMA to use                        measured as the sum of the distributions                 destructive as to overwhelm even the
                                                     standardized data to evaluate the                       by industry and state of the components                  most fiscally capable States.
                                                                                                             of gross domestic income which is the                       Per capita personal income by local
                                                     economic capability of a State to
                                                                                                             sum of the costs incurred and incomes                    area is calculated by the BEA,14 and is
                                                     effectively respond to an event.
                                                                                                             earned in the production of GDP.                         the personal income of the residents of
                                                                                                             Currently, TTR is only provided for the                  a given area divided by the resident
                                                     Improved Criteria Needed to Assess a Jurisdiction’s
                                                     Capability to Respond and Recover on Its Own,           fifty States and the District of                         population of the area. BEA uses the
                                                     GAO–12–838, September 2012. Available at:               Columbia,12 but not the territories; but                 Census Bureau’s annual midyear
                                                     http://www.gao.gov/assets/650/648162.pdf. United        GDP by State includes calculations for                   population estimates when computing
                                                     States Government Accountability Office,                                                                         the per capita personal income. FEMA
                                                     DISASTER ASSISTANCE: Improvement Needed in              U.S. territories.13 FEMA would use GDP
                                                     Disaster Declaration Criteria and Eligibility           by State primarily as an alternative                     anticipates using per capita personal
                                                     Assurance Procedures, August 2001. Available at:        fiscal capacity measure when the TTR of                  income by local area as a measure to
                                                     http://www.gao.gov/assets/240/232622.pdf.               an area is unavailable. GDP by State                     better assess the need for supplemental
                                                        9 For a more detailed discussion of the
                                                                                                             may also be used by a State when their                   Federal assistance within each local
                                                     methodology estimating the total taxable resources                                                               area. A local area with a relatively low
                                                     (TTR) of the State, please refer to Dep’t of the        TTR is inaccurate due to the two year
                                                     Treasury, Treasury Methodology for Estimating           lag in TTR data. It is possible that a                   per capita personal income that is
                                                     Total Taxable Resources (TTR) (last revised Nov.        State’s TTR data could be strong or                      affected by a disaster may have a lower
                                                     2002), http://www.treasury.gov/resource-center/
                                                                                                             trending upwards when in fact recent                     threshold for requiring supplemental
                                                     economic-policy/Documents/nmpubsum.pdf. This                                                                     Federal assistance. Local governments
                                                     document is also available in the docket for this       events may have caused a significant
                                                     rulemaking. The data on TTR by State is available       drop in the State fiscal capacity that is                in areas with low per capita personal
                                                     at http://www.treasury.gov/resource-center/             not yet reflected. This significant drop                 income will typically have lower tax
                                                     economic-policy/taxable-resources/Pages/Total-
                                                                                                             could be caused by, for instance, a                      bases and therefore may have fewer
                                                     Taxable-Resources.aspx. FEMA provides this Web                                                                   resources available to help local
                                                     site for reference purposes, the Web site may
                                                     change based on U.S. Treasury’s future actions, and        11 GDP by State is a component of the TTR             residents impacted by a disaster, which
                                                     FEMA will adjust its use of the Web page and data       calculation.                                             may indicate a lower threshold for
                                                     as necessary.                                              12 The District of Columbia’s TTR does not            requiring supplemental Federal
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                                                        10 Gross Domestic Product of the State was           include income earned by out-of-state commuters.         assistance. Per capita personal income
                                                     formerly referred to as Gross State Product. For a      Since the District of Columbia is proscribed by
                                                                                                             Federal law from taxing the earnings of commuters
                                                                                                                                                                      by local area when considered
                                                     more detailed discussion of the methodology
                                                     estimating the Gross Domestic Product of the State,     from outside its borders, the U.S. Treasury has          holistically with TTR (and when
                                                     please refer to http://bea.gov/regional/pdf/gsp/        subtracted the earnings of non-residents (commuter
                                                     GDPState.pdf. This document is also available in        income).                                                   14 Data on per capita personal income is available

                                                     the docket for this rulemaking. An example of GDP          13 GDP by State data is currently available from      on the BEA’s ‘‘Local Areas Personal Income &
                                                     by State is available at http://www.bea.gov/            the BEA for the following territories: Virgin Islands,   Employment’’ Table CA1. FEMA may need to
                                                     newsreleases/regional/gdp_state/gsp_                    Guam, American Samoa, and the Commonwealth of            update this source if the BEA provides a new table
                                                     newsrelease.htm; however, FEMA will use updated         the Northern Mariana Islands. The U.S. Census            for per capita personal income, and it is provided
                                                     data as new information is published.                   publishes GDP for Puerto Rico.                           here for clarification purposes only.



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                                                     70124               Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules

                                                     appropriate GDP by State) will help to                  individuals under the Stafford Act. 44                a State’s disaster history, both
                                                     identify areas of concentrated need at                  CFR 206.48(b)(4). While the current                   Presidential (public and individual
                                                     the micro local area and individual level               factor’s title is ‘‘Voluntary agency                  assistance) and gubernatorial disaster
                                                     in addition to the macro State level.                   assistance,’’ both State and local                    declarations, for the previous 24-month
                                                        FEMA also proposes to include at 44                  government programs are included.                     period. FEMA is particularly interested
                                                     CFR 206.48(b)(1)(i)(D) a factor entitled                FEMA is clarifying the inclusion of                   in information from a State highlighting
                                                     ‘‘Other Factors.’’ ‘‘Other Factors’’ is                 State and local government programs                   any disasters that have occurred within
                                                     included to explicitly prompt the State                 and is also expanding 44 CFR                          the State’s current budget cycle. FEMA
                                                     to raise and discuss any other additional               206.48(b)(1)(ii)(A) to include private                is proposing this as a factor because
                                                     factors related to the State’s fiscal                   sector assistance. FEMA is also                       multiple disasters in a 24-month period,
                                                     capacity, i.e., burdens on a State                      specifying Tribal government assistance,              and particularly within one State budget
                                                     treasury or a State’s inability to collect              which was previously considered under                 cycle, may significantly strain a State
                                                     funds. This factor will encourage a State               local government programs. FEMA is                    budget and reduce the State’s capability
                                                     to provide an explanation of a State’s                  proposing this as a factor because the                to adequately respond to and recover
                                                     fiscal capacity that might not be                       level of assistance available to disaster             from a disaster without supplemental
                                                     captured or accurately reflected in the                 survivors from State, Tribal, and local               Federal assistance. In addition, pursuant
                                                     above factors. A State may have an                      government, NGOs, and the private                     to FEMA’s regulations, at 44 CFR
                                                     extraordinary fiscal circumstance that is               sector, may offset a need or reveal an                206.48(a)(5), in evaluating the need for
                                                     not reflected in the above factors and                  increased need for supplemental                       assistance under the Public Assistance
                                                     FEMA encourages the State to discuss                    assistance. Assistance provided by                    program, FEMA considers the disaster
                                                     the circumstances. For example, a                       State, Tribal, and local government,                  history of the State for the last 12-month
                                                     hurricane may cause extensive damage                    NGOs, and the private sector can                      period. FEMA is requesting 24 months
                                                     in a coastal area and negatively impact                 include but is not limited to Emergency               of State disaster history data because it
                                                     tourism, which in turn, will have a                     Management Assistance Compact                         closely aligns with the length of time for
                                                     negative impact on the tax base and                     (EMAC) resources, sheltering, housing                 IA programs. For example, IHP
                                                     fiscal capacity.                                        programs, feeding, mental health                      assistance is available for 18 months
                                                        Resource Availability. FEMA                          services, child care, elder care,                     and DCMP is available for 24 months
                                                     proposes to include at 44 CFR                           reunification services, clean up kits,                from the date of a major disaster
                                                     206.48(b)(1)(ii) a factor entitled                      blankets and cots, financial assistance,              declaration. A State with an open
                                                     ‘‘Resource Availability.’’ Federal                      and other donations.                                  disaster period that is affected by
                                                     disaster assistance is supplemental in                     This factor is an attempt to include               another disaster might have various
                                                     nature. FEMA’s current regulations do                   the ‘‘Whole Community’’ approach to                   unique issues related to recovery and
                                                     not provide for the level of granularity                emergency management that reinforces                  the compounded effects of two disasters
                                                     and detail for FEMA to fully evaluate                   the fact that FEMA is only one part of                within a short amount of time. Review
                                                     what and where the resource shortfalls                  our nation’s emergency management                     of disaster activity occurring within the
                                                     are for a community and State that was                  team; that FEMA must evaluate all of                  past 24 months will help to capture any
                                                     affected by a disaster. ‘‘Resource                      the resources of the collective team in               ongoing disaster activity where
                                                     Availability’’ will be an evaluation of                 preparing for, protecting against,                    individuals may still be receiving IHP
                                                     the disaster assistance resources                       responding to, recovering from and                    assistance. If the length of time were
                                                     available from State, Tribal, and local                 mitigating against all hazards; and that
                                                                                                                                                                   limited to only 12 months, this factor
                                                     governments as well as non-                             collectively we must meet the needs of
                                                                                                                                                                   might not identify that the State
                                                     governmental organizations and the                      the entire community in each of these
                                                     private sector so that FEMA can                                                                               currently has an open major disaster
                                                                                                             areas. FEMA fully recognizes that a
                                                     determine where, if any, gaps in                                                                              declaration where individuals are
                                                                                                             government-centric approach to
                                                     resources exist. This factor also provides                                                                    potentially still receiving FEMA IA
                                                                                                             emergency management is not enough
                                                     for consideration of those circumstances                                                                      assistance. This time period will also
                                                                                                             to meet the challenges posed by a
                                                     that may prevent a State from having                                                                          align with most State government fiscal
                                                                                                             catastrophic incident. When the
                                                     sufficient resources to devote to the                                                                         cycles, which are typically one or two
                                                                                                             community is engaged in emergency
                                                     disaster recovery process. Supplemental                                                                       years. An unanticipated number of
                                                                                                             management, it becomes empowered to
                                                     Federal assistance under the Stafford                   identify its needs and the existing                   disasters within a fiscal cycle may
                                                     Act is not warranted or necessary if a                  resources that may be used to address                 contribute to budget shortfalls that may
                                                     State’s disaster-caused needs can be met                them. Collectively, we can determine                  render a State less able to respond to an
                                                     by the available resources provided by                  the best ways to organize and strengthen              event.
                                                     a State, Tribal, local governments, non-                community assets, capacities, and                        FEMA is proposing a new factor,
                                                     governmental organizations, or the                      interests. This allows us, as a nation, to            ‘‘State Services,’’ at 44 CFR
                                                     private sector.                                         expand our reach and deliver services                 206.48(b)(1)(ii)(C). Under this factor,
                                                        FEMA is proposing to include at 44                   more efficiently and cost effectively to              FEMA would evaluate information
                                                     CFR 206.48(b)(1)(ii)(A)–(D) four factors                build, sustain, and improve our                       regarding any circumstances that
                                                     that will enable FEMA to fully evaluate                 capability to prepare for, protect against,           prevent a State from having the
                                                     a State’s available resources post                      respond to, recover from, and mitigate                resources to provide sufficient services
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                                                     disaster: (1) State, Tribal, and local                  all hazards. The ‘‘Whole Community’’                  to its citizens. FEMA strongly believes
                                                     government, Non-Governmental                            approach is an ongoing component of                   that it is important for a State to have
                                                     Organizations (NGO), and Private Sector                 the nation’s larger, coordinated effort to            pre-identified funding sources or
                                                     Activity; (2) Cumulative Effect of Recent               enhance emergency planning and                        sufficient disaster relief funds or
                                                     Disasters; (3) State Services; and (4)                  strengthen the nation’s overall level of              programs that can be utilized to assist
                                                     Planning After Prior Disasters.                         preparedness.                                         its citizens after a disaster. A State
                                                        In current regulations, FEMA                            FEMA proposes to add a new factor                  requesting a major disaster declaration
                                                     evaluates voluntary agency assistance to                ‘‘Cumulative Effect of Recent Disasters,’’            should address the reasons why the
                                                     determine the need for assistance to                    at 44 CFR 206.48(b)(1)(ii)(B), to evaluate            State does not have sufficient funds, or


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                                                                         Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules                                          70125

                                                     why the funding sources are insufficient                disaster declaration.15 This proposed                 from the other data points outlined in
                                                     to meet the needs of its citizens.                      factor will more accurately describe the              this factor. This data point is important
                                                        Finally, under the ‘‘Resource                        information collected and evaluated                   because it will capture the probable
                                                     Availability’’ factor, FEMA is proposing                during joint PDAs.                                    grant assistance that will be awarded for
                                                                                                                The first proposed data point is the               personal property in addition to grant
                                                     to consider a State’s ‘‘Planning After
                                                                                                             cause of damage in a new paragraph 44                 assistance for housing.
                                                     Prior Disasters,’’ at 44 CFR                                                                                     The fifth proposed data point is
                                                                                                             CFR 206.48(b)(2)(i). FEMA is requesting
                                                     206.48(b)(1)(ii)(D). Federal disaster                                                                         information on the homeownership rate
                                                                                                             this information in part because it is
                                                     assistance is supplemental and is not                                                                         of impacted homes in a new paragraph
                                                                                                             directly relates to insurance coverage.
                                                     intended to take the place of State                     The cause of disaster damage refers to                44 CFR 206.48(b)(2)(v). This factor is an
                                                     disaster assistance programs. States are                the peril that caused the disaster                    estimated rate of the homeownership of
                                                     strongly encouraged to develop and                      damage such as a tornado or wind                      impacted homes in the disaster-affected
                                                     continuously improve their own                          driven rain. Insurance policies typically             area. FEMA may provide assistance for
                                                     disaster assistance programs. For this                  only cover damage resulting from a                    real property repair or replacement to
                                                     factor, States should identify any new                  specific peril or perils. FEMA is legally             homeowners for their primary residence
                                                     and existing individual assistance                      prohibited from duplicating insurance                 and rental assistance to homeowners or
                                                     programs as well as any improvements                    proceeds when providing disaster                      renters; therefore, it is important to
                                                     to existing individual assistance                       assistance and must know the level of                 know homeownership rates in order to
                                                     programs made as a result of previous                   insurance coverage and the cause of the               estimate probable assistance.
                                                     disasters. States that continually fail to              damage to estimate the potential amount                  The sixth proposed data point is
                                                     address limitations or shortfalls                       of Federal IA available.                              information on the percentage of
                                                     identified by FEMA or the State after                      The second proposed data point is                  affected households with insurance
                                                     previous events will receive negative                   information on the jurisdictions                      coverage appropriate to the peril in a
                                                     consideration under this factor. FEMA                   impacted and the concentration of                     new paragraph 44 CFR 206.48(b)(2)(vi).
                                                     is proposing this as a factor because                   damages in a new paragraph 44 CFR                     FEMA is requesting this information
                                                     States are ultimately responsible for the               206.48(b)(2)(ii). FEMA is requesting this             because FEMA will consider the
                                                     well-being of their citizens and therefore              information because it will highlight the             percentage of affected households with
                                                     should continuously evaluate and                        counties within a State that may require              insurance coverage as part of the
                                                     improve their disaster planning and                     IA as well as whether the damages were                evaluation of whether the IHP is
                                                     relief programs based on lessons learned                in one concentrated area of the State or              necessary and to assist in determining
                                                                                                             widespread. This information will be                  probable grant assistance. Insurance
                                                     from previous disasters.
                                                                                                             gathered during the PDA process by                    appropriate to the peril is, for example,
                                                     B. 44 CFR 206.48ÐParagraph (b)(2)                       either the damage assessment teams or                 if the cause of the damage is wind and
                                                     Uninsured Home and Personal Property                    via geographic information system (GIS)               the homeowner has homeowner’s
                                                     Losses                                                  data. IA is typically authorized based on             insurance, then the homeowner has
                                                                                                             county or parish jurisdictional                       insurance appropriate to the peril. If the
                                                        Under FEMA’s current regulations,                                                                          homeowner has homeowner’s
                                                                                                             boundaries.
                                                     FEMA evaluates the concentration of                                                                           insurance, but no flood insurance, and
                                                                                                                The third proposed data point is the
                                                     damages to individuals. 44 CFR                                                                                the cause of the damage is flooding,
                                                                                                             number of homes impacted and degree
                                                     206.48(b)(1). FEMA also considers the                   of damage in a new paragraph 44 CFR                   then the homeowner does not have
                                                     amount of insurance coverage pursuant                   206.48(b)(2)(iii). Degree of damage refers            insurance appropriate to the peril. If a
                                                     to 44 CFR 206.48(b)(5). FEMA is                         to the extent of disaster damage and its              homeowner has sufficient and
                                                     proposing to incorporate both of the                    impact on the habitability of a home.                 appropriate insurance to the peril,
                                                     current factors, as well as additional                                                                        Federal assistance may be limited to
                                                                                                             FEMA is requesting this information
                                                     information collected during the PDA                                                                          ONA, CCP, DCMP, or DUA programs
                                                                                                             because it illustrates how a community
                                                     process, into a new factor entitled                                                                           because the Stafford Act prohibits
                                                                                                             was affected and what types and the
                                                     ‘‘Uninsured Home and Personal                                                                                 FEMA from duplicating benefits
                                                                                                             extent of IA that may be needed for the
                                                     Property Losses’’ in a new 44 CFR                                                                             received from any other source,
                                                                                                             community. This information is
                                                     206.48(b)(2). As described above in                                                                           including insurance proceeds. The State
                                                                                                             typically given at both the county or
                                                     section (III)(A)(1) of the Background                                                                         should attempt to provide this
                                                                                                             parish jurisdictional level and the State
                                                     section, FEMA and the State participate                                                                       information through the State insurance
                                                                                                             wide level.
                                                     in the joint PDA process, which                                                                               commissioner or office and other
                                                                                                                The fourth proposed data point is the
                                                     includes an examination of the extent of                                                                      appropriate sources. FEMA will verify
                                                                                                             estimated cost of assistance in a new
                                                     damage to individual residences. The                                                                          the data using the best analysis methods
                                                                                                             paragraph 44 CFR 206.48(b)(2)(iv). The
                                                     PDA data points help to illustrate the                                                                        available. FEMA currently utilizes
                                                                                                             estimated cost of assistance is typically
                                                     extent of damage that a community has                                                                         National Flood Insurance Program
                                                                                                             generated by the joint FEMA-State PDA                 (NFIP) data to determine insurance
                                                     sustained and help FEMA estimate the                    and is already currently collected in                 penetration rates for flood damages and
                                                     probable grant assistance under the                     FEMA’s current declarations process.                  Census data to determine homeowners’
                                                     Individuals and Households Program.                     The estimated cost of damage will help                insurance coverage percentages. Since
                                                     The proposed data points save FEMA                      FEMA gather information about the cost
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                                                                                                                                                                   insurance coverage is not collected
                                                     time when evaluating a major disaster                   of a disaster and the potential amount                during the Census, the percentage of
                                                     declaration request because the                         of FEMA assistance that would be                      owner-occupied homes with a mortgage
                                                     requested data has already been                         awarded. This data point is often                     is used to determine an insurance
                                                     evaluated and validated by FEMA                         determined using information obtained                 penetration rate, due to assumption that
                                                     during the joint PDA process. FEMA                                                                            a home with a mortgage would require
                                                                                                                15 Preliminary Damage Assessment for Individual
                                                     currently collects this information via                                                                       home insurance coverage. FEMA is
                                                                                                             Assistance Operations Manual (9327.2). Available
                                                     the joint PDA process and uses them                     at: http://www.fema.gov/media-library/assets/         pursuing additional resources beyond
                                                     when evaluating requests for major                      documents/29569.                                      NFIP and Census data to verify


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                                                     70126               Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules

                                                     insurance penetration rates in order to                 data points 17 in making a                             needed after a disaster. For example,
                                                     have the most accurate insurance                        recommendation for IA under a major                    demographic information revealing a
                                                     information available. As previously                    disaster declaration: (1) The percentage               large number of low income,
                                                     mentioned in Section III(C)(9), FEMA is                 of the population for whom poverty                     unemployed, or elderly populations in a
                                                     requesting that stakeholders and the                    status is determined; (2) the percentage               disaster area could indicate a need for
                                                     public provide information and                          of the population already receiving                    supplemental Federal assistance
                                                     suggestions on potential sources of data                government assistance, such as                         because those populations may not have
                                                     for the most accurate insurance                         Supplemental Security Income and                       a large amount of disposable income or
                                                     information. FEMA will consider any                     Supplemental Nutrition Assistance                      qualify for a Small Business
                                                     suggestions during the development of                   Program benefits; (3) the pre-disaster                 Administration (SBA) disaster loan.
                                                     the final rule.                                         unemployment rate; (4) the percentage                  With respect to demographic
                                                       Finally, the seventh proposed data                    of the population that is 65 years or                  information that reveals a large non-
                                                     point is any other relevant preliminary                 older; (5) the percentage of the                       English speaking population, this will
                                                     damage assessment data in a new                         population 18 years or younger; (6) the                help FEMA to structure their outreach
                                                     paragraph 44 CFR 206.48(b)(2)(vii).                     percentage of the population with a                    efforts to ensure that any messaging
                                                     FEMA is proposing this factor to                        disability; and (7) the percentage of the              efforts are in the appropriate languages.
                                                     explicitly prompt the State to discuss                  population who speak a language other
                                                     any other damage assessment                             than English and speak English less                    D. 44 CFR 206.48ÐParagraph (b)(4)
                                                     information that was gathered during                    than ‘‘very well.’’ In addition, FEMA                  Impact to Community Infrastructure
                                                     the joint FEMA-State PDA that the State                 will continue to consider any unique
                                                                                                             considerations regarding American                        In FEMA’s current regulations, at 44
                                                     believes demonstrates that an effective
                                                                                                             Indian and Alaskan Native Tribal                       CFR 206.48(b), FEMA considers the
                                                     response is beyond the capability of the
                                                                                                             populations raised in the State’s request              degree of trauma to a State and to
                                                     State and affected local governments
                                                                                                             for a major disaster declaration, even if              communities when evaluating a State’s
                                                     and that supplemental Federal
                                                                                                             such considerations are not be reflected               need for IA. FEMA considers conditions
                                                     assistance for individuals is appropriate.
                                                                                                             in the U.S. Census Bureau data. These                  that might cause trauma, such as large
                                                     C. 44 CFR 206.48ÐParagraph (b)(3)                       data points are readily available so that              scale disruption of normal community
                                                     Disaster Impacted Population Profile                    the State can discuss the data points in               functions and services and emergency
                                                       In FEMA’s current regulations at 44                   its request for a major disaster                       needs such as extended or widespread
                                                     CFR 206.48(b)(3), FEMA considers                        declaration.                                           loss of power or water. 44 CFR
                                                     special populations in evaluating the                      The proposed population                             206.48(b)(2)(ii) and (iii). SRIA
                                                     need for assistance to individuals under                demographic data points are relevant to                specifically identified trauma as a factor
                                                     the Stafford Act. FEMA proposes to                      all of FEMA’s IA programs and are a                    that required clarification as to the
                                                     expand on this current factor, in the                   valuable source of information to                      specific conditions or losses that
                                                     proposed factor ‘‘Disaster Impacted                     determine if specific programs are                     contribute to trauma. FEMA proposes to
                                                     Population Profile’’ at a revised 44 CFR                                                                       examine what was previously identified
                                                     206.48(b)(3). Currently, in the ‘‘special               www.bls.gov/web/laus/laumstrk.htm and http://          as part of the ‘‘trauma’’ factor by
                                                                                                             www.bls.gov/lau/#cntyaa. Data on county                identifying and evaluating several more
                                                     populations’’ factor FEMA considers                     populations of ‘‘65 or Older’’ and ‘‘18 or Younger’’
                                                     demographic information regarding low                   data comes from the ACS using the American             objective factors which contribute to the
                                                     income, elderly, or unemployed                          FactFinder, Advanced Search, Geographies: ‘‘All        level of trauma caused by a disaster.18
                                                                                                             Counties within the United States,’’ Topics: DP05,     The ‘‘Impact to Community
                                                     populations that are affected by a major                5-year estimates. Data on populations with a
                                                     disaster because those populations may                  disability comes from the ACS, American
                                                                                                                                                                    Infrastructure’’ factor at a proposed new
                                                     have a greater need for assistance. 44                  FactFinder, Advanced Search, Geographies: ‘‘All        44 CFR 206.48(b)(4) includes several
                                                     CFR 206.48(b)(3). FEMA also considers                   Counties within the United States,’’ Topics: S1810,    considerations which relate to the level
                                                                                                             3-year estimates. Data on ‘‘percent of population      of trauma, as well as considerations that
                                                     whether a State has any American                        who speaks English less than very well’’ comes
                                                     Indian or Alaskan Native Tribal                         from the ACS, American FactFinder, Advanced            shed light on a community’s ability to
                                                     populations. 44 CFR 206.48(b)(3).                       Search, Geographies: ‘‘All Counties in the United      recover from a disaster. This factor has
                                                       FEMA is proposing to consider                         States,’’ Topics: B06007, 5-year estimates. Data on    three components: (1) Life-Saving and
                                                                                                             American Indian and Alaska Native populations
                                                     additional demographic data points                      comes from the ACS, American FactFinder,
                                                                                                                                                                    Life-Sustaining Services; (2) Essential
                                                     related to the disaster impacted                        Advanced Search, Geographies: ‘‘All Counties           Community Services; and (3)
                                                     community. This information will help                   within the United States,’’ Topics: DP05, 5-year       Transportation Infrastructure and
                                                                                                             estimates. FEMA may update these sources to            Utilities. Significant levels of damage,
                                                     FEMA to identify the specific issues or                 account for future improvement and changes in the
                                                     obstacles that a community may face in                  U.S. Census, BLS, BEA, and Treasury data
                                                                                                                                                                    disruption, or destruction to any or all
                                                     their disaster recovery. FEMA will                      reporting, and the sources are provided here for       of these components may hinder the
                                                     consider the following U.S. Census and                  example.                                               ability of individuals and families to
                                                     other Federal agency 16 demographic
                                                                                                                17 For definitions related to demographic data
                                                                                                                                                                    make a timely recovery, be indicative of
                                                                                                             points, please refer to the associated organizations
                                                                                                             Web sites. For example, refer to U.S. Census Small
                                                                                                                                                                    higher levels of trauma, and suggest an
                                                       16 Poverty data comes from the U.S. Census Small
                                                                                                             Area Income and Poverty Estimates definitions at       increased need for supplemental
                                                     Area Estimate Branch, ‘‘Poverty and Median Income       http://www.census.gov/did/www/saipe/methods/           Federal assistance—for example Other
                                                     Estimates for Counties.’’ Supplemental Nutrition        statecounty/20102012county.html for percentage of      Needs Assistance, Crisis Counseling
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                                                     Assistance Program data is from the U.S. Census’s       the population for whom poverty status is
                                                     American Community Survey (ACS) using the               determined. For a definition of the pre-disaster
                                                                                                                                                                    Program, or Disaster Case Management
                                                     American FactFinder, Advanced Search,                   unemployment rate, refer to Bureau of Labor Statics    Program. FEMA anticipates information
                                                     Geographies: ‘‘All Counties within the United           at http://www.bls.gov/bls/glossary.htm and search      on the three components will be
                                                     States,’’ Topics: S2201, 5-year estimates.              for the term ‘‘unemployment rate’’. The U.S. Census    provided by the State.
                                                     Supplemental Security Income data comes from            glossary at http://www.census.gov/glossary and
                                                     ACS using the American FactFinder, Advanced             American Community Survey also provide
                                                     Search, Geographies: ‘‘All Counties within the          definitions related to demographic data points           18 FEMA is also providing additional clarity on

                                                     United States,’’ Topics: B19056, 5-year estimates.      including the following terms: Assistance and          what constituted trauma in the Casualties factor
                                                     The unemployment data at the state and county           Subsidies, Age, Disability, Language Spoken at         which can be found in the proposed new 44 CFR
                                                     level are respectively available at http://             Home, and Ability to Speak English.                    206.48(b)(5) and is discussed below.



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                                                                         Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules                                          70127

                                                        FEMA is requesting information on an                 information regarding the impact on                   indicate a heightened need for
                                                     activity or disruption that lasts for more              essential community services for a                    supplemental Federal assistance
                                                     than 72 hours for each of the below                     period greater than 72 hours in a new                 because casualties are clearly indicative
                                                     components. As a general matter                         paragraph 44 CFR 206.48(b)(4)(ii).                    of the level of trauma in the affected
                                                     members of the public should be                         Essential community services are                      area. Moreover, each of the proposed
                                                     prepared to potentially be on their own                 services that improve the quality of life             data points link to one or more types of
                                                     at least 72 hours after a disaster.19 It                for a person in a community but do not                assistance under IA programs. The
                                                     may take FEMA up to 72 hours to assess                  sustain a person’s life. FEMA is                      estimated number of missing
                                                     and mobilize Federal assets to help a                   requesting information on the impact of               individuals can highlight how traumatic
                                                     State that is overwhelmed by a disaster.                the disaster on essential community                   an event was for a community and
                                                     In addition, preparing for at least this                services such as, but not limited to,                 indicate a potential need for crisis
                                                     amount of time will allow emergency                     schools, social services programs and                 counseling. This information may also
                                                     responders to focus on those individuals                providers, child care, and eldercare.                 be an indicator that additional injured
                                                     requiring more immediate assistance.                    Information on the impact of the                      or deceased individuals may be
                                                        Life-Saving and Life-Sustaining                      disaster on essential community                       discovered during the course of the
                                                     Services. FEMA is proposing that a State                services can include, for instance, the               disaster recovery. The estimated number
                                                     provide information regarding the                       number of schools closed, whether any                 of injured individuals may also indicate
                                                     impact of the disaster on life-saving and               social service programs or providers                  a need for crisis counseling as well as
                                                     life-sustaining services for a period of                such as Meals on Wheels were affected                 medical or dental assistance under the
                                                     greater than 72 hours in a new                          by the disaster, and the number of                    ONA provision of the Individuals and
                                                     paragraph 44 CFR 206.48(b)(4)(i). FEMA                  providers of child care or eldercare in               Households Program. The estimated
                                                     is specifically seeking information on                  the community that closed. Significant                number of deceased individuals may
                                                     services such as, but not limited to,                   or extended disruptions to these                      indicate a need for crisis counseling as
                                                     police, fire/EMS, hospital/medical,                     services will hinder the affected                     well as funeral assistance under ONA.
                                                     sewage, and water treatment services                    community’s ability to recover from a                 These proposed data points are typically
                                                     because prolonged disruption may affect                 disaster.                                             provided by the State already.
                                                     the viability of a community and                           Transportation Infrastructure and
                                                     necessitate survivor relocation. The                    Utilities. FEMA is proposing that the                 F. 44 CFR 206.48ÐParagraph (b)(6)
                                                     effects of a disaster will increase the                 State provide information regarding the               Disaster Related Unemployment
                                                     demand for life-saving and life-                        impact of the disaster on transportation                 In FEMA’s current regulations, FEMA
                                                     sustaining services and necessitate a                   infrastructure and utilities in a new                 considers whether ‘‘special
                                                     more robust response. Significant or                    paragraph 44 CFR 206.48(b)(4)(iii).                   populations,’’ such as the unemployed,
                                                     extended disruptions to these services                  Specifically, FEMA is seeking                         are affected by the disaster and whether
                                                     will hinder a community’s ability to                    information on the number of roads,                   they may have a greater need for
                                                     recover from a disaster.                                bridges, tunnels, and public transit                  assistance in 44 CFR 206.48(b)(3). As
                                                        Life-saving services are services that               closures and utility outages of water,                discussed above, FEMA is proposing to
                                                     provide an essential community                          power, sewage, and gas that last longer               add a ‘‘Disaster Impacted Population
                                                     function that, if interrupted, will affect              than 72 hours. Transportation                         Profile’’ factor, which incorporates
                                                     public health and safety in a                           infrastructure or utility disruptions can             consideration of a number of special
                                                     community. Some typical examples of                     render housing uninhabitable or                       populations, including the percentage of
                                                     life-saving services data that FEMA is                  inaccessible for disaster survivors, affect           low-income, unemployed, and elderly
                                                     requesting are whether emergency                        the delivery of life sustaining                       individuals within the population.
                                                     medical services such as ambulances,                    commodities, provision of emergency                      In addition, FEMA is proposing a new
                                                     fire services, police services, or hospital             services, ability to shelter in place, and            factor, ‘‘Disaster Related
                                                     services are affected by the disaster.                  efforts to rebuild. Significant or                    Unemployment,’’ in a new paragraph 44
                                                     Life-sustaining services are services that              extended disruptions to this                          CFR 206.48(b)(6) that will evaluate
                                                     are required to support life and well-                  infrastructure will hinder the affected               unemployment in a different manner
                                                     being within a community and are                        community’s ability to recover from a                 than FEMA’s current regulations.
                                                     necessary for the community to function                 disaster.                                             FEMA’s current regulations are focused
                                                     as normal. Some typical examples of                                                                           primarily on those that are unemployed
                                                     life-sustaining services data that FEMA                 E. 44 CFR 206.48ÐParagraph (b)(5)                     prior to the disaster. In this new factor,
                                                     is requesting are whether any                           Casualties                                            FEMA will seek to identify individuals
                                                     community healthcare programs,                            In FEMA’s current regulations, at 44                that may have lost work or become
                                                     assistance to homebound individuals                     CFR 206.48(b)(2)(i), FEMA evaluates the               unemployed as a result of the disaster.
                                                     such as Meals on Wheels, or food                        degree of trauma to a State and to                       The Disaster Unemployment
                                                     providers such as grocery stores or                     communities, including consideration                  Assistance program (DUA), operation of
                                                     restaurants are affected by the disaster.               of ‘‘large numbers of injuries and                    which has been delegated to the
                                                        Essential Community Services. FEMA                   deaths.’’ As discussed above, SRIA                    Department of Labor, 44 CFR 206.141,
                                                     is proposing that a State provide                       specifically directed FEMA to clarify the             provides unemployment benefits and re-
                                                                                                             factor related to trauma; the proposed                employment services to individuals
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                                                        19 See the following Web sites as examples: The
                                                                                                             changes to the Impact to Community                    who have become unemployed as a
                                                     FEMA run national public service advertising (PSA)      Infrastructure factor, described above,               result of a major disaster and who are
                                                     campaign Web site http://www.ready.gov/build-a-
                                                     kit; the Texas Division of Emergency Management         represent part of this effort.                        not eligible for regular State
                                                     Web site http://www.txdps.state.tx.us/dem/                In addition, FEMA is proposing in a                 unemployment insurance. The types of
                                                     Preparedness/emerSupplyKits.htm; the San                new 44 CFR 206.48(b)(5) that States                   workers who typically receive such
                                                     Francisco Department of Emergency Management            submit information on the number of                   assistance are self-employed, service
                                                     Web site http://www.sf72.org/home; and the New
                                                     York City Office of Emergency Management Web
                                                                                                             individuals who are missing, injured, or              industry workers, and seasonal workers
                                                     site http://www.nyc.gov/html/oem/html/get_              deceased due to a disaster. FEMA                      such as those employed in tourism,
                                                     prepared/supplies.shtml.                                believes that this information may                    fishing, or agriculture industries. In


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                                                     70128                      Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules

                                                     order to fully evaluate whether or not                                   G. Principal Factors for Evaluating the                               the event and to compare that estimated
                                                     DUA is appropriate, FEMA is requesting                                   Need for the Individuals and                                          need to the fiscal capability of the
                                                     that a State provide information on the                                  Households Program                                                    requesting State.
                                                     estimated number of disaster survivors                                     FEMA is proposing that the principal                                   FEMA evaluated major disaster
                                                     who lost work or became unemployed                                       factors it will consider in evaluation of                             declaration requests including IHP
                                                     due to a disaster and who do not qualify                                 any major disaster declaration request                                between January 2008 and July 2013
                                                     for standard unemployment insurance.                                     for IHP will be the fiscal capacity of the                            and determined that the uninsured
                                                                                                                              requesting State (44 CFR 206.48(b)(1)(i))                             home and personal property losses’
                                                        In addition, FEMA is requesting that
                                                                                                                              and the uninsured home and personal                                   estimated cost of assistance was an
                                                     a State provide information regarding
                                                                                                                              property losses (44 CFR 206.46(b)(2)).                                important factor driving whether a
                                                     any major employers that are affected in
                                                                                                                              As discussed above, major disaster                                    major disaster declaration authorizing
                                                     the area by the disaster because it may                                                                                                        IHP was declared by the President.
                                                                                                                              declarations are based upon a finding
                                                     highlight an additional need for the                                                                                                           FEMA found that 97% of requests
                                                                                                                              that the event is of such severity and
                                                     community in their recovery efforts.                                     magnitude that effective response and                                 involving estimated costs of assistance
                                                     When a major employer in a community                                     recovery is beyond the capabilities of                                that were equal to or greater than $7.5
                                                     is affected by a disaster, it can signal to                              the State and affected local                                          million were granted major disaster
                                                     FEMA that the community will have a                                      governments. IHP provides grants and                                  declarations authorizing IHP, while only
                                                     prolonged recovery because a large                                       direct assistance to eligible disaster                                6% of requests involving estimated
                                                     amount of individuals may be out of                                      survivors who have necessary and                                      costs of assistance equal to or less than
                                                     work and unable to support their own                                     serious needs that they are unable to                                 $1.5 million were granted. Requests
                                                     recovery efforts. This may further                                       meet through other means. In order to                                 falling between those numbers were
                                                     indicate need for DUA and other IA                                       determine the need for IHP, it is                                     much more uncertain, with
                                                     programs. FEMA anticipates that the                                      important to evaluate the total estimated                             approximately 44% granted, as reflected
                                                     State will provide this information.                                     need for such assistance resulting from                               in Table 1.
                                                                                    TABLE 1—ESTIMATED COST OF ASSISTANCE TO DECLARATION DECISION COMPARATIVE
                                                                                                                                                                                                    Number of       Number of     Percentage
                                                                                                Dollar amount of estimated costs of                                                                   disaster      disasters     of disasters
                                                                                                           assistance                                                                                requests        declared      declared

                                                     $7.5 million or more .....................................................................................................................              32             31               97
                                                     $1.5 million to $7.5 million ...........................................................................................................                87             38               44
                                                     $1.5 million or less .......................................................................................................................            34              2                6
                                                        * Based on major disaster declaration requests including IHP between January 2008 and July 2013.


                                                       Similarly, FEMA found that the ratio                                   estimated $2,000,000 in IA costs and the                              consider the circumstances of each
                                                     of IA Cost to Capacity (ICC),20 which is                                 State’s TTR was $30,000,000,000, FEMA                                 event. Moreover, FEMA recognizes that
                                                     the estimated cost of IA divided by the                                  divided $30,000,000,000 by $1,000,000                                 this kind of analysis can help identify
                                                     State’s TTR in millions, was particularly                                to get the State’s TTR in millions which                              trends and ensure consistent
                                                     indicative of the declaration result                                     is $30,000. FEMA then divided                                         decisionmaking over time, but does not
                                                     above and below certain levels. FEMA                                     $2,000,000 by $30,000 to get the ratio of                             always provide the full scope of
                                                     conducted a review of 153 21 major                                       IA Cost to Capacity (ICC) of 66.7.                                    information necessary for FEMA to
                                                     disaster declaration requests that                                          Based on the ICC calculation for all                               make an informed recommendation.
                                                     included IA that were submitted                                          153 State requests, there is a general                                   However, FEMA believes that
                                                     between January 2008 to July 2013 to                                     trend that shows the greater the ICC                                  providing these types of trends and
                                                     determine if there would be any impact                                   ratio for a major disaster declaration                                historic data is important to help guide
                                                     from using TTR in assessing a State’s                                    request that included IA, especially                                  States in their consideration of whether
                                                     need for a major disaster declaration                                    above 25, the more likely the request                                 or not an event might warrant a major
                                                     authorizing IA. Each State request                                       would be granted. Additionally, the                                   disaster declaration authorizing IA. The
                                                     included an estimate of the costs from                                   lower the ICC ratio for a major disaster                              trends and historical data will also help
                                                     the damages attributed to the disaster                                   declaration request that included IA,                                 guide State planning with respect to
                                                     event. FEMA retrieved the TTR per                                        especially below 10, the more likely the                              what level of IHP damage they should
                                                     State at the time of each request. For                                   request was denied. Major disaster                                    expect to handle without supplemental
                                                     each request, FEMA divided the                                           declaration requests for IA with an ICC                               Federal assistance. This type of
                                                     estimated cost by the State TTR in                                       greater than 25 were granted 95% of the                               planning guidance is consistent with the
                                                     millions. For example, if a State                                        time, while requests with an ICC below                                original intent behind the table
                                                                                                                              10 were granted only 7% of the time.                                  currently in 44 CFR 206.48(b)(6). As
                                                       20 See the discussion in V. Regulatory Analysis;                       Requests with ICCs falling in between                                 discussed above, the data in that table
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                                                     A. Executive Order 12866; 5. Impacts to Costs,                           10 and 25 were granted approximately                                  eventually became out of date and it no
                                                     Benefits, and Transfer Payments; d. Transfer                             half the time.                                                        longer has any utility as a planning tool.
                                                     Payments, for more detailed explanation of ICC and
                                                     these findings.                                                             FEMA is not proposing to use these                                    In order to ensure that the most useful
                                                       21 For the analysis on TTR, FEMA excluded                              numbers as a hard ‘‘threshold’’ or                                    and up to date data and information are
                                                     disaster declaration requests that did not include a                     incorporate them into regulation                                      available to States for guidance and
                                                     request for IA. FEMA also excluded duplicate                             because there is no one factor required                               planning purposes, FEMA proposes to
                                                     requests, U.S. territories’ requests (because there is
                                                     no TTR data available), requests without summaries
                                                                                                                              to receive a major disaster declaration                               compile and periodically publish
                                                     of the PDA data or with insufficient data, and                           authorizing IA and we want to preserve                                aggregate PDA data for major disaster
                                                     requests that involved an expedited decision.                            the President and FEMA’s discretion to                                requests, including IHP. Currently,


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                                                                              Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules                                                           70129

                                                     FEMA publishes Preliminary Damage                             the specific factors through guidance                 and of promoting flexibility. This rule
                                                     Assessment Reports 22 for every request                       will allow FEMA to be more nimble in                  has been designated a ‘‘significant
                                                     for a major disaster declaration. These                       adapting to changing circumstances or                 regulatory action’’ although not
                                                     reports lay out the PDA data that was                         changing priorities, while also creating              economically significant, under section
                                                     provided in the Governor’s request and                        an important transparency benefit for                 3(f) of Executive Order 12866.
                                                     indicate whether or not the request                           State and local governments.                          Accordingly, the rule has been reviewed
                                                     resulted in a declaration. Upon                                 It is important to note that certain                by the Office of Management and
                                                     finalization of new IA declaration                            disasters may present unique                          Budget.
                                                     factors, FEMA intends to continue                             circumstances which cannot be                            This proposed rule would impose a
                                                     publishing these reports with new                             anticipated by regulation or policy
                                                                                                                                                                         cost burden of $3,752 in the first year
                                                     declaration factors. In addition, FEMA                        guidance, as such States may submit,
                                                                                                                                                                         of implementation and $1,609 annually
                                                     intends to periodically publish the                           and FEMA may evaluate, all relevant
                                                                                                                                                                         for subsequent years. During the ten
                                                     aggregate data from these reports in a                        information. In addition, FEMA only
                                                                                                                                                                         year period following the final rule’s
                                                     format that will assist States in                             evaluates requests and makes
                                                                                                                                                                         effective date, the total cost would be
                                                     evaluating the likelihood of receiving a                      recommendations to the President. The
                                                                                                                                                                         $18,233 undiscounted. The ten year
                                                     major disaster declaration for a specific                     sole discretion to approve or deny any
                                                                                                                                                                         present value total cost would be
                                                     event and for planning for future events.                     request for major disaster declaration
                                                                                                                                                                         $15,806 and $13,302 if discounted at
                                                     By publishing this information in                             request lies with the President.
                                                                                                                                                                         three and seven percent, respectively.
                                                     periodic guidance, and not codifying it
                                                                                                                   V. Regulatory Analysis                                The small annualized cost of the
                                                     in regulation, FEMA would ensure that
                                                                                                                                                                         proposed rule would be $1,853 at three
                                                     the data remains timely and useful.                           A. Executive Order 12866, Regulatory
                                                        In addition to publishing PDA data,                                                                              percent and $1,894 at seven percent.23
                                                                                                                   Planning and Review and Executive
                                                     FEMA intends to publish guidance that                         Order 13563, Improving Regulation and                    Despite the newly identified factors,
                                                     provides clarity to States on how FEMA                        Regulatory Review                                     this proposed rule would not change the
                                                     would utilize the new proposed factors                                                                              total amount of assistance available to
                                                     when it evaluates major disaster                              1. Executive Summary & A–4                            individuals and households because
                                                     declaration requests that include IA.                         Accounting Statement                                  much of the proposed rule codifies
                                                     This guidance will provide additional                            Executive Orders 13563 and 12866                   FEMA’s evolving declarations practice
                                                     detail regarding analysis of the principal                    direct agencies to assess the costs and               since 1999. FEMA does not anticipate
                                                     factors as well as other factors identified                   benefits of available regulatory                      the two newly proposed factors would
                                                     in the proposed rule. FEMA intends to                         alternatives and, if regulation is                    change the total amount of individual
                                                     publish the guidance for public                               necessary, to select regulatory                       assistance as well, which is discussed in
                                                     comment to this rulemaking docket, and                        approaches that maximize net benefits                 the following sections. Benefits of the
                                                     FEMA will develop the final rule and                          (including potential economic,                        proposed rule include clarifying
                                                     guidance as a pair taking into                                environmental, public health and safety               FEMA’s existing practices, reducing
                                                     consideration all comments received on                        effects, distributive impacts, and                    processing time for requests due to
                                                     the NPRM and guidance. Over time,                             equity). Executive Order 13563                        clarifications, and providing States with
                                                     FEMA may update this guidance as                              emphasizes the importance of                          notice of the new factor information
                                                     necessary. The provision of more                              quantifying both costs and benefits, of               FEMA is proposing to consider as part
                                                     specific details regarding evaluation of                      reducing costs, of harmonizing rules,                 of the IA declarations process.

                                                                                                                             A–4 ACCOUNTING TABLE
                                                                                                                 Estimates                                              Units
                                                                  Category                                                                                                                                              Notes
                                                                                                  Primary        Low esti-       High esti-                        Discount
                                                                                                                                                  Year dollar                       Period covered
                                                                                                  estimate         mate            mate                              rate

                                                                                                                                        Benefits

                                                     Annualized Monetized                              None              None           None                 NA           NA      NA ........................   Not Quantified.
                                                       ($millions/year).
                                                     Annualized Quantified ..........                  None              None           None                 NA           NA      NA ........................   Not Quantified.

                                                     Qualitative ............................   The proposed rule more clearly identifies declaration factors FEMA considers in making its
                                                                                                  recommendation to the President on a major disaster declaration authorizing IA. It codifies
                                                                                                  many factors FEMA currently considers but are not specifically identified in 44 CFR
                                                                                                  206.48(b). The proposed rule may also result in regulatory efficiencies due to reduced
                                                                                                  process time and effort (back and forth). In addition, the newly identified factors would pro-
                                                                                                  vide FEMA additional information on a requesting State’s fiscal capacity and resource
                                                                                                  availability.
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                                                                                                                                          Costs

                                                     Annualized Monetized .........                $1,894.0              $0.0            $0.0               2013          7%      10 Years ..............       None.
                                                                                                   $1,853.0              $0.0            $0.0               2013          3%      10 Years.


                                                       22 These can be found on FEMA’s Web site at:                  23 FEMA includes estimates of discounted present    2003. Available at: http://www.whitehouse.gov/
                                                     https://www.fema.gov/preliminary-damage-                      value costs and annualized costs according to         sites/default/files/omb/assets/omb/circulars/a004/
                                                     assessment-reports.                                           guidance from OMB Circular A–4. Office of             a-4.pdf.
                                                                                                                   Management and Budget, Published September 17,



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                                                     70130                    Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules

                                                                                                                     A–4 ACCOUNTING TABLE—Continued
                                                                                                                  Estimates                                                   Units
                                                                  Category                                                                                                                                                  Notes
                                                                                                  Primary         Low esti-        High esti-                          Discount
                                                                                                                                                     Year dollar                        Period covered
                                                                                                  estimate          mate             mate                                rate

                                                     Annualized Quantified ..........                   None              None            None               2013              N/A    10 Years.

                                                     Qualitative ............................   None.

                                                                                                                                         Transfers

                                                     Federal Annualized Mone-                           None              None            None                NA                7%    NA ........................   None.
                                                       tized ($millions/year).
                                                     Other Annualized Monetized                         None              None            None                NA                7%    NA ........................   None.
                                                       ($millions/year).

                                                                                                                                           Effects

                                                     State, Local, and/or Tribal                        None              None            None                N/A               NA    NA ........................   None.
                                                       Government.

                                                     Small Business ....................        FEMA certifies under 5 U.S.C. 605(b) that this proposed rule would not, if promulgated, have a significant
                                                                                                economic impact on a substantial number of small entities.
                                                     Wages ..................................   None.
                                                     Growth .................................   Not Measured.



                                                     2. Need for Regulatory Action                                  and are not included in this proposed                      FEMA with the proposed information
                                                        FEMA is proposing this rule to                              rule. Local governments are also not                       for major disaster declaration requests,
                                                     provide clarity on the IA declaration                          affected by the proposed rule because                      as appropriate. A marginal analysis
                                                     factors that FEMA currently considers                          the disaster related information local                     table evaluating each of the
                                                     in support of its recommendation to the                        governments provide to the State is part                   considerations is provided later in the
                                                     President on whether a major disaster                          of their current disaster response                         preamble and a more detailed table is
                                                     declaration authorizing IA is warranted.                       process to provide situational awareness                   provided in the rulemaking docket.
                                                     The additional clarity may reduce                              and ascertain need for further                                In addition, as stated previously,
                                                     delays in the declaration process by                           assistance.                                                Indian Tribal governments (requesting
                                                     decreasing back and forth between                              4. Current Baseline and Changes From                       assistance through the State) and local
                                                     States and FEMA in the declarations                            Proposed Rule                                              governments currently provide the
                                                     process. FEMA is also proposing two                                                                                       proposed factor information for their
                                                                                                                       The proposed rule largely codifies                      local area and affected residents to the
                                                     new factors on Fiscal Capacity and                             many considerations that FEMA has
                                                     Resource Availability to provide                                                                                          State in support of a State’s request and
                                                                                                                    applied for several years under the                        its determination on whether a request
                                                     additional context on potential disaster                       ‘‘other relevant information’’ prong of
                                                     situations. The proposed rule would                                                                                       for a major disaster declaration
                                                                                                                    the regulation but were not specifically                   authorizing IA is warranted. Therefore,
                                                     also satisfy the requirements outlined in                      identified in FEMA regulations. FEMA
                                                     Section 1109 of SRIA.                                                                                                     FEMA anticipates Indian Tribal
                                                                                                                    reviewed State major disaster                              governments (requesting assistance
                                                     3. Affected Population                                         declaration letters that requested IA for                  through the State) and local
                                                                                                                    numerous disasters and found that                          governments will not incur additional
                                                        Requests for a Federal major disaster
                                                                                                                    States typically included more                             costs by the proposed regulation.
                                                     declaration authorizing IA must come
                                                                                                                    information and data than what is                             FEMA is also proposing to include
                                                     from a State’s Governor. 44 CFR
                                                                                                                    specifically identified in the current                     two new factors: Fiscal Capacity and
                                                     206.36(a). As such, the proposed rule
                                                                                                                    regulations at 44 CFR 206.48(b).24 As                      Resource Availability. Both new factors
                                                     affects the 56 States that are eligible to
                                                                                                                    such, costs for States would be                            have small burden increases associated
                                                     request a Presidential major disaster
                                                                                                                    minimally impacted by the proposed                         with obtaining the additional
                                                     declaration authorizing IA. States are
                                                                                                                    rule because States currently provide                      information. FEMA considers Fiscal
                                                     defined in 44 CFR 206.2(a)(22), and
                                                     include any State of the United States,                          24 FEMA reviewed a sample of State major
                                                                                                                                                                               Capacity data solely a Federal burden
                                                     the District of Columbia, Puerto Rico,                         disaster declaration request letters and found that        increase since it intends to collect the
                                                     the Virgin Islands, Guam, American                             each letter was unique and provided many of the            information. Resource Availability
                                                     Samoa, and the Commonwealth of the                             data points and information that would be                  information is considered a State
                                                                                                                    explicitly included under the proposed regulation.
                                                     Northern Mariana Islands.                                      The information submitted will vary depending on
                                                                                                                                                                               burden increase since States would
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                                                        Although Section 1110 of SRIA                               the disaster, the scope of damages and the need for        provide such information. However,
                                                     amended the Stafford Act to allow                              assistance. FEMA does not require every data point         FEMA does not anticipate either new
                                                     Federally recognized Indian Tribal                             to be submitted to get a declaration. Some requests        factor to impact the number of IA
                                                                                                                    will have more data or information, while other
                                                     governments to submit requests for                             requests will have less. For instance, in more severe      declaration requests received or the
                                                     emergency or major disaster                                    events to less resilient areas, the States did not need    amount of IA assistance provided, and
                                                     declarations, SRIA charged FEMA to                             to provide a large amount of information to get a          therefore no impact to transfer
                                                                                                                    declaration, because it was evident to FEMA and
                                                     implement that authority separately by                         the White House that the individual assistance
                                                                                                                                                                               payments.
                                                     rulemaking. Thus such declarations                             needs were outside the capacity of the requesting             Fiscal Capacity. FEMA recognizes
                                                     would be covered by a separate process                         State.                                                     that each State’s capacity to respond


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                                                                         Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules                                                   70131

                                                     and recover varies based on the                         a result of previous disasters. FEMA                  circumstances of a disaster may not
                                                     circumstances of the disaster and the                   intends to include this factor to                     allow a State to collect all of the
                                                     State’s resources. FEMA intends to                      encourage States to continuously                      information identified within the
                                                     include the consideration of fiscal                     evaluate and improve their disaster                   proposed rule. States would need to
                                                     capacity data to better evaluate a State’s              planning and relief programs based on                 provide information that supports their
                                                     ability to adequately respond to a                      lessons learned from previous disasters.              request for a major disaster declaration
                                                     disaster with or without supplemental                   On the other hand, States that                        authorizing IA, but would not have to
                                                     Federal assistance. The GAO has                         continually fail to address limitations or            address every data point in the
                                                     suggested in multiple reports that FEMA                 shortfalls identified after previous                  proposed rule to be granted the request.
                                                     should incorporate States’ fiscal                       events would be a consideration in                    For example, for a catastrophe of
                                                     capacity into its considerations for                    FEMA’s deliberation. Nonetheless,                     unusual severity and magnitude such
                                                     recommendations on disaster                             FEMA does not expect that the                         that preliminary damage assessments
                                                     declarations to the President. Though                   inclusion of this factor would affect the             are not necessary to determine the
                                                     the GAO reports have focused on                         overall number of major disaster                      requirement for Federal assistance,
                                                     including fiscal capacity in FEMA’s PA                  declarations authorizing IA as this factor            States may submit an abbreviated
                                                     declaration factor criteria, FEMA                       would be considered with a number of                  request pursuant to 44 CFR 206.36(d),
                                                     believes that there is a need to assess a               other factors and would not, in                       which need only contain limited
                                                     State’s capacity to respond and recover                 isolation, determine whether a                        information required by that provision.
                                                     on its own when determining whether                     declaration is recommended.                           The proposed rule is identifying factors,
                                                     a major disaster declaration that                                                                             which FEMA would consider in its
                                                                                                             5. Impacts to Costs, Benefits, and
                                                     authorizes IA is warranted as well.                                                                           review of a major disaster declaration
                                                                                                             Transfer Payments
                                                     Furthermore, the GAO supported the                                                                            request that includes IA when making
                                                     use of TTR as a measure of a State’s                       In the following section, FEMA                     recommendations to the President, but
                                                     fiscal capacity because it is a                         discusses the proposed rule’s quantified              ultimately the amount of data provided
                                                     comprehensive estimate of the resources                 costs for States and the Federal                      by the State is voluntary.
                                                     that could potentially be subject to State              government, qualitative benefits, and                    FEMA anticipates information on
                                                     taxation.25 Therefore, FEMA is                          why there are no expected impacts to                  State services and planning after prior
                                                     proposing to include fiscal capacity as                 transfer payments.                                    disasters would be addressed in a short
                                                     an additional factor in its determination.              a. State Costs                                        summary in the Governor’s request.
                                                        To ascertain a State’s fiscal capacity to                                                                  FEMA program employees who work
                                                                                                                As stated previously, many of the                  with declarations estimate that a State
                                                     respond to a major disaster, FEMA                       factors listed in the proposed rule have
                                                     intends to review data on a State’s Total                                                                     would spend an additional 30 minutes
                                                                                                             previously been submitted or requested                collecting and incorporating
                                                     Taxable Resources (TTR). The U.S.                       subsequent to a State request and thus
                                                     Department of Treasury calculates the                                                                         information on State services and
                                                                                                             are estimated to have no new costs. The               planning after prior disasters into the
                                                     TTR of the State, which is used as a                    two proposed additional factors that
                                                     measure of a State’s fiscal capacity.26                                                                       State’s declaration request. FEMA
                                                                                                             have not been typically provided or                   assumes this time would be used to
                                                     TTR is based on the GDP per State but                   considered would impose a new cost.
                                                     makes adjustments for additional,                                                                             write a paragraph or two on why the
                                                                                                             FEMA intends to obtain data related to                State lacks the resources to provide
                                                     potentially-taxable income flows like                   fiscal capacity from publicly accessible              sufficient services to its citizens and any
                                                     capital gains and commuter income.                      databases and Web sites at no cost to                 new or existing State individual
                                                     FEMA acknowledges that TTR does not                     States. Providing information on State                assistance programs or improvements
                                                     capture a State’s actual tax revenue or                 services and planning after prior                     made to State individual assistance
                                                     expenditures and cannot be viewed as a                  disasters would impose a new cost on                  programs as a result of previous
                                                     financial accounting of a State’s budget.               States. In addition, FEMA assumes the                 disasters. FEMA assumes that a State
                                                     TTR is instead intended to measure all                  proposed rule may have an initial                     would be aware of their own service and
                                                     income flows a State can potentially tax.               implementation cost for States to                     program capabilities prior to
                                                        Resource Availability. Relative to                   familiarize themselves and understand                 considering whether a request for a
                                                     State services and planning after prior                 the new factor data requirements.                     major disaster declaration that
                                                     disasters, FEMA encourages States to                       If a State is unable to provide                    authorizes IA is warranted. In addition,
                                                     continuously improve their own                          information for a particular factor or                a State may build upon past requests in
                                                     disaster assistance programs for their                  factors, FEMA would evaluate and                      subsequent requests depending on
                                                     citizens. States should identify any new                provide a recommendation on the                       whether their program efforts have been
                                                     individual assistance programs as well                  State’s need for Federal assistance based             ongoing or have changed.27 FEMA
                                                     as any improvements to existing                         on the information submitted and data                 previously estimated that States spend
                                                     individual assistance programs made as                  available from other sources, as                      33 hours on average to compile, write,
                                                                                                             appropriate. The only required elements               and submit a request for a declaration.28
                                                        25 United States Government Accountability
                                                                                                             of a State’s major disaster declaration               FEMA assumed the equivalent of a State
                                                     Office, FEDERAL DISASTER ASSISTANCE:
                                                     Improved Criteria Needed to Assess a Jurisdiction’s     request appear at 44 CFR 206.36.                      Government Chief Executive, a senior
                                                     Capability to Respond and Recover on Its Own,           FEMA’s intent, through this proposed
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                                                     GAO–12–838, September 2012, Page 31. Available          rule, is to clearly identify the considered             27 FEMA recognizes there may be a level of
                                                     at: http://www.gao.gov/assets/650/648162.pdf.           data points that are previously captured              repetition in a State’s request, but FEMA would
                                                        26 A 2012 GAO report stated that other Federal
                                                                                                             under the ‘‘other relevant information’’              prefer to ensure it has up to date information,
                                                     departments and agencies have used TTR data to                                                                including recent efforts from previous disasters, for
                                                     determine a jurisdiction’s fiscal capacity and the      prong of the regulation to inform the                 the White House and FEMA to consider.
                                                     extent to which a jurisdiction should be eligible for   States’ formulation of their request. In                28 FEMA has provided the supporting statement
                                                     Federal assistance; specifically the Department of      some scenarios, certain pieces of                     document for the information collection, OMB
                                                     Health and Human Services’ Substance Abuse and                                                                Control Number 1660–0009, in the public
                                                     Mental Health Services Administration’s block
                                                                                                             information identified in the proposed                rulemaking docket. The supporting statement dated
                                                     grant program and Community Mental Health               rule may be inapplicable or unavailable.              February 25, 2013 was the latest supporting
                                                     Service.                                                In addition, FEMA recognizes that the                 statement prior to this proposed regulation.



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                                                     70132               Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules

                                                     level government official familiar with                 Federal disaster assistance exists                     regulation when reviewing major
                                                     State emergency assistance programs,                    without the State providing additional                 disaster declaration requests. In
                                                     would prepare the Request for                           information identified in the proposed                 addition, FEMA has already begun to
                                                     Presidential Disaster Declaration Major                 rule. Thus the proposed rule provides                  change the way it collects information
                                                     Disaster or Emergency, FEMA Form                        the State with the types of requested                  for major disaster declaration
                                                     010–0–13. Per the U.S. Department of                    data that informs FEMA’s                               recommendations that did not require
                                                     Labor Bureau of Labor Statistics, the                   recommendation and ultimately, the                     regulatory action.
                                                     average hourly wage rate for a State                    President’s determination of a State’s                    In the past, FEMA would review pre-
                                                     Government Chief Executive is $54.66                    need for a major disaster declaration                  disaster data about a disaster location.
                                                     which FEMA multiplied by 1.4 to                         that authorizes IA.                                    This pre-disaster data provided FEMA
                                                     account for benefits.29 This results in a                 To estimate the time for States to                   information about the disaster location
                                                     fully loaded State Government Chief                     understand changes made to the                         that helped to illustrate the population
                                                     Executive hourly wage rate of $76.52.                   regulations, State governments would                   and area that was impacted by a
                                                     Between January 2004 and December                       spend time reading the proposed and                    disaster. The pre-disaster data came
                                                     2013, FEMA received 413 requests for a                  existing regulations. Based on a sample                from Federal sources, such as the
                                                     major disaster declaration that                         of FEMA employees who formerly                         United States Census Bureau and the
                                                     authorized IA. FEMA divided 413 by                      worked for State governments, FEMA                     Bureau of Labor Statistics. Independent
                                                     ten years to estimate that States would                 estimates States would spend 30                        of the regulation, FEMA had begun a
                                                     submit an average of 41 requests for                    minutes (0.5 hours) to familiarize                     process to streamline how pre-disaster
                                                     major disaster declarations authorizing                 themselves and understand the new                      data is collected and disseminated as
                                                     IA per year. FEMA multiplied 30                         factor data requirements.31 FEMA                       well as improving the efficiency and
                                                     minutes (0.5 hours) by the fully loaded                 assumes the equivalent of a State                      speed of the PDA process by using new
                                                     hourly wage rate of $76.52 and 41                       Government Chief Executive, a senior
                                                                                                                                                                    technologies and processes to collect
                                                     submissions to get an annual cost of                    level government official familiar with
                                                                                                                                                                    and transmit information faster.
                                                     $1,569 (0.5 × $76.52 × 41 = $1,568.66).                 State emergency assistance programs,
                                                       As noted above, most of the                           would read the existing and new                           One of the areas where FEMA would
                                                     information included in the proposed                    regulations to understand the changes.                 incur costs is for the retrieval of fiscal
                                                     factors is information that was                         FEMA multiples the fully loaded hourly                 capacity data from Treasury and BEA.
                                                     previously captured under the ‘‘other                   wage rate of a State Government Chief                  To estimate the additional activity time,
                                                     relevant information’’ prong of the                     Executive, calculated above as $76.52,                 FEMA performed a dry run retrieval and
                                                     regulation and has been considered, as                  by 0.5 hours and 56 States, to calculate               storage of the relative fiscal capacity
                                                     appropriate, when evaluating requests                   an increased State cost of $2,143 ($76.52              data. To retrieve, store, and update
                                                     for a major disaster declaration that                   × 0.5 × 56 = $2,142.56). FEMA assumes                  Treasury’s TTR data (including all State
                                                     authorized IA. However, FEMA at times                   State governments would read the                       data in a single retrieval), FEMA
                                                     has had to reach back to the State for                  regulation once in the first year it goes              estimates it would take 10 to 15
                                                     additional information.30 By clearly                    into effect and would subsequently refer               minutes, and uses the average of this
                                                     identifying information considered in                   to supplemental guidance materials,                    range, 12.5 minutes, for the purposes of
                                                     the proposed rule, FEMA anticipates                     such as the Governor’s request template,               this analysis. FEMA estimates it would
                                                     that such delays in the declaration                     to complete requests.                                  take the equivalent amount of time for
                                                     process would be diminished. With the                     FEMA estimates total State costs in                  the BEA’s GDP per State data, and uses
                                                     changes in the proposed rule, the                       the first year to be $3,712. FEMA                      12.5 minutes as well. FEMA estimates it
                                                     regulations would improve clarity                       estimates State costs in subsequent                    would take 15 to 30 minutes to retrieve
                                                     regarding potentially relevant                          years to be $1,569.                                    BEA per capita personal income data
                                                     information. States would be                                                                                   and uses the average of 22.5 minutes.
                                                                                                             b. Federal Costs                                       FEMA sums these three time burdens to
                                                     encouraged to include the fulsome
                                                                                                                FEMA anticipates the Federal                        calculate a total burden of 47.5 minutes
                                                     information in the original request,
                                                                                                             government would incur minor                           and divides by 60 minutes, for an
                                                     which could potentially eliminate
                                                                                                             additional costs by the rule because, as               estimated increase burden of 0.79 hours
                                                     follow-up correspondence and speed up
                                                     the determination of a major disaster
                                                                                                             noted above, FEMA already considers                    × ((12.5+12.5+22.5)/60=0.7917).
                                                                                                             most of these factors under the ‘‘other                   FEMA anticipates this data retrieval
                                                     declaration request. Although FEMA
                                                                                                             relevant information’’ prong of the                    to take place once annually, and to be
                                                     recognizes that large scale disasters may
                                                     not need as much detail or data to                                                                             completed by a Federal employee in the
                                                                                                               31 To estimate the time for States to familiarize
                                                     support a major disaster declaration                                                                           DC area at the General Schedule 12,
                                                                                                             themselves and understand the new factor data
                                                     request due to the extent of IA damage                  requirements, FEMA surveyed its own employees          Step 1 level, at an hourly wage rate of
                                                     costs; other disasters may be more                      who formerly worked for State governments.             $36.23.32 FEMA multiplies this wage
                                                     difficult to determine if a need for                    Thirteen employees were identified who worked for      rate by 1.4 to account for benefits,
                                                                                                             various States, representing multiple regions, State   resulting in a fully loaded wage rate of
                                                                                                             sizes, and a range in years of service in State
                                                       29 U.S. Department of Labor, Bureau of Labor
                                                                                                             government and FEMA. These employees were              $50.72. FEMA multiplies the time per
                                                     Statistics, Occupational Employment Statistics,         asked to read the proposed and existing regulations    year, 0.79 hours by the fully loaded
                                                     May 2013 National Industry-Specific Occupational        and answer questions to test their understanding of    wage rate of $50.72, to get an annual
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                                                     Employment and Wage Estimates, NAICS code               the changes. The employees were also provided a
                                                     999200, State Government excluding schools and
                                                                                                                                                                    Federal cost increase of $40 (0.79 x
                                                                                                             copy of excerpts of this regulatory preamble if they
                                                     hospitals, and Standard Occupational Classification     needed further information to answer the test.
                                                     (SOC) code 11–1011 for Chief Executive. http://         About 40 percent of the employees referred back to       32 The General Schedule (GS) 12 (Step 1) hourly
                                                     www.bls.gov/oes/2013/may/naics4_999200.htm.             the preamble to answer the questions. It took an       wage of $36.23 is taken from the Office of Personnel
                                                       30 Historically, FEMA has attempted to cure some      average of 17 minutes to read the existing and         Management; 2014 General Schedule (GS) salaries
                                                     of the lack of clarity by providing States with major   proposed regulatory text and 11 minutes to answer      & wages tables; locality pay tables (Washington-
                                                     disaster declaration request template letters, which    the questions, including referring back to the         Baltimore-Northern Virginia, DC–MD–VA–WV–
                                                     provided a suggested organizational structure for       preamble. FEMA rounded 28 minutes (11minutes           PA). Retrieved 7/30/14 from http://www.opm.gov/
                                                     States to follow when making their request for a        +17minutes) to 30 minutes and uses 0.5 hours to        policy-data-oversight/pay-leave/salaries-wages/
                                                     major disaster declaration.                             calculate the costs.                                   2014/general-schedule/.



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                                                                                Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules                                                           70133

                                                     $50.72 = $40.07), and ten-year total                                    The following table displays the ten                discounted at seven percent) for the
                                                     Federal increase of $400.                                             year total costs (undiscounted,                       proposed rule.
                                                                                                                           discounted at three percent, and

                                                                                                                      TABLE 2—TOTAL COSTS OF THE PROPOSED RULE
                                                                                                                         State costs
                                                                                          State initial                                        FEMA costs             Undiscounted          Annual costs            Annual costs
                                                               Year                                                      (providing
                                                                                          review cost                                        (retrieving data)        annual costs        discounted at 3%        discounted at 7%
                                                                                                                        information)

                                                     1 ...........................                      $2,143                   $1,569                     $40                $3,752                 $3,643                   $3,507
                                                     2 ...........................   ..............................               1,569                      40                 1,609                  1,517                    1,405
                                                     3 ...........................   ..............................               1,569                      40                 1,609                  1,472                    1,313
                                                     4 ...........................   ..............................               1,569                      40                 1,609                  1,430                    1,227
                                                     5 ...........................   ..............................               1,569                      40                 1,609                  1,388                    1,147
                                                     6 ...........................   ..............................               1,569                      40                 1,609                  1,348                    1,072
                                                     7 ...........................   ..............................               1,569                      40                 1,609                  1,308                    1,002
                                                     8 ...........................   ..............................               1,569                      40                 1,609                  1,270                      936
                                                     9 ...........................   ..............................               1,569                      40                 1,609                  1,233                      875
                                                     10 .........................    ..............................               1,569                      40                 1,609                  1,197                      818

                                                           Total ..............                          2,143                   15,690                     400                18,233                 15,806                   13,302



                                                     c. Benefits                                                           addition, information considered may                  affect the overall number of major
                                                        Benefits of the proposed rule include                              be available more quickly and provide                 disaster declarations authorizing IA as
                                                     clarifying FEMA’s existing practices,                                 a fuller context. Such measures may                   this factor would be considered with a
                                                     reducing processing time for requests,                                also be more objective compared to                    number of other factors and would not,
                                                     and providing States with notice of the                               other perceptions of a State’s capacity to            in isolation, determine whether a
                                                     new factor information FEMA is                                        respond. This would also provide notice               declaration is recommended.
                                                     proposing to consider as part of the IA                               to States of the new factor information                  Fiscal Capacity. Although FEMA is
                                                     declarations process. States have the                                 FEMA would consider.                                  introducing a factor for fiscal capacity,
                                                     ability to assess and determine what                                                                                        analysis conducted in preparation of
                                                                                                                           d. Transfer Payments                                  this proposed rule reveals that FEMA’s
                                                     information supports a major
                                                     declaration request. The proposed rule                                  First, it is important to note that the             recommendations and major disaster
                                                     would identify factors considered in the                              ultimate determination regarding                      declarations by the President in the past
                                                     IA declarations process, including many                               whether or not to grant a State’s request             have a correlation to the fiscal capacity
                                                                                                                           for a major disaster declaration resides              of the requesting State. Historically,
                                                     factors that FEMA previously
                                                                                                                           with the President. FEMA does not                     FEMA captured an aspect of fiscal
                                                     considered under the ‘‘other relevant
                                                                                                                           anticipate or intend for this proposed                capacity when evaluating the damage
                                                     information’’ prong of the regulation,
                                                                                                                           rule to affect the number of major                    caused by each disaster in relation to
                                                     but are not currently specified in 44
                                                                                                                           disaster declarations authorizing IA                  the population of the affected State.
                                                     CFR 206.48(b).
                                                        In the past, FEMA may have at times                                granted each year. As FEMA has                        States with the highest TTR also tend to
                                                     had to follow up for additional                                       previously considered the majority of                 have the highest population. As such,
                                                     information on major disaster                                         the proposed factors in past declaration              major disaster declarations authorizing
                                                                                                                           requests for individual assistance and                IA have had a correlation to the fiscal
                                                     declaration requests to better support
                                                                                                                           data used in the proposed new factors                 capacity of the requesting State.
                                                     FEMA’s recommendation on a major
                                                                                                                           are correlated to past declaration                       FEMA conducted a review of 153 34
                                                     disaster declaration authorizing IA. This
                                                                                                                           recommendations, FEMA anticipates                     major disaster declaration requests that
                                                     regulation would improve clarity on the                                                                                     included IA that were submitted
                                                     factors that FEMA considers when                                      this proposed rule would not have an
                                                                                                                           impact on transfer payments, which are                between January 2008 to July 2013 to
                                                     evaluating the need for a major disaster                                                                                    determine if there would be any impact
                                                     declaration authorizing IA. FEMA                                      payments from the Federal government
                                                                                                                           to States and individuals.                            from using TTR in assessing a State’s
                                                     expects this to lessen or possibly                                                                                          need for a major disaster declaration
                                                     eliminate the need to go back to the                                    FEMA intends the proposed rule to
                                                                                                                           identify factors that it would use when               authorizing IA. Each State request
                                                     States for additional information.33                                                                                        included an estimate of the costs from
                                                        The two newly identified factors                                   making recommendations to the
                                                                                                                                                                                 the damages attributed to the disaster
                                                     would also provide additional context                                 President. FEMA already considers the
                                                                                                                                                                                 event. FEMA retrieved the TTR per
                                                     to a State’s circumstances to help inform                             majority of factors described in the
                                                                                                                                                                                 State at the time of each request. For
                                                     FEMA’s recommendation. FEMA                                           proposed rule during previous
                                                                                                                                                                                 each request, FEMA divided the
                                                     believes the inclusion of fiscal capacity                             deliberations on whether to recommend
                                                                                                                                                                                 estimated cost of IA by the State TTR in
                                                     would further inform and strengthen                                   a major disaster declaration authorizing
                                                                                                                                                                                 millions. For example, if a State
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                                                     FEMA’s recommendations to the                                         IA to the President. The only data items
                                                                                                                                                                                 estimated $2,000,000 in IA costs and the
                                                     President with regard to major disaster                               that FEMA has not considered in the
                                                                                                                                                                                 State’s TTR was $30,000,000,000, FEMA
                                                     declarations that authorize IA. In                                    past are the data on (1) State services
                                                                                                                           and planning after prior disasters and                  34 For the analysis on TTR, FEMA excluded
                                                       33 In making past determinations, FEMA has not                      (2) the fiscal capacity factor.                       disaster declaration requests that did not include a
                                                     tracked the length of time or the number of written                     State Services and Planning after                   request for IA. FEMA also excluded duplicate
                                                     or oral correspondence with the State to retrieve                                                                           requests, U.S. territories’ requests (because there is
                                                     additional data. Therefore FEMA cannot quantify
                                                                                                                           Prior Disasters. As stated previously,                no TTR data available), requests without summaries
                                                     the potential savings from the clarifications                         FEMA does not expect that the                         of the PDA data or with insufficient data, and
                                                     provided in the proposed regulation.                                  inclusion of these data items would                   requests that involved an expedited decision.



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                                                     70134                       Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules

                                                     divided $30,000,000,000 by $1,000,000                                       ratio for a major disaster declaration                    request was denied. The following table
                                                     to get the State’s TTR in millions which                                    request that included IA, especially                      displays the total number of requests
                                                     is $30,000. FEMA then divided                                               above 25, the more likely the request                     and the total granted major disaster
                                                     $2,000,000 by $30,000 to get the ratio of                                   would be granted. Additionally, the                       declarations based on ICC ratio size as
                                                     ICC (IA Cost to Capacity) of 66.7.                                          lower the ICC ratio for a major disaster                  well as the percentage of granted major
                                                        Based on the ICC calculation for all                                     declaration request that included IA,                     disaster declaration requests within the
                                                     153 State requests, there is a general                                      especially below 10, the more likely the                  respective ICC group.
                                                     trend that shows the greater the ICC

                                                                                          TABLE 3—NUMBER OF IA REQUESTS AND GRANTED IA REQUESTS BY ICC RATIO
                                                                                                                                                                                                                      Percentage of
                                                                                                                                                                                 Number of           Percentage of
                                                                                                                                                         Number of                                                      approved
                                                                                                                                                                                  approved             approved
                                                                                            ICC Ratio                                                     requests                                                      requests
                                                                                                                                                                                  requests             requests
                                                                                                                                                        (2008–2013)                                                     in range
                                                                                                                                                                                (2008–2013)          (2008–2013)      (2008–2013)

                                                     >25 ...........................................................................................                   43                     41              57.7%              95%
                                                     10–25 .......................................................................................                     53                     26              36.6%              49%
                                                     <10 ...........................................................................................                   57                      4               5.6%               7%

                                                           Total ..................................................................................                   153                     71              100%



                                                        Based on the above data, there were                                      high IA cost estimates, and though the                    recommendations regarding major
                                                     53 major disaster declaration requests                                      State had a higher than average TTR, the                  disaster declarations that include IA and
                                                     that included IA with ICC ratios                                            major disaster declaration authorizing                    acknowledges that the new data points
                                                     between 10 and 25; and 26 of these                                          IA was still granted. FEMA recognizes                     would be utilized in conjunction with
                                                     requests were declared major disasters                                      that some disasters cause enough                          several other data points. FEMA would
                                                     that included IA. Hence, approximately                                      damage to overwhelm even the most                         continue to use a myriad of factors and
                                                     half (26/53 = 49 percent) of major                                          prepared and fiscally capable States and                  data to formulate its recommendations
                                                     disaster declaration requests with ICC                                      local governments and that disasters                      to the President on major disaster
                                                     ratios between 10 and 25 that included                                      may have special circumstances                            declarations that authorize IA. No single
                                                     IA were granted. FEMA believes this                                         warranting assistance.                                    data point or factor would singularly
                                                     approval rate helps illustrate that other                                      FEMA’s intent in this proposed rule is                 affect FEMA’s recommendation nor
                                                     factors are taken into consideration                                        to continue to take multiple factors into
                                                                                                                                                                                           would each individually affect the
                                                     when determining FEMA’s                                                     consideration in addition to TTR.
                                                                                                                                                                                           President’s ultimate determination of
                                                     recommendation especially in                                                Therefore, fiscal capacity would be
                                                                                                                                 more relevant following events where it                   whether a major disaster declaration
                                                     borderline events.
                                                        In addition, based on the above data,                                    is not clear whether or not the State and                 authorizing IA is warranted.
                                                     the higher the estimated cost of IA                                         affected local governments are, in fact,                  9. Cumulative Impact of the Proposed
                                                     damages and the lower the State TTR,                                        overwhelmed.                                              Rule
                                                     the more likely a major disaster                                               Based on the above analysis, FEMA
                                                     declaration request authorizing IA was                                      concluded that even though fiscal                            FEMA has reviewed the proposed
                                                     granted in the past. FEMA did not                                           capacity is a new factor, it would not                    rule’s impact on States that request a
                                                     review TTR data when making these                                           have an impact on the overall number                      Presidential major disaster declaration
                                                     previous decisions; however there                                           of major disaster declarations granted                    that authorizes IA. FEMA estimates the
                                                     appears to be a past trend that decisions                                   each year that authorize IA because                       cumulative impact of all the factors
                                                     had an inverse correlation between                                          FEMA previously followed a trend that                     together will result in a minor burden
                                                     estimated IA costs and State TTR. This                                      utilized similar economic data and takes                  increase for States to provide more
                                                     is likely because past declaration                                          various factors into account. Even                        information in their requests and for
                                                     criteria, such as State population, are                                     though FEMA did not collect or factor                     FEMA to retrieve data for its
                                                     highly correlated with State TTR.                                           the TTR per State in previous major                       consideration on requests. The net
                                                     Furthermore, depictions of States’                                          disaster declaration recommendations                      quantified impact is a ten-year total cost
                                                     economic health, similar to TTR, were                                       that included IA to the President there                   of $18,233. This cost may be offset by
                                                     already captured in data from State                                         was a correlation; and FEMA assumes
                                                                                                                                                                                           cost savings from efficiencies attributed
                                                     major disaster declaration requests in                                      that IA declarations will follow a similar
                                                                                                                                                                                           to the information FEMA currently
                                                     the past. For example, the State median                                     trend in the future.
                                                                                                                                    FEMA also intends to review data on                    iteratively requests from States but are
                                                     household income and the State TTR
                                                     per capita are highly correlated because                                    per capita personal income by local area                  not captured in the current regulations.
                                                     States that have a higher median                                            to ascertain a local government’s fiscal                  FEMA anticipates no cumulative impact
                                                                                                                                                                                           to average annual transfer payments
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                                                     household income also tend to have a                                        capacity. FEMA previously evaluated
                                                     higher TTR per capita. Thus, FEMA                                           data on median household income per                       based on the inclusion of all the
                                                     assumes that the impact of considering                                      county and foresees minimal impact                        proposed factors. Based on the above
                                                     TTR in future major disaster declaration                                    from also reviewing per capita personal                   analysis, FEMA estimates that this
                                                     recommendations would be minimal                                            income by local area because both data                    proposed rule is not an economically
                                                     because FEMA previously considered                                          points are indicators of the economic                     significant rulemaking because the
                                                     data that follows the same trend as TTR.                                    circumstances of local areas.                             proposed rule would impose an
                                                        Furthermore, there were major                                               Again, FEMA proposes the use of the
                                                     disaster declaration requests that had                                      fiscal capacity factor in future


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                                                                         Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules                                                        70135

                                                     additional average annual burden of less                   included in the proposed rule. It also                    assistance available to individuals and
                                                     than $2,000 35 on the public and FEMA.                     identifies which factors are new or                       households. A more detailed table
                                                     10. Marginal Analysis of the Proposed                      previously considered. Activity costs                     providing additional information is also
                                                     Factors                                                    per year and associated benefits are also                 included in the rulemaking docket on
                                                                                                                included. The proposed rule would not                     www.regulations.gov.
                                                       The following table provides a                           change the total amount of Federal
                                                     breakdown of each IA declaration factor
                                                                                                TABLE 4—IA DECLARATIONS FACTOR MARGINAL ANALYSIS
                                                                       Factor                                    Status                          Activity cost per year                            Benefits

                                                     Fiscal Capacity: Total Taxable Re-                 New .......................   $11—FEMA will spend 10–15 minutes            Informs States that FEMA may assess
                                                       sources (TTR) of the State                                                       a year retrieving and storing Treas-          State’s taxable resources based on
                                                     44 CFR § 206.48(b)(1)(i)(A)                                                        ury data (including all State data in         TTR and may use TTR to depict
                                                                                                                                        one retrieval).                               State economic growth or decline
                                                                                                                                                                                      and relative fiscal capacity with com-
                                                                                                                                                                                      parably-sized States or the Nation.
                                                     Fiscal Capacity: Gross Domestic Prod-              New .......................   $11—FEMA will spend 10–15 minutes            Informs States that FEMA may assess
                                                       uct (GDP) by State                                                               a year for retrieving and storing BEA         State fiscal capacity with this data
                                                     44 CFR § 206.48(b)(1)(i)(B)                                                        GDP data (including all State & Ter-          point when TTR data is not available
                                                                                                                                        ritory data in one retrieval).                or if the TTR data is inaccurate due
                                                                                                                                                                                      to the 2 year lag in the data update.
                                                     Fiscal Capacity: Per Capita Personal In-           New .......................   $19—FEMA will spend 15–30 minutes            Provides FEMA the flexibility to use in-
                                                       come by Local Area                                                               a year for retrieving and storing BEA         formation on the local fiscal capacity
                                                     44 CFR § 206.48(b)(1)(i)(C)                                                        Per Capita Personal Income data               characteristics to judge IA needs in
                                                                                                                                        annually (including data on all local         disaster affected areas.
                                                                                                                                        areas in one retrieval).
                                                     Fiscal Capacity: Other Factors                     New .......................   $0—State time will vary and data will        Provides FEMA the flexibility to use
                                                     44 CFR § 206.48(b)(1)(i)(D)                                                        be used on a case-by-case basis as           any other data or information on a
                                                                                                                                        needed.                                      State or local area’s fiscal capacity
                                                                                                                                                                                     to judge disaster needs in affected
                                                                                                                                                                                     areas.
                                                     Resource Availability: State Tribal and            Previously Consid-            $0—No change in time burden due to           Clarification of current practice in regu-
                                                       Local Government Non-Governmental                  ered.                         current compliance.                          lation.
                                                       Organizations (NGO) and Private
                                                       Sector Activity
                                                     44 CFR § 206.48(b)(1)(ii)(A)
                                                     Resource Availability: Cumulative Effect           Previously Consid-            $0—No change in time burden due to           Clarification of current practice in regu-
                                                       of Recent Disasters                                ered.                         current compliance.                          lation.
                                                     44 CFR § 206.48(b)(1)(ii)(B)
                                                     Resource Availability: State Services              New .......................   $784.5—15 minutes for States to dis-         Provides FEMA more information to
                                                     44 CFR § 206.48(b)(1)(ii)(C)                                                       cuss why the State does not have             evaluate the resources States have
                                                                                                                                        sufficient funding to provide ade-           used. States consider their re-
                                                                                                                                        quate State services to its own citi-        sources in their request.
                                                                                                                                        zens after a major disaster.
                                                     Resource Availability: Planning After              New .......................   $784.5—15 minutes for States to dis-         Provides FEMA more information to
                                                       Prior Disasters                                                                  cuss improvements to their State IA          evaluate the State’s resource plan-
                                                     44 CFR § 206.48(b)(1)(ii)(D)                                                       programs and any disaster planning           ning. State’s demonstrate they have
                                                                                                                                        that occurred after prior major disas-       planned after recent disasters.
                                                                                                                                        ters.
                                                     Uninsured Home and Personal Property               Previously Consid-            $0—No change in time burden due to           Clarification of current practice in regu-
                                                       Losses: The cause of damage                        ered.                         current compliance.                          lation.
                                                     44 CFR § 206.48(b)(2)(i)
                                                     Uninsured Home and Personal Property               Previously Consid-            $0—No change in time burden due to           Clarification of current practice in regu-
                                                       Losses: The jurisdictions impacted                 ered.                         current compliance.                          lation.
                                                       and concentration of damage
                                                     44 CFR § 206.48(b)(2)(ii)
                                                     Uninsured Home and Personal Property               Previously Consid-            $0—No change in time burden due to           Clarification of current practice in regu-
                                                       Losses: The number of homes im-                    ered.                         current compliance.                          lation.
                                                       pacted and degree of damage
                                                     44 CFR § 206.48(b)(2)(iii)
                                                     Uninsured Home and Personal Property               Previously Consid-            $0—No change in time burden due to           Clarification of current practice in regu-
                                                       Losses: The estimated cost of assist-              ered.                         current compliance.                          lation.
                                                       ance
                                                     44 CFR § 206.48(b)(2)(iv)
                                                     Uninsured Home and Personal Property               Previously Consid-            $0—No change in time burden due to           Clarification of current practice in regu-
                                                       Losses: The homeownership rate of                  ered.                         current compliance.                          lation.
                                                       impacted homes
                                                     44 CFR § 206.48(b)(2)(v)
                                                     Uninsured Home and Personal Property               Previously Consid-            $0—No change in time burden due to           Clarification of current practice in regu-
                                                       Losses: The percentage of affected                 ered.                         current compliance.                          lation.
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                                                       households with insurance coverage
                                                       appropriate to the peril
                                                     44 CFR § 206.48(b)(2)(vi)
                                                     Uninsured Home and Personal Property               Previously Consid-            $0—No change in time burden due to           Clarification of current practice in regu-
                                                       Losses: Other relevant preliminary                 ered.                         current compliance.                          lation.
                                                       damage assessment data
                                                     44 CFR § 206.48(b)(2)(vii)

                                                       35 FEMA estimated the first year implementation          for subsequent years in previous section of this
                                                     cost of approximately $3,700 and $1,600 annually           regulatory analysis.



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                                                     70136               Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules

                                                                                      TABLE 4—IA DECLARATIONS FACTOR MARGINAL ANALYSIS—Continued
                                                                       Factor                                 Status                       Activity cost per year                            Benefits

                                                     Disaster Impacted Population Profile:              Previously Consid-      $0—No change in time burden due to           Clarification of current practice in regu-
                                                        The percentage of the population for              ered.                   current compliance, data collected in        lation.
                                                        whom poverty status is determined                                         PDA process.
                                                     44 CFR § 206.48(b)(3)(i)
                                                     Disaster Impacted Population Profile:              Previously Consid-      $0—No change in time burden due to           Clarification of current practice in regu-
                                                        The percentage of the population al-              ered.                   current compliance, data collected in        lation.
                                                        ready receiving government assist-                                        PDA process.
                                                        ance such as Supplemental Security
                                                        Income and Supplemental Nutrition
                                                        Assistance Program benefits
                                                     44 C.F.R § 206.48(b)(3)(ii)
                                                     Disaster Impacted Population Profile:              Previously Consid-      $0—No change in time burden due to           Clarification of current practice in regu-
                                                        The pre-disaster unemployment rate                ered.                   current compliance, data collected in        lation.
                                                     44 CFR § 206.48(b)(3)(iii)                                                   PDA process.
                                                     Disaster Impacted Population Profile:              Previously Consid-      $0—No change in time burden due to           Clarification of current practice in regu-
                                                        The percentage of the population that             ered.                   current compliance, data collected in        lation.
                                                        is 65 years old and older                                                 PDA process.
                                                     44 CFR § 206.48(b)(3)(iv)
                                                     Disaster Impacted Population Profile:              Previously Consid-      $0—No change in time burden due to           Clarification of current practice in regu-
                                                        The percentage of the population 18               ered.                   current compliance, data collected in        lation.
                                                        years old and younger                                                     PDA process.
                                                     44 CFR § 206.48(b)(3)(v)
                                                     Disaster Impacted Population Profile:              Previously Consid-      $0—No change in time burden due to           Clarification of current practice in regu-
                                                        The percentage of the population with             ered.                   current compliance, data collected in        lation
                                                        a disability                                                              PDA process.
                                                     44 CFR § 206.48(b)(3)(vi)
                                                     Disaster Impacted Population Profile:              Previously Consid-      $0—No change in time burden due to           Clarification of current practice in regu-
                                                        The percentage of the population who              ered.                   current compliance, data collected in        lation.
                                                        speak a language other than English                                       PDA process.
                                                        and speak English less than ‘‘very
                                                        well’’
                                                     44 CFR § 206.48(b)(3)(vii)
                                                     Disaster Impacted Population Profile:              Previously Consid-      $0—No change in time burden due to           Clarification of current practice in regu-
                                                        Any unique considerations regarding               ered.                   current compliance.                          lation.
                                                        American Indian and Alaskan Native
                                                        Tribal populations that may not be re-
                                                        flected in the U.S. Census Bureau
                                                        data
                                                     44 CFR § 206.48(b)(3)(viii)
                                                     Impact to Community Infrastructure: Life           Previously Consid-      $0—No change in time burden due to           Clarification of current practice in regu-
                                                        Saving and Life Sustaining Services               ered.                   current compliance.                          lation.
                                                     44 CFR § 206.48(b)(4)(i)
                                                     Impact to Community Infrastructure: Es-            Previously Consid-      $0—No change in time burden due to           Clarification of current practice in regu-
                                                        sential Community Services                        ered.                   current compliance.                          lation.
                                                     44 CFR § 206.48(b)(4)(ii)
                                                     Impact to Community Infrastructure:                Previously Consid-      $0—No change in time burden due to           Clarification of current practice in regu-
                                                        Transportation Infrastructure and Utili-          ered.                   current compliance.                          lation.
                                                        ties.
                                                     44 CFR § 206.48(b)(4)(iii)
                                                     Casualties: The number of missing, in-             Previously Consid-      $0—No change in time burden due to           Clarification of current practice in regu-
                                                        jured, or deceased individuals                    ered.                   current compliance.                          lation.
                                                     44 CFR § 206.48(b)(5)
                                                     Disaster Related Unemployment: The                 Previously Consid-      $0—No change in time burden due to           Clarification of current practice in regu-
                                                        number of disaster survivors who lost             ered.                   current compliance.                          lation.
                                                        work or became unemployed due to a
                                                        disaster and who do not qualify for
                                                        standard unemployment insurance
                                                     44 CFR § 206.48(b)(6)
                                                     All Factors : All Data Points                      6 New & 22 Pre-         $3752 in the first year and $1609 in         Informs States with the information
                                                     § 206.48(b)                                          viously Consid-         the subsequent annual reoccurring             that FEMA considers when deciding
                                                                                                          ered.                   costs—Increase time burden due to             whether to recommend an IA dec-
                                                                                                                                  new factors and time for the State to         laration to the President’s Office.
                                                                                                                                  read and understand the new regu-
                                                                                                                                  lations.



                                                     11. Regulatory Alternatives                              alternative could have an impact on                   because their availability may be limited
                                                                                                              economic transfer payments or costs.                  by their financial circumstances, their
                                                        FEMA includes the regulatory
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                                                                                                                                                                    donors’ economic situations, and the
                                                     alternatives to the proposed rule and the                a. Voluntary, Faith and Community
                                                                                                                                                                    circumstances of their volunteers.
                                                     reasons for choosing not to use each                     Based Organizations Resources
                                                                                                                                                                    FEMA recognizes this concern but
                                                     alternative in the following discussion.                    FEMA considered removing the                       believes that information on the
                                                     The decision on each alternative was                     information on resources available from               activities of these organizations is
                                                     based on qualitative factors and not on                  voluntary, faith, and community based                 valuable because it can enhance the
                                                     a quantitative analysis of these                         organizations during disasters from its               picture of disaster needs at a local level
                                                     alternatives. When possible, FEMA                        list of determining factors. Stakeholders             and may offset or reveal a need for
                                                     acknowledges if the respective                           suggested removing these organizations                supplemental Federal assistance. FEMA


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                                                                         Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules                                          70137

                                                     also recognizes that these organizations                declared as a major disaster after an                 statutory authority and programs, which
                                                     have limited resources, and considers                   event that crosses the borders of a                   may be available to assist businesses
                                                     this point when determining the need                    declared State or county. FEMA                        absent a Presidential major disaster
                                                     for an IA declaration. FEMA anticipates                 recognizes that State or county lines do              declaration. FEMA did not quantify the
                                                     there could be impacts on transfer                      not bind disaster events geographically,              impacts of the alternative considering
                                                     payments due to changes in the number                   but in considering whether to declare a               business losses separately from business
                                                     of disaster declarations if resources                   particular area, FEMA must consider the               impacts to disaster survivors.
                                                     available from voluntary, faith, and                    damages in the area as well as the
                                                                                                                                                                   e. Linking Individual Assistance Cost
                                                     community based organizations were no                   capabilities of the jurisdictional
                                                                                                                                                                   Factor With Public Assistance Cost
                                                     longer considered. If FEMA was to                       governments. The Stafford Act requires
                                                                                                                                                                   Factor
                                                     remove this factor from consideration in                that a Governor’s request for a major
                                                     major disaster declaration request for                  disaster declaration be based on a                       FEMA considered aligning the
                                                     IA, it could potentially move transfer                  finding that the disaster is of such                  financial indicators for IA and PA major
                                                     payments in either direction, depending                 severity and magnitude to be beyond the               disaster declarations based on
                                                     on the situation. For example, if a State               capabilities of the State and affected                stakeholder recommendations.
                                                     no longer describes how their voluntary                 local governments to effectively                      Currently, FEMA evaluates the need for
                                                     agencies are overwhelmed, then FEMA                     respond. 42 U.S.C. 5170(a). Thus, FEMA                a Public Assistance major disaster
                                                     may not be inclined to recommend a                      is proposing to maintain the                          declaration by reviewing the estimated
                                                     major disaster declaration that                         requirement that each county and State                cost of Federal and non-federal public
                                                     authorizes IA and would decrease                        must request a major disaster                         assistance against the statewide
                                                     transfer payments. On the other hand,                   declaration after determining that the                population to give a measure of the per
                                                     FEMA could potentially be more                          disaster damages and impacts are                      capita impact within the State. 44 CFR
                                                     inclined to recommend a major disaster                  beyond the capabilities of the affected               206.48(a)(1). That factor also establishes
                                                     declaration that authorizes IA without                  area’s State or local government. FEMA                a $1 million threshold, based on the
                                                     information on the voluntary agencies’                  cannot automatically grant a major                    proposition that even the smallest
                                                     resources, which could increase transfer                disaster declaration based on proximity               population States have the capability to
                                                     payments.                                               to other declared areas without evidence              cover that level of public assistance
                                                                                                             that the disaster damage and impacts are              infrastructure damage. Under FEMA’s
                                                     b. Maintain the 44 CFR 206.48(b)(6)                                                                           current regulations, there is no
                                                                                                             beyond the affected area’s capabilities.
                                                     Table                                                      FEMA did not quantify the impacts of               corresponding IA single indicator
                                                        FEMA evaluated the utility of the                    this alternative but does acknowledge                 designed to evaluate the total cost of the
                                                     current 44 CFR 206.48(b)(6) table listing               there could be an increase in transfer                disaster against the capability of a
                                                     the average amount of IA based on State                 payments if FEMA automatically                        requesting State.
                                                     size, and determined it causes confusion                declared affected counties and States                    FEMA chose not to use the Public
                                                     with stakeholders. This table of averages               contiguous to a declared State or                     Assistance per capita indicator measure
                                                     does not set a threshold for                            county. FEMA assumed this alternative                 and instead choose to utilize the fiscal
                                                     recommending Individual Assistance,                     would result in transfer payment                      capacity factor as indicators of a State’s
                                                     but was intended as guidance to States                  increases because specifics about                     fiscal capability to meet the needs of
                                                     and voluntary agencies as they develop                  damage information and resource                       individuals after an event. FEMA
                                                     plans and programs to meet the needs                    capabilities of nearby counties would                 considers multiple factors and does not
                                                     of disaster survivors. FEMA determined                  not be considered and less impacted                   believe a set limit, even based on
                                                     that the table should be removed                        counties would likely be provided                     estimated damages and population, is
                                                     because it causes confusion among                       assistance based on geographic location               an appropriate indicator due to the
                                                     States, and may be used incorrectly as                  rather than need.                                     varying needs and circumstances of
                                                     a threshold for whether a State should                                                                        disaster survivors. FEMA did not
                                                     request Individual Assistance.                          d. Considering Negative Impact on                     quantify the impact of this alternative
                                                     Furthermore, the table has been                         Businesses                                            but does assume that it could have an
                                                     interpreted by States to suggest that                      FEMA considered including the                      impact on transfer payments due to
                                                     State population is the main factor or                  impact of an incident on businesses in                changes to the number of major disaster
                                                     the only factor in determining State                    affected areas, including business losses             declarations that authorize IA.
                                                     capability or fiscal capacity. In the                   based on stakeholder recommendations.
                                                                                                             FEMA is proposing a revised factor that               f. Use of Factor Thresholds
                                                     proposed rule, FEMA would continue to
                                                     consider various factors when making                    considers the impact to businesses                       Some stakeholders indicated that they
                                                     its recommendation. FEMA did not                        because the negative impacts to                       would prefer specific ‘‘hard’’ thresholds
                                                     quantify the impacts of this alternative                employers and employees may affect a                  that indicate whether a State would be
                                                     but assumed there would not be                          community’s ability to recover. Business              eligible to receive a major disaster
                                                     economic impacts from maintaining the                   losses alone, however, will not result in             declaration authorizing IA. The
                                                     table because other factors are already                 a Presidential major disaster declaration             stakeholders felt that established
                                                     considered. FEMA has chosen to                          that authorizes IA because the IA grant               thresholds would give States a clear
                                                     remove the table for clarification                      programs do not provide assistance to                 idea of what level of damage and need
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                                                     purposes.                                               businesses. Instead, FEMA considers the               the State must have before requesting
                                                                                                             effect that business disruptions have on              assistance. The stakeholders believed
                                                     c. Automatically Trigger Contiguous                     disaster survivors. For example, if                   that this would prevent States from
                                                     Counties and States                                     disaster survivors lose work or become                spending the time compiling the data
                                                        Based on stakeholder                                 unemployed due to business impacts                    and requesting a declaration when they
                                                     recommendations, FEMA considered                        from a disaster, this information may                 have not sustained enough damage to
                                                     whether to include a provision that                     highlight an increased need for DUA. In               qualify for a major disaster declaration
                                                     would allow contiguous affected                         addition, the Small Business                          that authorizes IA. FEMA rejected a
                                                     counties and States to be automatically                 Administration (SBA) has separate                     threshold indicator because it would be


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                                                     70138               Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules

                                                     inconsistent with the principles of                     and Treasury data. Considering the low                not considered small entities under the
                                                     Section 320. FEMA also decided to not                   cost and potentially useful information               RFA since they have populations of
                                                     pursue using thresholds because they                    this factor could provide, FEMA chose                 more than 50,000.36 Hence, FEMA
                                                     would be too restrictive, and would not                 to maintain fiscal capacity information               certifies under 5 U.S.C. 605(b) that this
                                                     be appropriately flexible to assess the                 in the proposed rule.                                 proposed rule would not, if
                                                     various scenarios that demonstrate the                                                                        promulgated, have a significant
                                                                                                             i. Do Not Include State Resources
                                                     State’s need for a declaration                                                                                economic impact on a substantial
                                                                                                             Indicators
                                                     authorizing IA. FEMA assumes this                                                                             number of small entities.
                                                     alternative could have an impact on                        FEMA considered the alternative of
                                                                                                             not including State resource indicators.              C. Unfunded Mandates Reform Act of
                                                     transfer payments due to changes in the
                                                                                                             If this factor was not included, FEMA                 1995
                                                     number of declarations and could
                                                     reduce State costs if they chose not to                 and the White House’s ability to assess                  The Unfunded Mandates Reform Act
                                                     pursue a declaration request for IA.                    if States have programs suitable to                   of 1995, 2 U.S.C. 658, 1501–1504, 1531–
                                                                                                             respond to and recover from the disaster              1536, 1571, pertains to any notice of
                                                     g. Homes in Foreclosure                                 and if the States have prepared or                    proposed rulemaking which implements
                                                        Some stakeholders stated that if an                  improved their programs after recent                  any rule that includes a Federal
                                                     area with a high foreclosure rate is                    disasters would not be improved. The                  mandate that may result in the
                                                     affected by a disaster, then these homes                State cost of the proposed rule would                 expenditure by State, local, and Tribal
                                                     without an owner would be a greater                     decrease, approximately $1,570                        governments, in the aggregate, or by the
                                                     burden to the State during the recovery                 annually for all State’s major disaster               private sector, of $100 million (adjusted
                                                     process. FEMA’s IA programs do not                      declaration requests that include IA.                 annually for inflation) or more in any
                                                     provide any form of assistance for                      Considering the low cost, approximately               one year. If the rulemaking includes a
                                                     foreclosed homes, and repair assistance                 $38 per request, and the potentially                  Federal mandate, the Act requires an
                                                     is available only for owner-occupied                    useful information this factor                        agency to prepare an assessment of the
                                                     primary residences. FEMA recognizes                     information could provide, FEMA chose                 anticipated costs and benefits of the
                                                     that high levels of foreclosure may be                  not to use this alternative.                          Federal mandate. FEMA has determined
                                                     associated with economic difficulties in                                                                      that this proposed rule can be excluded
                                                                                                             B. Regulatory Flexibility Act
                                                     the affected area which could negatively                                                                      from this assessment as the proposed
                                                     impact a community’s ability to recover.                   Under the Regulatory Flexibility Act               rule meets the criteria set forth in 2
                                                     If a State believes that homes in                       (RFA), 5 U.S.C. 601 et seq., as amended               U.S.C. 1503(4), which states, ‘‘This
                                                     foreclosure will impact their capability                by the Small Business Regulatory                      chapter shall not apply to . . . any
                                                     to respond to the disaster, then the State              Enforcement Fairness Act of 1996 (Pub.                provision in a proposed or final Federal
                                                     may articulate this concern in the                      L. 104–121, 110 Stat. 857), FEMA must                 regulation that—. . . (4) provides for
                                                     narrative portion of their declaration                  consider the impact of this proposed                  emergency assistance or relief at the
                                                     request. FEMA considers all relevant                    regulation on small entities. The term                request of any State, local, or tribal
                                                     information provided in a State’s                       ‘‘small entities’’ comprises small                    government or any official of a State,
                                                     request. See 44 CFR 206.48. However,                    businesses, not-for-profit organizations              local, or tribal government.’’ Therefore,
                                                     FEMA believes other factors including                   that are independently owned and                      no actions are deemed necessary under
                                                     poverty level, pre-disaster                             operated and are not dominant in their                the provisions of the Unfunded
                                                     unemployment, and per capita personal                   fields, and governmental jurisdictions                Mandates Reform Act of 1995.
                                                     income will be adequate indicators of                   with populations of less than 50,000.
                                                     economic health, and has chosen to not                  When the Administrative Procedure Act                 D. National Environmental Policy Act
                                                     include home foreclosure rates in the                   requires an agency to publish a notice                  Under the National Environmental
                                                     proposed evaluation factors.                            of proposed rulemaking under 5 U.S.C.                 Policy Act of 1969 (NEPA), as amended,
                                                                                                             553, the RFA requires a regulatory                    42 U.S.C. 42 U.S.C. 4321 et seq., an
                                                     h. Do Not Include Fiscal Capacity                       flexibility analysis for both the proposed            agency must prepare an environmental
                                                     Indicators                                              rule and the final rule if the rulemaking             assessment or environmental impact
                                                       FEMA considered the alternative of                    could ‘‘have a significant economic                   statement for any rulemaking that
                                                     not including fiscal capacity indicators.               impact on a substantial number of small               significantly affects the quality of the
                                                     This option would leave discretion on                   entities.’’ The RFA also provides that if             human environment. As explained
                                                     how to assess State capabilities up to                  a regulatory flexibility analysis is not              below, FEMA has determined that this
                                                     FEMA and the White House without                        required for this reason, the agency                  rulemaking does not significantly affect
                                                     identifying quantified data utilized or                 must certify in the rulemaking                        the quality of the human environment
                                                     encouraging States to provide more                      document that the rulemaking will not                 and consequently has not prepared an
                                                     information on their fiscal capacity.                   ‘‘have a significant economic impact on               environmental assessment or
                                                     FEMA chose to include the fiscal                        a substantial number of small entities’’              environmental impact statement.
                                                     capacity indicators because they                        and must include a statement providing                  NEPA implementing regulations
                                                     provide objective quantified data for                   the factual basis for such certification.             governing FEMA activities at 44 CFR
                                                     FEMA and the White House to assess                         This proposed rule provides States                 10.8(d)(2)(ii) categorically exclude the
                                                     the capabilities of a State. The factor                 with factors FEMA would consider                      preparation, revision, and adoption of
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                                                     also provides notice to the State on what               when making a recommendation on a                     regulations from the preparation of an
                                                     will be used to evaluate it and that the                major disaster declaration that                       EA or EIS, where the rule relates to
                                                     State can provide additional                            authorizes IA and codifies many factors               actions that qualify for categorical
                                                     information describing their fiscal                     that are currently considered but are not
                                                     capabilities. In this alternative, the                  adequately captured in 44 CFR                           36 The District of Columbia, Puerto Rico, the

                                                     Federal cost of the proposed rule would                 206.48(b). This rule will not directly                Virgin Islands, Guam, American Samoa, and the
                                                                                                                                                                   Commonwealth of the Northern Mariana Islands,
                                                     decrease by a small amount,                             impact small businesses, small not-for-               which are considered States under 44 CFR
                                                     approximately $40 a year, based on                      profit organizations, and small                       206.2(a)(22), all have populations greater than
                                                     FEMA no longer having to retrieve BEA                   governmental jurisdictions. States are                50,000.



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                                                                                Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules                                                                                                    70139

                                                     exclusions. Most activities under                                                 collection of information displays a                                        regional analysis and recommendation
                                                     Section 408 and prior Section 411 of the                                          valid control number.                                                       will include a discussion of State and
                                                     Stafford Act pertaining to temporary                                                In this proposed rule, FEMA is                                            local resources and capabilities, and
                                                     housing and financial assistance are                                              seeking a revision to the already existing                                  other assistance available to meet the
                                                     categorically excluded from NEPA                                                  collection of information, OMB Control                                      disaster related needs. The
                                                     review under 44 CFR 10.8(d)(2)(xix)(D)                                            Number 1660–0009, because FEMA has                                          Administrator of FEMA provides a
                                                     and (F). Before undertaking other                                                 refined our estimates related to 1660–                                      recommendation to the President and
                                                     activities that are not categorically                                             0009. This proposed rule serves as the                                      also provides a copy of the Governor’s
                                                     excluded (e.g., placement of                                                      60-day comment period for this                                              request. In the event the information
                                                     manufactured temporary housing units                                              proposed change pursuant to 5 CFR                                           required by law is not contained in the
                                                     on FEMA-constructed group sites;                                                  1320.12. FEMA invites the general                                           request, the Governor’s request cannot
                                                     permanent or semi-permanent housing                                               public to comment on the proposed                                           be processed and forwarded to the
                                                     construction), FEMA follows the                                                   collection of information.                                                  White House. In the event the
                                                     procedures set forth in 44 CFR part 10                                            Collection of Information                                                   Governor’s request for a major disaster
                                                     to assure NEPA compliance.                                                                                                                                    declaration or an emergency declaration
                                                                                                                                         Title: The Declaration Process:                                           is not granted, the Governor may appeal
                                                       In addition, this proposed rule revises                                         Requests for Preliminary Damage                                             the decision.
                                                     the criteria that FEMA considers when                                             Assessment (PDA), Requests for                                                 Affected Public: State, local, or Tribal
                                                     recommending an area eligible for IA                                              Supplemental Federal Disaster                                               Government.
                                                     under a major disaster declaration. A                                             Assistance, Appeals, and Requests for                                          Estimated Number of Respondents:
                                                     major disaster declaration                                                        Cost Share Adjustments.
                                                                                                                                                                                                                   622.
                                                     recommendation to the President is falls                                            Type of information collection:
                                                                                                                                       Revision of a currently approved                                               Estimated Number of Responses: 355.
                                                     into information and data gathering and                                                                                                                          Estimated Total Annual Burden
                                                     reporting efforts in support of                                                   collection.
                                                                                                                                         OMB Number: 1660–0009.                                                    Hours: 11,737.
                                                     emergency and disaster response and                                                                                                                              The previously approved Total
                                                     recovery and hazard mitigation.                                                     Form Titles and Numbers: FEMA
                                                                                                                                       Form 010–0–13, Request for Presidential                                     Annual Burden Hours was 11,715
                                                     Therefore, the activity this rule applies                                                                                                                     hours. Based on the proposed rule’s
                                                     to meets FEMA’s Categorical Exclusion                                             Disaster Declaration Major Disaster or
                                                                                                                                       Emergency.                                                                  minor increase in burden, the new
                                                     in 44 CFR 10.8(d)(2)(xviii)(E). Because                                                                                                                       estimated Total Annual Burden Hours is
                                                                                                                                         Abstract: When a disaster occurs in a
                                                     no other extraordinary circumstances                                                                                                                          11,737 hours. This increase of 22 hours
                                                                                                                                       State, the Governor of the State or the
                                                     have been identified, this rule does not                                                                                                                      is attributed to the additional
                                                                                                                                       Acting Governor in his/her absence,
                                                     require the preparation of either an EA                                                                                                                       information FEMA requests in order to
                                                                                                                                       may request a major disaster declaration
                                                     or an EIS as defined by NEPA.                                                     or an emergency declaration. The                                            evaluate the need for a major disaster
                                                     E. Paperwork Reduction Act of 1995                                                Governor should submit the request to                                       declaration that authorizes IA,
                                                                                                                                       the President through the appropriate                                       specifically requesting a narrative
                                                       As required by the Paperwork                                                    Regional Administrator to ensure                                            discussion on improvements to State
                                                     Reduction Act of 1995 (PRA), Public                                               prompt acknowledgement and                                                  services provided to individuals in
                                                     Law 104–13, 109 Stat. 163, (May 22,                                               processing. The information obtained by                                     response to a disaster.
                                                     1995) (44 U.S.C. 3501 et seq.), an agency                                         joint Federal, State, and local                                                Table A.12 provides estimates of
                                                     may not conduct or sponsor, and a                                                 preliminary damage assessments will be                                      annualized cost to respondents for the
                                                     person is not required to respond to, a                                           analyzed by FEMA regional senior level                                      hour burdens for the collection of
                                                     collection of information unless the                                              staff. The regional summary and the                                         information.
                                                                                                      TABLE A.12—ESTIMATED ANNUALIZED BURDEN HOURS AND COSTS 37
                                                                                                                                                                                                   Average
                                                                                                                                                                      Number of                                          Total annual       Average                Total annual
                                                                                                                                                     Number of                                   burden per
                                                          Type of respondent                            Form name/form No.                                         responses per                                            burden        hourly wage              respondent
                                                                                                                                                    respondents                                   response
                                                                                                                                                                    respondent 38                                         (in hours)         rate 39                   cost
                                                                                                                                                                                                  (in hours)

                                                     State, Local or Tribal Govern-              Request for Presidential Dis-                               622                  .5707                      9.062              3,217               $76.52          $246,164.84
                                                       ment.                                        aster Declaration Major
                                                                                                    Disaster or Emergency/
                                                                                                    FEMA Form 010–0–13.
                                                     State, Local or Tribal Govern-              Initial Data Gathering for                                  622                      .57                         24            8,520                  33.10         282,012.00
                                                       ment.                                        Governor’s Request/No
                                                                                                    Form.

                                                         Total ...............................   ................................................            622   ........................   ........................         11,737   ........................     528,176.84



                                                       Estimated Cost: $3,480,709.36.                                                  rule in the previous Regulatory Analysis                                    capital costs. The cost to the Federal
                                                       The estimated annual cost to                                                    Section. There are no annual costs to                                       government is unchanged at
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                                                     respondents for the hour burden is                                                respondents operations and                                                  $3,038,639.60.
                                                     $528,176.84. FEMA describes cost                                                  maintenance costs for technical
                                                     increases specifically for the proposed                                           services. There is no annual start-up or

                                                       37 Note: Numbers rounded due to rounding in                                     reanalyzed this number to more accurately reflect                             39 Note: The ‘‘Avg. Hourly Wage Rate’’ for each

                                                     ROCIS.                                                                            the change in the proposed rule. FEMA calculated                            respondent includes a 1.4 multiplier to reflect a
                                                       38 Note: The number of responses per respondent                                 0.5707 based on the previous supporting                                     fully-loaded wage rate.
                                                     for entering in Request for Presidential Disaster                                 statement’s total number of response hours, 3,195
                                                     Declaration Major Disaster or Emergency/FEMA                                      divided by the number of hours, 9, resulting in 355,
                                                     Form 010–0–13 has been updated to 0.5707. FEMA                                    and then divided by 622.


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                                                     70140               Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules

                                                     Comments                                                rulemaking does not impact FEMA’s                     FEMA sought input from State, local
                                                        Comments may be submitted as                         collection of PII in the disaster                     and Tribal stakeholders at the Spring
                                                     indicated in the ADDRESSES caption                      declarations process and form and no                  2013 NEMA conference. In addition, in
                                                     above. Comments are solicited to (a)                    Privacy Impact Assessment or System of                conjunction with the effort to initiate
                                                     evaluate whether the proposed data                      Records Notice is required at this time.              development of Section 1110 of SRIA,
                                                     collection is necessary for the proper                                                                        FEMA sought input from Tribal and
                                                                                                             G. Executive Order 13175, Consultation
                                                     performance of the agency, including                                                                          other stakeholders via a Federal
                                                                                                             and Coordination With Indian Tribal
                                                     whether the information shall have                                                                            Register notice requesting comments on,
                                                                                                             Governments
                                                     practical utility; (b) evaluate the                                                                           among other things, the IA criteria that
                                                                                                                Executive Order 13175, ‘‘Consultation              FEMA uses to make recommendations
                                                     accuracy of the agency’s estimate of the                and Coordination with Indian Tribal                   to the President for major disaster
                                                     burden of the proposed collection of                    Governments,’’ 65 FR 67249, November                  declarations in 44 CFR 206.48(b). 78 FR
                                                     information, including the validity of                  9, 2000, applies to agency regulations                15026, 15028–15029 (March 8, 2013). In
                                                     the methodology and assumptions used;                   that have Tribal implications, that is,               addition, throughout March and April
                                                     (c) enhance the quality, utility, and                   regulations that have substantial direct              2013, FEMA held listening sessions 40
                                                     clarity of the information to be                        effects on one or more Indian tribes, on              with tribal leadership, their
                                                     collected; and (d) minimize the burden                  the relationship between the Federal                  organizations and stakeholders to
                                                     of the collection of information on those               Government and Indian Tribes, or on                   present information regarding FEMA
                                                     who are to respond, including through                   the distribution of power and                         programs, the Stafford Act and its
                                                     the use of appropriate automated,                       responsibilities between the Federal                  amendment, and the declarations
                                                     electronic, mechanical, or other                        Government and Indian Tribes. Under                   process.
                                                     technological collection techniques or                  this Executive Order, to the extent                      FEMA received input that many
                                                     other forms of information technology,                  practicable and permitted by law, no                  members of Tribes do not have
                                                     e.g., permitting electronic submission of               agency shall promulgate any regulation                insurance and are not homeowners.
                                                     responses.                                              that has Tribal implications, that                    Data regarding whether a home has
                                                     F. Privacy Act                                          imposes substantial direct compliance                 insurance and is rented or owned is
                                                                                                             costs on Indian Tribal governments, and               typically gathered during the PDA
                                                        Under the Privacy Act of 1974, 5                     that is not required by statute, unless               process. In addition, Tribes were
                                                     U.S.C. 552a, an agency must determine                   funds necessary to pay the direct costs               concerned with the use of
                                                     whether implementation of a proposed                    incurred by the Indian Tribal                         unemployment data at a county level
                                                     regulation will result in a system of                   government or the Tribe in complying                  because the Tribal unemployment level
                                                     records. A ‘‘record’’ is any item,                      with the regulation are provided by the               could be much higher. FEMA will
                                                     collection, or grouping of information                  Federal Government, or the agency                     always consider relevant information
                                                     about an individual that is maintained                  consults with Tribal officials.                       when evaluating the requests for a major
                                                     by an agency, including, but not limited                   FEMA has reviewed this proposed                    disaster declaration that authorizes IA.
                                                     to, his/her education, financial                        rule under Executive Order 13132 and                  If the county level unemployment level
                                                     transactions, medical history, and                      has determined that this rule does not                is inaccurate because Tribal
                                                     criminal or employment history and                      have a substantial direct effect on one or            unemployment is higher, then FEMA
                                                     that contains his/her name, or the                      more Indian tribes, on the relationship               encourages Tribes to provide data that is
                                                     identifying number, symbol, or other                    between the Federal Government and                    more accurate to the State or FEMA in
                                                     identifying particular assigned to the                  Indian Tribes, or on the distribution of              their disaster request. FEMA considered
                                                     individual, such as a finger or voice                   power and responsibilities between the                this input in the development of this
                                                     print or a photograph. See 5 U.S.C.                     Federal Government and Indian Tribes.                 rule, and welcomes additional
                                                     552a(a)(4). A ‘‘system of records’’ is a                The disaster assistance granted by a                  comments on this matter.
                                                     group of records under the control of an                major disaster declaration addressed by
                                                     agency from which information is                        this proposed rule is provided to                     H. Executive Order 13132, Federalism
                                                     retrieved by the name of the individual                 individuals and families, and would not                  Executive Order 13132, ‘‘Federalism,’’
                                                     or by some identifying number, symbol,                  have tribal implications.                             64 FR 43255, August 10, 1999, sets forth
                                                     or other identifying particular assigned                   Moreover, this rule proposes to revise             principles and criteria that agencies
                                                     to the individual. An agency cannot                     regulations intended to address a State's             must adhere to in formulating and
                                                     disclose any record which is contained                  request for an IA declaration. Although               implementing policies that have
                                                     in a system of records except by                        Section 1110 of SRIA authorizes Indian                federalism implications, that is,
                                                     following specific procedures.                          Tribal governments to request a                       regulations that have ‘‘substantial direct
                                                        FEMA completed a Privacy Threshold                   declaration directly, SRIA charged                    effects on the States, on the relationship
                                                     Analysis for this proposed rule. Any                    FEMA to implement that authority                      between the national government and
                                                     information will be collected in existing               separately by rulemaking. Although                    the States, or on the distribution of
                                                     FEMA Form 010–0–13 and will still                       FEMA is currently evaluating tribal                   power and responsibilities among the
                                                     only include the Governor’s point of                    declaration requests using its existing               various levels of government.’’ Federal
                                                     contact and general office phone                        regulations, FEMA is implementing                     agencies must closely examine the
                                                     number as well as other State specific                  Section 1110 through a separate process,              statutory authority supporting any
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                                                     and disaster specific information of a                  which will involve extensive                          action that would limit the
                                                     non-personally-identifiable nature. The                 consultation with Tribes, issuance of                 policymaking discretion of the States,
                                                     information received through the form                   forthcoming pilot guidance, and                       and to the extent practicable, must
                                                     is neither retrieved nor retrievable by                 eventually, regulations.
                                                     personally identifiable information (PII).                 FEMA notes that Section 1109 of                      40 Please refer to the following Web site for

                                                     Any retrieval would be done by                          SRIA requires FEMA to develop this                    further information on FEMA’s listening sessions as
                                                                                                                                                                   well FEMA’s consultation efforts: https://
                                                     utilizing State specific or disaster                    rulemaking ‘‘in cooperation with State,               www.fema.gov/fema-tribal-affairs/consultation-
                                                     specific information of a                               local, and Tribal emergency                           archive-procedures-request-emergency-or-major-
                                                     non-identifiable nature. This                           management agencies.’’ To that end,                   disaster-declarations.



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                                                                         Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules                                           70141

                                                     consult with State and local officials                  containing an explanation of why the                  quality of the wetlands. Among these
                                                     before implementing any such action.                    action is proposed to be located in the               factors are: Public health, safety, and
                                                       FEMA has reviewed this proposed                       floodplain.                                           welfare, including water supply,
                                                     rule under Executive Order 13132 and                       The requirements of Executive Order                quality, recharge and discharge;
                                                     has determined that this rule does not                  11988 apply in the context of the                     pollution; flood and storm hazards; and
                                                     have a substantial direct effects on the                provision of Federal financial assistance             sediment and erosion; maintenance of
                                                     States, on the relationship between the                 relating to, among other things,                      natural systems, including conservation
                                                     national government and the States, or                  construction and property improvement                 and long term productivity of existing
                                                     on the distribution of power and                        activities, as well as conducting Federal             flora and fauna, species and habitat
                                                     responsibilities among the various                      programs affecting a floodplain(s). The               diversity and stability, hydrologic
                                                     levels of government, and therefore does                changes proposed in this rule would not               utility, fish, wildlife, timber, and food
                                                     not have federalism implications as                     have an effect on floodplain                          and fiber resources; and other uses of
                                                     defined by the Executive Order. The                     management. This proposed rule revises                wetlands in the public interest,
                                                     disaster assistance granted by a major                  the criteria that FEMA considers when                 including recreational, scientific, and
                                                     disaster declaration addressed by this                  recommending an area eligible for IA                  cultural uses.
                                                     proposed rule is provided to individuals                under a major disaster declaration. A                    The requirements of Executive Order
                                                     and families, and would not have                        major disaster declaration                            11990 apply in the context of the
                                                     federalism implications.                                recommendation to the President is an                 provision of Federal financial assistance
                                                                                                             administrative action for FEMA’s IA                   relating to, among other things,
                                                     I. Executive Orders 11988, Floodplain
                                                                                                             Program. When FEMA undertakes                         construction and property improvement
                                                     Management
                                                                                                             specific actions in administering IA that             activities, as well as conducting Federal
                                                        Executive Order 11988, ‘‘Floodplain                  may have effects on floodplain                        programs affecting land use. The
                                                     Management,’’ 42 FR 26951, May 24,                      management (e.g., placement of                        changes proposed in this rule would not
                                                     1977, sets forth that each agency is                    manufactured housing units on FEMA-                   have an effect on land use or wetlands.
                                                     required to provide leadership and take                 constructed group sites; permanent or                 This proposed rule revises the criteria
                                                     action to reduce the risk of flood loss,                semi-permanent housing construction),                 that FEMA considers when
                                                     to minimize the impact of floods on                     FEMA follows the procedures set forth                 recommending an area eligible for IA
                                                     human safety, health and welfare, and                   in 44 CFR part 9 to assure compliance                 under a major disaster declaration. A
                                                     to restore and preserve the natural and                 with this Executive Order. This serves                major disaster declaration
                                                     beneficial values served by floodplains                 as the notice that is required by the EO.             recommendation to the President is an
                                                     in carrying out its responsibilities for (1)                                                                  administrative action for FEMA’s IA
                                                     acquiring, managing, and disposing of                   J. Executive Order 11990, Protection of
                                                                                                                                                                   Program. When FEMA undertakes
                                                     Federal lands and facilities; (2)                       Wetlands
                                                                                                                                                                   specific actions in administering IA that
                                                     providing Federally undertaken,                            Executive Order 11990, ‘‘Protection of             may have such effects (e.g., placement
                                                     financed, or assisted construction and                  Wetlands,’’ 42 FR 26961, May 24, 1977,                of manufactured housing units on
                                                     improvements; and (3) conducting                        sets forth that each agency must provide              FEMA-constructed group sites;
                                                     Federal activities and programs affecting               leadership and take action to minimize                permanent or semi-permanent housing
                                                     land use, including but not limited to                  the destruction, loss or degradation of               construction), FEMA follows the
                                                     water and related land resources                        wetlands, and to preserve and enhance                 procedures set forth in 44 CFR part 9 to
                                                     planning, regulating, and licensing                     the natural and beneficial values of                  assure compliance with this Executive
                                                     activities. In carrying out these                       wetlands in carrying out the agency’s                 Order.
                                                     responsibilities, each agency must                      responsibilities for (1) acquiring,
                                                     evaluate the potential effects of any                   managing, and disposing of Federal                    K. Executive Order 12898,
                                                     actions it may take in a floodplain;                    lands and facilities; and (2) providing               Environmental Justice
                                                     ensure that its planning programs and                   Federally undertaken, financed, or                       Under Executive Order 12898,
                                                     budget requests reflect consideration of                assisted construction and                             ‘‘Federal Actions to Address
                                                     flood hazards and floodplain                            improvements; and (3) conducting                      Environmental Justice in Minority
                                                     management; and prescribe procedures                    Federal activities and programs affecting             Populations and Low-Income
                                                     to implement the policies and                           land use, including but not limited to                Populations,’’ 59 FR 7629, February 16,
                                                     requirements of the Executive Order.                    water and related land resources                      1994, as amended by Executive Order
                                                        Before promulgating any regulation,                  planning, regulating, and licensing                   12948, 60 FR 6381, February 1, 1995,
                                                     an agency must determine whether the                    activities. Each agency, to the extent                FEMA incorporates environmental
                                                     proposed regulations will affect a                      permitted by law, must avoid                          justice into its policies and programs.
                                                     floodplain(s), and if so, the agency must               undertaking or providing assistance for               The Executive Order requires each
                                                     consider alternatives to avoid adverse                  new construction located in wetlands                  Federal agency to conduct its programs,
                                                     effects and incompatible development                    unless the head of the agency finds (1)               policies, and activities that substantially
                                                     in the floodplain(s). If the head of the                that there is no practicable alternative to           affect human health or the environment
                                                     agency finds that the only practicable                  such construction, and (2) that the                   in a manner that ensures that those
                                                     alternative consistent with the law and                 proposed action includes all practicable              programs, policies, and activities do not
                                                     with the policy set forth in Executive                  measures to minimize harm to wetlands                 have the effect of excluding persons
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                                                     Order 11988 is to promulgate a                          which may result from such use. In                    from participation in programs, denying
                                                     regulation that affects a floodplain(s),                making this finding the head of the                   persons the benefits of programs, or
                                                     the agency must, prior to promulgating                  agency may take into account economic,                subjecting persons to discrimination
                                                     the regulation, design or modify the                    environmental and other pertinent                     because of race, color, or national origin.
                                                     regulation in order to minimize                         factors.                                              FEMA has incorporated environmental
                                                     potential harm to or within the                            In carrying out the activities described           justice into its programs, policies, and
                                                     floodplain, consistent with the agency’s                in Executive Order 11990, each agency                 activities, as well as this proposed
                                                     floodplain management regulations and                   must consider factors relevant to a                   rulemaking. This proposed rulemaking
                                                     prepare and circulate a notice                          proposal’s effect on the survival and                 contains provisions that ensure that


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                                                     70142               Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules

                                                     FEMA’s activities will not have a                         For the reasons stated in the                       supplemental Federal assistance than a
                                                     disproportionately high or adverse effect               preamble, the Federal Emergency                       high TTR.
                                                     on human health or the environment or                   Management Agency proposes to amend                     (B) Gross Domestic Product (GDP) by
                                                     subject persons to discrimination                       44 CFR part 206, subpart B, as follows:               State. GDP by State is calculated by the
                                                     because of race, color, or national origin.                                                                   Bureau of Economic Analysis. GDP by
                                                     This proposed rule adds a provision                     PART 206—FEDERAL DISASTER                             State may be used as an alternative or
                                                     specifically related to the demographics                ASSISTANCE                                            supplemental evaluation method to
                                                     of a disaster impacted population.                                                                            TTR.
                                                     FEMA is requesting the demographics of                  ■ 1. The authority citation for part 206                (C) Per capita personal income by
                                                     a disaster impacted area because the                    continues to read as follows:                         local area. Per capita personal income
                                                     demographics may identify additional                      Authority: Robert T. Stafford Disaster              by local area is calculated by the Bureau
                                                     needs that require a more robust                        Relief and Emergency Assistance Act, 42               of Economic Analysis. A low per capita
                                                     community response and might                            U.S.C. 5121 through 5207; Homeland                    personal income by local area may
                                                     otherwise delay a community’s ability                   Security Act of 2002, 6 U.S.C. 101 et seq.;
                                                                                                                                                                   indicate a greater need for supplemental
                                                     to recover from a disaster.                             Department of Homeland Security Delegation
                                                                                                             9001.1; sec. 1105, Pub. L. 113–2, 127 Stat. 43        Federal assistance than a high per capita
                                                       No action that FEMA can anticipate                                                                          personal income by local area.
                                                                                                             (42 U.S.C. 5189a note).
                                                     under this rule will have a                                                                                     (D) Other factors. Other limits on a
                                                     disproportionately high and adverse                     ■ 2. Revise § 206.48(b) to read as
                                                                                                                                                                   State’s treasury or ability to collect
                                                     human health or environmental effect                    follows:
                                                                                                                                                                   funds may be considered.
                                                     on any segment of the population.                       § 206.48 Factors considered when                        (ii) Resource availability. Federal
                                                     L. Congressional Review of Agency                       evaluating a Governor’s request for a major           disaster assistance under the Stafford
                                                     Rulemaking                                              disaster declaration.                                 Act is intended to be supplemental in
                                                        Under the Congressional Review of                    *      *     *     *     *                            nature, and is not a replacement for
                                                     Agency Rulemaking Act (CRA), 5 U.S.C.                      (b) Factors for the Individual                     State emergency relief programs,
                                                     801–808, before a rule can take effect,                 Assistance Program. The following                     services, and funds. FEMA evaluates the
                                                     the Federal agency promulgating the                     factors are used to evaluate the need for             availability of resources from State,
                                                     rule must submit to Congress and to the                 supplemental Federal assistance to                    Tribal, and local governments as well as
                                                     Government Accountability Office                        individuals under the Stafford Act, as                non-governmental organizations and the
                                                     (GAO) a copy of the rule, a concise                     Federal assistance may not supplant the               private sector.
                                                     general statement relating to the rule,                 combined capabilities of a State, Tribal,               (A) State, Tribal, and local
                                                     including whether it is a major rule, the               or local government. Federal Individual               government; Non-Governmental
                                                     proposed effective date of the rule, a                  Assistance, if authorized, is intended to             Organizations (NGO); and private sector
                                                     copy of any cost-benefit analysis,                      assist eligible individuals and families              activity. State, Tribal, and local
                                                     descriptions of the agency’s actions                    when State, Tribal, and local                         government, Non-Governmental
                                                     under the Regulatory Flexibility Act and                government resources and assistance                   Organizations, and private sector
                                                     the Unfunded Mandates Reform Act,                       programs are overwhelmed. State fiscal                resources may offset the need for or
                                                     and any other information or statements                 capacity (44 CFR 206.48(b)(1)(i)) and                 reveal an increased need for
                                                     required by relevant executive orders.                  uninsured home and personal property                  supplemental Federal assistance. The
                                                        FEMA will send this rule to the                      losses (44 CFR 206.48(b)(2)) are the                  State may provide information regarding
                                                     Congress and to GAO pursuant to the                     principal factors that FEMA will                      the resources that have been and will be
                                                     CRA if the rule is finalized. The rule is               consider when evaluating the need for                 committed to meet the needs of disaster
                                                     not a ‘‘major rule’’ within the meaning                 supplemental Federal assistance under                 survivors such as housing programs,
                                                     of the CRA. It will not have an annual                  the Individuals and Households                        resources provided through financial
                                                     effect on the economy of $100,000,000                   Program. If the need for supplemental                 and in-kind donations, and the
                                                     or more, it will not result in a major                  Federal assistance under the Individuals              availability of affordable (as determined
                                                     increase in costs or prices for                         and Households Program is not clear                   by the U.S. Department of Urban and
                                                     consumers, individual industries,                       from the evaluation of the principal                  Housing Development’s fair market rent
                                                     Federal, State, or local government                     factors, FEMA will turn to the other                  standards) rental housing within a
                                                     agencies, or geographic regions, and it                 factors to determine the level of need.               reasonable commuting distance of the
                                                     will not have significant adverse effects                  (1) State fiscal capacity and resource             impacted area.
                                                     on competition, employment,                             availability. FEMA will evaluate the                    (B) Cumulative effect of recent
                                                     investment, productivity, innovation, or                availability of State resources, and                  disasters. The cumulative effect of
                                                     on the ability of United States-based                   where appropriate, any extraordinary                  recent disasters may affect the
                                                     enterprises to compete with foreign-                    circumstances that contributed to the                 availability of State, Tribal, local
                                                     based enterprises in domestic and                       absence of sufficient resources.                      government, NGO, and private sector
                                                     export markets.                                            (i) Fiscal capacity (Principal Factor              disaster recovery resources. The State
                                                                                                             for Individuals and Households                        should provide information regarding
                                                     List of Subjects in 44 CFR Part 206GG                   Program). Fiscal capacity is a State’s                the disaster history within the last 24-
                                                       Administrative practice and                           potential ability to raise revenue from               month period, particularly those
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                                                     procedure, Coastal zone, Community                      its own sources to respond to and                     occurring within the current fiscal
                                                     facilities, Disaster assistance, Fire                   recover from a disaster. The following                cycle, including both Presidential
                                                     prevention, Grant programs—housing                      data points are indicators of fiscal                  (public and individual assistance) and
                                                     and community development, Housing,                     capacity.                                             gubernatorial disaster declarations.
                                                     Insurance, Intergovernmental relations,                    (A) Total Taxable Resources (TTR) of                 (C) State services. The State may
                                                     Loan programs—housing and                               the State. TTR is the U.S. Department of              provide information regarding the
                                                     community development, Natural                          Treasury’s annual estimate of the                     circumstances causing the State to lack
                                                     resources, Penalties, and Reporting and                 relative fiscal capacity of a State. A low            the resources to provide sufficient
                                                     recordkeeping requirements.                             TTR may indicate a greater need for                   services to its citizens.


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                                                                         Federal Register / Vol. 80, No. 218 / Thursday, November 12, 2015 / Proposed Rules                                               70143

                                                       (D) Planning after prior disasters.                   and Supplemental Nutrition Assistance                 period greater than 72 hours. Such
                                                     States are encouraged to develop and                    Program benefits.                                     services include but are not limited to
                                                     continuously improve their own                             (iii) The pre-disaster unemployment                schools, social services programs and
                                                     disaster assistance programs. States                    rate.                                                 providers, child care, and eldercare.
                                                     should identify new and existing                           (iv) The percentage of the population
                                                                                                                                                                      (iii) Transportation infrastructure and
                                                     individual assistance programs as well                  that is 65 years old and older.
                                                                                                                (v) The percentage of the population               utilities. Transportation infrastructure or
                                                     as improvements to existing individuals                                                                       utility disruptions may render housing
                                                     assistance programs made as a result of                 18 years old and younger.
                                                                                                                (vi) The percentage of the population              uninhabitable or inaccessible. Such
                                                     previous disasters. A State’s failure to                                                                      conditions may also affect the delivery
                                                     address limitations and shortfalls                      with a disability.
                                                                                                                (vii) The percentage of the population             of life sustaining commodities,
                                                     identified by FEMA or the State after                                                                         provision of emergency services, ability
                                                                                                             who speak a language other than
                                                     previous events will also be considered.                                                                      to shelter in place, and efforts to
                                                       (2) Uninsured home and personal                       English and speak English less than
                                                                                                             ‘‘very well.’’                                        rebuild. The State may provide
                                                     property losses (Principal Factor for
                                                                                                                (viii) Any unique considerations                   information regarding the impact on
                                                     Individuals and Households Program).
                                                                                                             regarding American Indian and Alaskan                 transportation infrastructure and
                                                     Uninsured home and personal property
                                                                                                             Native Tribal populations raised in the               utilities for a period of greater than 72
                                                     losses may suggest a need for
                                                                                                             State’s request for a major disaster                  hours.
                                                     supplemental Federal assistance. The
                                                                                                             declaration that may not be reflected in                 (5) Casualties. The number of
                                                     State may provide the following
                                                                                                             the data points referenced in paragraphs              individuals who are missing, injured, or
                                                     preliminary damage assessment data:
                                                                                                             (b)(3)(i)–(vii) of this section.                      deceased due to a disaster may indicate
                                                       (i) The cause of damage.
                                                                                                                (4) Impact to community
                                                       (ii) The jurisdictions impacted and                                                                         a heightened need for supplemental
                                                                                                             infrastructure. The following impacts to
                                                     concentration of damage.                                                                                      Federal disaster assistance. The State
                                                       (iii) The number of homes impacted                    a community’s infrastructure may
                                                                                                             adversely affect a population’s ability to            may report the number of missing,
                                                     and degree of damage.                                                                                         injured, or deceased individuals.
                                                       (iv) The estimated cost of assistance.                safely and securely reside within the
                                                       (v) The homeownership rate of                         community.                                               (6) Disaster related unemployment.
                                                     impacted homes.                                            (i) Lifesaving and life-sustaining                 The number of disaster survivors who
                                                       (vi) The percentage of affected                       services. The effects of a disaster may               lost work or became unemployed due to
                                                     households with sufficient insurance                    cause disruptions to or increase the                  a disaster and who do not qualify for
                                                     coverage appropriate to the peril.                      demand for lifesaving and life-                       standard unemployment insurance may
                                                       (vii) Other relevant preliminary                      sustaining services, necessitate a more               indicate a heightened need for
                                                     damage assessment data.                                 robust response, and may delay a                      supplemental Federal assistance. This
                                                       (3) Disaster impacted population                      community’s ability to recover from a                 usually includes the self-employed,
                                                     profile. The demographics of a disaster                 disaster. The State may provide                       service industry workers, and seasonal
                                                     impacted population may identify                        information regarding the impact on life              workers such as those employed in
                                                     additional needs that require a more                    saving and life sustaining services for a             tourism, fishing, or agriculture
                                                     robust community response and delay a                   period of greater than 72 hours. Such                 industries. The State may provide an
                                                     community’s ability to recover from a                   services include but are not limited to               estimate of the number of disaster
                                                     disaster. FEMA will consider                            police, fire/EMS, hospital/medical,                   survivors impacted under this
                                                     demographics of the impacted                            sewage, and water treatment services.                 paragraph as well as information
                                                     communities for the following data                         (ii) Essential community services. The             regarding major employers affected.
                                                     points as reported by the U.S. Census                   effects of a disaster may cause
                                                                                                                                                                    Dated: October 29, 2015.
                                                     Bureau or other Federal agencies:                       disruptions to or increase the demand
                                                                                                             for essential community services and                  W. Craig Fugate,
                                                       (i) The percentage of the population
                                                     for whom poverty status is determined.                  delay a community’s ability to recover                Administrator, Federal Emergency
                                                       (ii) The percentage of the population                 from a disaster. The State may provide                Management Agency.
                                                     already receiving government assistance                 information regarding the impact on                   [FR Doc. 2015–28570 Filed 11–10–15; 8:45 am]
                                                     such as Supplemental Security Income                    essential community services for a                    BILLING CODE 9111–23–P
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Document Created: 2015-12-14 14:54:00
Document Modified: 2015-12-14 14:54:00
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionNotice of proposed rulemaking.
DatesComments must be received on or before January 11, 2016.
ContactMark Millican, FEMA, Individual Assistance Division, 500 C Street SW., Washington, DC 20472-3100, (phone) 202-212-3221 or (email) [email protected]
FR Citation80 FR 70115 
RIN Number1660-AA83
CFR AssociatedAdministrative Practice and Procedure; Coastal Zone; Community Facilities; Disaster Assistance; Fire Prevention; Grant Programs-Housing and Community Development; Housing; Insurance; Intergovernmental Relations; Loan Programs-Housing and Community Development; Natural Resources; Penalties and Reporting and Recordkeeping Requirements

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