81_FR_57764 81 FR 57601 - Affirmatively Furthering Fair Housing: Local Government Assessment Tool-Information Collection Renewal: Solicitation of Comment 30-Day Notice Under Paperwork Reduction Act of 1995

81 FR 57601 - Affirmatively Furthering Fair Housing: Local Government Assessment Tool-Information Collection Renewal: Solicitation of Comment 30-Day Notice Under Paperwork Reduction Act of 1995

DEPARTMENT OF HOUSING AND URBAN DEVELOPMENT

Federal Register Volume 81, Issue 163 (August 23, 2016)

Page Range57601-57610
FR Document2016-20125

This notice solicits public comment for a period of 30 days, consistent with the Paperwork Reduction Act of 1995 (PRA) on the Local Government Assessment Tool, the assessment tool developed by HUD for use by local governments that receive Community Development Block Grants (CDBG), HOME Investment Partnerships Program (HOME), Emergency Solutions Grants (ESG), or Housing Opportunities for Persons with AIDS (HOPWA) formula funding from HUD when conducting and submitting their own Assessment of Fair Housing (AFH). The Local Government Assessment Tool is also available for use for AFHs conducted by joint and regional collaborations between: (1) Such local governments; (2) one or more such local governments with one or more public housing agency (PHA) partners; and (3) other collaborations in which such a local government is designated as the lead for the collaboration. HUD is committed to issuing four assessment tools for its program participants covered by the AFFH final rule. One assessment tool is for use by local governments (Local Government Assessment Tool) that receive assistance under certain grant programs administered by HUD's Office of Community Planning and Development (CPD), as well as by joint and regional collaborations between: (i) Local governments; (ii) one or more local governments and one or more public housing agency (PHA) partners; and (iii) other collaborations in which such a local government is designated as the lead for the collaboration. The second tool is for use by States and Insular Areas (State and Insular Area Assessment Tool) and joint collaborating partner local governments and/ or PHAs (including Qualified PHAs) where the State is designated as the lead entity. The third assessment tool is for PHAs (including for joint collaborations among multiple PHAs). The fourth assessment tool is for Qualified PHAs (including for joint collaborations among multiple QPHAs). The next Federal Register Notice that will solicit public comment on the State and Insular Area Assessment Tool will solicit specific feedback from program participants as to how to best facilitate collaboration between program participants using this tool, including any changes to the tool or instructions that may be necessary to facilitate such collaborations. The Office of Management and Budget (OMB) approved the Local Government Assessment Tool under the PRA for a period of one year. This notice follows HUD's solicitation of public comment for a period of 60 days on the Local Government Assessment Tool that published on March 23, 2016, and takes into consideration the public comments received in response to the 60-day notice. The 60-day notice commenced the notice and comment process required by the PRA in order to obtain approval from OMB for the information collected by the Local Government Assessment Tool. This 30-day notice completes the public comment process required by the PRA. With the issuance of this notice, and following consideration of additional public comments received in response to this notice, HUD will seek renewal of approval from OMB of the Local Government Assessment Tool, with a renewal period of 3 years. In accordance with the PRA, the assessment tool will undergo this public comment process every 3 years to retain OMB approval.

Federal Register, Volume 81 Issue 163 (Tuesday, August 23, 2016)
[Federal Register Volume 81, Number 163 (Tuesday, August 23, 2016)]
[Notices]
[Pages 57601-57610]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-20125]


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DEPARTMENT OF HOUSING AND URBAN DEVELOPMENT

[Docket No. FR-5173-N-10-B]


Affirmatively Furthering Fair Housing: Local Government 
Assessment Tool--Information Collection Renewal: Solicitation of 
Comment 30-Day Notice Under Paperwork Reduction Act of 1995

AGENCY: Office of the Assistance Secretary for Fair Housing and Equal 
Opportunity, HUD.

ACTION: Notice.

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SUMMARY: This notice solicits public comment for a period of 30 days, 
consistent with the Paperwork Reduction Act of 1995 (PRA) on the Local 
Government Assessment Tool, the assessment tool developed by HUD for 
use by local governments that receive Community Development Block 
Grants (CDBG), HOME Investment Partnerships Program (HOME), Emergency 
Solutions Grants (ESG), or Housing Opportunities for Persons with AIDS 
(HOPWA) formula funding from HUD when conducting and submitting their 
own Assessment of Fair Housing (AFH). The Local Government Assessment 
Tool is also available for use for AFHs conducted by joint and regional 
collaborations between: (1) Such local governments; (2) one or more 
such local governments with one or more public housing agency (PHA) 
partners; and (3) other collaborations in which such a local government 
is designated as the lead for the collaboration.
    HUD is committed to issuing four assessment tools for its program 
participants covered by the AFFH final rule. One assessment tool is for 
use by local governments (Local Government Assessment Tool) that 
receive assistance under certain grant programs administered by HUD's 
Office of Community Planning and Development (CPD), as well as by joint 
and regional collaborations between: (i) Local governments; (ii) one or 
more local governments and one or more public housing agency (PHA) 
partners; and (iii) other collaborations in which such a local 
government is designated as the lead for the collaboration. The second 
tool is for use by States and Insular Areas (State and Insular Area 
Assessment Tool) and joint collaborating partner local governments and/
or PHAs (including Qualified PHAs) where the State is designated as the 
lead entity. The third assessment tool is for PHAs (including for joint 
collaborations among multiple PHAs). The fourth assessment tool is for 
Qualified PHAs (including for joint collaborations among multiple 
QPHAs). The next Federal Register Notice that will solicit public 
comment on the State and Insular Area Assessment Tool will solicit 
specific feedback from program participants as to how to best 
facilitate collaboration between program participants using this tool, 
including any changes to the tool or instructions that may be necessary 
to facilitate such collaborations.
    The Office of Management and Budget (OMB) approved the Local 
Government Assessment Tool under the PRA for a period of one year. This 
notice follows HUD's solicitation of public comment for a period of 60 
days on the Local Government Assessment Tool that published on March 
23, 2016, and takes into consideration the public comments received in 
response to the 60-day notice. The 60-day notice commenced the notice 
and comment process required by the PRA in order to obtain approval 
from OMB for the information collected by the Local Government 
Assessment Tool. This 30-day notice completes the public comment 
process required by the PRA. With the issuance of this notice, and 
following consideration of additional public comments received in 
response to this notice, HUD will seek renewal of approval from OMB of 
the Local Government Assessment Tool, with a renewal period of 3 years. 
In accordance with the PRA, the assessment tool will undergo this 
public comment process every 3 years to retain OMB approval.

DATES: Comment Due Date: September 22, 2016.

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

[[Page 57602]]

submissions must refer to the docket number and title of the notice. No 
Facsimile Comments. Facsimile (FAX) comments are not acceptable.
    Public Inspection of Public Comments. All properly submitted 
comments and communications submitted to HUD will be available for 
public inspection and copying between 8 a.m. and 5 p.m. weekdays at the 
above address. Due to security measures at the HUD Headquarters 
building, an advance appointment to review the public comments must be 
scheduled by calling the Regulations Division at 202-708-3055 (this is 
not a toll-free number). Individuals who are deaf or hard of hearing 
and individuals with speech impairments may access this number via TTY 
by calling the Federal Relay Service at 800-877-8339. Copies of all 
comments submitted are available for inspection and downloading at 
www.regulations.gov.

FOR FURTHER INFORMATION CONTACT: Dustin Parks, Office of Fair Housing 
and Equal Opportunity, Department of Housing and Urban Development, 451 
7th Street SW., Room 5249, Washington, DC 20410; telephone number 866-
234-2689 (toll-free). Individuals with hearing or speech impediments 
may access this number via TTY by calling the toll-free Federal Relay 
Service during working hours at 1-800-877-8339.

SUPPLEMENTARY INFORMATION:

I. Background

    On December 31, 2015, at 80 FR 81840, HUD announced the 
availability for use of the Local Government Assessment Tool by notice 
published in the Federal Register. This announcement was preceded by 
the two Federal Register notices for public comment required by the 
PRA. The 60-day notice was published on September 26, 2015, at 79 FR 
57949, and the 30-day notice published on July 16, 2015, at 80 FR 
42108, the same day that HUD published in the Federal Register its 
Affirmatively Furthering Fair Housing (AFFH) final rule, at 80 FR 
42272. The Local Government Assessment Tool, HUD's AFFH final rule, and 
HUD's AFFH Rule Guidebook accompanying the Local Government Assessment 
Tool can all be found at https://www.hudexchange.info/programs/affh/. 
The Local Government Assessment Tool approved by OMB was assigned OMB 
Control Number 2529-0054, but the period of approval was for one year.

II. The 60-Day Notice for the Local Government Assessment Tool

    On March 23, 2016, at 81 FR 15546, HUD published its 60-day notice, 
the first notice for public comment required by the PRA, to commence 
the process for renewal of approval of the Local Government Assessment 
Tool. Although HUD made no changes to the Local Government Assessment 
Tool approved by OMB in December 2015, HUD specifically solicited 
public comment on 6 issues (inadvertently numbered as 7 in the March 
23, 2016 publication). The 60-day public comment period ended on May 
23, 2016. HUD received 18 public comments. The following section, 
Section III, highlights changes made to the Local Government Assessment 
Tool in response to public comment received on the 60-day notice, and 
further consideration of issues by HUD. Section IV responds to the 
significant issues raised by public commenters during the 60-day public 
comment period, and Section V provides HUD's estimation of the burden 
hours associated with the Local Government Assessment Tool, and further 
solicits issues for public comment, those required to be solicited by 
the PRA, and additional issues which HUD specifically solicits public 
comment.

III. Changes Made to the Local Government Assessment Tool

    The following highlights changes made to the Local Government 
Assessment Tool in response to public comment and further consideration 
of issues by HUD.
    Inserts. HUD has included two inserts that may be used to 
facilitate collaboration between different types of program 
participants on a joint or regional AFH with a local government. The 
first is an insert for use by Qualified Public Housing Agencies 
(QPHAs). As a reminder, program participants, whether contiguous or 
noncontiguous, that are either not located within the same CBSA or that 
are not located within the same State and seek to collaborate on an 
AFH, must submit a written request to HUD for approval of the 
collaboration, stating why the collaboration is appropriate. Please 
note that QPHAs that collaborate with local governments are still 
required to complete an analysis of their jurisdiction and region, but 
HUD believes such analyses would be less burdensome due to the 
inclusion of this insert. For QPHAs with service areas in the same CBSA 
as the Local Government, the analysis required in the insert is 
intended to meet the requirements of a QPHA service area analysis while 
relying on the Local Government to complete the QPHA's regional 
analysis. For QPHAs whose service area extends beyond, or is outside 
of, the Local Government's CBSA, the analysis in the insert must cover 
the QPHA's service area and region.
    The second insert is meant for use by local government consolidated 
plan program participants that receive relatively small CDBG grants and 
collaborate with another local government using this Assessment Tool. 
HUD is proposing that local governments that received a CDBG grant of 
$500,000 or less in the most recent fiscal year prior to the due date 
for the joint or regional AFH may use the insert as part of a 
collaboration. HOME consortia whose members collectively received less 
than $500,000 in CDBG funds or received no CDBG funding, in the most 
recent fiscal year prior to the due date for the joint or regional AFH 
would also be permitted to use the insert. HUD welcomes input with 
regard to the utility of the proposed QPHA insert and the proposed 
insert for local governments that receive smaller amounts of CDBG funds 
for conducting the jurisdictional and regional analysis of fair housing 
issues and contributing factors as well as the classifications of 
grantees that would be permitted to use the inserts as part of a 
collaboration. HUD will continue to assess the use of any such inserts 
at the next opportunity for Paperwork Reduction Act approval.
    Further, HUD has committed to issuing a fourth assessment tool to 
be used by Qualified PHAs (including joint collaborations among 
multiple QPHAs). HUD is also committed to continue to explore 
opportunities to reduce the burden of conducting AFFH analyses by 
consolidated planning agencies that receive relatively small amounts of 
HUD funding.
    Jurisdictional and Regional Analysis. HUD has provided additional 
clarification in some questions in the Assessment Tool to specify the 
geographic scope of the analysis required by that question.
    Contributing Factors. HUD has amended some contributing factors and 
provided additional clarity in the descriptions of certain contributing 
factors. HUD has also added the contributing factor of ``lack of source 
of income protection.''
    Instructions. HUD has provided additional explanation in certain 
portions of the instructions with respect to how to use the HUD-
provided data and the use of local data and local knowledge when 
completing an

[[Page 57603]]

Assessment of Fair Housing. Instructions have also been provided for 
each of the two inserts. These instructions are both general and on a 
question-by-question basis.

IV. Public Comments on the Local Government Assessment Tool and HUD's 
Responses

General Comments

    General comments offered by the commenters included the following:
    The tool is burdensome and costly. Several of the commenters stated 
that they recognize the importance of fair housing planning to the 
development of strong and sustainable communities, but stated that the 
Local Government Assessment Tool is burdensome, will require additional 
resources to complete, and grantees' resources are already strained by 
what they stated was the insufficient HUD funding they currently 
receive. The commenters stated that despite HUD's announcements that 
the AFH would reduce the need to hire consultants to help with fair 
housing planning, the opposite was true and consultants would be 
needed, and they would be costly. The commenters requested that HUD 
provide additional funding for grantees to aid them in their fair 
housing planning requirements. Other commenters stated that at a 
minimum the Local Government Assessment Tool must be streamlined for 
small grantees. The commenters stated that reporting and recordkeeping 
burden table in the 60-day notice greatly underestimates the burden. A 
commenter suggested that 5,000 hours is a better estimate of the hours 
needed to complete an AFH.
    HUD Response: HUD appreciates and understands the concern of the 
commenters. HUD's provision of an Assessment Tool, certain nationally-
uniform data, and the inclusion of a community participation process, 
which should yield important information about fair housing issues in a 
community, are intended to relieve some of the burden associated with 
conducting an Assessment of Fair Housing. HUD notes that the estimation 
of burden is an average burden estimate and that depending on the size 
of the grantee or the complexity of the issues, some grantees may have 
higher burden hours. HUD hopes that the inclusion of a local government 
insert for program participants that receive smaller amounts of CDBG 
funding and QPHAs will also help to reduce burden when such entities 
choose to partner in a collaboration with a local government.
    Comments related to the AFFH Data and Mapping Tool: HUD received a 
large number of comments related to the HUD-provided data and the Data 
and Mapping Tool itself. These comments, along with the comments 
received on several specific data-related issues that HUD solicited 
public feedback on are discussed in greater detail below.
    HUD Response: HUD's responses to the many substantive and valuable 
comments received are discussed in greater detail below.
    The assessment tool duplicates other planning processes. To reduce 
burden, commenters requested that the AFH community participation 
process be combined with the citizen participation process that must be 
undertaken as required by HUD's Consolidated Plan regulations, and the 
similar public participation process required by the Public Housing 
Agency (PHA) plan. The commenters stated that the public participation 
process of the Local Government Assessment Tool is duplicative of the 
public participation processes required by these other planning 
documents.
    HUD Response: HUD understands the concern of the commenters, but 
notes that the AFH and the Consolidated plan or PHA Plan (as 
applicable) are two distinct steps in the planning process. The AFH is 
intended to undertake a different analysis in order inform the 
Consolidated plan or PHA Plan. For this reason, it is important that 
the community have an opportunity to provide the program participant 
with input at each stage of the planning process. HUD also notes that 
while there are separate community participation processes for the 
different stages of the planning process, the requirements for 
conducting the community participation process are essentially the 
same. Jurisdictions may be able to appropriately conduct some outreach 
or hearings on both, but must be aware that submission timelines 
require that the AFH must be submitted 270 calendar days (for first 
AFHs) or 195 calendar days (for subsequent AFHs) before the start of 
the program year for which the next 3-5 year consolidated plan is due 
It may be more likely that there be shared outreach efforts on a prior 
year action plan or performance report, but in any such case the AFH 
should be a distinct agenda item for any public hearing.
    The community participation process is not effective. A commenter 
stated the community participation process fails to encourage a wide 
range of stakeholders in the AFH process, and that, in order to 
encourage a robust and meaningful AFH community participation process 
(page 1), HUD should amend question 2, as follows: ``Provide a list of 
organizations consulted during the community participation process, 
including stakeholders who are working in the areas of public health, 
education, workforce development, environmental planning, or 
transportation.'' The commenter stated that the tool should also 
specifically reference civil rights and fair housing organizations and 
other groups providing legal assistance to families affected by HUD 
programs in the community participation section. Another commenter 
asked HUD to change the question that seeks an explanation if there is 
a small turnout for the public hearing. The commenter stated that local 
governments may not be able to identify the reasons for a small 
turnout, and are likely to provide responses that are merely guesswork. 
The commenter asked that HUD reformulate the question to ask 
jurisdictions how they plan to change their outreach and other 
procedures next time to encourage greater turnout. The commenter stated 
that this approach will encourage constructive thinking about needed 
changes so that community participation in the fair housing planning 
process will improve.
    HUD Response: HUD notes that the AFFH rule states, at 24 CFR 
5.158(a), that ``To ensure that the AFH is informed by meaningful 
community participation, program participants must give the public 
reasonable opportunities for involvement in the development of the AFH 
and in the incorporation of the AFH into the consolidated plan, PHA 
Plan, and other required planning documents.'' Further, program 
participants are directed to ``employ communications means designed to 
reach the broadest audience.'' 24 CFR .158(a). HUD appreciates the 
commenter's suggestion to amend question 2, but declines to include 
such language in the question at this time. HUD notes, however, that 
the AFFH Rule Guidebook provides additional guidance about potential 
groups program participants may wish to specifically consult during the 
community participation process. HUD also acknowledges the suggestion 
about the low participation question, but declines to revise it at this 
time.
    Integrate planning information in one system. Commenters requested 
that HUD develop an interface in the Integrated Disbursement and 
Information System (IDIS) so that grantees may efficiently transfer its 
Assessment Tool data into their Consolidated Plan and Annual Action 
Plans.
    HUD Response: HUD understands the difficulty in having several 
different systems for grantees and will continue

[[Page 57604]]

to evaluate the feasibility of combining systems or having systems 
connect to one another to pull information from one plan into a 
subsequent plan.
    Undertake consultation with local practitioners. Commenters stated 
that before implementing the next version of the Local Government 
Assessment Tool, HUD should undertake consultation with local 
practitioners.
    HUD Response: HUD appreciates this comment, and will seek 
opportunities in the future to use public feedback including from local 
government agencies in order to improve the effectiveness and utility 
and minimize burden of the assessment tool. Local governments are 
strongly encouraged to submit comments in response to this and other 
notices regarding assessment tools since that is the primary mechanism 
for providing feedback under the Paperwork Reduction Act.
    Remove list of Contributing Factors. A commenter stated that 
contributing factors should be removed from the tool because each 
entitlement jurisdiction should have the freedom to identify the 
contributing factors that are meaningful to their unique community. The 
commenter stated that by including this list, HUD introduces 
predisposed biases and assumes a Fair Housing Impact that may or may 
not exist. The commenter further stated that a mere correlation to 
contributing factors does not necessarily cause decreased access to 
opportunity.
    HUD Response: HUD appreciates the commenter's view that local 
governments should have the freedom to identify contributing factors 
that are unique to their community. HUD notes that the list provided is 
of ``potential'' contributing factors only, and an option for ``other'' 
exists on that list. Program participants are encouraged to identify 
any other contributing factors that are unique to their communities. 
HUD provides the list of potential contributing factors, which consists 
of some of the most common contributing factors affecting fair housing 
issues, in an effort to reduce burden for program participants so that 
they do not need to come up with a list of factors on their own.
    The tool does not address the Housing Choice Voucher (HCV) program. 
A commenter stated that the Assessment Tool leaves out any questions 
regarding the HCV program, which is a central part of the Section 8 
Administrative plan. The commenter stated that the tool should be 
revised to include questions related to fair housing, including low 
payment standards, portability restrictions, inspection delays, refusal 
to extend search times, lack of notice to families of their choices, 
lack of assistance to families in locating housing in opportunity 
areas, and geographic concentration of apartment listings provided to 
HCV families by the PHA.
    HUD Response: HUD appreciates the commenter's suggestion to include 
additional questions about the HCV program. HUD notes that there are 
certain questions that relate to the HCV program, however, the issues 
the commenter raises are addressed through contributing factors, as 
opposed to individual questions in the Assessment Tool. HUD notes that 
the descriptions of a number of contributing factors highlight the 
issues raised by the commenter. In order to not impose additional 
burden on program participants, HUD declines to add specific questions 
at this time.
    It is not clear how the Assessment Tool addresses homelessness. A 
commenter stated that many of the issues asked in the Assessment Tool 
also affect the homeless population, which is made up of persons in 
protected classes. The commenter stated the section on disproportionate 
housing needs should include data and analysis on the population of 
people experiencing homelessness that are currently unhoused. The 
commenter asked that HUD include ``access to public space for people 
experiencing homelessness'' as a contributing factor throughout the 
assessment. The commenter further stated that laws that criminalize 
homelessness or otherwise burden the use or access to public space for 
those without shelter or housing have a deleterious and segregative 
impact on living patterns and fair housing opportunity that is not 
captured in any of the other contributing factors. The commenter stated 
that HUD should specifically reference laws that have the effect of 
restricting or allowing provision of services to persons experiencing 
homelessness (including transitional shelters, day shelters, soup 
kitchens, or other provision of services) in the definitions of ``land 
use and zoning laws'' as well as ``occupancy codes and restrictions.'' 
The commenter suggested, alternatively, that HUD could create a factor 
that mirrors ``regulatory barriers to providing housing and supportive 
services for persons with disabilities,'' which appears to serve the 
same purpose with respect to the fair housing analysis, but for persons 
with disabilities as opposed to those experiencing homelessness.
    HUD Response: HUD appreciates this suggestion and has added 
language to the instructions relating to the use of local data and 
local knowledge with respect to homelessness, and added to the 
description of the contributing factors of ``Land use and zoning laws'' 
and ``Occupancy codes and restrictions.'' The addition to the ``Land 
use and zoning laws'' description provides, ``Restriction of provision 
of housing or services to persons experiencing homelessness, such as 
limiting transitional shelters, day shelters, soup kitchens, the 
provision of other services, or limitations on homeless persons' access 
areas that are open to the public (e.g. anti-loitering or nuisance 
ordinances).'' and the addition to the ``Occupancy codes and 
restrictions'' descriptions provides, ``Restriction of provision of 
services to persons experiencing homelessness, such as limiting 
transitional shelters, day shelters, soup kitchens, or other provision 
of services.'' HUD has also noted in the instructions for the 
Disproportionate Housing Needs section that the HUD-provided data do 
not include data on persons experiencing homelessness. HUD notes that 
such data is available from a variety of sources and the analysis 
relating to disproportionate housing needs may benefit from the use of 
local data and local knowledge.
    HUD further notes that consolidated planning requires an assessment 
of homeless needs, facilities and services, and a strategy for 
addressing homelessness.
    Include availability of housing at different affordability levels. 
A few commenters stated that the availability of housing at different 
affordability levels needs to be included in the definitions of the 
contributing factors of ``location and type of affordable housing'' and 
``availability of affordable units in a range of sizes.'' The 
commenters stated that it should be part of the analysis of 
restrictions placed on affordable housing through other contributing 
factors, including but not limited to ``land use and zoning laws'' and 
``occupancy codes and restrictions.'' The commenter stated that the 
current description of ``Land Use and Zoning Laws'' lists 
``[i]nclusionary zoning practices that mandate or incentivize the 
creation of affordable units,'' and instead the words ``lack of'' 
should be added to the very beginning of the description as 
inclusionary zoning is a tool with the potential to expand access for 
low-income families who seek to move to lower-poverty.
    HUD Response: HUD notes that the contributing factor of ``Location 
and type of affordable housing'' does include the concept of different 
levels of affordability. HUD specifically notes that ``What is 
`affordable' varies by circumstance . . .'' HUD has added

[[Page 57605]]

``lack of'' prior to the bullet point in the description of ``Land use 
and zoning laws'' that reads ``Inclusionary zoning practices that 
mandate or incentivize the creation of affordable units.''
    The tool should address sex discrimination. A few commenters stated 
that the tool does not mention any questions or prompting related to 
sex discrimination, and stated that there are several groups that 
suffer under sex discrimination, such as domestic violence survivors, 
members of the LGBT community, and victims of sexual harassment. The 
commenters stated that there are no questions in the tool that directly 
prompt the jurisdiction to consider barriers to fair housing choice and 
opportunity for these populations, and that there are no questions that 
focus on how sexual harassment creates barriers to fair housing choice. 
The commenters recommended that local nuisance ordinances that 
negatively impact crime victims be specifically addressed in the AFFH 
certification process and Local Government Assessment Tool to ensure 
that meaningful actions are taken on the front end to avoid sex 
discrimination violations of the Fair Housing Act. The commenters 
stated that there are policies that penalize property owners based on 
the number of times police are called, crime victims, including 
domestic violence victims, have been evicted, threatened with eviction, 
and denied housing because of calls to the police for domestic violence 
incidents. The commenters stated that the repeal or modification of 
such laws and policies should be a component of the Fair Housing Goals 
and Priorities.
    HUD Response: HUD appreciates these commenters suggestions and 
notes that ``sex'' is one of the protected characteristics under the 
Fair Housing Act that must be analyzed in the AFH. HUD notes that there 
are two tables included in the AFFHT that include data relating to sex. 
Those tables are Table 1 and Table 2, which provide demographic data 
for the jurisdiction and region. Table 1 provides demographic data from 
2010, while Table 2 provides demographic data for 1990, 2000, and 2010 
in order to evaluate trends over time. There are several contributing 
factors listed in the Assessment Tool that speak to the issues raised 
by these commenters. For example, the description of the contributing 
factor or ``Lack of state or local fair housing laws,'' includes 
protections based on sexual orientation and survivors of domestic 
violence. HUD has also added a potential contributing factor of ``Lack 
of housing support for victims of sexual harassment, including victims 
of domestic violence'' to the Disparities in Access to Opportunity 
Section of the Assessment Tool.
    The impediments highlighted by the Government Accountability Office 
(GAO) are outside of a grantee's control. A GAO analysis of 30 Analyses 
of Impediments (AIs) highlighted the most common impediments to fair 
housing choice: zoning and site selection, inadequate public services 
in low- and moderate-income areas, less favorable mortgage terms from 
private lenders, and lack of information about fair housing rights and 
responsibilities (GAO, 2010). Some commenters stated that these common 
impediments are outside of the local government's control. The 
commenter stated that local governments generally do not have the 
authority to require a change in zoning or site selection (other than 
site selection with projects it has funded, which is very small 
compared to the private market). The commenter stated that the one 
impediment that the commenter can focus on is access to information 
about fair housing rights and responsibilities.
    HUD Response: Program participants covered by the AFFH rule have 
both an obligation to comply with the regulation and to affirmatively 
further fair housing under the Fair Housing Act. See 24 CFR5.150-5.180; 
42 U.S.C. 3608(d), (e). One of the primary purposes of the Assessment 
Tool is to consider a wide range of policies, practices, and activities 
underway in a program participant's jurisdiction and region and to 
consider how its policies, practices, or activities may facilitate or 
present barriers to fair housing choice and access to opportunity, and 
to further consider actions that a program participant may take to 
overcome such barriers. HUD is aware that program participants may be 
limited in the actions that they can take to overcome barriers to fair 
housing choice and that the AFH process does not mandate specific 
outcomes. However, that does not mean that no actions can be taken, or 
that program participants should not strive to overcome barriers to 
fair housing choice or disparities in access to opportunity.
    HUD needs to provide more guidance. A commenter stated that HUD has 
provided extremely little technical guidance, the commenter seeks 
technical guidance on the role of HUD's Office of General Counsel in 
the AFH process, and the expectation of HUD's Office of Fair Housing 
and Equal Opportunity in reviewing the assessments, what the impact is 
on the community if the plan is rejected and the community's recourse, 
and best practices. The commenter requested that HUD provides sample 
documents such as request for proposals (RFP) language for those 
seeking consultants and Memorandums of Understandings between 
collaborators.
    HUD Response: HUD will continue to provide guidance relating to the 
AFFH rule and the AFH. HUD recently released a new guidance document 
titled, ``Guidance on HUD's Review of Assessments of Fair Housing 
(AFH),'' and is available at https://www.hudexchange.info/resource/5069/guidance-on-huds-review-of-assessments-of-fair-housing-afh/.
    Comment: Racially and Ethnically Concentrated Areas of Poverty (R/
ECAPs). R/ECAPs. One commenter noted several concerns with HUD's 
definition of R/ECAPs including both the 50 percent minority threshold 
and the alternate poverty threshold (three times the CBSA poverty rate 
when this is lower than 40 percent poverty). As to the 50 percent 
minority threshold, the commenter noted that in majority-minority 
jurisdictions, that tracts that could be considered integrated based on 
an even distribution of the jurisdiction's demographic makeup, would 
still meet the R/ECAP threshold for minority concentration. Regarding 
the alternative poverty rate measure the commenter noted that HUD's 
approach may deviate from the body of evidence on concentrated poverty. 
The commenter also recommended that both minority population and 
poverty rate measures should be considered separately and not combined.
    HUD Response: HUD thanks the commenter for this feedback. While HUD 
is declining to adopt changes to the R/ECAP thresholds and methodology 
at time, it should be noted that program participants are allowed and 
encouraged to provide any useful additional information, explanation or 
analysis in their AFH submissions. For instance, an agency in a 
majority-minority jurisdiction should note this in its analysis of 
segregation and R/ECAPs. Similarly, an agency in a jurisdiction where 
HUD's R/ECAP calculation uses the alternative measure to the 40 percent 
of poverty threshold may make note of this and provide any pertinent 
discussion of its actual local poverty rate and how that affects how 
many tracts reflect either of the poverty rate measures (i.e. how many 
meet 40 percent of poverty compared to the R/ECAPs shown in the HUD 
provided data). R/ECAP analysis should also be accompanied by 
discussion of qualitative factors including local knowledge on 
neighborhood conditions

[[Page 57606]]

that are not apparent from the baseline HUD-provided data. Such 
qualitative discussion may also include consideration of overall market 
and neighborhood conditions in R/ECAPs themselves or in the areas 
surrounding them (e.g. are such areas experiencing economic 
improvements or whether they have access to opportunity assets) or 
whether they may be immigrant communities with assets or social 
networks that may not be apparent from the HUD data alone.

Comments in Response to HUD Specific Issues for Comment

    As noted earlier, HUD solicited comment on 6 specific issues.
    The first five specific issues for which HUD requested public 
feedback related to the HUD-provided data. These questions were:
    1. Should R/ECAPs be amended to exclude college students from the 
calculation of poverty rate?
    2. Should HUD provide additional data on homeownership and rental 
housing, including maps and tables (e.g. data on percent of owner and 
renter occupied housing by area, maps showing patterns of home 
ownership and renter occupied housing together with demographics of 
race/ethnicity, and homeownership/rental rates by protected class 
group)?
    3. Are there changes or improvements that can be made to the 
Opportuniy 1Index measures? For example, should HUD include additional 
national data related to schools and education? Should HUD change the 
variables included in the Labor Market Engagement Index? Are there 
changes to the transportation indices (currently Transit Trips and Low 
Transportation Costs) that can be made to better inform a fair housing 
analysis of transportation access and whether transportation provides 
access to areas of opportunity? Should HUD adjust the Environmental 
Health Index with new variables and/or a revised formula?
    4. Should HUD add Home Mortgage Disclosure Act (HMDA) data to 
inform a fair housing analysis of lending practices and trends? Which 
types of HMDA data would be most useful (e.g., loan origination data, 
data on conventional loans compared to FHA loans, etc.)?
    5. Should HUD distinguish between 9 percent and 4 percent tax 
credits in the Low-Income Housing Tax Credit (LIHTC) data being 
provided, including in maps of development locations?
    Comments: HUD received numerous comments related to these specific 
questions as well as to more general comments on the HUD-provided data 
overall and to the AFFH Data and Mapping Tool.
    Numerous comments were received on the specific data related 
questions that HUD included in the 60-Day PRA Notice. These included 
numerous comments on the opportunity indices, additional data to 
consider adding to the Data and Mapping Tool, and suggestions for 
improving the methodology used for some of the components on the data 
provided.
    Commenters expressed concern that the analysis of HUD-provided data 
will require a high level of expertise that may not be available to 
localities given their limited budgets. Some commenters expressed 
concerns with the data in terms of being the most current available. 
Numerous comments provided suggestions for improving the Data and 
Mapping Tool's functionality including items such as visual display of 
the maps and providing users with more options in terms of turning on 
and off layers of data. Many comments expressed concerns with the 
complexity of the data being provided and limited ability of program 
participant staff to understand and assess the information.
    HUD Response: HUD appreciates the valuable feedback provided by 
public commenters on the questions relating to the HUD-provided data 
and the HUD AFFH Data and Mapping Tool. At this time, HUD has 
determined that it will be adding additional data on homeownership and 
rental housing. This data will include maps showing the percent (rate) 
of owner-occupied and renter-occupied housing by census tract. It will 
also include a table showing rate of owner-occupied and renter occupied 
housing by race/ethnicity group at the jurisdiction and region levels. 
HUD is also considering adding rental housing affordability data for 
the purpose of facilitating analysis in the PHA Assessment Tool. This 
new data will facilitate the AFFH analysis, including for existing 
questions on these topics that were previously included in the 
assessment tool as published on 12/31/2016.
    The comments that were received on the specific questions that HUD 
included in the 60-Day PRA Notice included numerous substantive and 
informed suggestions and recommendations. These comments will prove 
invaluable to helping improve the HUD-provided data, including the 
opportunity indices, the underlying methodology for many elements and 
other potential data sources that may be provided in the future. The 
comments and recommendations will help improve the data being provided 
to better assist program participants and facilitate their assessments 
of fair housing.
    The Department is taking comments into consideration for making 
additional improvements to the AFFH Data and Mapping Tool for the 
benefit of grantees and the public. Many of the comments will prove 
useful in making further refinements and improvements to the Data and 
Mapping Tool over time.
    HUD is also committed to providing data in a readily understandable 
manner for the lay user. HUD does not expect program participants to 
hire statisticians or data experts to utilize the HUD-provided data. 
HUD has provided several resources to assist program participants and 
the public in using the HUD-provided data, including webinars, fact 
sheets, and user guides. HUD has further committed to addressing 
program participant burden by providing data, guidance, and technical 
assistance, and such assistance will occur throughout the AFH process. 
The AFFH Rule Guidebook is available at https://www.hudexchange.info/resource/4866/affh-rule-guidebook/.
    With regard to comments on the frequency of HUD updates to the data 
provided, HUD expects to update the data provided in the data and 
mapping tool (AFFHT) on an ongoing basis as is feasible. HUD will 
provide notification to the public and program participants when such 
updates occur on the HUD Exchange.
    In addition, HUD intends to add additional data resources to the 
AFFH Data and Mapping Tool which would be optional for grantees to use 
as supplemental information and would not require a specific response 
within the assessment tool. This will add flexibility for HUD to make 
improvements over time and provide grantees access to additional data 
directly through the AFFH Data and Mapping Tool portal that they may 
choose to consider or adopt as they complete their Assessment of Fair 
Housing.
    With regards to providing LIHTC data distinguishing between 4 
percent and 9 percent tax credits, HUD will consider options for 
providing this data in the future. HUD reiterates its acknowledgement 
of the different policy considerations that should be taken into 
account, particularly as regards the use of 4 percent tax credits for 
rehabilitation and preservation of the existing affordable housing 
stock.
    Comment: Several comments were received on the Environmentally 
Healthy Neighborhoods Index. These comments included suggestions for 
other environmental related issues that

[[Page 57607]]

should be captured in the assessment tool.
    HUD Response: HUD will take all comments on the opportunity indices 
under consideration. HUD also notes that many of the other 
environmental-related issues are captured in the descriptions of the 
various potential contributing factors in the Disparities in Access to 
Opportunity section of the Assessment Tool. For example, ``Lack of 
public investment in specific neighborhoods, including services and 
amenities,'' is described as follows: ``The term ``public investment'' 
refers here to the money government spends on housing and community 
development, including public facilities, infrastructure, and services. 
Services and amenities refer to services and amenities provided by 
local or state governments. These services often include sanitation, 
water, streets, schools, emergency services, social services, parks and 
transportation. Lack of or disparities in the provision of municipal 
and state services and amenities have an impact on housing choice and 
the quality of communities. Inequalities can include, but are not 
limited to disparity in physical infrastructure (such as whether or not 
roads are paved or sidewalks are provided and kept up); differences in 
access to water or sewer lines, trash pickup, or snow plowing. 
Amenities can include, but are not limited to recreational facilities, 
libraries, and parks. Variance in the comparative quality and array of 
municipal and state services across neighborhoods impacts fair housing 
choice.'' HUD also notes in response to the issue of cost of water and 
sanitation services that the data provided for housing cost burden 
includes the cost of utilities.
    In addition to the specific questions relating to data issues, HUD 
also solicited public feedback on the following specific question: 
Should HUD make any other changes to the Local Government Assessment 
Tool to facilitate joint or regional collaboration or facilitate a 
meaningful fair housing analysis and priority and goal setting?
    Comments: A few commenters responded to this question stating no--
that collaboration needs time to form on its own, and that pushing 
grantees towards collaboration is not helpful or useful. The commenters 
stated that, in particular, first round grantees will have little time 
to focus on collaboration, and regionalism is not related to the courts 
disparate impact decision. The commenters stated that regional 
collaboration means more centralized government planning and reduction 
of local government authority. The commenters stated that, at this 
stage, HUD should refrain from pushing grantees to collaborate without 
additional time to absorb the requirements of the tool. The commenters 
stated that HUD has still not provided concrete guidance on what a 
collaboration would look like and how a collaboration would take 
``meaningful actions'' to further its goals identified in the AFH, and 
stated that commenters need this guidance. Another commenter cautioned 
that requirements for collaboration should not result in bias against 
individual plans.
    Other commenters stated that requirement for a regional analysis 
should be made optional, and stated that it will only be important for 
those jurisdictions that choose to collaborate on a regional plan, and 
only increases administrative burden on those who complete their plan 
independently. The commenters suggested that the tool include some 
questions specifically focused on collaboration so that grantees will 
have some idea of HUD's expectations regarding collaboration.
    A commenter stated that for collaborations between PHAs and cities 
dual data sets are sometimes not available. In a similar vein, a 
commenter stated that there will be issues with tracking school age 
children with collaborations between PHAs and cities because each use 
different mechanisms to track such children what with all the different 
schooling options (public, private, charter, etc.). The commenter 
recommended HUD reconsider the approach to overlaying education and 
housing data to facilitate data collection for a meaningful AFH in this 
type of collaboration.
    Another commenter recommended that for jurisdictions coming 
together in a regional collaboration, a supplemental section to be 
completed separately by each jurisdiction in the regional AFH, that 
indicates that jurisdiction's role in the fair housing issues 
identified, and specific goals that each jurisdiction can take to 
contribute to the regional goals identified in the regional AFH.
    Some commenters were concerned about the lists of potential 
contributing factors, stating that by including this list, HUD 
introduces predisposed biases and assumes a Fair Housing Impact that 
may or may not exist. A mere correlation to contributing factors does 
not necessarily cause decreased access to opportunity.
    A commenter stated that the Local Government Assessment Tool should 
be conformed to the PHA Assessment Tool. The commenter stated that if a 
local government takes the lead in a regional consortium, or with its 
local PHA, it will undermine the assessment if detailed PHA analyses 
are omitted from the form. The commenter stated that the Local 
Government Tool should also contain data from the State tool such as 
details on the LIHTC program, and questions on disparities related to 
public health services and public safety.
    HUD Response: The benefits of joint collaboration include a joint 
assessment of their shared issues and potentially for establishing 
shared goals leading to better coordination of program activities for 
the benefit of program recipients and overcoming the effects of fair 
housing issues. In addition, the experience of collaborating on the 
analysis and other parts of the assessment itself can provide ongoing 
benefits over time, as different types of housing and community 
development agencies work together in different contexts. HUD notes 
that it has added ``inserts'' in order to help facilitate 
collaborations among different types of program participants. HUD 
specifically solicits comments below, related to this newly added 
content of the Assessment Tool.
    As HUD has stated in previous notices, HUD had previously announced 
that it would be developing separate assessment tools for certain types 
of program participants, including for States and Insular Areas, and 
for PHAs not submitting an AFH in a joint or regional collaboration 
with a local government. In addition, HUD has stated that the basic 
structure of the Assessment Tool for Local Governments would be 
illustrative of the questions that will be asked of all program 
participants. See 80 FR 42,109 (July 16, 2015).

V. Overview of Information Collection

    Under the PRA, HUD is required to report the following:
    Title of Proposal: Assessment of FairHousing Tool.
    OMB Control Number, if applicable: 2529-0054.
    Description of the need for the information and proposed use: The 
purpose of HUD's Affirmatively Furthering Fair Housing (AFFH) final 
rule is to provide HUD program participants with a more effective 
approach to fair housing planning so that they are better able to meet 
their statutory duty to affirmatively further fair housing. In this 
regard, the final rule requires HUD program participants to conduct and 
submit an AFH. In the AFH, program participants must identify and 
evaluate fair housing issues, and factors significantly contributing to 
fair housing issues (contributing factors) in the program participant's 
jurisdiction and region.

[[Page 57608]]

    The Assessment Tool is the standardized document designed to aid 
program participants in conducting the required assessment of fair 
housing issues and contributing factors and priority and goal setting. 
The Assessment Tool asks a series of questions that program 
participants must respond to in carrying out an assessment of fair 
housing issues and contributing factors, and setting meaningful fair 
housing goals and priorities to overcome them.
    Agency form numbers, if applicable: Not applicable.
    Members of affected public: As noted earlier in this document, 
local governments that receive CDBG, HOME, ESG, or HOPWA formula 
funding from HUD when conducting and submitting their own AFH, and any 
PHAs that choose to partner with such local governments.
    Estimation of the total numbers of hours needed to prepare the 
information collection including number of respondents, frequency of 
response, and hours of response.
    Please see table below.

                                       Reporting and Recordkeeping Burden
----------------------------------------------------------------------------------------------------------------
                                                                                     Estimated
                                                    Number of                      average time      Estimated
                                   Number of      responses per    Frequency of         for         burden (in
                                 respondents *     respondent      response **      requirement       hours)
                                                                                    (in hours)
----------------------------------------------------------------------------------------------------------------
CFR Section Reference: Sec.    2,294 total                    1  Once every five
 5.154(d) (Assessment of Fair   entities (1,194                   years (or
 Housing)..                     Entitlement                       three years in
                                Jurisdictions                     the case of 3-
                                and                               Year
                                approximately                     Consolidated
                                1,100 PHAs) *.                    Plans) **.
Entitlement Jurisdiction.....  1,194...........  ..............  ...............         *** 240         286,560
PHAs.........................  1,100...........  ..............  ...............        **** 120         132,000
                              ----------------------------------------------------------------------------------
    Total....................  2,294...........  ..............  ...............  ..............         418,560
----------------------------------------------------------------------------------------------------------------
* This template is primarily designed for local government program participants, of which there are
  approximately 1,194, and PHAs seeking to join with local governments on a jointly submitted AFH. The estimate
  of 1,100 PHA joint partners is a modest decrease from the previous estimate of 1,314 PHAs that was included in
  the 60-Day PRA Notice. This change is discussed in more detail below.
There are 3,942 PHAs, and HUD estimates that approximately 1,100 of PHAs may seek to join with a local
  government and submit a joint AFH. The Total Number of responses for local government entitlement
  jurisdictions includes all 1,194 such agencies. The total hours and burden are based on the total estimated
  number of both types of program participants and the ``estimated average time'' listed for type of program
  participant.
** The timing of submission depends upon whether a local government program participant submits its consolidated
  plan every 3 years or every 5 years.
*** The estimate of 240 hours is an average across all local government program participants, with some having
  either higher or lower actual burden.
**** PHAs participating in joint submissions using the Assessment Tool under this notice are assumed to have
  some fixed costs, including staff training, conducting community participation costs, but reduced costs for
  conducting the analysis in the assessment itself.

Comparison of Burden Estimate With Estimate From the 60-Day Notice

    The total estimated burden of 418,560 hours is a reduction from the 
estimate of 444,240 total hours that was included in the 60-Day PRA 
Notice for this assessment tool. All of the reduction is attributable 
to a revision of the estimate of the number of public housing agencies 
that are estimated to enter into joint partnerships using this tool, 
rather than any revision in the estimated burden to be incurred by 
individual agencies using the tool. This revision is discussed in more 
detail below.

Note on Costs for Smaller Agencies

    HUD acknowledges that actual participation in joint and regional 
partnerships may differ from these initial estimates and may vary 
according to a variety of factors such as the availability of local or 
state agency potential joint participants. For more information on the 
range of costs, see the Regulatory Impact Analysis that was issued by 
HUD to accompany the AFFH Proposed Rule. (Available at https://www.huduser.gov/portal/publications/pdf/FR-5173-P-01_Affirmatively_Furthering_Fair_Housing_RIA.pdf).
    Smaller agencies are estimated to have lower costs, based on both 
the required scope of analysis and scope of their responsibilities and 
program resources. All agencies however will have some fixed costs, 
including for training for staff and conducting community 
participation. HUD will continue to provide additional assistance 
including training materials, resources and opportunities. HUD's goal 
is to help agencies in meeting the goal of affirmatively furthering 
fair housing.
    HUD reiterates the commitment it made in the December 31, 2015 
Notice announcing the initial one-year implementation period for the 
local government assessment tool, to: ``[Further address] program 
participant burden by providing data, guidance, and technical 
assistance, and such assistance will occur throughout the AFH 
process.''
    HUD has also added a significant new option that is intended to 
reduce burden for smaller consolidated planning agencies while 
assisting them in affirmatively furthering fair housing. This is the 
streamlined assessment ``insert'' for local government agencies that 
choose to partner with another local government acting as a lead entity 
for a joint or regional partnership. For purposes of estimating burden 
hours, all local government agencies, including those that might use 
this new streamlined ``insert'' assessment, are included in the overall 
average burden estimate applied to all 1,194 consolidated planning 
agencies. Smaller local governments are already estimated to have lower 
costs within that average to complete an assessment.

Joint and Regional Cooperation

    As mission-dedicated public agencies, all types of housing and 
community development agencies share a common purpose in providing 
affordable housing to families and individuals most in need and 
improving neighborhoods and communities. While HUD recognizes that 
there may be some benefit to agencies in terms of cost sharing to 
complete planning requirements, HUD acknowledges that the primary 
benefits of joint participation may likely not be directly related to 
such administrative considerations. Indeed, cross-agency collaboration 
entails its own costs,

[[Page 57609]]

including additional staff time for communication and coordination. 
Rather, the benefits are more likely to result from identifying common 
shared issues, contributing factors, concerns, obstacles, goals, and 
strategies and actions, in order to better meet their shared mission 
and improve program outcomes. Some objectives may also be better met 
through coordinating program activities and impact across 
jurisdictional boundaries. There may also be other indirect benefits 
from interagency coordination and communication and information sharing 
that are not easily quantified.

Explanation of Revision in PHA Participation Estimates

    HUD is including the following information in the 30-Day PRA 
Notices for all three of the assessment tools that are currently 
undergoing public notice and comment. The information is intended to 
facilitate public review of HUD's burden estimates. HUD is revising its 
burden estimates for PHAs, including how many agencies will join with 
other entities (i.e. with State agencies, local governments, or with 
other PHAs), from the initial estimates included in the 60-Day PRA 
Notices for the three assessment tools. These revisions are based on 
several key changes and considerations:
    (1) HUD has added new option for QPHAs, to match the approach 
already presented in the State Assessment Tool as issued for the 60-Day 
PRA Notice, to facilitate joint partnerships with Local Governments or 
other PHAs using a streamlined ``insert'' assessment. Using this 
option, it is expected that the analysis of the QPHA's region would be 
met by the overall AFH submission, provided the QPHA's service area is 
within the jurisdictional and regional scope of the local government's 
Assessment of Fair Housing, with the QPHA responsible for answering the 
specific questions for its own programs and service area included in 
the insert.
    (2) HUD's commitment to issuing a separate assessment tool 
specifically for QPHAs that will be issued using a separate public 
notice and comment Paperwork Reduction Act process. This QPHA 
assessment tool would be available as an option for these agencies to 
submit an AFH rather than using one of the other assessment tools. HUD 
assumes that many QPHAs would take advantage of this option, 
particularly those QPHAs that may not be able to enter into a joint or 
regional collaboration with another partner. HUD is committing to 
working with QPHAs in the implementation of the AFFH Rule. This 
additional assessment tool to be developed by HUD with public input 
will be for use by QPHAs opting to submit an AFH on their own or with 
other QPHAs in a joint collaboration.
    (3) Public feedback received on all three assessment tools combined 
with refinements to the HUD burden estimate.
    Based on these considerations, HUD has refined the estimate of PHAs 
that would be likely to enter into joint collaborations with potential 
lead entities. In general, PHAs are estimated to be most likely to 
partner with a local government, next most likely to join with another 
PHA and least likely to join with a State agency.
    While all PHAs, regardless of size or location are able and 
encouraged to join with State agencies, for purposes of estimating 
burden hours, the PHAs that are assumed to be most likely to partner 
with States are QPHAs that are located outside of CBSAs.
    Under these assumptions, approximately one-third of QPHAs are 
estimated to use the QHPA template that will be developed by HUD 
specifically for their use (as lead entities and/or as joint 
participants), and approximately two-thirds are estimated to enter into 
joint partnerships using one of the QPHA streamlined assessment 
``inserts'' available under the three existing tools. These estimates 
are outlined in the following table:

                  Overview of Estimated PHA Lead Entities and Joint Participant Collaborations
----------------------------------------------------------------------------------------------------------------
                                                   QPHA Outside     QPHA Inside
                                                       CBSA            CBSA         PHA (non-Q)        Total
----------------------------------------------------------------------------------------------------------------
PHA Assessment Tool                               ..............  ..............  ..............  ..............
    (PHA acting as lead entity).................               x               x             814             814
    joint partner using PHA template............               x             300             100             400
Local Government Assessment Tool (# of PHA joint               x             900             200           1,100
 collaborations)................................
State Assessment Tool (# of PHA joint                        665               x               x             665
 collaborations)................................
                                                 ------------------------------------------------
    subtotal....................................             665           1,200           1,114  ..............
QPHA template...................................             358             605  ..............             963
                                                 ---------------------------------------------------------------
    Total.......................................           1,023           1,805  ..............           3,942
----------------------------------------------------------------------------------------------------------------

Solicitation of Specific Comment on the Local Government Assessment 
Tool

    HUD specifically requests comment on the following subject:
    HUD has added the following new question (noted in underline)
    ``Are certain racial/ethnic groups more likely to be residing in 
one category of publicly supported housing than other categories 
(public housing, project-based Section 8, Other HUD Multifamily 
Assisted developments, and Housing Choice Voucher (HCV)) in the 
jurisdiction? Compare the racial/ethnic demographics of each category 
of publicly supported housing for the jurisdiction to the demographics 
of the same category in the region.''
    The proposed new question is designed to assist program 
participants in conducting a regional analysis of fair housing issues 
and contributing factors related to publicly supported housing to 
inform goal setting and fair housing planning. As a reminder, fair 
housing issues include segregation, racially or ethnically concentrated 
areas of poverty, disparities in access to opportunity, and 
disproportionate housing needs. Questions are intended to help program 
participants analyze fair housing issues and the factors that play a 
significant role in contributing to them.
    HUD seeks feedback on the utility of the proposed new question as 
well as any alternative proposals for analyzing fair housing issues and 
contributing factors using assisted housing tenant characteristics at a 
regional level.
    HUD seeks to provide questions that will help program participants 
conduct a meaningful analysis of fair housing issues from a regional 
perspective to inform goal setting and effective fair housing planning. 
Commenters should bear in mind the HUD provided data for regional 
analysis are provided at the CBSA level.

[[Page 57610]]

Solicitation of Comment Required by the PRA

    In accordance with 5 CFR 1320.8(d)(1), HUD is specifically 
soliciting comment from members of the public and affected program 
participants on the Assessment Tool on the following:
    (1) Whether the proposed collection of information is necessary for 
the proper performance of the functions of the agency, including 
whether the information will have practical utility;
    (2) The accuracy of the agency's estimate of the burden of the 
proposed collection of information;
    (3) Ways to enhance the quality, utility, and clarity of the 
information to be collected; and
    (4) Ways to minimize the burden of the collection of information on 
those who are to respond, including through the use of appropriate 
automated collection techniques or other forms of information 
technology, e.g., permitting electronic submission of responses.
    (6) Whether the inclusion of the ``inserts'' for Qualified PHAs 
(QPHAs) and small program participants will facilitate collaboration 
between local governments and these program participants and whether 
these entities anticipate collaborating to conduct and submit a joint 
or regional AFH. Please note any changes to these inserts that (a) 
would better facilitate collaboration; (b) provide for a more robust 
and meaningful fair housing analysis; and (c) encourage collaboration 
among these program participants that do not anticipate collaborating 
at this time.
    (7) Whether HUD's change to the structure and content of the 
questions in the Disparities in Access to Opportunity section with 
respect to the protected class groups that program participants must 
analyze is sufficiently clear and will yield a meaningful fair housing 
analysis. Additionally, HUD specifically solicits comment on whether an 
appropriate fair housing analysis can and will be conducted if the 
other protected class groups are assessed only in the ``Additional 
Information'' question at the end of the section, as opposed to in each 
subsection and question in the larger Disparities in Access to 
Opportunity section. HUD also requests comment on whether it would be 
most efficient for program participants to have the protected class 
groups specified in each question in this section. If so, please 
provide an explanation. Alternatively, HUD requests comment on whether 
each subsection within the Disparities in Access to Opportunity section 
should include an additional question related to disparities in access 
to the particular opportunity assessed based on all of the protected 
classes under the Fair Housing Act.
    (8) Whether HUD should include any other contributing factors or 
amend any of the descriptions of the contributing factors to more 
accurately assess fair housing issues affecting program participants' 
jurisdictions and regions. HUD encourages not only program participants 
but interested persons to submit comments regarding the information 
collection requirements in this proposal. Comments must be received by 
September 22, 2016 to www.regulations.gov as provided under the 
ADDRESSES section of this notice. Comments must refer to the proposal 
by name and docket number (FR-5173-N-10-A).
    HUD encourages interested parties to submit comment in response to 
these questions.

    Dated: August 17, 2016.
Inez C. Downs,
Department Reports Management Officer, Office of the Chief Information 
Officer.
[FR Doc. 2016-20125 Filed 8-22-16; 8:45 am]
 BILLING CODE 4210-67-P



                                                                             Federal Register / Vol. 81, No. 163 / Tuesday, August 23, 2016 / Notices                                         57601

                                                Overview of This Information                            SUMMARY:    This notice solicits public               for a period of 60 days on the Local
                                                Collection                                              comment for a period of 30 days,                      Government Assessment Tool that
                                                   (1) Type of Information Collection                   consistent with the Paperwork                         published on March 23, 2016, and takes
                                                Request: Revision of a Currently                        Reduction Act of 1995 (PRA) on the                    into consideration the public comments
                                                Approved Collection.                                    Local Government Assessment Tool, the                 received in response to the 60-day
                                                   (2) Title of the Form/Collection:                    assessment tool developed by HUD for                  notice. The 60-day notice commenced
                                                Notice of Appeal or Motion.                             use by local governments that receive                 the notice and comment process
                                                   (3) Agency form number, if any, and                  Community Development Block Grants                    required by the PRA in order to obtain
                                                the applicable component of the DHS                     (CDBG), HOME Investment Partnerships                  approval from OMB for the information
                                                sponsoring the collection: Form I–290B;                 Program (HOME), Emergency Solutions                   collected by the Local Government
                                                USCIS.                                                  Grants (ESG), or Housing Opportunities                Assessment Tool. This 30-day notice
                                                   (4) Affected public who will be asked                for Persons with AIDS (HOPWA)                         completes the public comment process
                                                or required to respond, as well as a brief              formula funding from HUD when                         required by the PRA. With the issuance
                                                abstract: Primary: Individuals or                       conducting and submitting their own                   of this notice, and following
                                                households, employers, private entities                 Assessment of Fair Housing (AFH). The                 consideration of additional public
                                                and organizations, businesses, non-                     Local Government Assessment Tool is                   comments received in response to this
                                                profit institutions/organizations, and                  also available for use for AFHs                       notice, HUD will seek renewal of
                                                attorneys. Form I–290B is necessary in                  conducted by joint and regional                       approval from OMB of the Local
                                                                                                        collaborations between: (1) Such local                Government Assessment Tool, with a
                                                order for USCIS to make a
                                                                                                        governments; (2) one or more such local               renewal period of 3 years. In accordance
                                                determination that the appeal or motion
                                                                                                        governments with one or more public                   with the PRA, the assessment tool will
                                                to reopen or reconsider meets the
                                                                                                        housing agency (PHA) partners; and (3)                undergo this public comment process
                                                eligibility requirements, and for USCIS
                                                                                                        other collaborations in which such a                  every 3 years to retain OMB approval.
                                                to adjudicate the merits of the appeal or
                                                                                                        local government is designated as the                 DATES: Comment Due Date: September
                                                motion to reopen or reconsider.
                                                                                                        lead for the collaboration.                           22, 2016.
                                                   (5) An estimate of the total number of                 HUD is committed to issuing four
                                                respondents and the amount of time                      assessment tools for its program                      ADDRESSES: Interested persons are
                                                estimated for an average respondent to                  participants covered by the AFFH final                invited to submit comments regarding
                                                respond: The estimated total number of                  rule. One assessment tool is for use by               this notice to the Regulations Division,
                                                respondents for the information                         local governments (Local Government                   Office of General Counsel, Department
                                                collection Form I–290B is 22,062 and                    Assessment Tool) that receive assistance              of Housing and Urban Development,
                                                the estimated hour burden per response                  under certain grant programs                          451 7th Street SW., Room 10276,
                                                is 1.5 hours.                                           administered by HUD’s Office of                       Washington, DC 20410–0500.
                                                   (6) An estimate of the total public                  Community Planning and Development                    Communications must refer to the above
                                                burden (in hours) associated with the                   (CPD), as well as by joint and regional               docket number and title. There are two
                                                collection: The total estimated annual                  collaborations between: (i) Local                     methods for submitting public
                                                hour burden associated with this                        governments; (ii) one or more local                   comments. All submissions must refer
                                                collection is 33,093 hours.                             governments and one or more public                    to the above docket number and title.
                                                   (7) An estimate of the total public                  housing agency (PHA) partners; and (iii)                1. Submission of Comments by Mail.
                                                burden (in cost) associated with the                    other collaborations in which such a                  Comments may be submitted by mail to
                                                collection: The estimated total annual                  local government is designated as the                 the Regulations Division, Office of
                                                cost burden associated with this                        lead for the collaboration. The second                General Counsel, Department of
                                                collection of information is $2,785,573.                tool is for use by States and Insular                 Housing and Urban Development, 451
                                                  Dated: August 17, 2016.                               Areas (State and Insular Area                         7th Street SW., Room 10276,
                                                Samantha Deshommes,                                     Assessment Tool) and joint                            Washington, DC 20410–0500.
                                                                                                        collaborating partner local governments                 2. Electronic Submission of
                                                Chief, Regulatory Coordination Division,
                                                Office of Policy and Strategy, U.S. Citizenship         and/or PHAs (including Qualified                      Comments. Interested persons may
                                                and Immigration Services, Department of                 PHAs) where the State is designated as                submit comments electronically through
                                                Homeland Security.                                      the lead entity. The third assessment                 the Federal eRulemaking Portal at
                                                [FR Doc. 2016–20055 Filed 8–22–16; 8:45 am]             tool is for PHAs (including for joint                 www.regulations.gov. HUD strongly
                                                BILLING CODE 9111–97–P                                  collaborations among multiple PHAs).                  encourages commenters to submit
                                                                                                        The fourth assessment tool is for                     comments electronically. Electronic
                                                                                                        Qualified PHAs (including for joint                   submission of comments allows the
                                                DEPARTMENT OF HOUSING AND                               collaborations among multiple QPHAs).                 commenter maximum time to prepare
                                                URBAN DEVELOPMENT                                       The next Federal Register Notice that                 and submit a comment, ensures timely
                                                                                                        will solicit public comment on the State              receipt by HUD, and enables HUD to
                                                [Docket No. FR–5173–N–10–B]                             and Insular Area Assessment Tool will                 make them immediately available to the
                                                                                                        solicit specific feedback from program                public. Comments submitted
                                                Affirmatively Furthering Fair Housing:                  participants as to how to best facilitate             electronically through the
                                                Local Government Assessment Tool—                       collaboration between program                         www.regulations.gov Web site can be
                                                Information Collection Renewal:                         participants using this tool, including               viewed by other commenters and
                                                Solicitation of Comment 30-Day Notice
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                                                                                                        any changes to the tool or instructions               interested members of the public.
                                                Under Paperwork Reduction Act of                        that may be necessary to facilitate such              Commenters should follow the
                                                1995                                                    collaborations.                                       instructions provided on that site to
                                                AGENCY:  Office of the Assistance                         The Office of Management and Budget                 submit comments electronically.
                                                Secretary for Fair Housing and Equal                    (OMB) approved the Local Government                     Note: To receive consideration as
                                                Opportunity, HUD.                                       Assessment Tool under the PRA for a                   public comments, comments must be
                                                                                                        period of one year. This notice follows               submitted through one of the two
                                                ACTION: Notice.
                                                                                                        HUD’s solicitation of public comment                  methods specified above. Again, all


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                                                57602                        Federal Register / Vol. 81, No. 163 / Tuesday, August 23, 2016 / Notices

                                                submissions must refer to the docket                    II. The 60-Day Notice for the Local                   requirements of a QPHA service area
                                                number and title of the notice. No                      Government Assessment Tool                            analysis while relying on the Local
                                                Facsimile Comments. Facsimile (FAX)                        On March 23, 2016, at 81 FR 15546,                 Government to complete the QPHA’s
                                                comments are not acceptable.                            HUD published its 60-day notice, the                  regional analysis. For QPHAs whose
                                                                                                        first notice for public comment required              service area extends beyond, or is
                                                  Public Inspection of Public
                                                                                                        by the PRA, to commence the process                   outside of, the Local Government’s
                                                Comments. All properly submitted
                                                                                                        for renewal of approval of the Local                  CBSA, the analysis in the insert must
                                                comments and communications                                                                                   cover the QPHA’s service area and
                                                submitted to HUD will be available for                  Government Assessment Tool. Although
                                                                                                        HUD made no changes to the Local                      region.
                                                public inspection and copying between                                                                            The second insert is meant for use by
                                                8 a.m. and 5 p.m. weekdays at the above                 Government Assessment Tool approved
                                                                                                                                                              local government consolidated plan
                                                address. Due to security measures at the                by OMB in December 2015, HUD
                                                                                                                                                              program participants that receive
                                                HUD Headquarters building, an advance                   specifically solicited public comment                 relatively small CDBG grants and
                                                appointment to review the public                        on 6 issues (inadvertently numbered as                collaborate with another local
                                                comments must be scheduled by calling                   7 in the March 23, 2016 publication).                 government using this Assessment Tool.
                                                                                                        The 60-day public comment period                      HUD is proposing that local
                                                the Regulations Division at 202–708–
                                                                                                        ended on May 23, 2016. HUD received                   governments that received a CDBG grant
                                                3055 (this is not a toll-free number).
                                                                                                        18 public comments. The following                     of $500,000 or less in the most recent
                                                Individuals who are deaf or hard of                     section, Section III, highlights changes
                                                hearing and individuals with speech                                                                           fiscal year prior to the due date for the
                                                                                                        made to the Local Government                          joint or regional AFH may use the insert
                                                impairments may access this number                      Assessment Tool in response to public
                                                via TTY by calling the Federal Relay                                                                          as part of a collaboration. HOME
                                                                                                        comment received on the 60-day notice,                consortia whose members collectively
                                                Service at 800–877–8339. Copies of all                  and further consideration of issues by
                                                comments submitted are available for                                                                          received less than $500,000 in CDBG
                                                                                                        HUD. Section IV responds to the                       funds or received no CDBG funding, in
                                                inspection and downloading at                           significant issues raised by public                   the most recent fiscal year prior to the
                                                www.regulations.gov.                                    commenters during the 60-day public                   due date for the joint or regional AFH
                                                                                                        comment period, and Section V                         would also be permitted to use the
                                                FOR FURTHER INFORMATION CONTACT:
                                                                                                        provides HUD’s estimation of the                      insert. HUD welcomes input with regard
                                                Dustin Parks, Office of Fair Housing and                burden hours associated with the Local
                                                Equal Opportunity, Department of                                                                              to the utility of the proposed QPHA
                                                                                                        Government Assessment Tool, and                       insert and the proposed insert for local
                                                Housing and Urban Development, 451                      further solicits issues for public                    governments that receive smaller
                                                7th Street SW., Room 5249, Washington,                  comment, those required to be solicited               amounts of CDBG funds for conducting
                                                DC 20410; telephone number 866–234–                     by the PRA, and additional issues which               the jurisdictional and regional analysis
                                                2689 (toll-free). Individuals with                      HUD specifically solicits public                      of fair housing issues and contributing
                                                hearing or speech impediments may                       comment.                                              factors as well as the classifications of
                                                access this number via TTY by calling                                                                         grantees that would be permitted to use
                                                the toll-free Federal Relay Service                     III. Changes Made to the Local
                                                                                                        Government Assessment Tool                            the inserts as part of a collaboration.
                                                during working hours at 1–800–877–                                                                            HUD will continue to assess the use of
                                                8339.                                                      The following highlights changes                   any such inserts at the next opportunity
                                                                                                        made to the Local Government                          for Paperwork Reduction Act approval.
                                                SUPPLEMENTARY INFORMATION:                              Assessment Tool in response to public                    Further, HUD has committed to
                                                I. Background                                           comment and further consideration of                  issuing a fourth assessment tool to be
                                                                                                        issues by HUD.                                        used by Qualified PHAs (including joint
                                                   On December 31, 2015, at 80 FR                          Inserts. HUD has included two inserts              collaborations among multiple QPHAs).
                                                81840, HUD announced the availability                   that may be used to facilitate                        HUD is also committed to continue to
                                                for use of the Local Government                         collaboration between different types of              explore opportunities to reduce the
                                                Assessment Tool by notice published in                  program participants on a joint or                    burden of conducting AFFH analyses by
                                                the Federal Register. This                              regional AFH with a local government.                 consolidated planning agencies that
                                                announcement was preceded by the two                    The first is an insert for use by Qualified           receive relatively small amounts of HUD
                                                Federal Register notices for public                     Public Housing Agencies (QPHAs). As a                 funding.
                                                                                                        reminder, program participants,                          Jurisdictional and Regional Analysis.
                                                comment required by the PRA. The 60-
                                                                                                        whether contiguous or noncontiguous,                  HUD has provided additional
                                                day notice was published on September
                                                                                                        that are either not located within the                clarification in some questions in the
                                                26, 2015, at 79 FR 57949, and the 30-                   same CBSA or that are not located
                                                day notice published on July 16, 2015,                                                                        Assessment Tool to specify the
                                                                                                        within the same State and seek to                     geographic scope of the analysis
                                                at 80 FR 42108, the same day that HUD                   collaborate on an AFH, must submit a                  required by that question.
                                                published in the Federal Register its                   written request to HUD for approval of                   Contributing Factors. HUD has
                                                Affirmatively Furthering Fair Housing                   the collaboration, stating why the                    amended some contributing factors and
                                                (AFFH) final rule, at 80 FR 42272. The                  collaboration is appropriate. Please note             provided additional clarity in the
                                                Local Government Assessment Tool,                       that QPHAs that collaborate with local                descriptions of certain contributing
                                                HUD’s AFFH final rule, and HUD’s                        governments are still required to                     factors. HUD has also added the
                                                AFFH Rule Guidebook accompanying                        complete an analysis of their
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                                                                                                                                                              contributing factor of ‘‘lack of source of
                                                the Local Government Assessment Tool                    jurisdiction and region, but HUD                      income protection.’’
                                                can all be found at https://                            believes such analyses would be less                     Instructions. HUD has provided
                                                www.hudexchange.info/programs/affh/.                    burdensome due to the inclusion of this               additional explanation in certain
                                                The Local Government Assessment Tool                    insert. For QPHAs with service areas in               portions of the instructions with respect
                                                approved by OMB was assigned OMB                        the same CBSA as the Local                            to how to use the HUD-provided data
                                                Control Number 2529–0054, but the                       Government, the analysis required in                  and the use of local data and local
                                                period of approval was for one year.                    the insert is intended to meet the                    knowledge when completing an


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                                                                             Federal Register / Vol. 81, No. 163 / Tuesday, August 23, 2016 / Notices                                          57603

                                                Assessment of Fair Housing.                             large number of comments related to the               organizations consulted during the
                                                Instructions have also been provided for                HUD-provided data and the Data and                    community participation process,
                                                each of the two inserts. These                          Mapping Tool itself. These comments,                  including stakeholders who are working
                                                instructions are both general and on a                  along with the comments received on                   in the areas of public health, education,
                                                question-by-question basis.                             several specific data-related issues that             workforce development, environmental
                                                                                                        HUD solicited public feedback on are                  planning, or transportation.’’ The
                                                IV. Public Comments on the Local                        discussed in greater detail below.                    commenter stated that the tool should
                                                Government Assessment Tool and                             HUD Response: HUD’s responses to                   also specifically reference civil rights
                                                HUD’s Responses                                         the many substantive and valuable                     and fair housing organizations and other
                                                General Comments                                        comments received are discussed in                    groups providing legal assistance to
                                                                                                        greater detail below.                                 families affected by HUD programs in
                                                   General comments offered by the                         The assessment tool duplicates other               the community participation section.
                                                commenters included the following:                      planning processes. To reduce burden,
                                                   The tool is burdensome and costly.                                                                         Another commenter asked HUD to
                                                                                                        commenters requested that the AFH                     change the question that seeks an
                                                Several of the commenters stated that                   community participation process be
                                                they recognize the importance of fair                                                                         explanation if there is a small turnout
                                                                                                        combined with the citizen participation               for the public hearing. The commenter
                                                housing planning to the development of                  process that must be undertaken as                    stated that local governments may not
                                                strong and sustainable communities, but                 required by HUD’s Consolidated Plan                   be able to identify the reasons for a
                                                stated that the Local Government                        regulations, and the similar public                   small turnout, and are likely to provide
                                                Assessment Tool is burdensome, will                     participation process required by the                 responses that are merely guesswork.
                                                require additional resources to                         Public Housing Agency (PHA) plan. The                 The commenter asked that HUD
                                                complete, and grantees’ resources are                   commenters stated that the public                     reformulate the question to ask
                                                already strained by what they stated was                participation process of the Local                    jurisdictions how they plan to change
                                                the insufficient HUD funding they                       Government Assessment Tool is                         their outreach and other procedures
                                                currently receive. The commenters                       duplicative of the public participation               next time to encourage greater turnout.
                                                stated that despite HUD’s                               processes required by these other                     The commenter stated that this
                                                announcements that the AFH would                        planning documents.                                   approach will encourage constructive
                                                reduce the need to hire consultants to                     HUD Response: HUD understands the                  thinking about needed changes so that
                                                help with fair housing planning, the                    concern of the commenters, but notes                  community participation in the fair
                                                opposite was true and consultants                       that the AFH and the Consolidated plan                housing planning process will improve.
                                                would be needed, and they would be                      or PHA Plan (as applicable) are two                     HUD Response: HUD notes that the
                                                costly. The commenters requested that                   distinct steps in the planning process.               AFFH rule states, at 24 CFR 5.158(a),
                                                HUD provide additional funding for                      The AFH is intended to undertake a                    that ‘‘To ensure that the AFH is
                                                grantees to aid them in their fair                      different analysis in order inform the                informed by meaningful community
                                                housing planning requirements. Other                    Consolidated plan or PHA Plan. For this               participation, program participants must
                                                commenters stated that at a minimum                     reason, it is important that the                      give the public reasonable opportunities
                                                the Local Government Assessment Tool                    community have an opportunity to                      for involvement in the development of
                                                must be streamlined for small grantees.                 provide the program participant with                  the AFH and in the incorporation of the
                                                The commenters stated that reporting                    input at each stage of the planning                   AFH into the consolidated plan, PHA
                                                and recordkeeping burden table in the                   process. HUD also notes that while there              Plan, and other required planning
                                                60-day notice greatly underestimates the                are separate community participation                  documents.’’ Further, program
                                                burden. A commenter suggested that                      processes for the different stages of the             participants are directed to ‘‘employ
                                                5,000 hours is a better estimate of the                 planning process, the requirements for                communications means designed to
                                                hours needed to complete an AFH.                        conducting the community participation                reach the broadest audience.’’ 24 CFR
                                                   HUD Response: HUD appreciates and                    process are essentially the same.                     .158(a). HUD appreciates the
                                                understands the concern of the                          Jurisdictions may be able to                          commenter’s suggestion to amend
                                                commenters. HUD’s provision of an                       appropriately conduct some outreach or                question 2, but declines to include such
                                                Assessment Tool, certain nationally-                    hearings on both, but must be aware that              language in the question at this time.
                                                uniform data, and the inclusion of a                    submission timelines require that the                 HUD notes, however, that the AFFH
                                                community participation process, which                  AFH must be submitted 270 calendar                    Rule Guidebook provides additional
                                                should yield important information                      days (for first AFHs) or 195 calendar                 guidance about potential groups
                                                about fair housing issues in a                          days (for subsequent AFHs) before the                 program participants may wish to
                                                community, are intended to relieve                      start of the program year for which the               specifically consult during the
                                                some of the burden associated with                      next 3–5 year consolidated plan is due                community participation process. HUD
                                                conducting an Assessment of Fair                        It may be more likely that there be                   also acknowledges the suggestion about
                                                Housing. HUD notes that the estimation                  shared outreach efforts on a prior year               the low participation question, but
                                                of burden is an average burden estimate                 action plan or performance report, but                declines to revise it at this time.
                                                and that depending on the size of the                   in any such case the AFH should be a                    Integrate planning information in one
                                                grantee or the complexity of the issues,                distinct agenda item for any public                   system. Commenters requested that
                                                some grantees may have higher burden                    hearing.                                              HUD develop an interface in the
                                                hours. HUD hopes that the inclusion of                     The community participation process                Integrated Disbursement and
                                                                                                        is not effective. A commenter stated the
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                                                a local government insert for program                                                                         Information System (IDIS) so that
                                                participants that receive smaller                       community participation process fails to              grantees may efficiently transfer its
                                                amounts of CDBG funding and QPHAs                       encourage a wide range of stakeholders                Assessment Tool data into their
                                                will also help to reduce burden when                    in the AFH process, and that, in order                Consolidated Plan and Annual Action
                                                such entities choose to partner in a                    to encourage a robust and meaningful                  Plans.
                                                collaboration with a local government.                  AFH community participation process                     HUD Response: HUD understands the
                                                   Comments related to the AFFH Data                    (page 1), HUD should amend question 2,                difficulty in having several different
                                                and Mapping Tool: HUD received a                        as follows: ‘‘Provide a list of                       systems for grantees and will continue


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                                                57604                        Federal Register / Vol. 81, No. 163 / Tuesday, August 23, 2016 / Notices

                                                to evaluate the feasibility of combining                assistance to families in locating                    the description of the contributing
                                                systems or having systems connect to                    housing in opportunity areas, and                     factors of ‘‘Land use and zoning laws’’
                                                one another to pull information from                    geographic concentration of apartment                 and ‘‘Occupancy codes and
                                                one plan into a subsequent plan.                        listings provided to HCV families by the              restrictions.’’ The addition to the ‘‘Land
                                                   Undertake consultation with local                    PHA.                                                  use and zoning laws’’ description
                                                practitioners. Commenters stated that                      HUD Response: HUD appreciates the                  provides, ‘‘Restriction of provision of
                                                before implementing the next version of                 commenter’s suggestion to include                     housing or services to persons
                                                the Local Government Assessment Tool,                   additional questions about the HCV                    experiencing homelessness, such as
                                                HUD should undertake consultation                       program. HUD notes that there are                     limiting transitional shelters, day
                                                with local practitioners.                               certain questions that relate to the HCV              shelters, soup kitchens, the provision of
                                                   HUD Response: HUD appreciates this                   program, however, the issues the                      other services, or limitations on
                                                comment, and will seek opportunities in                 commenter raises are addressed through                homeless persons’ access areas that are
                                                the future to use public feedback                       contributing factors, as opposed to                   open to the public (e.g. anti-loitering or
                                                including from local government                         individual questions in the Assessment                nuisance ordinances).’’ and the addition
                                                agencies in order to improve the                        Tool. HUD notes that the descriptions of              to the ‘‘Occupancy codes and
                                                effectiveness and utility and minimize                  a number of contributing factors                      restrictions’’ descriptions provides,
                                                burden of the assessment tool. Local                    highlight the issues raised by the                    ‘‘Restriction of provision of services to
                                                governments are strongly encouraged to                  commenter. In order to not impose                     persons experiencing homelessness,
                                                submit comments in response to this                     additional burden on program                          such as limiting transitional shelters,
                                                and other notices regarding assessment                  participants, HUD declines to add                     day shelters, soup kitchens, or other
                                                tools since that is the primary                         specific questions at this time.                      provision of services.’’ HUD has also
                                                mechanism for providing feedback                           It is not clear how the Assessment                 noted in the instructions for the
                                                under the Paperwork Reduction Act.                      Tool addresses homelessness. A                        Disproportionate Housing Needs section
                                                   Remove list of Contributing Factors. A               commenter stated that many of the                     that the HUD-provided data do not
                                                commenter stated that contributing                      issues asked in the Assessment Tool                   include data on persons experiencing
                                                factors should be removed from the tool                 also affect the homeless population,                  homelessness. HUD notes that such data
                                                because each entitlement jurisdiction                   which is made up of persons in                        is available from a variety of sources
                                                should have the freedom to identify the                 protected classes. The commenter stated               and the analysis relating to
                                                contributing factors that are meaningful                the section on disproportionate housing               disproportionate housing needs may
                                                to their unique community. The                          needs should include data and analysis                benefit from the use of local data and
                                                commenter stated that by including this                 on the population of people                           local knowledge.
                                                list, HUD introduces predisposed biases                 experiencing homelessness that are                       HUD further notes that consolidated
                                                and assumes a Fair Housing Impact that                  currently unhoused. The commenter                     planning requires an assessment of
                                                may or may not exist. The commenter                     asked that HUD include ‘‘access to                    homeless needs, facilities and services,
                                                further stated that a mere correlation to               public space for people experiencing                  and a strategy for addressing
                                                contributing factors does not necessarily               homelessness’’ as a contributing factor               homelessness.
                                                cause decreased access to opportunity.                  throughout the assessment. The                           Include availability of housing at
                                                   HUD Response: HUD appreciates the                    commenter further stated that laws that               different affordability levels. A few
                                                commenter’s view that local                             criminalize homelessness or otherwise                 commenters stated that the availability
                                                governments should have the freedom                     burden the use or access to public space              of housing at different affordability
                                                to identify contributing factors that are               for those without shelter or housing                  levels needs to be included in the
                                                unique to their community. HUD notes                    have a deleterious and segregative                    definitions of the contributing factors of
                                                that the list provided is of ‘‘potential’’              impact on living patterns and fair                    ‘‘location and type of affordable
                                                contributing factors only, and an option                housing opportunity that is not captured              housing’’ and ‘‘availability of affordable
                                                for ‘‘other’’ exists on that list. Program              in any of the other contributing factors.             units in a range of sizes.’’ The
                                                participants are encouraged to identify                 The commenter stated that HUD should                  commenters stated that it should be part
                                                any other contributing factors that are                 specifically reference laws that have the             of the analysis of restrictions placed on
                                                unique to their communities. HUD                        effect of restricting or allowing                     affordable housing through other
                                                provides the list of potential                          provision of services to persons                      contributing factors, including but not
                                                contributing factors, which consists of                 experiencing homelessness (including                  limited to ‘‘land use and zoning laws’’
                                                some of the most common contributing                    transitional shelters, day shelters, soup             and ‘‘occupancy codes and restrictions.’’
                                                factors affecting fair housing issues, in               kitchens, or other provision of services)             The commenter stated that the current
                                                an effort to reduce burden for program                  in the definitions of ‘‘land use and                  description of ‘‘Land Use and Zoning
                                                participants so that they do not need to                zoning laws’’ as well as ‘‘occupancy                  Laws’’ lists ‘‘[i]nclusionary zoning
                                                come up with a list of factors on their                 codes and restrictions.’’ The commenter               practices that mandate or incentivize
                                                own.                                                    suggested, alternatively, that HUD could              the creation of affordable units,’’ and
                                                   The tool does not address the Housing                create a factor that mirrors ‘‘regulatory             instead the words ‘‘lack of’’ should be
                                                Choice Voucher (HCV) program. A                         barriers to providing housing and                     added to the very beginning of the
                                                commenter stated that the Assessment                    supportive services for persons with                  description as inclusionary zoning is a
                                                Tool leaves out any questions regarding                 disabilities,’’ which appears to serve the            tool with the potential to expand access
                                                the HCV program, which is a central                     same purpose with respect to the fair                 for low-income families who seek to
                                                part of the Section 8 Administrative
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                                                                                                        housing analysis, but for persons with                move to lower-poverty.
                                                plan. The commenter stated that the tool                disabilities as opposed to those                         HUD Response: HUD notes that the
                                                should be revised to include questions                  experiencing homelessness.                            contributing factor of ‘‘Location and
                                                related to fair housing, including low                     HUD Response: HUD appreciates this                 type of affordable housing’’ does
                                                payment standards, portability                          suggestion and has added language to                  include the concept of different levels of
                                                restrictions, inspection delays, refusal to             the instructions relating to the use of               affordability. HUD specifically notes
                                                extend search times, lack of notice to                  local data and local knowledge with                   that ‘‘What is ‘affordable’ varies by
                                                families of their choices, lack of                      respect to homelessness, and added to                 circumstance . . .’’ HUD has added


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                                                                             Federal Register / Vol. 81, No. 163 / Tuesday, August 23, 2016 / Notices                                           57605

                                                ‘‘lack of’’ prior to the bullet point in the            harassment, including victims of                      the community’s recourse, and best
                                                description of ‘‘Land use and zoning                    domestic violence’’ to the Disparities in             practices. The commenter requested that
                                                laws’’ that reads ‘‘Inclusionary zoning                 Access to Opportunity Section of the                  HUD provides sample documents such
                                                practices that mandate or incentivize                   Assessment Tool.                                      as request for proposals (RFP) language
                                                the creation of affordable units.’’                        The impediments highlighted by the                 for those seeking consultants and
                                                   The tool should address sex                          Government Accountability Office                      Memorandums of Understandings
                                                discrimination. A few commenters                        (GAO) are outside of a grantee’s control.             between collaborators.
                                                stated that the tool does not mention                   A GAO analysis of 30 Analyses of                         HUD Response: HUD will continue to
                                                any questions or prompting related to                   Impediments (AIs) highlighted the most                provide guidance relating to the AFFH
                                                sex discrimination, and stated that there               common impediments to fair housing                    rule and the AFH. HUD recently
                                                are several groups that suffer under sex                choice: zoning and site selection,                    released a new guidance document
                                                discrimination, such as domestic                        inadequate public services in low- and                titled, ‘‘Guidance on HUD’s Review of
                                                violence survivors, members of the                      moderate-income areas, less favorable                 Assessments of Fair Housing (AFH),’’
                                                LGBT community, and victims of sexual                   mortgage terms from private lenders,                  and is available at https://
                                                harassment. The commenters stated that                  and lack of information about fair                    www.hudexchange.info/resource/5069/
                                                there are no questions in the tool that                 housing rights and responsibilities                   guidance-on-huds-review-of-
                                                directly prompt the jurisdiction to                     (GAO, 2010). Some commenters stated                   assessments-of-fair-housing-afh/.
                                                consider barriers to fair housing choice                that these common impediments are                        Comment: Racially and Ethnically
                                                and opportunity for these populations,                  outside of the local government’s                     Concentrated Areas of Poverty (R/
                                                and that there are no questions that                    control. The commenter stated that local              ECAPs). R/ECAPs. One commenter
                                                focus on how sexual harassment creates                  governments generally do not have the                 noted several concerns with HUD’s
                                                barriers to fair housing choice. The                    authority to require a change in zoning               definition of R/ECAPs including both
                                                commenters recommended that local                       or site selection (other than site                    the 50 percent minority threshold and
                                                nuisance ordinances that negatively                     selection with projects it has funded,                the alternate poverty threshold (three
                                                impact crime victims be specifically                    which is very small compared to the                   times the CBSA poverty rate when this
                                                addressed in the AFFH certification                     private market). The commenter stated                 is lower than 40 percent poverty). As to
                                                process and Local Government                            that the one impediment that the                      the 50 percent minority threshold, the
                                                Assessment Tool to ensure that                          commenter can focus on is access to                   commenter noted that in majority-
                                                meaningful actions are taken on the                     information about fair housing rights                 minority jurisdictions, that tracts that
                                                front end to avoid sex discrimination                   and responsibilities.                                 could be considered integrated based on
                                                violations of the Fair Housing Act. The                    HUD Response: Program participants                 an even distribution of the jurisdiction’s
                                                commenters stated that there are                        covered by the AFFH rule have both an                 demographic makeup, would still meet
                                                policies that penalize property owners                  obligation to comply with the regulation              the R/ECAP threshold for minority
                                                based on the number of times police are                 and to affirmatively further fair housing             concentration. Regarding the alternative
                                                called, crime victims, including                        under the Fair Housing Act. See 24                    poverty rate measure the commenter
                                                domestic violence victims, have been                    CFR5.150–5.180; 42 U.S.C. 3608(d), (e).               noted that HUD’s approach may deviate
                                                evicted, threatened with eviction, and                  One of the primary purposes of the                    from the body of evidence on
                                                denied housing because of calls to the                  Assessment Tool is to consider a wide                 concentrated poverty. The commenter
                                                police for domestic violence incidents.                 range of policies, practices, and                     also recommended that both minority
                                                The commenters stated that the repeal                   activities underway in a program                      population and poverty rate measures
                                                or modification of such laws and                        participant’s jurisdiction and region and             should be considered separately and not
                                                policies should be a component of the                   to consider how its policies, practices,              combined.
                                                Fair Housing Goals and Priorities.                      or activities may facilitate or present                  HUD Response: HUD thanks the
                                                   HUD Response: HUD appreciates                        barriers to fair housing choice and                   commenter for this feedback. While
                                                these commenters suggestions and notes                  access to opportunity, and to further                 HUD is declining to adopt changes to
                                                that ‘‘sex’’ is one of the protected                    consider actions that a program                       the R/ECAP thresholds and
                                                characteristics under the Fair Housing                  participant may take to overcome such                 methodology at time, it should be noted
                                                Act that must be analyzed in the AFH.                   barriers. HUD is aware that program                   that program participants are allowed
                                                HUD notes that there are two tables                     participants may be limited in the                    and encouraged to provide any useful
                                                included in the AFFHT that include                      actions that they can take to overcome                additional information, explanation or
                                                data relating to sex. Those tables are                  barriers to fair housing choice and that              analysis in their AFH submissions. For
                                                Table 1 and Table 2, which provide                      the AFH process does not mandate                      instance, an agency in a majority-
                                                demographic data for the jurisdiction                   specific outcomes. However, that does                 minority jurisdiction should note this in
                                                and region. Table 1 provides                            not mean that no actions can be taken,                its analysis of segregation and R/ECAPs.
                                                demographic data from 2010, while                       or that program participants should not               Similarly, an agency in a jurisdiction
                                                Table 2 provides demographic data for                   strive to overcome barriers to fair                   where HUD’s R/ECAP calculation uses
                                                1990, 2000, and 2010 in order to                        housing choice or disparities in access               the alternative measure to the 40
                                                evaluate trends over time. There are                    to opportunity.                                       percent of poverty threshold may make
                                                several contributing factors listed in the                 HUD needs to provide more guidance.                note of this and provide any pertinent
                                                Assessment Tool that speak to the issues                A commenter stated that HUD has                       discussion of its actual local poverty
                                                raised by these commenters. For                         provided extremely little technical                   rate and how that affects how many
                                                                                                        guidance, the commenter seeks                         tracts reflect either of the poverty rate
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                                                example, the description of the
                                                contributing factor or ‘‘Lack of state or               technical guidance on the role of HUD’s               measures (i.e. how many meet 40
                                                local fair housing laws,’’ includes                     Office of General Counsel in the AFH                  percent of poverty compared to the R/
                                                protections based on sexual orientation                 process, and the expectation of HUD’s                 ECAPs shown in the HUD provided
                                                and survivors of domestic violence.                     Office of Fair Housing and Equal                      data). R/ECAP analysis should also be
                                                HUD has also added a potential                          Opportunity in reviewing the                          accompanied by discussion of
                                                contributing factor of ‘‘Lack of housing                assessments, what the impact is on the                qualitative factors including local
                                                support for victims of sexual                           community if the plan is rejected and                 knowledge on neighborhood conditions


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                                                57606                        Federal Register / Vol. 81, No. 163 / Tuesday, August 23, 2016 / Notices

                                                that are not apparent from the baseline                 overall and to the AFFH Data and                      facilitate their assessments of fair
                                                HUD-provided data. Such qualitative                     Mapping Tool.                                         housing.
                                                discussion may also include                                Numerous comments were received                       The Department is taking comments
                                                consideration of overall market and                     on the specific data related questions                into consideration for making additional
                                                neighborhood conditions in R/ECAPs                      that HUD included in the 60-Day PRA                   improvements to the AFFH Data and
                                                themselves or in the areas surrounding                  Notice. These included numerous                       Mapping Tool for the benefit of grantees
                                                them (e.g. are such areas experiencing                  comments on the opportunity indices,                  and the public. Many of the comments
                                                economic improvements or whether                        additional data to consider adding to the             will prove useful in making further
                                                they have access to opportunity assets)                 Data and Mapping Tool, and suggestions                refinements and improvements to the
                                                or whether they may be immigrant                        for improving the methodology used for                Data and Mapping Tool over time.
                                                communities with assets or social                       some of the components on the data                       HUD is also committed to providing
                                                networks that may not be apparent from                  provided.                                             data in a readily understandable manner
                                                the HUD data alone.                                        Commenters expressed concern that                  for the lay user. HUD does not expect
                                                                                                        the analysis of HUD-provided data will                program participants to hire statisticians
                                                Comments in Response to HUD Specific                    require a high level of expertise that                or data experts to utilize the HUD-
                                                Issues for Comment                                      may not be available to localities given              provided data. HUD has provided
                                                   As noted earlier, HUD solicited                      their limited budgets. Some commenters                several resources to assist program
                                                comment on 6 specific issues.                           expressed concerns with the data in                   participants and the public in using the
                                                   The first five specific issues for which             terms of being the most current                       HUD-provided data, including
                                                HUD requested public feedback related                   available. Numerous comments                          webinars, fact sheets, and user guides.
                                                to the HUD-provided data. These                         provided suggestions for improving the                HUD has further committed to
                                                questions were:                                         Data and Mapping Tool’s functionality                 addressing program participant burden
                                                   1. Should R/ECAPs be amended to                      including items such as visual display                by providing data, guidance, and
                                                exclude college students from the                       of the maps and providing users with                  technical assistance, and such
                                                calculation of poverty rate?                            more options in terms of turning on and               assistance will occur throughout the
                                                   2. Should HUD provide additional                     off layers of data. Many comments                     AFH process. The AFFH Rule
                                                data on homeownership and rental                        expressed concerns with the complexity                Guidebook is available at https://
                                                housing, including maps and tables (e.g.                of the data being provided and limited                www.hudexchange.info/resource/4866/
                                                data on percent of owner and renter                     ability of program participant staff to               affh-rule-guidebook/.
                                                occupied housing by area, maps                          understand and assess the information.                   With regard to comments on the
                                                showing patterns of home ownership                         HUD Response: HUD appreciates the                  frequency of HUD updates to the data
                                                and renter occupied housing together                    valuable feedback provided by public                  provided, HUD expects to update the
                                                with demographics of race/ethnicity,                    commenters on the questions relating to               data provided in the data and mapping
                                                and homeownership/rental rates by                       the HUD-provided data and the HUD                     tool (AFFHT) on an ongoing basis as is
                                                protected class group)?                                 AFFH Data and Mapping Tool. At this                   feasible. HUD will provide notification
                                                   3. Are there changes or improvements                 time, HUD has determined that it will                 to the public and program participants
                                                that can be made to the Opportuniy                      be adding additional data on                          when such updates occur on the HUD
                                                1Index measures? For example, should                    homeownership and rental housing.                     Exchange.
                                                HUD include additional national data                    This data will include maps showing                      In addition, HUD intends to add
                                                related to schools and education?                       the percent (rate) of owner-occupied                  additional data resources to the AFFH
                                                Should HUD change the variables                         and renter-occupied housing by census                 Data and Mapping Tool which would be
                                                included in the Labor Market                            tract. It will also include a table                   optional for grantees to use as
                                                Engagement Index? Are there changes to                  showing rate of owner-occupied and                    supplemental information and would
                                                the transportation indices (currently                   renter occupied housing by race/                      not require a specific response within
                                                Transit Trips and Low Transportation                    ethnicity group at the jurisdiction and               the assessment tool. This will add
                                                Costs) that can be made to better inform                region levels. HUD is also considering                flexibility for HUD to make
                                                a fair housing analysis of transportation               adding rental housing affordability data              improvements over time and provide
                                                access and whether transportation                       for the purpose of facilitating analysis in           grantees access to additional data
                                                provides access to areas of opportunity?                the PHA Assessment Tool. This new                     directly through the AFFH Data and
                                                Should HUD adjust the Environmental                     data will facilitate the AFFH analysis,               Mapping Tool portal that they may
                                                Health Index with new variables and/or                  including for existing questions on these             choose to consider or adopt as they
                                                a revised formula?                                      topics that were previously included in               complete their Assessment of Fair
                                                   4. Should HUD add Home Mortgage                      the assessment tool as published on 12/               Housing.
                                                Disclosure Act (HMDA) data to inform                    31/2016.                                                 With regards to providing LIHTC data
                                                a fair housing analysis of lending                         The comments that were received on                 distinguishing between 4 percent and 9
                                                practices and trends? Which types of                    the specific questions that HUD                       percent tax credits, HUD will consider
                                                HMDA data would be most useful (e.g.,                   included in the 60-Day PRA Notice                     options for providing this data in the
                                                loan origination data, data on                          included numerous substantive and                     future. HUD reiterates its
                                                conventional loans compared to FHA                      informed suggestions and                              acknowledgement of the different policy
                                                loans, etc.)?                                           recommendations. These comments will                  considerations that should be taken into
                                                   5. Should HUD distinguish between 9                  prove invaluable to helping improve the               account, particularly as regards the use
                                                                                                        HUD-provided data, including the
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                                                percent and 4 percent tax credits in the                                                                      of 4 percent tax credits for rehabilitation
                                                Low-Income Housing Tax Credit                           opportunity indices, the underlying                   and preservation of the existing
                                                (LIHTC) data being provided, including                  methodology for many elements and                     affordable housing stock.
                                                in maps of development locations?                       other potential data sources that may be                 Comment: Several comments were
                                                   Comments: HUD received numerous                      provided in the future. The comments                  received on the Environmentally
                                                comments related to these specific                      and recommendations will help                         Healthy Neighborhoods Index. These
                                                questions as well as to more general                    improve the data being provided to                    comments included suggestions for
                                                comments on the HUD-provided data                       better assist program participants and                other environmental related issues that


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                                                                             Federal Register / Vol. 81, No. 163 / Tuesday, August 23, 2016 / Notices                                             57607

                                                should be captured in the assessment                    commenters stated that, at this stage,                will undermine the assessment if
                                                tool.                                                   HUD should refrain from pushing                       detailed PHA analyses are omitted from
                                                   HUD Response: HUD will take all                      grantees to collaborate without                       the form. The commenter stated that the
                                                comments on the opportunity indices                     additional time to absorb the                         Local Government Tool should also
                                                under consideration. HUD also notes                     requirements of the tool. The                         contain data from the State tool such as
                                                that many of the other environmental-                   commenters stated that HUD has still                  details on the LIHTC program, and
                                                related issues are captured in the                      not provided concrete guidance on what                questions on disparities related to
                                                descriptions of the various potential                   a collaboration would look like and how               public health services and public safety.
                                                contributing factors in the Disparities in              a collaboration would take ‘‘meaningful                  HUD Response: The benefits of joint
                                                Access to Opportunity section of the                    actions’’ to further its goals identified in          collaboration include a joint assessment
                                                Assessment Tool. For example, ‘‘Lack of                 the AFH, and stated that commenters                   of their shared issues and potentially for
                                                public investment in specific                           need this guidance. Another commenter                 establishing shared goals leading to
                                                neighborhoods, including services and                   cautioned that requirements for                       better coordination of program activities
                                                amenities,’’ is described as follows:                   collaboration should not result in bias               for the benefit of program recipients and
                                                ‘‘The term ‘‘public investment’’ refers                 against individual plans.                             overcoming the effects of fair housing
                                                here to the money government spends                        Other commenters stated that                       issues. In addition, the experience of
                                                on housing and community                                requirement for a regional analysis                   collaborating on the analysis and other
                                                development, including public                           should be made optional, and stated                   parts of the assessment itself can
                                                facilities, infrastructure, and services.               that it will only be important for those              provide ongoing benefits over time, as
                                                Services and amenities refer to services                jurisdictions that choose to collaborate              different types of housing and
                                                and amenities provided by local or state                on a regional plan, and only increases                community development agencies work
                                                governments. These services often                       administrative burden on those who                    together in different contexts. HUD
                                                include sanitation, water, streets,                     complete their plan independently. The                notes that it has added ‘‘inserts’’ in
                                                schools, emergency services, social                     commenters suggested that the tool                    order to help facilitate collaborations
                                                services, parks and transportation. Lack                include some questions specifically                   among different types of program
                                                of or disparities in the provision of                   focused on collaboration so that                      participants. HUD specifically solicits
                                                municipal and state services and                        grantees will have some idea of HUD’s                 comments below, related to this newly
                                                amenities have an impact on housing                     expectations regarding collaboration.                 added content of the Assessment Tool.
                                                choice and the quality of communities.                     A commenter stated that for                           As HUD has stated in previous
                                                Inequalities can include, but are not                   collaborations between PHAs and cities                notices, HUD had previously announced
                                                limited to disparity in physical                        dual data sets are sometimes not                      that it would be developing separate
                                                infrastructure (such as whether or not                  available. In a similar vein, a commenter             assessment tools for certain types of
                                                roads are paved or sidewalks are                        stated that there will be issues with                 program participants, including for
                                                provided and kept up); differences in                   tracking school age children with                     States and Insular Areas, and for PHAs
                                                access to water or sewer lines, trash                   collaborations between PHAs and cities                not submitting an AFH in a joint or
                                                pickup, or snow plowing. Amenities can                  because each use different mechanisms                 regional collaboration with a local
                                                include, but are not limited to                         to track such children what with all the              government. In addition, HUD has
                                                recreational facilities, libraries, and                 different schooling options (public,                  stated that the basic structure of the
                                                parks. Variance in the comparative                      private, charter, etc.). The commenter                Assessment Tool for Local Governments
                                                quality and array of municipal and state                recommended HUD reconsider the                        would be illustrative of the questions
                                                services across neighborhoods impacts                   approach to overlaying education and                  that will be asked of all program
                                                fair housing choice.’’ HUD also notes in                housing data to facilitate data collection            participants. See 80 FR 42,109 (July 16,
                                                response to the issue of cost of water                  for a meaningful AFH in this type of                  2015).
                                                and sanitation services that the data                   collaboration.
                                                provided for housing cost burden                           Another commenter recommended                      V. Overview of Information Collection
                                                includes the cost of utilities.                         that for jurisdictions coming together in                Under the PRA, HUD is required to
                                                   In addition to the specific questions                a regional collaboration, a supplemental              report the following:
                                                relating to data issues, HUD also                       section to be completed separately by                    Title of Proposal: Assessment of
                                                solicited public feedback on the                        each jurisdiction in the regional AFH,                FairHousing Tool.
                                                following specific question: Should                     that indicates that jurisdiction’s role in               OMB Control Number, if applicable:
                                                HUD make any other changes to the                       the fair housing issues identified, and               2529–0054.
                                                Local Government Assessment Tool to                     specific goals that each jurisdiction can                Description of the need for the
                                                facilitate joint or regional collaboration              take to contribute to the regional goals              information and proposed use: The
                                                or facilitate a meaningful fair housing                 identified in the regional AFH.                       purpose of HUD’s Affirmatively
                                                analysis and priority and goal setting?                    Some commenters were concerned                     Furthering Fair Housing (AFFH) final
                                                   Comments: A few commenters                           about the lists of potential contributing             rule is to provide HUD program
                                                responded to this question stating no—                  factors, stating that by including this               participants with a more effective
                                                that collaboration needs time to form on                list, HUD introduces predisposed biases               approach to fair housing planning so
                                                its own, and that pushing grantees                      and assumes a Fair Housing Impact that                that they are better able to meet their
                                                towards collaboration is not helpful or                 may or may not exist. A mere                          statutory duty to affirmatively further
                                                useful. The commenters stated that, in                  correlation to contributing factors does              fair housing. In this regard, the final rule
                                                particular, first round grantees will have                                                                    requires HUD program participants to
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                                                                                                        not necessarily cause decreased access
                                                little time to focus on collaboration, and              to opportunity.                                       conduct and submit an AFH. In the
                                                regionalism is not related to the courts                   A commenter stated that the Local                  AFH, program participants must
                                                disparate impact decision. The                          Government Assessment Tool should be                  identify and evaluate fair housing
                                                commenters stated that regional                         conformed to the PHA Assessment Tool.                 issues, and factors significantly
                                                collaboration means more centralized                    The commenter stated that if a local                  contributing to fair housing issues
                                                government planning and reduction of                    government takes the lead in a regional               (contributing factors) in the program
                                                local government authority. The                         consortium, or with its local PHA, it                 participant’s jurisdiction and region.


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                                                57608                                Federal Register / Vol. 81, No. 163 / Tuesday, August 23, 2016 / Notices

                                                   The Assessment Tool is the                                         contributing factors, and setting                                           their own AFH, and any PHAs that
                                                standardized document designed to aid                                 meaningful fair housing goals and                                           choose to partner with such local
                                                program participants in conducting the                                priorities to overcome them.                                                governments.
                                                required assessment of fair housing                                     Agency form numbers, if applicable:                                         Estimation of the total numbers of
                                                issues and contributing factors and                                   Not applicable.
                                                                                                                                                                                                  hours needed to prepare the information
                                                priority and goal setting. The                                          Members of affected public: As noted
                                                                                                                      earlier in this document, local                                             collection including number of
                                                Assessment Tool asks a series of
                                                questions that program participants                                   governments that receive CDBG, HOME,                                        respondents, frequency of response, and
                                                must respond to in carrying out an                                    ESG, or HOPWA formula funding from                                          hours of response.
                                                assessment of fair housing issues and                                 HUD when conducting and submitting                                            Please see table below.

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

                                                CFR Section Reference:                        2,294 total entities (1,194                                        1     Once every five years (or
                                                 § 5.154(d) (Assessment of                      Entitlement Jurisdictions                                                 three years in the case of
                                                 Fair Housing)..                                and approximately 1,100                                                   3- Year Consolidated
                                                                                                PHAs) *.                                                                  Plans) **.
                                                Entitlement Jurisdiction ..........           1,194 .....................................   ........................   ...............................................               *** 240            286,560
                                                PHAs .....................................    1,100 .....................................   ........................   ...............................................              **** 120            132,000

                                                      Total ...............................   2,294 .....................................   ........................   ...............................................   ........................       418,560
                                                   * This template is primarily designed for local government program participants, of which there are approximately 1,194, and PHAs seeking to
                                                join with local governments on a jointly submitted AFH. The estimate of 1,100 PHA joint partners is a modest decrease from the previous esti-
                                                mate of 1,314 PHAs that was included in the 60-Day PRA Notice. This change is discussed in more detail below.
                                                   There are 3,942 PHAs, and HUD estimates that approximately 1,100 of PHAs may seek to join with a local government and submit a joint
                                                AFH. The Total Number of responses for local government entitlement jurisdictions includes all 1,194 such agencies. The total hours and burden
                                                are based on the total estimated number of both types of program participants and the ‘‘estimated average time’’ listed for type of program par-
                                                ticipant.
                                                   ** The timing of submission depends upon whether a local government program participant submits its consolidated plan every 3 years or
                                                every 5 years.
                                                   *** The estimate of 240 hours is an average across all local government program participants, with some having either higher or lower actual
                                                burden.
                                                   **** PHAs participating in joint submissions using the Assessment Tool under this notice are assumed to have some fixed costs, including staff
                                                training, conducting community participation costs, but reduced costs for conducting the analysis in the assessment itself.


                                                Comparison of Burden Estimate With                                    pdf/FR-5173-P-01_Affirmatively_                                             ‘‘insert’’ for local government agencies
                                                Estimate From the 60-Day Notice                                       Furthering_Fair_Housing_RIA.pdf).                                           that choose to partner with another local
                                                                                                                         Smaller agencies are estimated to                                        government acting as a lead entity for a
                                                   The total estimated burden of 418,560                              have lower costs, based on both the                                         joint or regional partnership. For
                                                hours is a reduction from the estimate                                required scope of analysis and scope of                                     purposes of estimating burden hours, all
                                                of 444,240 total hours that was included                              their responsibilities and program                                          local government agencies, including
                                                in the 60-Day PRA Notice for this                                     resources. All agencies however will                                        those that might use this new
                                                assessment tool. All of the reduction is                              have some fixed costs, including for                                        streamlined ‘‘insert’’ assessment, are
                                                attributable to a revision of the estimate                            training for staff and conducting                                           included in the overall average burden
                                                of the number of public housing                                       community participation. HUD will                                           estimate applied to all 1,194
                                                agencies that are estimated to enter into                             continue to provide additional                                              consolidated planning agencies. Smaller
                                                joint partnerships using this tool, rather                            assistance including training materials,                                    local governments are already estimated
                                                than any revision in the estimated                                    resources and opportunities. HUD’s goal                                     to have lower costs within that average
                                                burden to be incurred by individual                                   is to help agencies in meeting the goal                                     to complete an assessment.
                                                agencies using the tool. This revision is                             of affirmatively furthering fair housing.
                                                                                                                         HUD reiterates the commitment it                                         Joint and Regional Cooperation
                                                discussed in more detail below.
                                                                                                                      made in the December 31, 2015 Notice                                           As mission-dedicated public agencies,
                                                Note on Costs for Smaller Agencies                                    announcing the initial one-year                                             all types of housing and community
                                                                                                                      implementation period for the local                                         development agencies share a common
                                                   HUD acknowledges that actual                                       government assessment tool, to:                                             purpose in providing affordable housing
                                                participation in joint and regional                                   ‘‘[Further address] program participant                                     to families and individuals most in need
                                                partnerships may differ from these                                    burden by providing data, guidance, and                                     and improving neighborhoods and
                                                initial estimates and may vary according                              technical assistance, and such                                              communities. While HUD recognizes
                                                to a variety of factors such as the                                                                                                               that there may be some benefit to
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                                                                                                                      assistance will occur throughout the
                                                availability of local or state agency                                 AFH process.’’                                                              agencies in terms of cost sharing to
                                                potential joint participants. For more                                   HUD has also added a significant new                                     complete planning requirements, HUD
                                                information on the range of costs, see                                option that is intended to reduce burden                                    acknowledges that the primary benefits
                                                the Regulatory Impact Analysis that was                               for smaller consolidated planning                                           of joint participation may likely not be
                                                issued by HUD to accompany the AFFH                                   agencies while assisting them in                                            directly related to such administrative
                                                Proposed Rule. (Available at https://                                 affirmatively furthering fair housing.                                      considerations. Indeed, cross-agency
                                                www.huduser.gov/portal/publications/                                  This is the streamlined assessment                                          collaboration entails its own costs,


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                                                                                       Federal Register / Vol. 81, No. 163 / Tuesday, August 23, 2016 / Notices                                                                                                     57609

                                                including additional staff time for                                            (1) HUD has added new option for                                         will be for use by QPHAs opting to
                                                communication and coordination.                                             QPHAs, to match the approach already                                        submit an AFH on their own or with
                                                Rather, the benefits are more likely to                                     presented in the State Assessment Tool                                      other QPHAs in a joint collaboration.
                                                result from identifying common shared                                       as issued for the 60-Day PRA Notice, to                                       (3) Public feedback received on all
                                                issues, contributing factors, concerns,                                     facilitate joint partnerships with Local                                    three assessment tools combined with
                                                obstacles, goals, and strategies and                                        Governments or other PHAs using a                                           refinements to the HUD burden
                                                actions, in order to better meet their                                      streamlined ‘‘insert’’ assessment. Using                                    estimate.
                                                shared mission and improve program                                          this option, it is expected that the                                          Based on these considerations, HUD
                                                outcomes. Some objectives may also be                                       analysis of the QPHA’s region would be                                      has refined the estimate of PHAs that
                                                better met through coordinating                                             met by the overall AFH submission,                                          would be likely to enter into joint
                                                program activities and impact across                                        provided the QPHA’s service area is                                         collaborations with potential lead
                                                jurisdictional boundaries. There may                                        within the jurisdictional and regional                                      entities. In general, PHAs are estimated
                                                also be other indirect benefits from                                        scope of the local government’s                                             to be most likely to partner with a local
                                                interagency coordination and                                                Assessment of Fair Housing, with the                                        government, next most likely to join
                                                communication and information sharing                                       QPHA responsible for answering the                                          with another PHA and least likely to
                                                that are not easily quantified.                                             specific questions for its own programs                                     join with a State agency.
                                                                                                                            and service area included in the insert.                                      While all PHAs, regardless of size or
                                                Explanation of Revision in PHA
                                                                                                                               (2) HUD’s commitment to issuing a                                        location are able and encouraged to join
                                                Participation Estimates
                                                                                                                            separate assessment tool specifically for                                   with State agencies, for purposes of
                                                  HUD is including the following                                            QPHAs that will be issued using a                                           estimating burden hours, the PHAs that
                                                information in the 30-Day PRA Notices                                       separate public notice and comment                                          are assumed to be most likely to partner
                                                for all three of the assessment tools that                                  Paperwork Reduction Act process. This                                       with States are QPHAs that are located
                                                are currently undergoing public notice                                      QPHA assessment tool would be                                               outside of CBSAs.
                                                and comment. The information is                                             available as an option for these agencies                                     Under these assumptions,
                                                intended to facilitate public review of                                     to submit an AFH rather than using one                                      approximately one-third of QPHAs are
                                                HUD’s burden estimates. HUD is                                              of the other assessment tools. HUD                                          estimated to use the QHPA template
                                                revising its burden estimates for PHAs,                                     assumes that many QPHAs would take                                          that will be developed by HUD
                                                including how many agencies will join                                       advantage of this option, particularly                                      specifically for their use (as lead entities
                                                with other entities (i.e. with State                                        those QPHAs that may not be able to                                         and/or as joint participants), and
                                                agencies, local governments, or with                                        enter into a joint or regional                                              approximately two-thirds are estimated
                                                other PHAs), from the initial estimates                                     collaboration with another partner. HUD                                     to enter into joint partnerships using
                                                included in the 60-Day PRA Notices for                                      is committing to working with QPHAs                                         one of the QPHA streamlined
                                                the three assessment tools. These                                           in the implementation of the AFFH                                           assessment ‘‘inserts’’ available under the
                                                revisions are based on several key                                          Rule. This additional assessment tool to                                    three existing tools. These estimates are
                                                changes and considerations:                                                 be developed by HUD with public input                                       outlined in the following table:

                                                                             OVERVIEW OF ESTIMATED PHA LEAD ENTITIES AND JOINT PARTICIPANT COLLABORATIONS
                                                                                                                                                                            QPHA                         QPHA                   PHA (non-Q)                      Total
                                                                                                                                                                         Outside CBSA                Inside CBSA

                                                PHA Assessment Tool                                                                                                      ........................   ........................   ........................   ........................
                                                    (PHA acting as lead entity) .......................................................................                                        x                          x                      814                        814
                                                    joint partner using PHA template .............................................................                                             x                      300                        100                        400
                                                Local Government Assessment Tool (# of PHA joint collaborations) .............                                                                 x                      900                        200                     1,100
                                                State Assessment Tool (# of PHA joint collaborations) ..................................                                                   665                            x                          x                      665

                                                   subtotal .....................................................................................................                         665                      1,200                      1,114       ........................
                                                QPHA template ................................................................................................                            358                        605       ........................                     963

                                                      Total ..........................................................................................................                 1,023                       1,805       ........................                 3,942



                                                Solicitation of Specific Comment on the                                     jurisdiction to the demographics of the                                     and the factors that play a significant
                                                Local Government Assessment Tool                                            same category in the region.’’                                              role in contributing to them.
                                                                                                                               The proposed new question is                                                HUD seeks feedback on the utility of
                                                  HUD specifically requests comment                                                                                                                     the proposed new question as well as
                                                on the following subject:                                                   designed to assist program participants
                                                                                                                                                                                                        any alternative proposals for analyzing
                                                  HUD has added the following new                                           in conducting a regional analysis of fair                                   fair housing issues and contributing
                                                question (noted in underline)                                               housing issues and contributing factors                                     factors using assisted housing tenant
                                                  ‘‘Are certain racial/ethnic groups                                        related to publicly supported housing to                                    characteristics at a regional level.
                                                more likely to be residing in one                                           inform goal setting and fair housing                                           HUD seeks to provide questions that
                                                category of publicly supported housing                                      planning. As a reminder, fair housing
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                                                                                                                                                                                                        will help program participants conduct
                                                than other categories (public housing,                                      issues include segregation, racially or                                     a meaningful analysis of fair housing
                                                project-based Section 8, Other HUD                                          ethnically concentrated areas of poverty,                                   issues from a regional perspective to
                                                Multifamily Assisted developments, and                                      disparities in access to opportunity, and                                   inform goal setting and effective fair
                                                Housing Choice Voucher (HCV)) in the                                        disproportionate housing needs.                                             housing planning. Commenters should
                                                jurisdiction? Compare the racial/ethnic                                     Questions are intended to help program                                      bear in mind the HUD provided data for
                                                demographics of each category of                                            participants analyze fair housing issues                                    regional analysis are provided at the
                                                publicly supported housing for the                                                                                                                      CBSA level.


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                                                57610                        Federal Register / Vol. 81, No. 163 / Tuesday, August 23, 2016 / Notices

                                                Solicitation of Comment Required by                     to disparities in access to the particular            officials authorized to perform the
                                                the PRA                                                 opportunity assessed based on all of the              functions and duties of the Office of
                                                   In accordance with 5 CFR                             protected classes under the Fair                      General Counsel when, by reason of
                                                1320.8(d)(1), HUD is specifically                       Housing Act.                                          absence, disability, or vacancy in office,
                                                                                                          (8) Whether HUD should include any                  the General Counsel is not available to
                                                soliciting comment from members of the
                                                                                                        other contributing factors or amend any               exercise the powers or perform the
                                                public and affected program
                                                                                                        of the descriptions of the contributing               duties of the office. This Order of
                                                participants on the Assessment Tool on
                                                                                                        factors to more accurately assess fair                Succession is subject to the provisions
                                                the following:
                                                   (1) Whether the proposed collection                  housing issues affecting program                      of the Federal Vacancies Reform Act of
                                                of information is necessary for the                     participants’ jurisdictions and regions.              1998 (5 U.S.C. 3345–3349d). This
                                                proper performance of the functions of                  HUD encourages not only program                       publication supersedes all prior orders
                                                the agency, including whether the                       participants but interested persons to                of succession for the Office of General
                                                                                                        submit comments regarding the                         Counsel, including the Order of
                                                information will have practical utility;
                                                   (2) The accuracy of the agency’s                     information collection requirements in                Succession notice published on July 29,
                                                estimate of the burden of the proposed                  this proposal. Comments must be                       2011 (76 FR 45599).
                                                                                                        received by September 22, 2016 to                       Accordingly, the General Counsel
                                                collection of information;
                                                                                                        www.regulations.gov as provided under                 designates the following Order of
                                                   (3) Ways to enhance the quality,
                                                                                                        the ADDRESSES section of this notice.                 Succession:
                                                utility, and clarity of the information to
                                                be collected; and                                       Comments must refer to the proposal by                Section A. Order of Succession
                                                   (4) Ways to minimize the burden of                   name and docket number (FR–5173–N–
                                                                                                        10–A).                                                   Subject to the provisions of the
                                                the collection of information on those                                                                        Federal Vacancies Reform Act of 1998,
                                                who are to respond, including through                     HUD encourages interested parties to
                                                                                                        submit comment in response to these                   during any period when, by reason of
                                                the use of appropriate automated                                                                              absence, disability, or vacancy in office,
                                                collection techniques or other forms of                 questions.
                                                                                                                                                              the General Counsel for the Department
                                                information technology, e.g., permitting                  Dated: August 17, 2016.                             of Housing and Urban Development is
                                                electronic submission of responses.                     Inez C. Downs,                                        not available to exercise the powers or
                                                   (6) Whether the inclusion of the                     Department Reports Management Officer,                perform the duties of the General
                                                ‘‘inserts’’ for Qualified PHAs (QPHAs)                  Office of the Chief Information Officer.              Counsel, the following officials within
                                                and small program participants will                     [FR Doc. 2016–20125 Filed 8–22–16; 8:45 am]           the Office of General Counsel are hereby
                                                facilitate collaboration between local                  BILLING CODE 4210–67–P                                designated to exercise the powers and
                                                governments and these program                                                                                 perform the duties of the Office. No
                                                participants and whether these entities                                                                       individual who is serving in an office
                                                anticipate collaborating to conduct and                 DEPARTMENT OF HOUSING AND                             listed below in an acting capacity may
                                                submit a joint or regional AFH. Please                  URBAN DEVELOPMENT                                     act as the General Counsel pursuant to
                                                note any changes to these inserts that (a)                                                                    this Order of Succession.
                                                                                                        [Docket No. FR–5966–D–01]
                                                would better facilitate collaboration; (b)                                                                       (1) Principal Deputy General Counsel;
                                                provide for a more robust and                           Order of Succession for Office of                        (2) Deputy General Counsel for
                                                meaningful fair housing analysis; and                   General Counsel                                       Enforcement and Fair Housing;
                                                (c) encourage collaboration among these                                                                          (3) Deputy General Counsel for
                                                program participants that do not                        AGENCY:    Office of General Counsel,                 Operations;
                                                anticipate collaborating at this time.                  HUD.                                                     (4) Deputy General Counsel for
                                                   (7) Whether HUD’s change to the                      ACTION:   Notice of Order of Succession.              Housing Programs;
                                                structure and content of the questions in                                                                        (5) Associate General Counsel for
                                                the Disparities in Access to Opportunity                SUMMARY:   In this notice, the General                Finance and Administrative Law;
                                                section with respect to the protected                   Counsel for the Department of Housing                    (6) Associate General Counsel for
                                                class groups that program participants                  and Urban Development designates the                  Insured Housing;
                                                must analyze is sufficiently clear and                  Order of Succession for the Office of                    (7) Associate General Counsel for
                                                will yield a meaningful fair housing                    General Counsel. This Order of                        Assisted Housing and Community
                                                analysis. Additionally, HUD specifically                Succession supersedes all prior orders                Development;
                                                solicits comment on whether an                          of succession for the Office of General                  (8) Associate General Counsel for
                                                appropriate fair housing analysis can                   Counsel, including the Order of                       Litigation;
                                                                                                        Succession published on July 29, 2011.                   (9) Associate General Counsel for
                                                and will be conducted if the other
                                                                                                        DATES: Effective Date: August 17, 2016.               Program Enforcement;
                                                protected class groups are assessed only                                                                         (10) Associate General Counsel for
                                                in the ‘‘Additional Information’’                       FOR FURTHER INFORMATION CONTACT: John
                                                                                                                                                              Fair Housing;
                                                question at the end of the section, as                  B. Shumway, Assistant General Counsel                    (11) Associate General Counsel for
                                                opposed to in each subsection and                       for Administrative Law, Office of                     Legislation and Regulations;
                                                question in the larger Disparities in                   General Counsel, Department of                           (12) Associate General Counsel for
                                                Access to Opportunity section. HUD                      Housing and Urban Development, 451                    Ethics, Appeals and Personnel Law;
                                                also requests comment on whether it                     7th Street SW., Room 9262, Washington,                   (13) Regional Counsel, Region IV;
                                                would be most efficient for program                     DC 20410–0500; telephone number 202–                     (14) Regional Counsel, Region V.
                                                participants to have the protected class                402–5190. (This is not a toll-free                       These officials shall perform the
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                                                groups specified in each question in this               number.) This number may be accessed                  functions and duties of the office in the
                                                section. If so, please provide an                       through TTY by calling the toll-free                  order specified herein, and no official
                                                explanation. Alternatively, HUD                         Federal Relay Service at 800–877–8339.                shall serve unless all the other officials,
                                                requests comment on whether each                        SUPPLEMENTARY INFORMATION: The                        whose position titles precede his/hers in
                                                subsection within the Disparities in                    General Counsel for the Department of                 this order, are unable to act by reason
                                                Access to Opportunity section should                    Housing and Urban Development is                      of absence, disability, or vacancy in
                                                include an additional question related                  issuing this Order of Succession of                   office.


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Document Created: 2018-02-09 11:39:53
Document Modified: 2018-02-09 11:39:53
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionNotices
ActionNotice.
DatesComment Due Date: September 22, 2016.
ContactDustin Parks, Office of Fair Housing and Equal Opportunity, Department of Housing and Urban Development, 451 7th Street SW., Room 5249, Washington, DC 20410; telephone number 866- 234-2689 (toll-free). Individuals with hearing or speech impediments may access this number via TTY by calling the toll-free Federal Relay Service during working hours at 1-800-877-8339.
FR Citation81 FR 57601 

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