82_FR_4072 82 FR 4064 - Establishing a Deductible for FEMA's Public Assistance Program

82 FR 4064 - Establishing a Deductible for FEMA's Public Assistance Program

DEPARTMENT OF HOMELAND SECURITY
Federal Emergency Management Agency

Federal Register Volume 82, Issue 8 (January 12, 2017)

Page Range4064-4097
FR Document2017-00467

The Federal Emergency Management Agency (FEMA) is considering implementing a Public Assistance deductible that would condition States' receipt of FEMA reimbursement for the repair and replacement of public infrastructure damaged by a disaster event. The primary intent of the deductible concept is to incentivize greater State resilience to future disasters, thereby reducing future disaster costs nationally. On January 20, 2016, FEMA (the Agency) published an Advance Notice of Proposed Rulemaking (ANPRM) seeking comment on a Public Assistance deductible concept. The ANPRM provided a general description of the concept that many commenters found insufficient to provide meaningful comment. In an effort to offer the public a more detailed deductible concept upon which to provide additional feedback, the Agency is issuing a supplemental ANPRM (SANPRM) that presents a conceptual deductible program, including a methodology for calculating deductible amounts based on a combination of each State's fiscal capacity and disaster risk, a proposed credit structure to reward States for undertaking resilience-building activities, and a description of how FEMA could consider implementing the program. At this stage of the rulemaking process, the deductible remains only something that FEMA is considering. The policy conceived of in this document is not a proposal. In this document, FEMA is providing what is merely a description of a direction FEMA could take in future rulemaking in an effort to solicit further feedback from the public. After considering the comments it receives, or as a result of other factors, FEMA may expand on or redevelop this concept.

Federal Register, Volume 82 Issue 8 (Thursday, January 12, 2017)
[Federal Register Volume 82, Number 8 (Thursday, January 12, 2017)]
[Proposed Rules]
[Pages 4064-4097]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-00467]



[[Page 4063]]

Vol. 82

Thursday,

No. 8

January 12, 2017

Part IV





Department of Homeland Security





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Federal Emergency Management Agency





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44 CFR Part 206





Establishing a Deductible for FEMA's Public Assistance Program; 
Proposed Rule

Federal Register / Vol. 82 , No. 8 / Thursday, January 12, 2017 / 
Proposed Rules

[[Page 4064]]


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DEPARTMENT OF HOMELAND SECURITY

Federal Emergency Management Agency

44 CFR Part 206

[Docket ID FEMA-2016-0003]
RIN 1660-AA84


Establishing a Deductible for FEMA's Public Assistance Program

AGENCY: Federal Emergency Management Agency, DHS.

ACTION: Supplemental advance notice of proposed rulemaking.

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SUMMARY: The Federal Emergency Management Agency (FEMA) is considering 
implementing a Public Assistance deductible that would condition 
States' receipt of FEMA reimbursement for the repair and replacement of 
public infrastructure damaged by a disaster event. The primary intent 
of the deductible concept is to incentivize greater State resilience to 
future disasters, thereby reducing future disaster costs nationally. On 
January 20, 2016, FEMA (the Agency) published an Advance Notice of 
Proposed Rulemaking (ANPRM) seeking comment on a Public Assistance 
deductible concept. The ANPRM provided a general description of the 
concept that many commenters found insufficient to provide meaningful 
comment. In an effort to offer the public a more detailed deductible 
concept upon which to provide additional feedback, the Agency is 
issuing a supplemental ANPRM (SANPRM) that presents a conceptual 
deductible program, including a methodology for calculating deductible 
amounts based on a combination of each State's fiscal capacity and 
disaster risk, a proposed credit structure to reward States for 
undertaking resilience-building activities, and a description of how 
FEMA could consider implementing the program. At this stage of the 
rulemaking process, the deductible remains only something that FEMA is 
considering. The policy conceived of in this document is not a 
proposal. In this document, FEMA is providing what is merely a 
description of a direction FEMA could take in future rulemaking in an 
effort to solicit further feedback from the public. After considering 
the comments it receives, or as a result of other factors, FEMA may 
expand on or redevelop this concept.

DATES: Comments must be submitted by April 12, 2017.

ADDRESSES: You may submit comments, identified by Docket ID FEMA-2016-
0003, by one of the following methods:
    Federal eRulemaking Portal: http://www.regulations.gov. Follow the 
instructions for submitting comments.
    Mail/Hand Delivery/Courier: Regulatory Affairs Division, Office of 
Chief Counsel, Federal Emergency Management Agency, 8NE, 500 C Street 
SW., Washington, DC 20472.

FOR FURTHER INFORMATION CONTACT: Jotham Allen, Federal Emergency 
Management Agency, 500 C Street SW., Washington, DC 20472, 202-646-
1957.

SUPPLEMENTARY INFORMATION: 

I. Public Participation

    We encourage you to participate in this rulemaking by submitting 
comments and related materials. We will consider all comments and 
material received during the comment period.
    If you submit a comment, identify the agency name and the docket ID 
for this rulemaking, indicate the specific section of this document to 
which each comment applies, and give the reason for each comment. You 
may submit your comments and material by electronic means, mail, or 
delivery to the address under the ADDRESSES section. Please submit your 
comments and material by only one means.
    Regardless of the method used for submitting comments or material, 
all submissions will be posted, without change, to the Federal e-
Rulemaking Portal at http://www.regulations.gov, and will include any 
personal information you provide. Therefore, submitting this 
information makes it public. You may wish to read the Privacy Act 
notice that is available via a link on the homepage of 
www.regulations.gov.
    Viewing comments and documents: For access to the docket to read 
supporting documents, a supplemental guidance document, and an annual 
notice template, and comments received, go to the Federal e-Rulemaking 
Portal at http://www.regulations.gov. Background documents and 
submitted comments may also be inspected at FEMA, Office of Chief 
Counsel, 500 C Street SW., Washington, DC 20472-3100.

II. Executive Summary

    On January 20, 2016, FEMA published an Advance Notice of Proposed 
Rulemaking (ANPRM), 81 FR 3082, seeking comment on a concept that would 
incorporate a deductible requirement into the Public Assistance 
program. The ANPRM provided a general description of this concept, 
followed by a list of questions for the public, the answers to which 
would help FEMA assess all aspects of the deductible concept, including 
how to calculate the deductible, the scope of the deductible, how to 
satisfy the deductible, how this concept could influence change, 
implementation considerations and an estimated impact. With input 
received from the ANPRM, FEMA has developed a more detailed potential 
deductible concept and seeks further public comment via this SANPRM. 
The goal of this SANPRM is to gather additional public comment about 
the specific aspects of a programmatic approach that the Agency 
recognizes would represent a change to the existing Federal disaster 
support system.
    The Public Assistance deductible would condition the States' 
receipt of FEMA reimbursement for the permanent repair and replacement 
of public infrastructure damaged by a disaster event. FEMA believes the 
deductible requirement could incentivize State risk reduction efforts, 
mitigate future disaster impacts, and lower recovery costs for the 
whole community. In addition, the deductible requirement addresses 
concerns raised by Members of Congress, the Government Accountability 
Office (GAO), and the Department of Homeland Security's Office of the 
Inspector General (DHS OIG) over the last several years, and 
potentially addresses concerns that the current disaster declaration 
process inadequately assesses State capacity to respond to and recover 
from a disaster without Federal assistance.
    In this SANPRM, FEMA is presenting a model, or potential, 
deductible program to provide more specifics of what the deductible 
requirement may entail for detailed public feedback. Detailed public 
comments on this potential program, in particular on the methodologies 
for calculating each State's deductible and the estimates for each 
State's projected credits, could assist FEMA in the development of a 
future proposed rule.
    Under the deductible concept, each State would be expected to 
expend a predetermined, annual amount of its own funds on emergency 
management and disaster costs before FEMA would provide Public 
Assistance for the repair and replacement of public infrastructure 
damaged by a disaster event. This annually predetermined amount is the 
State's deductible. However, satisfying the deductible would not be 
required before FEMA would provide assistance for other types of 
assistance, such as debris removal or emergency protective measures. 
Importantly, States may

[[Page 4065]]

choose to earn credits toward satisfying their deductible through a 
variety of activities that could reduce risk and improve preparedness, 
thereby reducing future disaster costs to both the State and Federal 
government.
    FEMA could calculate annually the deductible amount (in dollars) 
for each State based on an index of State risk and fiscal capacity. 
FEMA anticipates a scaled implementation of a deductible requirement 
over a yet-to-be-determined period of years with starting deductibles 
in year one as follows in Table 1:
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    \1\ For a full explanation of how the first year starting 
deductibles could be calculated under this model program, please 
refer to Section V, Subsections A-F of this notice.

       Table 1--First Year Starting Deductibles Before Credits \1\
------------------------------------------------------------------------
            First year starting deductibles  (before credits)
-------------------------------------------------------------------------
                                                         Year 1 starting
                         State                           deductible (in
                                                            millions)
------------------------------------------------------------------------
Alabama...............................................             $6.74
Alaska................................................              1.00
Arizona...............................................              9.01
Arkansas..............................................              4.11
California............................................             52.53
Colorado..............................................              7.08
Connecticut...........................................              5.04
Delaware..............................................              1.27
Florida...............................................             26.51
Georgia...............................................             13.66
Hawaii................................................              1.92
Idaho.................................................              2.21
Illinois..............................................             14.43
Indiana...............................................              9.14
Iowa..................................................              4.30
Kansas................................................              4.02
Kentucky..............................................              6.12
Louisiana.............................................              6.39
Maine.................................................              1.87
Maryland..............................................              8.14
Massachusetts.........................................              9.23
Michigan..............................................             13.94
Minnesota.............................................              7.48
Mississippi...........................................              4.18
Missouri..............................................              8.44
Montana...............................................              1.40
Nebraska..............................................              2.58
Nevada................................................              3.81
New Hampshire.........................................              1.86
New Jersey............................................             12.40
New Mexico............................................              2.90
New York..............................................             27.32
North Carolina........................................             13.45
North Dakota..........................................              1.00
Ohio..................................................             16.27
Oklahoma..............................................              5.29
Oregon................................................              5.40
Pennsylvania..........................................             17.91
Rhode Island..........................................              1.48
South Carolina........................................              6.52
South Dakota..........................................              1.15
Tennessee.............................................              8.95
Texas.................................................             35.46
Utah..................................................              3.90
Vermont...............................................              1.00
Virginia..............................................             11.28
Washington............................................              9.48
West Virginia.........................................              2.61
Wisconsin.............................................              8.02
Wyoming...............................................              1.00
------------------------------------------------------------------------

    To offset the deductible requirement, FEMA could provide each State 
with an opportunity to apply for credits. The credits could incentivize 
States to dedicate resources on activities that are demonstrated to 
promote and support readiness, preparedness, mitigation, and 
resilience. Such activities could include adopting and enforcing 
building codes that promote disaster resilience, funding mitigation 
projects, or investing in disaster relief, insurance, and emergency 
management programs. FEMA believes that every State is already 
undertaking activities that would qualify them for credits and reduce 
their deductible requirement, such as investing in mitigation projects 
or granting tax incentives for projects that reduce risk. Based on 
FEMA's projection of possible credits for activities each State is 
presently engaged in, FEMA estimates a potential adjusted deductible 
requirement in year one as follows in Table 2:
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    \2\ For a full explanation of how each State's projected credits 
were calculated and how those credits impacted the projected first 
year's final deductibles under this model program, please refer to 
Section V, Subsections G-H of this notice.

 Table 2--Potential First Year Final Deductibles Adjusted for Projected
                               Credits \2\
------------------------------------------------------------------------
   Potential first year ``final'' deductibles (adjusted for projected
                                credits)
-------------------------------------------------------------------------
                                                            ``Final''
                                                            adjusted
                         State                           deductible (in
                                                            millions)
------------------------------------------------------------------------
Alabama...............................................              5.01
Alaska................................................              0.74
Arizona...............................................              4.88
Arkansas..............................................              2.49
California............................................              7.63
Colorado..............................................              5.24
Connecticut...........................................              3.72
Delaware..............................................              0.94
Florida...............................................             10.85
Georgia...............................................              9.99
Hawaii................................................              1.68
Idaho.................................................              1.66
Illinois..............................................              3.47
Indiana...............................................              2.81
Iowa..................................................              1.70
Kansas................................................              3.45
Kentucky..............................................              4.65
Louisiana.............................................              5.57
Maine.................................................              1.46
Maryland..............................................              5.78
Massachusetts.........................................              5.11
Michigan..............................................              8.53
Minnesota.............................................              1.25
Mississippi...........................................              2.51
Missouri..............................................              4.78
Montana...............................................              0.77
Nebraska..............................................              1.52
Nevada................................................              2.03
New Hampshire.........................................              0.91
New Jersey............................................              4.89
New Mexico............................................              2.02
New York..............................................             19.59
North Carolina........................................              2.48
North Dakota..........................................              0.30
Ohio..................................................             11.75
Oklahoma..............................................              3.33
Oregon................................................              3.91
Pennsylvania..........................................              5.52
Rhode Island..........................................              1.20
South Carolina........................................              4.92
South Dakota..........................................              0.92
Tennessee.............................................              7.06
Texas.................................................             26.99
Utah..................................................              1.99
Vermont...............................................              0.63
Virginia..............................................              4.89
Washington............................................              8.91
West Virginia.........................................              1.91
Wisconsin.............................................              6.17
Wyoming...............................................              0.71
------------------------------------------------------------------------

    Under the deductible concept, FEMA would continue to recommend 
whether a State should receive a major disaster declaration pursuant to 
the current factors outlined in Federal policy (44 CFR 206.48(a)). If a 
State receives a major disaster declaration authorizing Public 
Assistance reimbursement, the State would then be required to first 
satisfy its annual deductible requirement (as adjusted by credits) 
before FEMA would provide reimbursement for Public Assistance permanent 
work. If a State has not fully satisfied its deductible through earned 
credits, following a major disaster declaration the State would then 
identify one or more permanent work projects proposed under the 
disaster declaration to satisfy the remaining deductible amount (i.e., 
the State chooses the selected project(s) and the project(s) would be 
ineligible for FEMA assistance). In order to ensure timely

[[Page 4066]]

and complete response to the evacuation and immediate protection of 
life and property, FEMA would fund eligible emergency protective 
measures and debris removal regardless of whether or not the State has 
met its deductible requirement.
    FEMA could implement the deductible program by regulation, 
supplemented by a guidance document and annual notices. The regulation 
could set forth broadly that FEMA will annually calculate deductible 
and credit amounts and could describe how a deductible requirement 
could be applied post-declaration. The guidance document could set 
forth more specifically the annual schedule, and how FEMA will 
calculate deductible and credit amounts, and the annual notice could 
provide FEMA's determination on State deductible amounts for the 
following year. A draft guidance document and example annual notice are 
included in the docket for this rulemaking at www.regulations.gov under 
docket ID FEMA-2016-0003 for public review and comment.
    Under this concept, FEMA would condition the provision of grant 
assistance for the permanent repair and replacement of building 
infrastructure that is damaged by a major disaster upon the State's 
meeting a Public Assistance deductible. It would not apply to any other 
form of FEMA assistance, including emergency assistance, Individual 
Assistance, or the Hazard Mitigation Grant Program. Since the Public 
Assistance deductible would condition States' receipt of FEMA funds, it 
would not apply to Indian Tribes, the District of Columbia, or US 
territories. The deductible would not change the official disaster 
declaration request process, or the factors that FEMA considers when 
making disaster declaration recommendations to the President.
    A deductible program could leverage FEMA's Public Assistance 
program to reward States for investing in readiness, preparedness, 
mitigation, and resilience, thereby increasing the nation's ability to 
reduce disaster impacts and costs for all levels of government, 
individuals, and the private sector. FEMA seeks comment on all details 
of this concept, especially regarding how the deductible could be 
calculated and the types and amounts of deductible credit that could be 
granted.

III. Background and Development of the Deductible Concept

    Although the Federal government has been providing supplemental 
disaster relief to States and localities since the early 1800s, the 
Disaster Relief Act of 1974,\3\ which was amended and renamed the 
Robert T. Stafford Disaster Relief and Emergency Assistance Act 
(Stafford Act) in 1988,\4\ formally established the foundation of the 
current disaster assistance system. Generally, FEMA directly provides 
or coordinates this assistance.
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    \3\ Disaster Relief Act of 1974, Public Law 93-288 (1974).
    \4\ Public Law 100-707 (1988). Robert T. Stafford Disaster 
Relief and Emergency Assistance Act, Public Law 93-288 (1974), as 
amended; 42 U.S.C. 5121 et seq.
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    Pursuant to this system, the Federal government provides various 
forms of financial and direct assistance following disasters. One of 
the primary types of support FEMA provides to affected jurisdictions is 
repair, restoration, and replacement assistance through the Public 
Assistance program.\5\ The Public Assistance program is FEMA's 
principal means for assisting jurisdictions that are financially 
overwhelmed by the costs of repairing, restoring, and replacing public 
facilities damaged by disasters, such as buildings, roads, bridges, and 
other types of publicly-owned infrastructure.
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    \5\ See 42 U.S.C. 5172.
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    On average, FEMA has distributed approximately $4.6 billion in 
grants each year through the Public Assistance program over the past 
decade. Of the nearly $60 billion awarded through the Public Assistance 
program between 2005 and 2014, over 65 percent was for eligible 
recovery projects termed ``permanent work'' and for project management 
costs. Permanent work includes expenses for repair, restoration, and 
replacement that are not related to debris removal or emergency 
protective measures.\6\
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    \6\ See 44 CFR 206.201(j).
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    Before an affected jurisdiction can receive funding through the 
Public Assistance program, the President of the United States must 
authorize it.\7\ The Governor typically makes a request through FEMA 
for a Presidential declaration of an emergency or major disaster 
authorizing the Public Assistance program.\8\ Upon receipt, FEMA is 
responsible for evaluating the Governor's request and providing a 
recommendation to the President regarding its disposition.\9\
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    \7\ See 42 U.S.C. 5170b, 5192; see also 44 CFR 206.38, 206.40.
    \8\ 42 U.S.C. 5170, 5191.
    \9\ See 44 CFR 206.37(c).
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    When considering a jurisdiction's request for a major disaster 
declaration authorizing the Public Assistance program, FEMA considers 
six factors.\10\ These factors include:
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    \10\ See 44 CFR 206.48(a).

    1. Estimated cost of the assistance; \11\
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    \11\ Id. at Sec.  206.48(a)(1).
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    2. Localized impacts; \12\
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    \12\ Id. at Sec.  206.48(a)(2).
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    3. Insurance coverage in force; \13\
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    \13\ Id. at Sec.  206.48(a)(3).
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    4. Hazard mitigation; \14\
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    \14\ Id. at Sec.  206.48(a)(4).
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    5. Recent multiple disasters; \15\ and
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    \15\ See 44 CFR 206.48(a)(5).
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    6. Programs of other Federal assistance.\16\
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    \16\ Id. at Sec.  206.48(a)(6).

FEMA evaluates every request with regard to each of these delineated 
factors, to the extent applicable. However, there is a very strong 
correlation between the first factor, estimated cost of the assistance, 
and the likelihood that FEMA will recommend that the President issue a 
major disaster declaration.
    Under the current system, if a State demonstrates that an incident 
has caused a certain level of damage to a State to address the damage 
caused, FEMA would likely recommend that the President declare a major 
disaster. A major disaster indicates that the President has determined 
that the incident has caused ``damage of sufficient severity and 
magnitude to warrant major disaster assistance under [the Stafford Act] 
to supplement the efforts and available resources of States, local 
governments, and disaster relief organizations in alleviating the 
damage, loss, hardship, or suffering caused thereby.'' \17\ 
Consequently, if the President declares a major disaster authorizing 
Public Assistance, FEMA will provide supplemental financial assistance 
grants, which pay for not less than 75 percent of eligible costs.\18\
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    \17\ 42 U.S.C. 5122(2) (defining a major disaster for purposes 
of the Act).
    \18\ 42 U.S.C. 5170b(b).
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    Conversely, if the President does not issue a major disaster 
declaration, the amount of damage is presumed to be within the 
capabilities of the affected jurisdictions and any supporting disaster 
relief organizations. In that case, the affected State is responsible 
for all of the costs of the incident, although the State will often 
pass many of the costs on to local jurisdictions. For example, under 
current regulations FEMA may determine a particular State based on its 
population is able to independently handle up to $1,000,000 in damage 
without the need for supplemental Federal assistance. Under the current 
approach, an incident need only identify damage at that amount to 
suggest that supplemental Federal assistance is needed. If the governor 
of that State requests a major disaster declaration for an incident 
causing $999,999 in damage, it is likely that

[[Page 4067]]

supplemental Federal assistance will not be authorized and the State 
will be responsible for the entirety of the loss. However, if instead 
the incident caused exactly $1,000,000 in damage, supplemental Federal 
assistance may be authorized and FEMA would provide reimbursement 
grants through the Public Assistance program for at least $750,000 (75 
percent of eligible costs). This has the effect of FEMA providing 
Public Assistance funding for activities and damage that are identified 
to be within State capabilities.
    Since 1986, FEMA has used a per capita indicator to compare the 
estimated cost of the incident and the capabilities of the requesting 
jurisdiction.\19\ This per capita indicator was originally set at $1.00 
per person and is based on the jurisdiction's decennial census 
population. FEMA selected $1.00 because it appeared at the time to be a 
reasonable portion of per capita personal income (PCPI) for a State to 
contribute towards the cost of a disaster.\20\ Collectively, this 
amount also ``correlate[d] closely to about one-tenth of one percent of 
estimated General Fund expenditures by States.'' \21\ The per capita 
indicator remained at $1.00 from 1986 until 1999 when FEMA began to add 
inflation to the value annually. FEMA did not, however, adjust the per 
capita indicator for inflation retroactively. Consequently, since 1999, 
the per capita indicator has risen to its 2016 value of $1.41.\22\
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    \19\ The per capita indicator is applied at the State level for 
major disaster declarations; however, a second indicator is also 
used at the local level to determine which counties are declared 
within the State.
    \20\ Disaster Assistance; Subpart C, the Declaration Process and 
State Commitments, 51 FR 13332, Apr. 18, 1986.
    \21\ Id.
    \22\ Notice of Adjustment of Statewide Per Capita Indicator, 80 
FR 61836, Oct. 14, 2015.
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    FEMA publishes the updated per capita indicator in the Federal 
Register each year. FEMA then multiplies the indicator by the State's 
most recent decennial population to determine the amount of damage that 
a State is expected to be able to independently manage without the need 
for supplemental Federal assistance. For example, if a State had a 
population at the time of the 2010 decennial census population of 
1,500,000, FEMA would multiply that by the 1.41 indicator and arrive at 
a State-level indicator of 2,115,000. In other words, FEMA would expect 
that the State would be able to handle at least 2,115,000 in eligible 
damage without the need for supplemental Federal assistance.
    FEMA has established, through regulation, a 1,000,000 minimum for 
any major disaster, regardless of the calculated indicator.\23\ The 
1,000,000 floor is not subject to inflationary adjustments. Although 
FEMA considers every request for a Presidential major disaster 
declaration in the light of each applicable regulatory factor, the 
probability of an incident being declared based on the amount of 
disaster damage and the State-specific per capita indicator has been 
over 80 percent for the past 10 years (494 of 589 declared major 
disasters). In other words, whether damage assessments find an amount 
of damage that meets or exceeds the Public Assistance per capita 
indicator is highly correlated to whether that State will ultimately 
receive supplemental Federal assistance for that incident.
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    \23\ 44 CFR 206.48(a)(1).
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    Since the per capita indicator was initially adopted in 1986, it 
has lost its relation to both of the metrics upon which it was first 
calculated. In 1986, PCPI in the United States was 11,687.\24\ By 2015, 
PCPI had risen to 48,112, an increase of over 300 percent.\25\ FEMA has 
applied inflation adjustments since 1999, and the per capita indicator 
has risen by just 41 percent over that same period.
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    \24\ See Disaster Assistance; Subpart C, the Declaration Process 
and State Commitments, 51 FR 13332, Apr. 18, 1986
    \25\ Per Capita Personal Income (PCPI) is calculated annually by 
the United States Department of Commerce's Bureau of Economic 
Analysis. The 2015 PCPI data is available at http://www.bea.gov/ 
iTable/iTable.cfm?reqid=70&step=1&isuri= 1&acrdn=6%20-
%20reqid=70&step=30&isuri=1& 7022=21&7023=0&7024=non-industry&7033=- 
1&7025=0&7026=00000&7027=2015&7001= 421&7028=3&7031=0&7040=-1&7083= 
levels&7029=21&7090=70#reqid=70&step= 
30&isuri=1&7022=21&7023=0&7024=non- industry&7033=-
1&7025=0&7026=00000&7027= 2015&7001=421&7028=3&7031=0&7040=- 
1&7083=levels&7029=21&7090=70. [1) Select Annual State Personal 
Income and Employment. 2) Select Personal Income, Population, Per 
Capita Personal Income, Disposable Personal Income, and Per Capita 
Disposable Personal Income (SA1, SA51). 3) Select SA1--Personal 
Income Summary: Personal Income, Population, Per Capita Personal 
Income. 4) Select United States, Levels, and Per Capita Personal 
Income (Dollars). 5) Select 2015.
---------------------------------------------------------------------------

    A retrospective analysis conducted by FEMA suggests that if the per 
capita indicator had kept pace with PCPI, 70 percent of the major 
disasters between 2005 and 2014 would not have been declared. This 
would have transferred all of the costs for 408 disasters to the 49 
States that would likely have each had at least one less major disaster 
declared. As an example, Missouri and Oklahoma would have each have had 
19 fewer major disasters declared.
    Overall, Public Assistance grants would have been reduced by 10 
percent had these 408 major disasters not been declared, resulting in 5 
billion dollars less in Federal disaster assistance to the States.\26\ 
Twenty-one States would have each received over 100 million less in 
Public Assistance, with California having received 761 million less, 
New York more than 600 million less, and Texas over 366 million less.
---------------------------------------------------------------------------

    \26\ Dollar amounts were adjusted to 2015 dollars (2015).
---------------------------------------------------------------------------

    Table 3 presents a State-by-State retrospective synopsis of the 
likely impacts a PCPI-adjusted per capita indicator would have had on 
declared major disasters between 2005 and 2014. To conduct this 
analysis, FEMA adjusted the per capita indicator for each year by 
multiplying the previous year's national per capita personal income 
value for each State by 0.0001. This maintains the 0.01% ratio of the 
per capita indicator to per capita personal income that FEMA noted when 
it established the original per capita indicator.

 Table 3--Impact of PCPI-Adjusted per Capita Indicator on Past Disaster
                                Activity
                               [2005-2014]
------------------------------------------------------------------------
                                                             Public
                                          Change in        assistance
                State                    numbers of      change (actual
                                          disasters         in 2015$)
------------------------------------------------------------------------
Alabama.............................               -12     -$156,634,854
Alaska..............................                -8       -16,686,176
Arizona.............................                -5       -32,864,734
Arkansas............................               -15      -105,560,705
California..........................               -12      -761,414,191
Colorado............................                -3       -12,035,081

[[Page 4068]]

 
Connecticut.........................                -4       -34,539,160
Delaware............................                -2        -2,734,920
Florida.............................                -7      -170,847,001
Georgia.............................                -5      -105,365,782
Hawaii..............................                -5       -19,758,046
Idaho...............................                -5       -11,113,622
Illinois............................               -11      -279,253,502
Indiana.............................                -8       -98,604,662
Iowa................................               -13      -103,292,537
Kansas..............................               -12       -74,419,056
Kentucky............................               -11       -98,057,973
Louisiana...........................                -6       -40,610,199
Maine...............................               -11       -31,102,969
Maryland............................                -7      -120,907,360
Massachusetts.......................                -7      -135,316,467
Michigan............................                -3       -36,000,794
Minnesota...........................               -10      -114,692,904
Mississippi.........................                -7       -37,337,169
Missouri............................               -19      -275,421,878
Montana.............................                -5       -11,589,893
Nebraska............................               -16       -67,235,065
Nevada..............................                -4       -15,984,383
New Hampshire.......................               -11       -39,448,267
New Jersey..........................               -11      -207,572,077
New Mexico..........................                -6       -37,173,106
New York............................               -15      -600,294,475
North Carolina......................                -8      -124,991,358
North Dakota........................                -6       -11,015,041
Ohio................................                -6      -131,629,728
Oklahoma............................               -19      -120,128,934
Oregon..............................                -8       -61,741,829
Pennsylvania........................                -7      -144,293,529
Rhode Island........................                -1          -641,448
South Carolina......................                -1       -12,859,770
South Dakota........................                -8       -11,791,000
Tennessee...........................               -13      -113,576,960
Texas...............................                -9      -366,759,151
Utah................................                -6       -33,421,146
Vermont.............................                -8       -10,790,332
Virginia............................                -8      -159,073,446
Washington..........................                -8      -158,351,021
West Virginia.......................               -10       -59,884,181
Wisconsin...........................                -6       -55,046,806
                                     -----------------------------------
    Total...........................              -408    -5,429,864,688
------------------------------------------------------------------------

    The Public Assistance per capita indicator has also fallen short of 
keeping pace with State general fund expenditures. According to the 
National Association of State Budget Officers (NASBO), State general 
fund spending in 2015 totaled 759.4 billion.\27\ Collectively, the 
States' per capita indicators equaled 435.3 million in 2015. 
Consequently, the relation of the per capita indicator to State general 
fund expenditures is just 57 percent of what it was in 1986.
---------------------------------------------------------------------------

    \27\ NASBO, Fiscal Survey of States, Fall 2015, located at 
https://higherlogicdownload.s3.amazonaws.com/NASBO/9d2d2db1-c943-4f1b-b750-fca152d64c2/UploadedImages/Fiscal%20Survey/Fall%202015%20Fiscal%20Survey%20of%20States%20(S).pdf.
---------------------------------------------------------------------------

    The failure of the per capita indicator to keep pace with changing 
economic conditions and the increasing frequency and costs of disasters 
has led to criticism of the per capita indicator. Those critiques have 
emphasized that the per capita indicator is artificially low. Many have 
called for FEMA to find ways to decrease the frequency of disaster 
declarations and Federal disaster costs, by increasing the per capita 
indicator to transfer costs back to State and local jurisdictions. 
These have included recommendations from GAO,\28\ reports of the DHS 
OIG,\29\ and proposed legislation.\30\
---------------------------------------------------------------------------

    \28\ See, e.g., GAO, Disaster Assistance: Improvements Needed in 
Disaster Declaration Criteria and Eligibility Assurance Procedures, 
GAO-01837 (2001); See also, GAO, GAO-12-838, Federal Disaster 
Assistance: Improved Criteria Needed to Assess Eligibility and a 
Jurisdiction's Capability to Respond and Recover On Its Own, 29 
(2012).
    \29\ See Office of Inspector General, OIG-12-79, Opportunities 
to Improve FEMA's Public Assistance Preliminary Damage Assessment 
Process 3, Department of Homeland Security (2012).
    \30\ See, e.g., S.1960, Fairness in Federal Disaster 
Declarations Act of 2014, 113th Cong.; H.R. 3925, Fairness in 
Federal Disaster Declarations Act of 2014, 113th Cong. (establishing 
criteria for FEMA to incorporate in rulemaking with specific 
weighted factors); H.R. 1859, Disaster Declaration Improvement Act 
of 2013, 113th Cong. (requiring new regulations concerning major 
disaster declarations).

---------------------------------------------------------------------------

[[Page 4069]]

    Concluding that the per capita indicator is artificially low,\31\ 
the GAO recommended that the FEMA Administrator ``develop and implement 
a methodology that provides a more comprehensive assessment of a 
jurisdiction's capability to respond and to recover from a disaster 
without federal assistance.'' \32\
---------------------------------------------------------------------------

    \31\ GAO 12-838, supra FN22, at 24.
    \32\ Id. at 50.
---------------------------------------------------------------------------

    As FEMA considered these observations and recommendations, FEMA was 
finalizing its 2014-2018 Strategic Plan \33\ that includes Strategic 
Priority 4: Enable Disaster Risk Reduction Nationally.\34\ Objective 
4.2 of the Strategic Plan is to ``incentivize and facilitate 
investments to manage current and future risk'' \35\ through 
``facilitate[ing] collaboration to strengthen risk standards, leverage 
market forces, and guide resilient investments'' \36\ as well as 
through ``reshap[ing] funding agreements with States, tribal 
governments, and localities to expand cost-sharing and deductibles,'' 
\37\ inter alia.
---------------------------------------------------------------------------

    \33\ See generally FEMA Strategic Plan: 2014-2018, available at 
http://www.fema.gov/media-library-data/1405716454795-3abe60aec989ecce518c4cdba67722b8/July18FEMAStratPlanDigital508HiResFINALh.pdf.
    \34\ Id. at 23.
    \35\ Id. at 26.
    \36\ Id. at 27.
    \37\ Ibid.
---------------------------------------------------------------------------

    FEMA also considered the President's emphasis on advancing national 
resilience. The President issued three related Executive Orders in the 
past two years to build resilience through (1) establishing a Federal 
flood risk management standard,\38\ (2) establishing a Federal 
earthquake risk management standard,\39\ and (3) requiring agencies to 
enhance the resilience of buildings to wildfire in the wildland-urban 
interface.\40\ FEMA has been seeking ways to leverage its programs and 
resources to further other resilience-building efforts as well. For 
example, FEMA has instituted a policy to establish hazard resistant 
minimum standards for Public Assistance projects.\41\
---------------------------------------------------------------------------

    \38\ Executive Order 13,690, 80 FR 6425, Feb. 4, 2015.
    \39\ Executive Order 13,717, 81 FR 6407, Feb. 2, 2016.
    \40\ Executive Order 13,728, 81 FR 32223, May 20, 2016.
    \41\ Public Assistance Required Minimum Standards Policy, FP-
104-109-4, Sep. 30, 2016, available at https://www.fema.gov/media-library/assets/documents/124326.
---------------------------------------------------------------------------

    In early 2014, FEMA began to explore the possibility of introducing 
a deductible to the Public Assistance program as a way to leverage the 
program to encourage resilience and address some of the concerns raised 
by GAO. Accordingly, FEMA convened a working group of subject-matter 
experts from within the agency. During the ensuing months, the working 
group extensively explored the declaration process, the policies and 
workings of the Public Assistance program, the applicable legal 
authorities and limitations, and many other areas that would be 
necessary to inform the development of a deductible concept.
    In the course of this research, FEMA reviewed a related rulemaking 
effort that was a contemporary to the 1986 development of the per 
capita indicator. FEMA had proposed a regulation that sought to 
establish (1) ``capability indicators'' for the major disaster 
declaration decision-making process, (2) a requirement for Governors to 
make commitments on behalf of their States and local governments to 
assume a portion of the Public Assistance costs, and (3) a sliding 
cost-share based on the capability indicators.\42\ The proposed rule 
was met with vocal and widespread criticism by Congress and the 
emergency management community and FEMA ultimately abandoned the 
effort.\43\ Two of the primary criticisms of FEMA's proposed 1986 
rulemaking:
---------------------------------------------------------------------------

    \42\ See Disaster Assistance; Subpart C, the Declaration Process 
and State Commitments, 51 FR 13332, Apr. 18, 1986; see also Disaster 
Assistance; Subpart E--Public Assistance--Eligibility Criteria, 51 
FR 13341, Apr. 18, 1986; Disaster Assistance; Subpart H, Public 
Assistance Project Administration, 51 FR 13357, Apr. 18, 1986.
    \43\ Inquiry into FEMA's Proposed Disaster Relief Regulations: 
Hearing Before the Subcomm. on Investigations and Oversight of the 
H. Comm. On Public Works and Transportation, 99th Cong. (1986).
---------------------------------------------------------------------------

    1. FEMA did not recognize the efforts and expenditures that States 
were already committing to disaster response and recovery; and
    2. FEMA did not offer sufficient engagement with key stakeholders 
during the developmental process.
    Considering this background, the FEMA working group developed three 
guiding principles that were designed to control and direct the impact 
of the deductible concept:
    1. Encourage and incentivize risk-informed mitigation strategies on 
a broad scale, while also recognizing current State activities;
    2. Incentivize consistent fiscal planning by all States for 
disasters and establish mechanisms to better assess State fiscal 
capacity to respond to disasters; and
    3. Ensure the supplemental nature of FEMA assistance.
    Through these guiding principles, the working group designed an 
initial deductible concept that could leverage the Public Assistance 
program to recognize risk reduction investments that the States were 
already undertaking and to incentivize risk reduction best practices 
nationwide as a means to reduce future disaster impacts and costs for 
the whole community rather than simply transferring response and 
recovery costs from the Federal government to State and local 
jurisdictions. The working group also determined further exploration of 
the deductible concept should be cognizant of the two primary 
criticisms of FEMA's proposed 1986 rulemaking: The failure to recognize 
the efforts and expenditures that States were already committing to 
disaster response and recovery and the insufficient engagement with key 
stakeholders.
    In its 2015 updated response to the GAO recommendations, FEMA 
presented three options that it planned to continue investigating:
    1. Adjust the per capita indicator to better reflect current 
national and State-specific economic conditions;
    2. Develop an improved methodology for considering factors in 
addition to the per capita indicator; and
    3. Implement a State-specific deductible concept for States to 
satisfy before qualifying for Public Assistance.
    After further investigation and consideration of the alternatives, 
FEMA decided to further develop the deductible concept because of its 
relationship to Strategic Priority 4 and its potential for reducing 
risk and disaster costs for the whole community through incentivizing 
targeted investments. Moving forward, FEMA plans to pursue closeout of 
the GAO recommendation through development of the deductible concept 
for the Public Assistance program. However, FEMA will continue to 
consider alternatives to the deductible concept going forward, 
including the GAO's recommendation to significantly increase the 
current per capita indicator as described in Sections III and VI(A).

IV. Advance Notice of Proposed Rulemaking

    FEMA issued the ANPRM to introduce the deductible concept with the 
emergency management community and the public. The ANPRM consisted of 
basic background information concerning the declarations process and a 
very high-level overview of a deductible concept. In keeping with the 
preliminary and developmental state of the concept at that time, the 
ANPRM offered few specifics concerning the

[[Page 4070]]

organization or implementation of a deductible. Chiefly, the ANPRM 
included an extensive list of questions that FEMA was seeking to answer 
regarding how a deductible program could be best structured and applied 
to achieve the principles outlined above. These questions were wide 
ranging in specificity to address all potential aspects of the 
deductible concept. FEMA presented these questions in an impartial 
manner to solicit as many relevant responses as possible. This was 
effective in generating varied responses to questions upon which 
opinions differed, but in many cases commenters noted it was difficult 
if not impossible to answer specific questions without a more detailed 
description of the deductible concept. As a result, commenters provided 
more general and conceptual responses to the questions asked. FEMA 
believes that it would have benefited from receiving more specific and 
detailed feedback, and that the information contained in those types of 
comments would have been very helpful to the rulemaking process.
    In all, FEMA received approximately 150 comments on the ANPRM.\44\ 
These comments came from 35 entities representing 28 individual States, 
28 local jurisdictions, and 2 Indian Tribal Nations. FEMA also received 
comments from 19 professional industry groups, 3 governmental 
associations, and 9 research and policy organizations.
---------------------------------------------------------------------------

    \44\ The comments can be viewed on the docket for this 
rulemaking at www.regulations.gov under docket ID FEMA-2016-0003.
---------------------------------------------------------------------------

    FEMA reviewed the comments that were received and incorporated the 
concerns and suggestions into the potential deductible program 
presented in this SANPRM. FEMA noted many concerns in the comments 
regarding how the deductible could be applied, or the burdens, either 
financial or administrative, that it could create for the States. FEMA 
addressed these concerns in the design concept. In other cases, it was 
clear that FEMA had not provided enough background information for 
commenters to offer practicable suggestions. Some comments may have 
benefited from FEMA providing additional explanation of the current 
disaster declaration processes, more specificity regarding the Public 
Assistance program, and a more expansive description of the deductible 
concept itself. FEMA concluded that it had not offered sufficient 
information in the ANPRM to enable the public to fully participate in 
commenting on all aspects of the concept. Consequently, FEMA is 
providing the public more detail on its concept for a deductible 
program in this SANPRM.
    Notwithstanding the limitations on specificity in the ANPRM, FEMA 
received support for the concept as a means by which to achieve the 
goals of reducing disaster impacts and costs through improved 
preparedness activities and expanded investments in mitigation and risk 
reduction. Many commenters pointed out that the deductible program 
could be a preferred outcome compared to increasing the per capita 
indicator and the potential transfer of financial responsibility to 
State and local governments that would result. Some commenters found 
merit in the deductible concept as a way through which to reduce costs, 
but also to improve disaster resiliency by investing before an incident 
and incurring reduced costs related to response and recovery over the 
long term.
    In addition to seeking comment via the ANPRM, FEMA continued to 
conduct research to inform the design of the deductible concept. FEMA 
recognizes that establishing the methodology for calculating the 
deductible in an equitable, accurate, and transparent way is essential 
to any future deductible proposal. Further, for any approach to sustain 
the rigors of analytic and economic review, FEMA recognized that it 
would benefit from leveraging external expertise to better develop a 
methodology that was defensible and reproducible.
    With the assistance of the Department of Homeland Security (DHS) 
Science and Technology Directorate's Office of University Programs, 
FEMA contracted with the Center for Risk and the Economic Analysis of 
Terrorism Events (CREATE), a DHS Center of Excellence, to support 
development of the deductible calculation. CREATE is known for its 
experience in hazard assessment research, as well as statistical and 
economic modeling capabilities. CREATE dedicated a team of research and 
academic experts to develop a reliable methodology for calculating a 
deductible that is cognizant of the principles established by the FEMA 
working group; namely that the proposed formula be reflective of the 
individual capabilities and risks unique to each State and that the 
calculus function in a transparent and replicable way utilizing 
publically available information and data.
    FEMA also contracted with a leading emergency management consulting 
firm to conduct additional research pertinent to developing the 
deductible. With the assistance of the National Emergency Management 
Association, this firm reached out to nine States on FEMA's behalf to 
assist those States with identifying information pertinent to the 
development of the deductible concept.\45\ At the next stage of 
development, FEMA will make every effort to gather data from a larger 
sample of States, preferably all States, so that the proposal may be as 
representative as possible. FEMA also invites States to specifically 
correct any erroneous assumptions made for purposes of developing this 
SANPRM deductible concept during the comment period.
---------------------------------------------------------------------------

    \45\ The States contacted were California, Florida, Minnesota, 
New York, Pennsylvania, Texas, Washington, Wyoming, and Vermont.
---------------------------------------------------------------------------

    Specifically, the consulting firm assisted FEMA with understanding 
the methods and strategies currently used by these nine States to pay 
for the costs of emergency management programs, mitigation initiatives, 
and disaster response and recovery. The firm also researched innovative 
preparedness programs that the nine States have developed to further 
encourage planning and resiliency-building, such as tax credit 
incentive programs for individuals, localities, and State entities.
    FEMA primarily used the information it obtained from the consulting 
firm to estimate baselines of current State investments that FEMA then 
used to set initial credit approvals at levels likely to encourage 
additional investment and program growth. FEMA also leveraged the 
information to assist in preparing targeted outreach efforts during the 
comment period of the ANRPM, such as those held with the National 
Governor's Association, the National Association of Counties, the 
National Emergency Management Association, Big City Emergency Managers, 
National League of Cities, and the International Association of 
Emergency Managers. These targeted engagements enabled FEMA to draw 
attention to the ANPRM, explain the purpose and background of the 
deductible concept with key stakeholders, and to solicit additional 
details that could be particularly pertinent to informing FEMA's 
deductible design considerations.
    Following closure of the ANPRM comment period, FEMA compiled the 
comments received, the research performed by CREATE, and the research 
on State disaster funding and incentive programs and formulated the 
potential deductible program concept described in this SANPRM.
    FEMA believes that this deductible concept is capable of 
meaningfully reducing the nation's overall risk profile over time. 
Calculating a deductible is, however, complex. FEMA also

[[Page 4071]]

understands a deductible could be a significant change to FEMA's 
largest supplemental disaster assistance program. FEMA is therefore 
committed to continuing to dialogue with its emergency management 
partners on how best to design a program that will achieve mutually-
beneficial goals without the undue transfer of responsibility or the 
creation of unnecessarily burdensome administrative bureaucracy.

V. Potential Deductible Program

A. Calculation Methodology

    There is innate uncertainty in the likelihood of disaster events 
that prevents perfection in a deductible concept and complicates a 
complete understanding of the complex disaster environment within which 
the deductible program would operate. However, not unlike the 
commercial insurance markets, these uncertainties can be quantified and 
analyzed over geographic areas and over long periods of time with 
increasing precision. These calculations could be used to approximate 
the relative exposure of certain regions, in this case the States, to 
future disaster costs. These estimates could then be reflected in the 
relative value of a State's deductible.
    Arriving at a calculation methodology is thus one of the most 
critical aspects of moving the deductible program beyond the conceptual 
stage and requires public comment. FEMA believes that the methodology 
should be transparent, reproducible, defensible, and equitable. 
Additionally, FEMA believes that the approach should reflect 
fundamental purposes of the Stafford Act, namely that the Federal 
government support those States that are overwhelmed by the response to 
and recovery from a natural disaster. Therefore, it is most appropriate 
to calculate each State's deductible based upon the aspects of fiscal 
capacity and disaster risk that are unique to the State. FEMA could do 
this through a four-step process: (1) Establishing the base deductible, 
(2) calculating the fiscal capacity index, (3) calculating the risk 
index, and (4) normalizing the deductible amounts. FEMA has included a 
step-by-step table in the rulemaking docket that demonstrates how each 
State's starting deductible amount was calculated for purposes of this 
SANPRM. That table and those deductible amounts are included only as an 
example of how the deductible concept may function. If implemented, the 
actual deductible amounts will be dictated by the parameters of the 
proposal ultimately adopted.

B. Establishing the Base Deductible

    As with the rest of the SANPRM all numbers, figures, criteria and 
processes detailed in this section are notional. They are intended to 
aid the public in understanding how a potential deductible program 
could operate and to spur discussion and feedback.
    FEMA begins its conceptual methodology by establishing an annual 
base deductible that would be shared nationwide (i.e., the same amount 
for each State), and would then be increased or decreased for each 
State based upon a State's fiscal capacity and risk profile relative to 
the other States. FEMA utilized historic annual amounts of Public 
Assistance provided to States to establish the model base deductible. 
Although FEMA hopes to incentivize risk reduction and resilience that 
could reduce overall disaster impacts and costs, not solely those 
eligible for reimbursement through the Public Assistance program, FEMA 
believes it is important that the base deductible for the Public 
Assistance program shares a nexus with the program itself.\46\
---------------------------------------------------------------------------

    \46\ See generally Section 406 of the Stafford Act which 
authorizes FEMA to provide funding to assist State, territorial, 
Tribal and local governments, as well as certain private nonprofit 
organizations that provide governmental-type services, with the 
restoration of disaster damaged infrastructure. Because this 
underlying authority for the program is for public infrastructure, 
FEMA believes that it is important that the deductible remains 
connected to Public Assistance funding for that infrastructure.
---------------------------------------------------------------------------

    As developed by FEMA, the base deductible utilized in this 
conceptual model is the median average amount of Public Assistance 
received across all 50 States in the past 17 years.\47\ FEMA summed the 
total amount of Public Assistance delivered to each State from 1999 to 
2015 and then divided by 17 to determine the per State average annual 
amount of Public Assistance. FEMA then created a ranked list of those 
average amounts and determined the median value. Because there are 50 
States, the median value is the average of the results for the States 
situated at the 25th and 26th positions, which was 22,202,726. FEMA 
rounded the median average amount to 22.2M and imputed this amount to 
every State as the initial base deductible for the subsequent year.
---------------------------------------------------------------------------

    \47\ FEMA used Public Assistance data from 1999 to 2015 adjusted 
for inflation to 2015 dollars where necessary using the Consumer 
Price Index inflation calculator provided by the Bureau of Labor 
Statistics and available at http://www.bls.gov/data/inflation_calculator.htm. Prior to 1999, FEMA utilized a data 
management process that was different from the current system. 
Furthermore, prior to 1999, FEMA had different policies in place 
that would have also affected the way that Public Assistance was 
awarded. The data from the 1999-2015 period is the most reliable 
that FEMA has available. FEMA expects to add additional data to the 
calculation each year to increase accuracy over time and to account 
for long-term shifts in Public Assistance, rather than using a 
rolling window of data for the annual calculation. This will also 
limit the impact of any outlier years in terms of Public Assistance 
awards, both for high and low extremes.
---------------------------------------------------------------------------

    FEMA believes that this may be a reasonable approach to 
establishing a base deductible because it would leverage approximately 
25 percent of the average amount that FEMA awards in Public Assistance 
each year to incentivize reducing risk. Based on comments received in 
response to the ANPRM, FEMA believes that States are already making 
investments that would offset a portion of this amount through credits. 
By adjusting each State's base deductible amount to account for its 
individual risk and fiscal capacity, as described in the subsequent 
subsections, this approach could yield a meaningful deductible amount 
for each State, while still providing the greatest incentive to States 
that have the greatest potential for effectively reducing risk and 
future disaster costs. FEMA believes this could balance the potential 
benefits of the disaster deductible program with the need to continue 
supporting our State partners when disasters exceed their capabilities. 
See Table 4 for a breakdown of the cumulative and average amount of 
Public Assistance that each State received from 1999 through 2015.

                            Table 4--State Rank of Federal Assistance From 1999-2015
                                                [In 2015 dollars]
----------------------------------------------------------------------------------------------------------------
                                                                  Total federal share     Annual average federal
           No.                            State                  obligated (1999-2015)       share obligated
----------------------------------------------------------------------------------------------------------------
1........................  New York...........................          $21,671,388,334           $1,274,787,549
2........................  Louisiana..........................           16,621,415,286              977,730,311
3........................  Florida............................            6,399,822,001              376,460,118

[[Page 4072]]

 
4........................  Mississippi........................            4,180,836,633              245,931,567
5........................  Texas..............................            4,094,422,168              240,848,363
6........................  New Jersey.........................            2,357,737,579              138,690,446
7........................  Iowa...............................            1,826,578,453              107,445,791
8........................  California.........................            1,437,292,282               84,546,605
9........................  Oklahoma...........................            1,131,691,340               66,570,079
10.......................  Kansas.............................            1,080,772,444               63,574,850
11.......................  North Carolina.....................              953,206,418               56,070,966
12.......................  Missouri...........................              888,379,570               52,257,622
13.......................  Alabama............................              841,956,023               49,526,825
14.......................  Arkansas...........................              744,651,963               43,803,057
15.......................  North Dakota.......................              679,833,405               39,990,200
16.......................  Virginia...........................              643,863,349               37,874,315
17.......................  Kentucky...........................              615,307,272               36,194,545
18.......................  Tennessee..........................              602,295,312               35,429,136
19.......................  Pennsylvania.......................              557,230,633               32,778,273
20.......................  Nebraska...........................              435,308,536               25,606,384
21.......................  Washington.........................              428,584,871               25,210,875
22.......................  Minnesota..........................              426,982,553               25,116,621
23.......................  Massachusetts......................              422,663,583               24,862,564
24.......................  Colorado...........................              408,338,653               24,019,921
25.......................  South Carolina.....................              384,041,986               22,590,705
M........................  Median.............................              377,446,341               22,202,726
26.......................  Ohio...............................              370,850,697               21,814,747
27.......................  Georgia............................              328,820,892               19,342,405
28.......................  West Virginia......................              311,011,683               18,294,805
29.......................  Illinois...........................              309,990,918               18,234,760
30.......................  Vermont............................              297,996,556               17,529,209
31.......................  Connecticut........................              284,870,352               16,757,080
32.......................  South Dakota.......................              284,612,022               16,741,884
33.......................  New Mexico.........................              274,303,673               16,135,510
34.......................  Maryland...........................              265,115,281               15,595,017
35.......................  Indiana............................              237,955,033               13,997,355
36.......................  Alaska.............................              203,258,189               11,956,364
37.......................  Wisconsin..........................              174,472,096               10,263,064
38.......................  Oregon.............................              144,641,218                8,508,307
39.......................  New Hampshire......................              137,674,702                8,098,512
40.......................  Maine..............................               91,683,905                5,393,171
41.......................  Hawaii.............................               87,697,345                5,158,667
42.......................  Montana............................               70,196,126                4,129,184
43.......................  Arizona............................               68,642,964                4,037,821
44.......................  Rhode Island.......................               63,361,303                3,727,135
45.......................  Michigan...........................               42,583,629                2,504,919
46.......................  Delaware...........................               39,007,437                2,294,555
47.......................  Utah...............................               34,208,312                2,012,254
48.......................  Nevada.............................               30,275,261                1,780,898
49.......................  Wyoming............................               12,973,750                  763,162
50.......................  Idaho..............................               11,695,737                  687,985
----------------------------------------------------------------------------------------------------------------

    After establishing this base deductible that is shared by every 
State, FEMA differentiated the States and ascribed individual 
deductibles according to each State's relative fiscal capacity and 
unique disaster risk profile. Fiscal capacity is important because the 
intent of FEMA's Stafford Act programs, including Public Assistance, is 
to supplement the capabilities of State and local jurisdictions. 
Disaster risk is important because it is the primary driver of Public 
Assistance expenditures and its reduction is the primary purpose of the 
deductible concept.
    Because FEMA is seeking to reduce risk through the deductible, and 
it is precisely through this risk reduction that the nation could 
realize the promise of the deductible program in decreasing disaster 
impacts and costs, FEMA has considered in this calculation prioritizing 
the risk portion of the deductible calculation by a ratio of 3:1 
compared to the fiscal capacity portion. In other words, when a State's 
base deductible is adjusted, 75 percent of the adjustment results from 
the State's relative risk profile and the remaining 25 percent stems 
from the State's relative fiscal capacity.

C. Calculating the Fiscal Capacity Index

    As with the rest of the SANPRM all numbers, figures, criteria and 
processes detailed in this section are notional. They are intended to 
aid the public in understanding how a potential deductible program 
could operate and to spur discussion and feedback.
    To calculate a State's relative fiscal capacity, FEMA, with the 
assistance of CREATE, developed a composite of four individual fiscal 
capacity indices. FEMA and CREATE considered multiple potential 
indicators of fiscal capacity. The four indicators selected to

[[Page 4073]]

comprise the composite fiscal capacity index were each determined to 
represent a separate and distinct aspect of a State's economy and 
governmental resources; however. FEMA welcomes comment on whether these 
are the best indicators to leverage and whether there are others that 
should be considered as well. The four fiscal capacity indices that 
FEMA includes in the model deductible calculation are based on each 
State's per capita Total Taxable Resources (TTR), per capita surplus/
deficit, per capita reserve funding, and the State's bond rating. FEMA 
will use the most recent indices.
    TTR is an annual measure of fiscal capacity calculated by the 
United States Department of Treasury.\48\ Essentially, TTR considers 
all of the income streams available within each State, including gross 
domestic product, corporate withheld earnings, and other capturable 
revenue. TTR does not measure how much revenue a State actually 
captures, but instead, measures how much revenue, in real dollars, a 
State has access to as compared to other States. As a per capita index, 
the State's total TTR in real dollars is then divided by the State's 
population. This places high-population States on equal footing with 
low-population States with regard to the index.
---------------------------------------------------------------------------

    \48\ Additional information regarding Total Taxable Resources 
(TTR), including the methods for calculating and the current TTR 
estimates, can be found on the Web site of the Department of the 
Treasury at https://www.treasury.gov/resource-center/economic-policy/taxable-resources/Pages/Total-Taxable-Resources.aspx.
---------------------------------------------------------------------------

    The surplus/deficit and the reserve fund indices operate in similar 
fashion. In each case, the State's value (surplus/deficit or reserve) 
is divided by the State's population. That amount is then compared with 
the per capita value of the median State. This creates indices of 
relative strength for each.
    The surplus/deficit index is built using data provided by the 
Annual Survey of State Government Finances provided by the United 
States Census Bureau of the Department of Commerce.\49\ The reserve 
fund index is built using data provided by the Fiscal Survey of the 
States conducted regularly by NASBO.\50\ FEMA believes that both the 
surplus or deficit that a State is running and the amount of funding 
that a State holds in reserve are relevant indicators of a State's 
overall fiscal well-being and ability to independently address the 
financial costs of disasters.
---------------------------------------------------------------------------

    \49\ Additional information concerning the Annual Survey of 
State Government Finances, including the survey methodology and 
latest survey results, can be found on the Web site of the United 
States Census Bureau at https://www.census.gov/govs/state/.
    \50\ Additional information concerning the Fiscal Survey of 
States, including the survey methodology and latest survey results, 
can be found on the Web site of the National Association of State 
Budget Officers at https://www.nasbo.org/mainsite/reports-data/fiscal-survey-of-states.
---------------------------------------------------------------------------

    Finally, the bond rating index is similarly calculated by dividing 
the State's bond rating by the median State's bond rating. In this 
model, FEMA calculates the bond rating index based upon data provided 
by the Pew Charitable Trusts from Standard & Poor's State Credit 
Ratings.\51\ FEMA believes that the resulting relative index is an 
indicative proxy of the State's ability to quickly raise the funding 
liquidity necessary to respond to and recover from disaster incidents.
---------------------------------------------------------------------------

    \51\ Additional information concerning the data provided by the 
Pew Charitable Trusts can be found on their Web site at http://www.pewtrusts.org/en/research-and-analysis/blogs/stateline/2014/06/09/sp-ratings-2014.
---------------------------------------------------------------------------

    FEMA averaged these four indices of relative fiscal strength into a 
consolidated fiscal capacity index, each factor being equally weighted. 
This index accounts for 25 percent of a State's base deductible 
adjustment. However, FEMA also realized that, due to diversity in 
economic drivers and varying population sizes, some States may 
demonstrate a particular fiscal capacity indicator that is a 
statistical outlier compared with its other factors and the indicators 
of other States. To minimize the impact of these outliers on the 
disaster deductible formula, FEMA capped the impact of any individual 
fiscal capacity indicator at five times the median State's relative 
strength. In other words, if the median State's per capita reserve fund 
is $100 and is ascribed a value of 1.0 on the index, a State with an 
outlier per capita reserve fund value of $800 could be imputed the 
maximum per capita reserve fund value of $500, and therefore still 
receive an index value of 5.0, instead of the 8.0 index value that 
could otherwise be warranted. FEMA capped each fiscal capacity 
indicators in this way to contain the variability of the overall index 
and smooth the impact on outlier States.

D. Calculating the Composite Risk Index

    As with the rest of the SANPRM, all numbers, figures, criteria and 
processes detailed in this section are notional. They are intended to 
aid the public in understanding how a potential deductible program 
could operate and to spur discussion and feedback.
    FEMA explored multiple leading alternatives for predicting disaster 
losses. For the model described in this SANPRM, FEMA used an Average 
Annualized Loss (AAL) methodology for calculating each State's relative 
disaster risk level.
    AAL is a proxy for risk commonly used in risk modeling that 
considers the expected losses from a particular hazard per year when 
averaged over many years. Generally, AAL is calculated by multiplying 
the likelihood of the hazard occurring in a particular year by the 
likely cost of the event if it does occur. For example, if the 
likelihood of a hazard occurring is 0.2 percent, such as for a 500-year 
event, and the likely loss generated by that level of event is $1 
billion, the AAL for the hazard in the vulnerable area would be $2 
million ($1B x 0.002).\52\
---------------------------------------------------------------------------

    \52\ A 500-year event is an event that has the statistical 
likelihood of occurring once every 500 years, or in other words, a 1 
in 500 chance (0.2%).
---------------------------------------------------------------------------

    There are numerous sources of AAL data for hazards. Proprietary 
catastrophic risk models developed by companies such as AIR Worldwide 
(AIR), Risk Management Solutions (RMS), and CoreLogic (EQECAT) are 
three primary sources of AAL and risk information used by the 
reinsurance industry.\53\ FEMA considered these sources, but did not 
pursue them due to the proprietary, closed nature of the underlying 
risk models. Instead, FEMA used the AAL values produced using FEMA's 
Hazus platform.
---------------------------------------------------------------------------

    \53\ A short discussion about catastrophic modeling and a 
description of the three proprietary AAL models identified here can 
be found on the Marsh, LLC Web site at https://www.marsh.com/content/dam/marsh/Documents/PDF/US-en/Marsh-Insights-Property-Fall-2012.pdf.
---------------------------------------------------------------------------

    Hazus is a nationally applicable standardized methodology that 
contains models for estimating potential losses from earthquakes, 
floods, and hurricanes. Hazus uses Geographic Information Systems (GIS) 
technology to estimate physical, economic, and social impacts of 
disasters.\54\ FEMA used AAL estimates generated using Hazus because it 
is a well-established and familiar platform for many emergency managers 
and, most importantly, it is an open-source platform that will provide 
complete transparency to stakeholders concerning FEMA's deductible 
calculations.
---------------------------------------------------------------------------

    \54\ For additional information, visit FEMA's Hazus Web site at 
http://www.fema.gov/hazus.
---------------------------------------------------------------------------

    FEMA used the Hazus-based AAL estimates to create a simplified risk 
index for each State. Specifically, FEMA summed the most recently 
available AAL estimates \55\ for each State for each

[[Page 4074]]

of the three Hazus hazards: Earthquakes,\56\ floods (both coastal and 
riverine),\57\ and hurricanes (wind only).\58\ Collectively, these 
three hazards accounted for more than 75 percent of all Public 
Assistance awarded during the 10-year period between 2005 and 2014.
---------------------------------------------------------------------------

    \55\ FEMA uses estimates of AAL generated using FEMA's Hazus 
software. Cited AAL estimates were inflation-adjusted to 2015 
dollars where necessary using the Consumer Price Index inflation 
calculator provided by the Bureau of Labor Statistics and available 
at http://www.bls.gov/data/inflation_calculator.htm.
    \56\ KS Jaiswal, et al. (2015). Estimating Annualized Earthquake 
Losses for the Conterminous United States. Earthquake Spectra: 
December 2015, Vol. 31, No. S1, pp. S221-S243. FEMA is unable to 
post a copy of the document in the docket due to copyright 
restrictions. A summary of the document and purchase information is 
available at http://dx.doi.org/10.1193/010915EQS005M.
    \57\ Hazus AAL results for flood (coastal and riverine) are 
available at https://data.femadata.com/Hazus/FloodProjects/AAL/StateAAL_proj.zip and http://www.arcgis.com/home/item.html?id=cb8228309e9d405ca6b4db6027df36d9. Accessed June 2, 
2016. Note that Hazus flood AAL estimates are not available for 
Hawaii and Alaska; these losses are estimated by indexing against 
National Oceanic and Atmospheric Administration (NOAA) flood loss 
estimates from 2011-2014, available at http://www.nws.noaa.gov/hic/summaries/.
    \58\ FEMA Mitigation Directorate, Hazus-MH Estimated Annualized 
Hurricane Losses for the United States (unpublished draft report), 
September 2006.
---------------------------------------------------------------------------

    FEMA created a composite risk index around the median cumulative 
AAL. FEMA arranged each State's cumulative AAL (the sum of the State's 
earthquake, flooding, and hurricane AALs) in order from the largest 
cumulative AAL to the smallest. Because there is an even number of 
States, FEMA averaged the cumulative AALs of the States in the 25th and 
26th positions to determine the overall median cumulative AAL. FEMA 
assigned this amount a value of 1.0 and indexed each State's relative 
cumulative AAL to determine the State's risk index score.
    For example, consider a State with the following Hazus-based AALs:

Hurricane: $875 million
Flooding: $2 billion
Earthquake: $25 million

    Cumulative: $2.9 billion (Hurricane AAL + Flooding AAL + Earthquake 
AAL) FEMA conducted the same calculation for each State and then 
ordered them from largest to smallest in terms of each State's 
cumulative AAL.
    If the median cumulative AAL across all of the States is $1.45 
billion, that would be ascribed a score of 1.0 on the risk index, the 
hypothetical State above would receive a risk index score of 2.0 
because its cumulative AAL is twice as large as the median cumulative 
AAL ($2.9 billion versus $1.45 billion, respectively). For purposes of 
calculating the State's Public Assistance deductible, the State could 
be considered to have twice the risk of the median State.
    The AALs produced using Hazus vary from State to State depending 
upon the types of hazards that each State is prone to and the levels of 
loss that those hazards have the ability to create in those States. 
Consequently, the per capita cumulative AALs are not evenly distributed 
across the States and a few States have higher risk index scores 
because of that. Every State should be assigned a deductible that is 
reasonable and achievable. In this model, FEMA capped the composite 
risk index values in a manner similar to the way FEMA capped the 
components of the fiscal capacity index.
    FEMA capped the fiscal capacity components at a value of 5.0. This 
means that FEMA ignored any computed fiscal capacity that is greater 
than five times the median State's fiscal capacity for that factor. 
Because of the overall emphasis on risk, and similar to the deductible 
formula ratio of 3:1 risk to fiscal capacity, FEMA capped a State's 
risk index at a score of 15.0. In other words, FEMA ignored any 
calculated risk that is in excess of 15 times the risk of the median 
State.

E. Normalizing the Deductible Amounts

    As with the rest of the SANPRM, all numbers, figures, criteria and 
processes detailed in this section are notional. They are intended to 
aid the public in understanding how a potential deductible program 
could operate and to spur discussion and feedback.
    FEMA used the base deductible, composite risk index, and fiscal 
capacity index established above to calculate the post-indexed 
deductible value for each State. As explained previously, 75 percent of 
the total index adjustment to the base deductible is determined by the 
State's relative risk profile and the remaining 25 percent is 
determined by the State's relative fiscal capacity. For the final step 
in the deductible calculation process, FEMA normalized the post-indexed 
values to establish each State's final deductible amount. Normalization 
is a statistical term that can mean different things in different 
contexts. In the case of the deductible, FEMA uses normalization to 
mean adjusting the post-indexed values to equal the pre-indexed values 
overall.
    Specifically, FEMA multiplied the base deductible that it 
established in the first step by 50 to establish the overall deductible 
ceiling for the 50 States. FEMA then summed all of the post-indexed 
deductible values of each State. If the sum of these post-indexed 
values exceeded the deductible ceiling established by the base 
deductible, FEMA made a downward adjustment to each State's post-
indexed deductible so that its final amount remained the same relative 
to every other State, but so that the sum of all of the States' post-
indexed deductibles equaled the base deductible ceiling.
    For example, assume that the base deductible is calculated to be 
$25 million. This is the amount that each State begins with prior to 
the application of the fiscal capacity index and risk index. FEMA 
multiplies the base deductible ($25 million) by 50 to calculate the 
cumulative deductible ceiling for that year. In this case the 
deductible ceiling would be $1.25 billion for the year ($25 million x 
50 = $1.25 billion).
    If, after applying the indices to each State's base deductible, the 
sum of all of the resulting, post-indexed deductibles exceeded the 
$1.25 billion dollar ceiling, FEMA would normalize the deductible 
amounts so that the sum of all of them equals $1.25 billion. This would 
decrease the final deductible amounts of every State, but each State 
would remain in the same position relative to every other State. If a 
State had a post-indexed deductible that was twice that of another 
State that State would still have a final deductible that was twice the 
deductible of the other State, but both final deductibles would be 
lower.
    Normalization is a common statistical approach for addressing 
variations that occur when adjustments are made to values through 
indices of relativity, which both the fiscal capacity and risk index 
are. This important step could ensure that the Public Assistance 
deductibles remain rooted in their nexus to the Public Assistance 
program. This final step, normalization, will establish the Starting 
Deductible for each state.

F. Calculating Each State's Starting Deductible

    As with the rest of the SANPRM, all numbers, figures, criteria and 
processes detailed in this section are notional. They are intended to 
aid the public in understanding how a potential deductible program 
could operate and to spur discussion and feedback.
    As summarized above, the base deductible will be multiplied by the 
sum of: 0.75 multiplied by the State's Composite Risk Index and 0.25 
multiplied by the State's Composite Fiscal Capacity Index. That 
calculation establishes an adjusted deductible for each State. FEMA 
will then normalize the adjusted deductibles to ensure that the total 
sum of all of the adjusted deductibles equals the sum of the base 
deductibles. This methodology yields

[[Page 4075]]

the following model normalized deductibles for each State in 2016:

                Table 5--Model 2016 Starting Deductibles
------------------------------------------------------------------------
                                                             Starting
                          State                             deductible
                                                               ($M)
------------------------------------------------------------------------
Alabama.................................................          $12.96
Alaska..................................................           19.42
Arizona.................................................           18.67
Arkansas................................................            8.01
California..............................................          141.03
Colorado................................................            7.08
Connecticut.............................................           20.85
Delaware................................................            8.03
Florida.................................................          141.53
Georgia.................................................           17.65
Hawaii..................................................            9.17
Idaho...................................................            7.68
Illinois................................................           14.43
Indiana.................................................           12.23
Iowa....................................................           10.63
Kansas..................................................            9.54
Kentucky................................................            9.47
Louisiana...............................................           73.90
Maine...................................................            8.52
Maryland................................................            9.26
Massachusetts...........................................           30.34
Michigan................................................           23.20
Minnesota...............................................            9.44
Mississippi.............................................           13.32
Missouri................................................           11.38
Montana.................................................            6.23
Nebraska................................................            9.93
Nevada..................................................            8.81
New Hampshire...........................................            7.92
New Jersey..............................................           29.28
New Mexico..............................................           11.11
New York................................................           51.70
North Carolina..........................................           17.50
North Dakota............................................           10.09
Ohio....................................................           25.86
Oklahoma................................................           10.40
Oregon..................................................           24.62
Pennsylvania............................................           21.88
Rhode Island............................................           12.30
South Carolina..........................................           11.60
South Dakota............................................            8.25
Tennessee...............................................           16.68
Texas...................................................           73.72
Utah....................................................            7.73
Vermont.................................................            8.64
Virginia................................................           13.51
Washington..............................................           27.30
West Virginia...........................................           23.39
Wisconsin...............................................           13.50
Wyoming.................................................           10.47
                                                         ---------------
    Average.............................................           22.20
    Median..............................................           12.26
    Minimum.............................................            6.23
    Maximum.............................................          141.53
------------------------------------------------------------------------

    These deductibles represent FEMA's assessment of each State's 
fiscal capacity and risk profile as of 2016. FEMA has included a table 
in the rulemaking docket for this SANPRM that shows every step for each 
State with regard to how these notional deductibles were calculated for 
purposes of this concept. These deductibles would be reduced by any 
credits that FEMA approves for the State pursuant to the annual 
deductible credit menu. The following section will detail the types of 
credits that FEMA expects to initially offer.

G. Credit Structure

    As with the rest of the SANPRM all numbers, figures, criteria and 
processes detailed in this section are notional. They are intended to 
aid the public in understanding how a potential deductible program 
could operate and to spur discussion and feedback.
    A potential credit structure could offer States the ability to 
partially or fully satisfy their deductible in advance of a major 
disaster declaration. While simply raising the per capita indicator to 
qualify for Public Assistance would reduce Federal costs, a potential 
credit structure, if successful, could eventually deliver the true 
benefits of reduced risk and realized disaster response and recovery 
cost savings nationwide. FEMA's goal is to design a model credit 
structure that would create financial and economic incentives for 
meaningful State investments in preparedness and risk-reduction 
measures.
    FEMA believes that the model credit structure described in this 
SANPRM would allow every State to earn credits for activities that each 
would already be undertaking, and also improve risk reduction and 
resilience building for States that choose to expand those activities. 
To that end, the deductible model described in this SANPRM includes 
seven potential categories of credits.
    Due to the differences among the credit categories and their likely 
effects upon reducing risk, each category offers a unique credit-to-
cost ratio, and a few have caps to provide States with an opportunity 
to develop a potentially diverse portfolio of risk reduction 
strategies.
    FEMA would monitor which credits States elect to earn and would 
continue to refine its credit offerings each year. FEMA would provide 
an annual notice of credit offerings so that States would have ample 
opportunity to carefully consider all of their options. FEMA would also 
continue to engage with the States and with key intergovernmental 
organizations to ensure that the credit structure is calibrated to 
provide the right levels of reward to incentivize continuous 
improvement for each State in the disaster resilience and emergency 
management contexts.
    FEMA recognizes that any additional program could create some 
additional administrative burden to State and Federal governments. 
However, FEMA is committed to limiting that burden to successfully 
carry out the program and ensure that it is applied effectively. The 
following sections detail the administrative steps and timelines 
currently envisioned for the program. FEMA has carefully considered 
both the likely burden and the likely benefit underlying each of the 
seven credit categories and believes that each category represents 
potential activities worth pursuing and incentivizing. Each of the 
seven credit categories received generally favorable support from those 
who commented on the ANPRM. FEMA seeks additional public input on these 
categories and on the potential administrative burdens of assembling 
the supporting information.
1. Dedicated Funding for Emergency Response/Recovery Activities
    A State that has planned for and taken fiscal steps to address the 
financial impacts of potential disasters ahead of time is better 
prepared to immediately respond to and to rapidly recover from a major 
disaster. FEMA recognizes that States use multiple strategies for 
addressing the financial consequences of a disaster, including: 
Supplemental State appropriations, issuing recovery bonds, diverting 
funding from other State programs or cutting State agency operating 
budgets, and imposing special tax assessments to raise recovery 
resources. FEMA, however, has also observed that the time required to 
enact many of these ad-hoc funding strategies can significantly delay a 
State's ability to rapidly respond to a disaster.
    FEMA believes that response and recovery efforts could be improved 
if the affected States maintain dedicated disaster relief funds. By 
having this funding available, these States also could potentially 
obviate the need to reduce or eliminate other planned State services to 
divert funding to disaster operations and infrastructure repair. For 
example, a State could divert funding for summer roadway maintenance or 
improvements to cover debris removal costs following a hurricane or 
snow removal costs following a major winter storm. States that maintain 
a dedicated disaster relief fund may be able to more rapidly ameliorate 
disaster consequences, leverage supplemental Federal assistance 
programs, and repair public buildings and infrastructure, without 
diverting funding from other important initiatives.
    Furthermore, States without dedicated disaster relief funds could 
find themselves in the position of incurring new public obligations, or 
in some cases debt, while simultaneously suffering from the tax losses 
of disaster-

[[Page 4076]]

induced decreased economic activity. By having a dedicated fund 
available to address the direct costs of disaster response and damage 
restoration, States could be better positioned to address these 
secondary disaster consequences.
    In order to incentivize States to take the proactive step of 
establishing and funding a dedicated disaster relief fund in advance, 
this potential model credit structure includes $1.00 in deductible 
credit for every $1.00 of State funding that the State has appropriated 
and deposited in a qualifying disaster relief fund during the course of 
the previous year. This credit may account for up to 20 percent of the 
State's annual deductible. Funds that are carried over or that expire 
and are reappropriated for the same limited purpose could still qualify 
for the credit.
2. Expenditures for Non-Stafford Act Response and Recovery Activities
    FEMA received multiple comments during the ANPRM comment period 
that emphasized that FEMA does not fully understand or appreciate the 
amount of investment that States already make in emergency management 
and disaster recovery. Commenters pointed out that for every major 
disaster declared, that there are multiple smaller incidents that do 
not rise to the level of warranting supplemental Federal assistance, 
but nonetheless exceed local capabilities and often require State 
funding support for response and recovery activities. FEMA seeks to 
encourage States to continue providing State-level assistance to 
overwhelmed localities, even when Federal assistance may be 
unavailable.
    Commenters also noted that counties and cities often lack the 
independent ability to raise the necessary financial resources to 
address the costs of significant localized impacts. In these cases, the 
support provide by their State partners is invaluable to ensuring that 
adequate funding is available to support the response and recovery 
operations necessary to assist the affected localities and survivors. 
Additionally, commenters explained that, even following a major 
disaster declaration, supplemental Federal assistance is typically only 
made available to the most severely impacted jurisdictions within the 
affected State. However, there are other communities that are not 
designated, but nonetheless have experienced damage resulting from the 
same incident. The commenters postulated that the damage experienced 
within these non-declared jurisdictions may nevertheless still exceed 
their individual capacities to effectively respond and recover, 
necessitating additional support from their State partners. This is, 
the commenters offered, an additional burden upon the State that the 
current system of Public Assistance does not recognize or incentivize.
    FEMA seeks to preserve and strengthen this important State-local 
relationship and to incentivize States to continue providing assistance 
when jurisdictional capabilities are exceeded, regardless of the 
availability of supplemental Federal assistance. In order to do so, 
this potential deductible model includes $1.00 in deductible credit for 
every $1.00 of annual State funding that the State expends to respond 
and/or recover from an incident that either: (1) Does not receive a 
Stafford Act declaration or, (2) affects a locality not designated for 
Public Assistance by a major disaster declaration. In either case, the 
Governor of the State would be required to declare a State of 
emergency, or issue a similar proclamation, pursuant to applicable 
State law. In this model, this credit could account for up to 20 
percent of the State's annual deductible.
3. Expenditures for Mitigation Activities
    Integral to any effort to lessen the risks associated with and 
consequences of disaster is effective mitigation. Mitigation is the act 
of lessening or avoiding the impacts of a hazard, typically through 
engineered solutions. The linkage between advanced mitigation and 
lowering disaster impacts and costs has been demonstrated many times, 
both through academia and research, and also in practical application.
    FEMA provides funding assistance for mitigation projects through 
several programs, including the Hazard Mitigation Grant Program and the 
Pre-Disaster Mitigation Grant Program, as well as to mitigation-
enhanced restoration projects through the Public Assistance program 
authorized by Section 406 of the Stafford Act.\59\ FEMA recognizes, 
however, that States often invest significantly in mitigation efforts 
apart from these Federal assistance programs. FEMA seeks to recognize 
those continued investments and incentivize additional investments by 
providing significant credit for direct mitigation-related expenditures 
through the Public Assistance deductible program.
---------------------------------------------------------------------------

    \59\ 42 U.S.C. 5172.
---------------------------------------------------------------------------

    This model includes $3.00 in deductible credit for every $1.00 in 
State spending on qualifying mitigation activities. FEMA will not count 
State matching funds toward the calculation of the credit, so therefore 
these State expenditures must be either independent of any other 
Federal assistance program or must be in excess of the minimum cost-
share requirement of any applicable Federal assistance program. For 
purposes of this credit, FEMA defined qualifying mitigation activities 
as it does under FEMA's Hazard Mitigation Assistance Guidance.\60\
---------------------------------------------------------------------------

    \60\ See Hazard Mitigation Assistance Guidance, Part III, 
section E.1.3.1, available at this link https://www.fema.gov/media-library-data/1424983165449-38f5dfc69c0bd4ea8a161e8bb7b79553/HMA_Guidance_022715_508.pdf.
---------------------------------------------------------------------------

    Due to the importance of incentivizing mitigation activities to the 
success of the deductible program in reducing future disaster impacts 
and costs nationwide, FEMA is not currently considering capping the 
potential mitigation credit that may be earned in this model. In other 
words, a State could fully satisfy its annual deductible by investing 
at least one-third of its deductible amount in qualifying mitigation 
activities each year. This could not only fully satisfy the State's 
deductible well in advance of any declaration activity, thereby 
eliminating application of the deductible in the State for that year, 
but could also deliver the State future savings by reducing the 
severity or consequences of forthcoming disasters. FEMA also seeks 
comment specifically on whether incentivizing further spending by State 
governments using credit mechanisms of mitigation expenditure credits 
and non-Stafford expenditure credits could potentially dampen or crowd 
out private mitigation expenditures.
4. Insurance Coverage for Public Facilities, Assets, and Infrastructure
    States have choices when it comes to how they elect to address 
their disaster risks. Some States have chosen to establish dedicated 
disaster relief funds that can be leveraged to address the costs of 
disasters without jeopardizing other services and operations. Other 
States have elected to purchase third-party insurance to cover some of 
those costs, while others have established self-insurance risk pools to 
better distribute the risk. Regardless of the choice that is made, FEMA 
may choose to encourage pre-disaster financial preparedness through the 
deductible program.
    The model FEMA is currently contemplating includes percentage 
deductible credits for States that elect to utilize insurance policies 
as a means to address future disaster costs. To qualify for credit, the 
insurance policy must cover costs related to losses that would 
otherwise qualify for reimbursement

[[Page 4077]]

assistance through the Public Assistance program. For purposes of the 
credit, the policies must provide guaranteed coverage for losses from 
natural hazards, fires, explosions, floods, or terrorist attacks. For a 
self-insurance fund or risk pool, FEMA would verify through the State 
Insurance Commissioner, or similar State official, that the fund or 
pool is actuarially sound and solvent.
    This model includes credit based on the aggregate limits of 
applicable State policies, rather than on the premiums paid for 
coverage. Consequently, FEMA believes that States choosing to insure 
against future disaster risk would have very large overall limits, even 
though a particular incident would likely only affect a fraction of the 
total insured property. For example, if a State maintains $1M policies 
on 10 facilities across the State, the aggregate limit of the policy 
coverage is $10M, even though it is unlikely that all 10 facilities 
will suffer an insured loss at the same time. FEMA believes this could 
be a reasonable and equitable approach because both the deductible and 
insurance coverage levels should largely be driven by each State's 
individual risk profile.
    This model includes a potential three-tier incentive structure for 
insurance coverage based upon multiples of each State's annual 
deductible amount as follows:

               Table 6--Insurance Coverage Credit Schedule
------------------------------------------------------------------------
                                                              Credit
                     Coverage amount                      (percentage of
                                                            deductible)
------------------------------------------------------------------------
50x Deductible <= Coverage <100x Deductible.............               5
100x Deductible <=Coverage <150x Deductible.............              10
150x Deductible <= Coverage.............................              15
------------------------------------------------------------------------

    For example, if a State has an annual deductible of $30 million and 
carries insurance policies on public facilities with an aggregate limit 
of $3.6 billion, the State could receive a credit equal to 10 percent 
of its initial deductible, or $3 million. This is because $3.6 billion 
is 120 times the amount of the State's deductible ($30 million) and is 
within the range of 100 to 150 times the deductible that FEMA suggests 
should receive a 10 percent credit. This outcome could be the same 
whether the State chose to purchase its insurance through third-party 
insurers or reinsurers or chose to self-insure and self-manage the 
risk. FEMA could confirm coverage level through the insurance contract 
or, for self-insurance, through the appropriate State official that the 
self-insurance fund is actuarially sound up to the $3.6 billion limit. 
Given the specific goal of incentivizing mitigation, FEMA seeks comment 
on the inclusion of insurance coverage credits in the deductible model.
5. Building Code Effectiveness Grade Schedule (BCEGS[supreg])
    The Insurance Services Office, Inc. (ISO), a leading provider of 
information concerning risk assessment and property and casualty 
insurance, has explored the relationship of building codes to risk 
reduction. According to a recent ISO report:

    [M]odel building codes have most clearly addressed the hazards 
associated with wind, earthquake, and fire. Experts maintain that 
buildings constructed according to the requirements of model 
building codes suffer fewer losses from those perils. If 
municipalities adopt and rigorously enforce up-to-date codes, losses 
from other risks (including man-made perils) may also decrease.\61\
---------------------------------------------------------------------------

    \61\ Insurance Services Office, Inc., National Building Code 
Assessment Report: ISO's Building Code Effectiveness Grading 
Schedule (2015), 8, available at https://www.isomitigation.com/downloads/ISO-BCEGS-State-Report_web.pdf.

FEMA agrees with the ISO's analysis that building codes, when adopted 
and properly enforced, have the ability to reduce future disaster risk 
on a broad scale. Consequently, in this model FEMA incorporated 
deductible credits to States that have committed to adopting, 
promoting, and enforcing building codes.
    This model includes an escalating credit structure that provides 
moderate incentive to simply participate in ISO's Building Code 
Effectiveness Grading Schedule (BCEGS[supreg]) program and increasing 
incentives as States reach higher levels of adoption and enforcement. 
ISO provides BCEGS[supreg] scores for both residential and commercial 
codes and enforcement, each on an improving scale from 10 to 1. In 
2015, over 60 percent of States had BCEGS[supreg] scores of 4 or 5 in 
each category.
    The following model incentive structure is based on each State's 
annual BCEGS[supreg] score for both residential and commercial building 
codes:

                     Table 7--BCEGS Credit Schedule
------------------------------------------------------------------------
                                            Residential     Commercial
                                              credit          credit
           BCEGS[supreg] score            (percentage of  (percentage of
                                            deductible)     deductible)
------------------------------------------------------------------------
1.......................................              20              20
2.......................................              15              15
3.......................................              12              12
4.......................................               9               9
5.......................................               8               8
6.......................................               6               6
7.......................................               5               5
8.......................................               4               4
9.......................................               3               3
10......................................               2               2
------------------------------------------------------------------------

    This structure could allow States to earn between 4 percent and 40 
percent credits based upon their residential and commercial 
BCEGS[supreg] scores. As of 2015, 45 States participate in the 
BCEGS[supreg] program and could have received, at a minimum, the 4 
percent credit for doing so under this structure. Based on 2015 scores, 
the average participating State could receive a 16 percent reduction to 
their deductible amount. The smallest credit would have been 7 percent 
and the largest would have been 24 percent. The following chart depicts 
the number of States per credit level in 2015.

[[Page 4078]]

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6. Tax Incentive Programs
    FEMA recognizes that the most effective ways to reduce risk across 
the entire nation employ a whole-community approach that involves every 
level of government, the private sector, and the citizenry in taking 
steps to promote and increase resilience. With that in mind, FEMA 
included in this model credit to States for tax-incentive programs 
designed to encourage preparedness or mitigation activities.
    For example, a State may offer an income tax credit for elevating 
homes or host a sales-tax holiday for personal preparedness supplies. 
FEMA would defer to the States to decide what types of programs would 
be most successful and appropriate given each State's unique 
considerations and risks, however the program would still need to 
maintain a clear nexus with preparedness, mitigation, or resilience 
building. In some cases, a State may offer a program that incentivizes 
general preparedness, or it may decide to target a program to a 
specific hazard, such as the installation of hurricane straps or 
seismic retrofits to existing building foundations.
    Regardless, this model includes credits to States for these types 
of innovative tax incentive programs. FEMA would allow States to 
request credit for both the direct costs of the program 
(administration, advertising, etc.), and for the indirect costs, such 
as forgone tax revenue. In both cases, FEMA would approve $2.00 in 
deductible credit for every $1.00 in State funding expended or 
foregone.
    Because FEMA sees this credit as a type of whole-community risk 
reduction, in this model FEMA is not currently including a cap on this 
particular credit. In other words, a State with a large enough tax 
incentivize program(s) could largely offset its deductible by annually 
foregoing tax revenue, through credits/deductions offered to businesses 
and/or citizens, equal to half of its deductible amount. FEMA 
specifically requests comment on the types of tax incentive programs 
that have a nexus to preparedness and disaster risk reduction and their 
effectiveness, both in terms of cost effectiveness and outcome 
effectiveness.
7. Expenditures on State Emergency Management Programs
    Perhaps the most visible factor in a State's ability to address 
disasters in the broad sense is the quality of its emergency management 
program. States have organized their emergency management function in a 
number of different ways. In some States, emergency management is a 
standalone office, whereas in other States the function is embedded in 
a broader public safety or military organization.
    The Federal government provides numerous types of assistance to 
States to develop, maintain, and implement their emergency management 
programs. At FEMA, assistance is generally available through the 
Emergency Management Performance Grant Program,\62\ the Homeland 
Security Grant Program,\63\ including both the State Homeland Security 
Program \64\ and the Urban Area Security Initiative,\65\ and through 
management costs awarded in administering Stafford Act declarations.
---------------------------------------------------------------------------

    \62\ 6 U.S.C. 762.
    \63\ 6 U.S.C. 603.
    \64\ 6 U.S.C. 605.
    \65\ 6 U.S.C. 604.
---------------------------------------------------------------------------

    In order to further incentivize States to allocate their own 
resources to their emergency management enterprises, this model 
includes a deductible credit for annual State expenditures supporting 
State emergency management programs beyond any cost-share required by a 
Federal assistance program or grant. FEMA solicits comments on what 
types of emergency management enterprises and activities could be 
eligible for deductible credit within this category and information 
relating to the current level of State investment in these enterprises 
and activities.
    FEMA includes in this model $1.00 in deductible credit for every 
$1.00 that a State invests in emergency management beyond the cost-
share required by a Federal program. A State could satisfy up to 20 
percent of its annual Public Assistance deductible through this credit.
8. Emergency Management Accreditation Program (EMAP[supreg]) Credit 
Enhancement
    The Emergency Management Accreditation Program (EMAP[supreg]) is an 
independent non-profit organization

[[Page 4079]]

that offers an emergency management program review and recognition 
program.\66\ EMAP[supreg] is a completely voluntary program and 
accreditation is not presently a factor in any FEMA program. However, 
FEMA recognizes that EMAP[supreg] provides a valuable resource to 
accredited programs by establishing best practices and offering a level 
of independent accountability.
---------------------------------------------------------------------------

    \66\ Additional information on EMAP can be found at https://www.emap.org/index.php.
---------------------------------------------------------------------------

    This model includes a credit enhancement to States that voluntarily 
seek and achieve provisional or full EMAP[supreg] accreditation. FEMA 
could increase the credit amount by 5 percent for three credit types 
for EMAP[supreg] accreditation, but specifically seeks comment on the 
appropriate value of this credit amount. These three credits could be:
    1. Dedicated funding for emergency response and recovery 
activities;
    2. expenditures for non-Stafford Act response and recovery 
activities; and
    3. expenditures on State emergency management programs.
    Specifically, instead of offering $1.00 in deductible credit for 
each $1.00 in qualifying State funding and expenditures, FEMA would 
instead approve $1.05 for each $1.00 in qualifying State funding and 
expenditures for States maintaining current EMAP[supreg] provisional or 
full accreditation. The credit caps applicable to each credit category 
would remain unchanged. FEMA believes that applying the credit 
enhancement in this manner could encourage States to seek and/or 
maintain EMAP[supreg] accreditation and that by doing so, could 
demonstrate improved readiness to confront the consequences of 
disasters.
9. Credit Summary
    Table 8 provides an overview of the credits that FEMA is 
envisioning, the amount of credit that could be approved, any cap that 
FEMA envisions applying, and whether an enhancement is available to the 
credit.

                                          Table 8--Summary Credit Menu
----------------------------------------------------------------------------------------------------------------
                                                                                                 EMAP[supreg]
           Credit No.                Credit name        Credit amount         Credit cap          enhancement
----------------------------------------------------------------------------------------------------------------
1..............................  Dedicated Funding   $1.00 in credit     20%................  Yes.
                                  for Emergency       for each $1.00 in
                                  Response/Recovery   qualifying
                                  Activities.         deposits.
2..............................  Expenditures for    $1.00 in credit     20%................  Yes.
                                  Non-Stafford Act    for each $1.00 in
                                  Response and        qualifying
                                  Recovery            expenditures.
                                  Activities.
3..............................  Expenditures for    $3.00 in credit     No Cap.............  No.
                                  Mitigation          for each $1.00 in
                                  Activities.         qualifying
                                                      expenditures.
4..............................  Insurance Coverage  % reduction based   N/A................  No.
                                  for Public          on qualifying
                                  Facilities,         coverage above
                                  Assets, and         deductible amount.
                                  Infrastructure.
5..............................  Building Code       % reduction to the  N/A................  No.
                                  Effectiveness       starting
                                  Grade Schedule      deductible based
                                  (BCEGS[supreg]).    on BCEGS[supreg].
6..............................  Tax Incentive       $2.00 in credit     No Cap.............  No.
                                  Programs.           for every $1.00
                                                      in qualifying
                                                      costs.
7..............................  Expenditures on     $1.00 in credit     20%................  Yes.
                                  State Emergency     for every $1.00
                                  Management          in qualifying
                                  Programs.           expenditures.
----------------------------------------------------------------------------------------------------------------

H. Estimates of Initial Credits

    Based upon the preliminary research discussed above and interviews 
with key stakeholders and subject matter experts, FEMA believes that 
every State would receive deductible credit under the preceding credit 
structure for activities and investments that each State is already 
undertaking; however, there may be some States that have been able to 
undertake more credit-qualifying activities than others.
    As with the rest of the SANPRM, all numbers, figures, criteria and 
processes detailed in this section are notional. They are intended to 
aid the public in understanding how a potential deductible program 
could operate and to spur discussion and feedback.
    FEMA has used the information that it has available to estimate the 
amount of credit that each State might qualify for initially. In many 
cases, however, FEMA anticipates offering credit for activities for 
which there is very little information readily available. Where 
information is lacking, FEMA attempted to use assumptions as to current 
State activities. For instance, FEMA was unable to identify annual 
amounts of forgone revenue from a State tax incentive program and thus 
assumed an amount equal to 1 percent of a State's starting 
deductible.\67\ FEMA intentionally utilized what it believes are 
conservative estimates where uncertainty exists and assumptions were 
needed. FEMA has attempted to estimate the amount of credit that each 
State might qualify for initially to provide context on the potential 
impact of the deductible requirement. FEMA welcomes comments on its 
assumptions with information more readily available to each State.
---------------------------------------------------------------------------

    \67\ For example, given Alabama's starting deductible of $12.96 
million, FEMA assumes forgone revenues from the State's tax 
incentive program of $129,574.
---------------------------------------------------------------------------

    Overall, based on this analysis, FEMA anticipates that the average 
State would receive initial credits worth approximately 40 percent of 
its first deductible without making any changes to its current spending 
or activities. Across the States, FEMA expects that these initial 
credits would range from a minimum of approximately 6 percent to a 
maximum of approximately 85 percent. Table 9 depicts FEMA's estimates 
for each State under this model. Specifically, Table 9 indicates each 
State's applicable model starting deductible, the credit amount from 
each of the seven categories of credits, the total estimated credits 
(shown both as a dollar value and percentage of the starting deductible 
amount), and the model final deductible amount that the State would 
carry into the new year.
    This potential final deductible amount represents what each State 
would potentially need to satisfy if it experiences a disaster that 
results in disaster damages that exceed the amount of credits that FEMA 
has approved. It is the remaining amount that is not offset by the 
credits that a State has earned.
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I. Deductible Program Timeline and Procedures

    FEMA is committed to developing a Public Assistance deductible 
program that is effective, but that also minimizes the cost and 
administrative burden required of our State partners. FEMA expects to 
request the minimum amount of information and reporting necessary for 
the program to be successful. To do this, FEMA's model concept could 
follow a strict and consistent programmatic schedule throughout the 
year so that States could have a clear understanding of current and 
upcoming expectations. FEMA designed this potential model schedule to 
operate on the calendar year to provide simplicity and standardization 
across jurisdictions that operate on various iterations of the fiscal 
year.
    As with the rest of the SANPRM all numbers, figures, criteria, 
timeframes, and processes detailed in this section are notional. They 
are intended to aid the public in understanding how a potential 
deductible program could operate and to spur discussion and feedback.
1. Model Timeline
    On August 1 of each year, FEMA could issue an Annual Notice of 
Public Assistance Deductible Amounts (Annual Notice). This notice could 
be published in the Federal Register and would indicate each State's 
pre-credit deductible amount. The Annual Notice could provide 
sufficient detail regarding the calculation methodology to provide 
transparency regarding the source of the deductible figures. If a State 
believes that FEMA has made a technical error in calculating its 
deductible, the State could be able to appeal the amount. In addition, 
FEMA would not expect to otherwise change the calculation methodology 
without advance notice to the States and an opportunity for each State 
to offer feedback.
    Contemporaneously with the issuance of the Annual Notice, FEMA 
would publish in the Federal Register the Application and Submission 
Information for Public Assistance Deductible credits to provide 
guidance concerning the deductible credits that could be offered during 
the next year and an application form for credits. FEMA does not 
anticipate making significant changes to the credit structure year over 
year, but could constantly and actively be monitoring credit types and 
amounts and may adjust the structure as necessary to improve the 
program's effectiveness over time. FEMA anticipates engaging 
extensively with States in making any adjustments to the credit 
structure.
    Credit applications could be due to FEMA by September 1 of each 
year. Because there might be a limited period of about one month to 
complete the application for deductible credits, it would be important 
that States assess and account for their past year's activities before 
the Annual Notice is published or quickly thereafter.
    The actual application could be minimal compared to other Federal 
applications, grant applications in particular. FEMA envisions a simple 
form in which a State could request the appropriate amount of credit 
for each credit category, include a brief description of the activity 
for which the credit is requested, provide the contact information for 
a subject matter expert that can answer questions about the activity, 
and affix the signatures of the appropriate State officials.
    For example, a State may request $1.5 million in credit for 
spending $500,000 moving a fire station out of a flood hazard area 
(mitigation would be credited $3.00:$1.00). Likewise, a State may 
request a 16 percent reduction for maintaining BCEGS[supreg] scores of 
5 for both the commercial and residential building code categories. 
Generally, the State would not need to submit any additional 
information or supporting documentation to support its request.
    FEMA would review the State's submission and make a determination 
of the amount of deductible credit to be approved. FEMA could actively 
reach out to the State-identified subject matter expert if any 
additional information would be needed for purposes of determining 
whether the activity would qualify for credit. If the activity appeared 
to qualify, either from the face of the credit application or after 
consulting with the State subject matter expert, FEMA would approve the 
appropriate amount of credit up to the credit category cap (for the 
categories to which a cap applies).
    FEMA envisions notifying each State individually by October 1 of 
the amount of credit approved and the remaining deductible, if any, 
that would apply during the subsequent calendar year. If FEMA approved 
any less credit than what the State requested, FEMA would include an 
explanation of the rationale for the discrepancy. In the case that FEMA 
did not fully approve the State's credit request, the State could be 
able to appeal the determination to FEMA. For this model timeline, FEMA 
envisions appeals of credit determinations would be due by December 1.
    Once FEMA has adjudicated any appeals and all credit has been 
approved, FEMA could issue a notice in the Federal Register no later 
than January 1 of the subsequent year announcing each State's beginning 
deductible amount, the amount of credit approved, and the final 
remaining deductible, if any.
---------------------------------------------------------------------------

    \68\ Activities undertaken after the cutoff date for applying 
for credits would be applied to the next year's deductible. For 
example, activities undertaken in October would not be applied to 
the deductible in effect 3 months later, but instead to the one in 
effect 15 months later.

                             Table 10--Notional Deductible Program Annual Milestones
----------------------------------------------------------------------------------------------------------------
                  Date                               Actor                              Activity
----------------------------------------------------------------------------------------------------------------
                                                                        FEMA publishes Annual Notice of
                                                                        Public Assistance Deductible Amounts in
                                                                        the Federal Register.
August 1................................  FEMA.......................   FEMA publishes Application and
                                                                        Submission information for Public
                                                                        Assistance Deductible Credits in the
                                                                        Federal Register, which provides formal
                                                                        credit guidance and the credit
                                                                        application form.
September 1.............................  States.....................   Deadline for States to submit
                                                                        the Application for Public Assistance
                                                                        Deductible Credits.\68\
October 1...............................  States.....................   Deadline for States to appeal
                                                                        FEMA's determination of the pre-credit
                                                                        deductible amounts.
October 1...............................  FEMA.......................   FEMA completes review of the
                                                                        credit applications and notifies each
                                                                        State of the credit amounts approved and
                                                                        FEMA's proposed final deductible amount.
November 1..............................  FEMA.......................   FEMA notifies States of the
                                                                        outcome of any pre-credit deductible
                                                                        amount appeals.
December 1..............................  States.....................   Deadline for States to appeal
                                                                        FEMA's approved credit amounts and/or
                                                                        proposed final deductible amount.
January 1...............................  FEMA.......................   FEMA notifies States of the
                                                                        outcome of any pending appeals and
                                                                        publishes each State's final deductible
                                                                        and credit amounts in the Federal
                                                                        Register.

[[Page 4084]]

 
Beginning January 1.....................  FEMA.......................   FEMA provides supplemental
                                                                        Public Assistance for all of the credits
                                                                        that a State has earned in every
                                                                        disaster.
                                                                        For any permanent work disaster
                                                                        costs exceeding the State's earned
                                                                        credits, FEMA applies the remaining
                                                                        final deductible amount, if any.
----------------------------------------------------------------------------------------------------------------

2. Post Disaster Deductible Procedures
    FEMA believes it is important that for every major disaster, the 
States receive assistance for emergency protective measures and debris 
removal. FEMA does not want to delay those essential activities in the 
immediate aftermath of a disaster incident. Under FEMA's deductible 
concept, FEMA assistance for debris removal and emergency protective 
measure projects could follow the normal procedures and receive funding 
at the applicable cost share for that disaster.
    FEMA envisions applying the deductible amount (i.e., the portion of 
a State's deductible not fully satisfied by the credits earned, if any) 
on an annual basis and only to the provision of supplemental Federal 
assistance for permanent repair and replacement activities. For repair 
and replacement assistance, the State would receive supplemental 
Federal assistance only after it has satisfied its deductible 
requirement.
    If in a given year the affected State has not fully satisfied its 
annual Public Assistance deductible with the credits that it earned and 
a major disaster is declared, after the declaration the State would be 
asked to identify projects that have a preliminary cost estimate 
(Federal and non-Federal share combined) equal to the unsatisfied 
deductible amount. With agreement by FEMA as to the preliminary cost 
estimate, those projects the State selects to satisfy the remaining 
deductible would be deemed ineligible under Section 406 of the Stafford 
Act.\69\ The State would assume responsibility for these projects.\70\ 
FEMA would require that the States identify these projects within the 
first 60 calendar days after a disaster declaration so as not to impede 
the provision of supplemental Federal assistance for other projects.
---------------------------------------------------------------------------

    \69\ Stafford Act, supra FN4, Sec.  406(b) (providing the 
``Federal share of assistance under this section shall be not less 
than 75 percent of the eligible cost of repair, restoration, 
reconstruction, or replacement carried out under this section'') 
(emphasis added).
    \70\ Costs of satisfying the deductible, like cost share costs, 
would not qualify for credit towards the next year's deductible.
---------------------------------------------------------------------------

    After the State satisfies its deductible in any major disaster 
event, any remaining eligible repair and replacement projects resulting 
from disasters declared in that year could receive supplemental Federal 
assistance in accordance with the standard procedures of the Public 
Assistance program. If there are insufficient projects to satisfy the 
full remaining deductible requirement, the unsatisfied portion of the 
deductible could be carried forward to any additional major disasters 
declared within the State that year. Any deductible that is remaining 
unsatisfied at the end of the year would expire. Each year could start 
the deductible cycle anew with regards to the starting deductibles, 
credits earned, and final deductibles.
    If a State has an unsatisfied deductible requirement remaining 
after a major disaster, and it receives a second major disaster 
declaration that year, pursuant to this initial version of the 
deductible concept, the State would be required to identify a project 
or grouping of projects that have a preliminary cost estimate (Federal 
and non-Federal share combined) equal to the unsatisfied deductible 
requirement. With agreement by FEMA as to the preliminary cost 
estimate, these projects would be deemed ineligible costs pursuant to 
Section 406 of the Stafford Act. Once the State has satisfied its 
annual deductible requirement, all eligible costs in subsequent 
disaster declarations could be processed for reimbursement through 
standard Public Assistance program procedures.
    Consider a State that has a starting deductible of $25 million and 
has earned credits of $15 million. The State's final deductible would 
be $10 million. This is the amount that the State would need to satisfy 
before it can receive permanent repair and replacement assistance. 
Suppose the State experiences a major disaster that requires $3 million 
in debris removal and causes $8 million in damage to public 
infrastructure. FEMA would document the debris removal costs on Project 
Worksheets and process all of those eligible costs for reimbursement 
assistance at the applicable disaster cost share, typically 75 percent 
Federal. The State could be responsible for paying for all of the 
permanent work repairs because the $8 million in damage is less than 
the State's $10 million final deductible for that calendar year.
    If the State receives a second major disaster declaration in the 
same calendar year, the State would need to identify $2 million in 
permanent work to satisfy the deductible remaining after the first 
disaster. After the deductible is fully met, all additional eligible 
costs could be documented on Project Worksheets and processed for 
reimbursement assistance pursuant to the applicable cost share and 
standard rules and procedures of FEMA's Public Assistance program.
    Any deductible amount remaining unsatisfied due to lack of eligible 
disaster costs at the end of a year would be canceled. For example, 
consider a State with a starting deductible of $30 million. The State 
then requests and is granted credits worth $20 million. FEMA notifies 
the State on January 1 that it has a final deductible amount of $10 
million for the following calendar year. The State does not experience 
any incidents during the calendar year for which the President declares 
a major disaster. The $10 million final deductible could expire and be 
cancelled at the end of the calendar year and the State could receive a 
new final deductible amount for the next year.

J. Validation Procedures

    FEMA desires for the deductible program to recognize, reward, and 
incentivize mitigation and resilience building best practices.
    As with the rest of the SANPRM all numbers, figures, criteria and 
processes detailed in this section are notional. They are intended to 
aid the public in understanding how a potential deductible program 
could operate and to spur discussion and feedback.
    In order to ensure that the program is both effective in truly 
incentivizing risk reduction and is being continually improved, FEMA 
would seek to validate a portion of the credits that States are 
approved each year.
    FEMA believes that its analysis will ultimately show that reviewing 
a sample of credit approvals would be sufficient to ensure the fidelity 
of the approvals and ultimately, confidence in the credibility of the 
deductible program. FEMA solicits comment on this

[[Page 4085]]

assumption and the ideal portion of credit submissions that would be 
subject to validation. Whatever the case, FEMA would notify the State 
of its intent to validate credits and would specify precisely which 
credits are to be validated.
    During the validation process, FEMA would review the records and 
documentation that States maintain to support their credit requests. 
Every State would likely have different standards for documentation and 
each credit may require a different type of documentation, none of 
which FEMA plans to prescribe; however, each State would be responsible 
for maintaining and providing, upon FEMA's notice of intent to validate 
a credit, sufficient documentation to reasonably and objectively 
substantiate the credit approval. FEMA anticipates that States would 
have to maintain the relevant documentation for at least 5 years. FEMA 
requests comment from States regarding the capital and startup costs 
that may be involved in this recordkeeping requirement as well as 
suggestions for how FEMA may minimize the burden on States to keep this 
information.
    In the event that FEMA is unable to validate a credit award, either 
because the underlying State activity did not actually qualify for 
deductible credit or because the State was unable to produce sufficient 
documentation to objectively validate the credit approval, FEMA would 
notify the State of its failure to validate the credit. FEMA would 
detail the applicable requirements of the deductible credit that was 
approved and specifically why FEMA was unable to validate it.
    Once FEMA notifies the State that FEMA was unable to validate a 
credit, FEMA could permit the State 60 days to appeal the 
determination. If the State's appeal is denied, FEMA would add any 
credit approval that could not be validated to the applicable State's 
deductible amount in the next year. If FEMA was able to validate the 
credit on appeal, the credit approval would stand and FEMA would make 
no further inquiry or take any other adverse action. FEMA seeks comment 
on whether and when further action could be appropriate in the case of 
a State which has submitted consistently unverifiable credits.
    For example, consider a State that has received a credit approval 
of $3 million for a tax incentive program that allows consumers to 
purchase hurricane preparedness supplies without paying sales tax 
during the first weekend of hurricane season each year. In this case, 
this particular credit has been included within the sample of credit 
approvals selected for validation. FEMA notifies the State of its 
intent to validate the credit and requests the necessary supporting 
documentation. The State is able to produce documentation for $100,000 
of qualifying advertising costs and $1.1 million worth of foregone 
sales tax receipts. Because the credit concept offers a deductible 
credit at a ratio of $2.00:$1.00 for this credit, FEMA would be able to 
validate $2.4 million worth of credit. FEMA notifies the State of its 
failure to validate $600,000 of credit and of FEMA's intent to increase 
the State's next annual deductible by $600,000 to compensate for the 
amount of the previous credit approval that FEMA was unable to 
validate.
    In this case, the State appeals the approval and is able to produce 
documentation of an additional $600,000 in forgone tax receipts from 
the sales tax holiday. FEMA is now able to validate the entire credit 
approval and would not add any additional amount to the State's next 
deductible.

K. Possible Implementation Strategy

    FEMA will gather the suggestions and concerns that have been 
expressed through the ANPRM and SANPRM and use them to determine 
whether it can design a deductible concept that achieves FEMA's overall 
guiding principles, but does so in a way that is both appreciative of 
and responsive to the needs and concerns of its emergency management 
partners, particularly the States to which it would apply. If FEMA 
decides the deductible program has continued merit, FEMA would issue a 
Notice of Proposed Rulemaking (NPRM) before possibly issuing a final 
rule. No aspect of the deductible concept would be implemented prior to 
publishing a final rule in the Federal Register.
    Even if a final rule is published, FEMA also recognizes that 
implementing such a fundamental change would require sufficient time to 
enable all parties to thoughtfully and strategically adapt to the new 
structure in the form best befitting each.
    Consequently, FEMA would likely not apply any deductible for at 
least one year following publication of a final rule. Thereafter, 
FEMA's concept envisions a phased implementation strategy that would 
make most States responsible for only a partial deductible amount in 
the beginning of the program and delaying full application of the 
deductible requirement for most States over a scheduled implementation 
period.
    Specifically, FEMA is considering capping the first year deductible 
at each State's then-current per capita indicator as determined by FEMA 
pursuant to 44 CFR 206.48(a)(1). FEMA could then increase each State's 
deductible by a share of the unapplied deductible, which for the 
purposes of this model is 50 percent, each year thereafter until the 
State reaches the full deductible amount. FEMA could recalculate the 
full deductible amount annually based on the fiscal capacity and risk 
index methodology described above. Through this method and based on the 
model FEMA provides in this SANPRM, half of the States could reach 
their full deductible within 4 years and all of the States could reach 
their full deductible within 9 years. Two States, Illinois and 
Colorado, could potentially reach their full deductible in the first 
year because the contemplated deductible methodology produces 
deductibles below their current Public Assistance per capita 
indicators. Figure 2 depicts the application of this implementation 
strategy over the first 3 years of the deductible program. Figure 3 
depicts the number of States that are forecast to reach their full 
deductible, as calculated in this model, in each year. Table 11 depicts 
the model starting deductibles for each State in each year based on 
current calculations.
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    FEMA believes that this approach would allow States the opportunity 
to adapt to the deductible concept and to take steps that would earn 
additional credits and begin to address their future disaster risk, 
without applying deductibles at levels that would be punitive.
    Similar to the phased implementation of the deductible amounts, 
FEMA envisions a phased application of credits in lockstep to each 
State's deductible amount. This would be done by applying the credits 
earned each year in the same proportion of the State's capped 
deductible to its full deductible. For example, if a State's starting 
deductible is equal to its full deductible in a given year, FEMA would 
apply all of the credits earned in that year. However, if because of 
phased implementation the starting deductible is a lesser amount, for 
example 25 percent of the full deductible, FEMA would apply the same 
percentage as a cap to the credits earned, or in this case 25 percent.
    Table 12 depicts each State's notional starting deductible for the 
first 9 years of the deductible program. It also depicts the model 
final deductibles that FEMA expects would be applied in each year. As 
described above, these model final deductibles are the model starting 
deductibles minus the amount of credits that each State earns in that 
particular year. For the purposes of this model, FEMA has estimated the 
amount of credit that each State might earn in the first year based on 
activities that FEMA believes every State is already undertaking. These 
amounts were depicted in Table 9. To extrapolate into the out years, 
FEMA assumed that each State would increase the amount of credit earned 
by 5 percent year-over-year. FEMA then deducted that amount, in 
proportion of the starting deductible to full deductible as described 
above, to calculate the model projected final deductible amounts for 
each State in each of the first 9 years.
    These amounts are only estimates, however, and will be affected by 
many factors, including changes to the base deductible, changes to each 
State's relative risk or fiscal capacity, the amount of credit each 
State earns in the first year for activities already underway, and 
changes to those activities that result in more or less than 5 percent 
year-over-year credit increases. All shaded values are capped.

[[Page 4091]]

[GRAPHIC] [TIFF OMITTED] TP12JA17.031


[[Page 4092]]



VI. Alternatives Considered

    Over the course of developing this deductible model, FEMA has 
considered many alternatives, and selected the attributes that FEMA 
believes could best achieve the intended outcomes of the program, 
adhere to the program's guiding principles, and minimize administrative 
burdens. The options that FEMA has considered included alternatives to 
specific aspects of the program, such as which credits could be offered 
or the value that FEMA could approve for those credits, but also 
included alternatives to the entire deductible concept itself. FEMA 
believes that the deductible program has the potential to improve the 
nation's resilience and reduce disaster risk and costs on a broad 
scale, but FEMA welcomes comment on alternative methodologies for 
achieving these results.
    The following subsections detail a few of the alternatives and 
options that FEMA is considering in developing its potential deductible 
program concept. FEMA did not use these alternatives in the model 
described in this SANPRM, but believes that they demonstrated enough 
promise that including a brief discussion of each could facilitate 
improved engagement and transparency in this process.
    FEMA has not made a final determination regarding the most 
appropriate approach moving forward. In addition to the potential 
deductible model described in this SANPRM, FEMA is still considering 
the alternatives described below and may consider and pursue other 
alternatives that may not necessarily be a logical outgrowth of this 
SANPRM.

A. Increasing the Per Capita Indicator

    FEMA originally began consideration of the deductible concept in 
the context of repeated calls--by the GAO, DHS OIG, Congress, and 
others--to change the Public Assistance per capita indicator.\71\ 
Instead, FEMA suggests that the Public Assistance deductible program 
may be a better option for reducing the costs of future disasters 
because it incentivizes State investments in risk reduction. FEMA 
believes simply increasing the per capita indicator, to the levels 
suggested by the GAO, would likely maintain the same level of disaster 
risk that exists today and transfer the future costs of disaster to 
impacted State and local governments. FEMA seeks comment on this 
assumption.
---------------------------------------------------------------------------

    \71\ See GAO, supra note 28; OIG supra note 29; see also 44 CFR 
206.48.
---------------------------------------------------------------------------

    However, recognizing that the status quo is unsustainable in the 
long term, FEMA has seriously considered adjusting the per capita 
indicator and may still do so in the future. Increasing the per capita 
indicator, to include an additional consideration of State fiscal 
capacity, is the only viable alternative to a deductible that FEMA has 
identified at this time.
    As was explained earlier in this SANPRM, the Public Assistance per 
capita indicator was initially set in 1986 at $1.00 based upon PCPI. At 
the time, that amount represented approximately one-hundredth of one 
percent (0.01% or 0.0001) of PCPI. Had FEMA adjusted the per capita 
indicator each year so that it maintained its ratio to rising PCPI, 
more than 70 percent of major disasters between 2005 and 2014 would not 
have been declared. Additionally, the per capita indicator would have 
risen to $4.81 for 2016.\72\ For comparison, the current 2016 per 
capita indicator is just $1.41. Switching to this alternative 
methodology would result in a nearly a 250-percent increase to the 
average per capita indicator, which could be phased in over a number of 
years or decades through accelerated upward adjustment of the per 
capita indicator at rates higher than inflation.
---------------------------------------------------------------------------

    \72\ Per Capita Personal Income in 2015 was $48,112 x 0.0001 = 
$4.81.
---------------------------------------------------------------------------

    Under this alternative FEMA has explored also adjusting the PCPI-
adjusted per capita indicator value by the current TTR index for each 
State.\73\ GAO recommended adjusting the per capita indicator values by 
the current TTR index.\74\ Finally, for purposes of comparison, because 
the Public Assistance per capita indicator is applied on a disaster-by-
disaster basis and FEMA envisions an annual deductible, under this 
alternative FEMA has multiplied the PCPI-adjusted per capita indicator 
by each State's 10-year average disaster frequency to provide a more 
comparable comparison. Table 13 indicates the amount of cumulative 
damage that a State would need to experience before FEMA would 
recommend that the President issue a major disaster declaration in 2016 
if the per capita indicator were raised to $4.81 and adjusted by the 
TTR Index.
---------------------------------------------------------------------------

    \73\ Per State PCPI Adjusted Total = $4.81 Per Capita Indicator 
x (State's TTR Index/100).
    \74\ See GAO, supra FN28, at 50.

                                  Table 13--Current Per Capita Indicator Compared With National PCPI Growth Adjustments
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                Data by state                                     Current per     Indicator adjusted
------------------------------------------------------------------------------ capita indicator   for national PCPI
                                                                                 2016 = $1.41    growth 2016 = $4.81
                                                                              ---------------------------------------  Annual average   Annualized PCPI-
                                                                Current TTR                         National PCPI      major disaster     Adjusted per
                  State                     2010 population        index            Current         adjusted total      declarations    capita indicator
                                                                                indicator total       (with TTR
                                                                                                     adjustment)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Alabama..................................         4,779,736              75.9        $6,739,428          $17,449,812               1.6       $27,919,700
Alaska...................................           710,231             126.8         1,001,426            4,331,756               1.6         6,930,809
Arizona..................................         6,392,017              70.7         9,012,744           21,737,140               0.9        19,563,426
Arkansas.................................         2,915,918              75.9         4,111,444           10,645,404               1.9        20,226,268
California...............................        37,253,956             104.9        52,528,078          187,971,913               1.5       281,957,870
Colorado.................................         5,029,196             107.9         7,091,166           26,101,477               0.7        18,271,034
Connecticut..............................         3,574,097             138.2         5,039,477           23,758,524               1.2        28,510,229
Delaware.................................           897,934             115.3         1,266,087            4,979,879               0.6         2,987,927
Florida..................................        18,801,310              82.2        26,509,847           74,336,996               1.6       118,939,193
Georgia..................................         9,687,653              90.7        13,659,591           42,264,033               0.8        33,811,226
Hawaii...................................         1,360,301              84.8         1,918,024            5,548,505               0.9         4,993,654
Idaho....................................         1,567,582              70.9         2,210,291            5,345,909               0.6         3,207,546
Illinois.................................        12,830,632             107.1        18,091,191           66,097,129               1.5        99,145,694
Indiana..................................         6,483,802              90.7         9,142,161           28,286,688               1.2        33,944,026
Iowa.....................................         3,046,355              98.8         4,295,361           14,477,132               2.3        33,297,403
Kansas...................................         2,853,118              93.3         4,022,896           12,804,023               2.3        29,449,253

[[Page 4093]]

 
Kentucky.................................         4,339,367              78.6         6,118,507           16,405,671               1.5        24,608,507
Louisiana................................         4,533,372              97.6         6,392,055           21,282,187               1.2        25,538,624
Maine....................................         1,328,361              77.6         1,872,989            4,958,187                 2         9,916,374
Maryland.................................         5,773,552             120.3         8,140,708           33,408,254                 1        33,408,254
Massachusetts............................         6,547,629             133.3         9,232,157           41,981,629               1.7        71,368,770
Michigan.................................         9,883,640              85.3        13,935,932           40,551,883               0.4        16,220,753
Minnesota................................         5,303,925             110.7         7,478,534           28,241,650               1.8        50,834,971
Mississippi..............................         2,967,297              68.1         4,183,889            9,719,708               1.4        13,607,591
Missouri.................................         5,988,927              89.6         8,444,387           25,810,838               2.4        61,946,011
Montana..................................           989,415              75.8         1,395,075            3,607,387               0.8         2,885,910
Nebraska.................................         1,826,341             105.5         2,575,141            9,267,859               2.3        21,316,075
Nevada...................................         2,700,551              82.3         3,807,777           10,690,482               0.7         7,483,338
New Hampshire............................         1,316,470             106.9         1,856,223            6,769,144               2.2        14,892,117
New Jersey...............................         8,791,894               129        12,396,571           54,552,823               1.4        76,373,952
New Mexico...............................         2,059,179              75.8         2,903,442            7,507,725               1.3         9,760,043
New York.................................        19,378,102             133.7        27,323,124          124,619,993               2.5       311,549,982
North Carolina...........................         9,535,483              86.7        13,445,031           39,765,539               1.2        47,718,646
North Dakota.............................           672,591             122.2           948,353            3,953,369                 2         7,906,738
Ohio.....................................        11,536,504              92.3        16,266,471           51,217,809                 1        51,217,809
Oklahoma.................................         3,751,351              85.3         5,289,405           15,391,531                 3        46,174,592
Oregon...................................         3,831,074              95.2         5,401,814           17,542,948                 1        17,542,948
Pennsylvania.............................        12,702,379              98.1        17,910,354           59,937,573               1.1        65,931,330
Rhode Island.............................         1,052,567             102.3         1,484,119            5,179,293               0.7         3,625,505
South Carolina...........................         4,625,364              73.2         6,521,763           16,285,537               0.3         4,885,661
South Dakota.............................           814,180              97.9         1,147,994            3,833,965               2.2         8,434,724
Tennessee................................         6,346,105              82.5         8,948,008           25,182,931               1.6        40,292,690
Texas....................................        25,145,561             106.7        35,455,241          129,053,808               1.7       219,391,474
Utah.....................................         2,763,885              83.4         3,897,078           11,087,435               0.7         7,761,205
Vermont..................................           625,741              87.1           882,295            2,621,548               1.6         4,194,477
Virginia.................................         8,001,024             114.6        11,281,444           44,103,725               1.2        52,924,469
Washington...............................         6,724,540             105.6         9,481,601           34,156,359               1.2        40,987,631
West Virginia............................         1,852,994              73.4         2,612,722            6,542,069               1.6        10,467,311
Wisconsin................................         5,686,986              95.1         8,018,650           26,014,037               0.9        23,412,633
Wyoming..................................           563,626             128.9           794,713            3,494,532               0.2           698,906
--------------------------------------------------------------------------------------------------------------------------------------------------------

    FEMA believes that the deductible concept has the potential to 
result in a better outcome for the nation than increasing the per 
capita indicator as it promotes State investment in risk reduction that 
will ultimately reduce the financial impact of future disasters.
    Compared with the alternative option of linking the Public 
Assistance per capita indicator to PCPI, the deductible model could 
deliver financial advantages to the States. These financial advantages 
could be even greater in the preliminary years over which the full 
deductible amount is phased in. Table 14 indicates the differences that 
FEMA expects might occur with each option.

 Table 14--Estimated Costs of the Notional Deductible Program Versus Adjusting the Per Capita Indicator for PCPI
----------------------------------------------------------------------------------------------------------------
                                                  Full estimated
                                                      credits                     National PCPI-    Annualized
        All amounts in $M          Full starting     (current          Final      Adjusted total   PCPI-Adjusted
                                    deductible      activities      deductible       (with TTR      per capita
                                                       only)                        adjustment)      indicator
----------------------------------------------------------------------------------------------------------------
Average State...................          $22.20           $9.74          $12.46          $29.37          $43.00
Median State....................           12.26            4.43            7.61           17.35           23.81
Minimum State...................            6.23            1.17            1.58            2.59       0.69 \75\
Maximum State...................          141.53          120.55           64.46          186.40          308.95
----------------------------------------------------------------------------------------------------------------

    FEMA recognizes that increasing the Public Assistance per capita 
indictor will likely lower the amount the Federal government spends on 
disasters. It is also simple to communicate and uses processes that 
everyone is already familiar with. However, FEMA currently believes the 
decrease in spending that the Federal government may see with the GAO's 
suggested indicators would not result because future incidents are any 
less devastating, but rather because the responsibility for that damage 
would be transferred to State and local jurisdictions. It is true that 
there is likely a level at which a high enough per capita indicator 
would transfer enough risk to the States that they would be forced to 
internalize sufficient disaster costs that may incentivize them to 
increase mitigation. We do not

[[Page 4094]]

believe that level of per capita indicator is viable at this time. 
Moreover, we believe that a deductible concept, which creates 
incentives for States both through a transfer of risk and through 
rewards provided by a credit system, will be more effective in driving 
risk reduction and will lower all disaster spending over time. FEMA 
will undertake more analysis over the course of this rulemaking and 
will make the ultimate decision based on the outcomes of this analysis, 
and not on the beliefs expressed in this section. Any direction 
commenters could provide to support that analysis would be appreciated.
---------------------------------------------------------------------------

    \75\ Although the application of the annualization calculation 
suggests a per capita indicator below $1 million due to low major 
disaster frequency in some States, 44 CFR 206.48(a)(1) would still 
set the minimum per capita indicator at $1 million. See supra FN23.
---------------------------------------------------------------------------

B. Alternative Deductible Approaches

    In developing this potential deductible concept, FEMA is 
considering many variations, including simpler ways to calculate the 
deductible amount, additional fiscal capacity indicators, alternative 
methodologies to determine relative risk among the States, altering the 
threshold, and additional possible activities that could be 
incentivized through the credit structure.
1. Calculation Alternatives
    There are many different methods by which FEMA could determine a 
State's deductible amount, and FEMA has considered the advantages and 
disadvantages of many options as it developed the potential deductible 
program. One of the simplest approaches would be to tie each State's 
Public Assistance deductible amount to its current per capita Public 
Assistance indicator in some way. Many commenters to the ANPRM remarked 
that they appreciated the simplicity, understandability, stability, and 
predictability of the current per capita indicator.
    While FEMA appreciates these values, the deductible concept, to be 
successful, must incentivize greater State resilience to future 
disasters. It is important, therefore, that the deductible amounts 
truly represent the States' individual characteristics that are 
relevant in the disaster context. Overall, FEMA believes that assessing 
fiscal capacity and relative risk is a better strategy for calculating 
deductibles than utilizing the current per capita indicator that lacks 
relevance to either of those gauges.
2. Fiscal Capacity Index
    FEMA considered two additional financial indicators before 
selecting the four contained in the fiscal capacity index included in 
this model. Those additional indicators included Total Actual Revenue 
(TAR),\76\ which FEMA defined as the amount of revenue a particular 
State actually raises in a typical year, and State Gross Domestic 
Product (GDP),\77\ which FEMA defined as the total value of the goods 
and services produced within the State in a particular year. Upon 
closer inspection, however, FEMA found that both of these indicators 
were closely correlated to TTR by factors of 0.981 and 0.998 
respectively.
---------------------------------------------------------------------------

    \76\ The United States Census Bureau produces an annual State 
Government Finances report that details the amount and sources of 
actual revenue captured by each State. Additional information can be 
found at: https://www.census.gov/govs/state/.
    \77\ The Bureau of Economic Analysis produces annual estimates 
of each State's Gross Domestic Product. These estimates are 
available at: http://www.bea.gov/iTable/iTable.cfm?reqid= 
70&step=1&isuri= 1&acrdn=2#reqid= 70&step=1&isuri=1.
---------------------------------------------------------------------------

    FEMA believes that TTR, with its broad consideration of potential 
State revenue resources, was the best of these three indicators. FEMA 
also appreciated that TTR, as a measure of potential, does not suffer 
from complications of political choice in TAR or GDP that result from 
differences between States in State tax obligations and the services 
for which tax dollars are allocated. Since all three measures were so 
highly correlated, FEMA selected to include TTR as the preferred metric 
from this group. The other three fiscal capacity indicators used in the 
model were less correlated with one another and, consequently, 
represent a unique measure of State fiscal capacity that FEMA believes 
should be considered to inform that portion of the deductible 
calculation.
3. Risk Index
    The model methodology for establishing the risk index utilizes AAL 
values produced from Hazus to evaluate each State's relative risk 
level. One feature of the AAL approach is that AAL reflects the total 
amount of the loss caused by the hazard. This includes losses by 
individuals, businesses, economic drivers, and insured losses. However, 
because of limitations in the types of assistance that FEMA provides 
through the Public Assistance program, there is inherent variability 
between Hazus-based AAL estimates of overall disaster losses and any 
impact that reducing these broader disaster losses would have on Public 
Assistance costs.
    FEMA is willing to accept this attribute, however, because the 
intent of the deductible program is to reduce risk and build resilience 
to disasters overall. FEMA considers the non-Public Assistance cost 
reductions that would occur as a result of a deductible program to be 
ancillary benefits of the program. This is no less true if the indirect 
Public Assistance reduction benefits are just a fraction of the overall 
deductible improvements through reduced AALs. FEMA seeks comment on 
this approach.
    One shortcoming of the AAL methodology, at least at present, is 
that Hazus does not currently produce loss estimates of any kind for 
severe storms or tornadoes. Overall, these types of incidents account 
for the most frequently declared major disasters and count for 
approximately 20 percent of Public Assistance obligations between 2005 
and 2014. However, looking below the surface of the classification, 
FEMA has found that a significant amount of the damage that occurs in a 
major disaster declared for severe storms is actually caused by 
flooding. Consequently, just a small percentage of major disasters are 
actually issued for damage from storms that do not include some 
flooding. These would include damage resulting from wind (tornado, 
derecho, microburst, etc.), hail, or winter storms.
    Nevertheless, it is likely that the AAL-based approach to 
calculating the risk index will somewhat undervalue the risk to locals 
that are particularly prone to these types of incidents, such as the 
Midwest for tornadoes and the Northeast for snow and ice storms. FEMA 
plans to continue seeking ways to improve the Hazus model and expand 
the modeling capabilities through AAL estimates, but it also 
acknowledges this particular limitation of the current approach. FEMA 
is soliciting comment on ways to potentially overcome these limitations 
in the Hazus model.
    FEMA also considered a completely different approach to assessing a 
State's relative risk that looks specifically at the likelihood that a 
State will require Public Assistance and the amount of assistance that 
will likely be needed. FEMA engaged CREATE to assist in the statistical 
and economic aspects of designing the deductible concept. CREATE 
produced an alternative approach for modeling risk using historical 
Public Assistance obligations to estimate States' risk. Essentially, 
CREATE has developed a methodology for modeling the likely amounts of 
Public Assistance that every State will require by leveraging 
historical Public Assistance levels to forecast potential future need.
    Specifically, the CREATE model utilizes Public Assistance data from 
1999 to 2015 (the broadest range for which reliable data is available). 
CREATE's model assumes that both the magnitude and frequency of 
disasters are random variables while

[[Page 4095]]

simultaneously taking a State's characteristics into account, such as 
the amount of infrastructure. CREATE then developed statistical models, 
adjusting the modeling parameters so that the outputs best matched the 
frequency and magnitude of historical Public Assistance outlays. CREATE 
was then able to use those models to look forward and determine the 
likely frequency and amounts of Public Assistance that each State would 
require in the future, converting those amounts to an index of relative 
risk.
    CREATE's approach advanced FEMA's ability to forecast Public 
Assistance requirements. However, FEMA is considering using the Hazus-
based AAL methodology for establishing each State's score on the risk 
index instead for a number of reasons.
    First, FEMA was concerned with the small quantity of data that it 
was able to offer to CREATE and upon which CREATE relied to build its 
model. FEMA could only provide reliable data for 17 years' worth of 
Public Assistance. FEMA was concerned that this dataset was of 
insufficient length to form the basis for establishing long-term 
forecast trends for the Public Assistance program. Some types of 
disasters, in some areas occur on 100-year, 500-year, 1,000-year, or 
even longer cycles. It is likely that FEMA's 17-year dataset is 
insufficient to capture these types of events. This is particularly 
true of rare but devastating hazards, such as major earthquakes. 
Conversely, States that have happened to experience a major disaster in 
the past 17 years may have their relative risk overstated by this 
dataset compared to what may be expected from a longer-term trend.
    Likewise, it is also likely that the Public Assistance dataset will 
include incidents that are unlikely to occur again in the near future 
and that may be skewing the data. The costs associated with Hurricane 
Katrina is an example of this possibility. While the chances of the 
Gulf Coast being struck by a moderate to major hurricane in the coming 
years are reasonable, the likelihood that it will cause the level of 
destruction as Hurricane Katrina is much lower. This is because a 
significant portion of the costs from Katrina stemmed from the flooding 
that resulted from failure of the water management and levee systems in 
New Orleans, Louisiana. Following extensive improvements to those 
systems over the past decade, a hurricane of similar intensity to 
Katrina might not cause the same level of damage to public facilities 
and infrastructure today.
    FEMA was also concerned that because the CREATE approach is novel, 
it might not engender the same level of public confidence as the AAL-
based methodology. AAL estimates are used by many organizations within 
the risk management and insurance industries and are generally accepted 
and defensible approaches to modeling future hazard costs. 
Additionally, FEMA expects that many within the emergency management 
community will be familiar with Hazus and the capabilities of that 
platform. Hazus data is openly available and FEMA values the 
transparency and reproducibility that use of the existing Hazus 
platform offers to the deductible methodology.
    Finally, FEMA believes that utilizing Hazus-based AALs will offer 
benefits to other programs as well by creating a significant use of the 
Hazus platform. FEMA will enjoy an efficiency by leveraging an existing 
platform instead of designing and constructing a new one. Additionally, 
because the deductible program has the potential to become a major 
consumer of Hazus outputs, it increases the value of the Hazus platform 
to FEMA and to the nation. This likely would lead to future updates and 
improvements to Hazus capabilities that would benefit not only the 
deductible program, but also all other users of Hazus products. 
However, FEMA certainly welcomes comment on the use of Hazus data, and 
AALs generally, and their application to formulating a risk-informed 
deductible calculation.
    In deciding between the Hazus-based AAL approach and the CREATE 
historical Public Assistance approach, FEMA decided that the former was 
the better option to incorporate as the risk index into the broader 
potential deductible formula. FEMA believes that the advantages of 
using the Hazus-based AAL approach described above outweigh the 
disadvantages of slightly lessening the risk assessment portion of the 
deductible methodology's strict nexus to the Public Assistance program. 
In other words, FEMA believes that taking a more expansive view of risk 
through use of Hazus-based AALs, which include costs not typically 
associated with the Public Assistance program, is acceptable given the 
intent of the deductible concept is to reduce risk nationally.
4. Additional Credits
    FEMA carefully considered the credits included in the model 
described in this SANPRM. FEMA attempted to offer a menu of credits 
that cover a range of activities and that would support a diversified 
approach to risk reduction and improved preparedness. FEMA intended 
each model credit to independently contribute to those outcomes, but 
also to work within the broader system to create a cohesive structure 
of achievable progress for all States.
    When developing the model credit offerings, FEMA considered other 
credits as well. These credits were not ultimately selected for the 
model for a variety of reasons. In some cases, the credit was too 
complicated or could create an unreasonable burden upon the State or 
FEMA to administer. In other cases, the ability of the credit to 
actually reduce risk or improve resilience was dubious. Ultimately, 
FEMA believes it included in the model the best mix of credits 
available from what it considered.
    One credit in particular that FEMA considered at length would have 
been tied to FEMA's Community Rating System (CRS). Many of the comments 
that FEMA received from stakeholders when it published the ANPRM 
suggested that FEMA should offer deductible credit for CRS 
participation. CRS is a program administered by FEMA's National Flood 
Insurance Program (NFIP). The NFIP provides federally-backed flood 
insurance within communities that enact and enforce floodplain 
regulations. FEMA recognizes that CRS is an important program that 
incentivizes important floodplain management activities, many of which 
mirror or support activities that FEMA is looking to incentivize 
through deductible credits, and that inclusion as a separate credit 
could further incentivize those activities. At this point, however, as 
discussed below, FEMA does not believe that inclusion of CRS as a 
credit is appropriate at this time.
    A structure must be located within an NFIP community to be eligible 
for federally-backed NFIP coverage. NFIP communities may also elect to 
participate in the CRS program to receive a percentile reduction to the 
premiums for every NFIP policy within the community. As of October 
2015, 1,368 of the 21,600 NFIP communities have chosen to participate 
in the CRS program. This provides discounted flood insurance premiums 
to nearly 3.8 million policyholders.
    The CRS classifies each participating community on a scale from 10 
to 1 based on multiple scoring criteria relating to floodplain 
management, investments, and enforcement. Each CRS class receives a 
corresponding percentile reduction to the premiums of all of the NFIP 
flood insurance policies covering property within those communities. 
The lower the community's CRS class, the larger the

[[Page 4096]]

percentile premium reduction will be. For example, a CRS class 7 
community would receive a 15 percent premium reduction on all policies 
covering property within the community's Special Flood Hazard Area, 
whereas a CRS class 1 community would receive a 45 percent reduction.
    As of October 2015, more than 50 percent of CRS communities were 
assigned to either class 8 or 9. Less than 1 percent of CRS communities 
have reached beyond class 5. Figure 4 depicts the number of communities 
in each CRS class (as of October 2015).
[GRAPHIC] [TIFF OMITTED] TP12JA17.032

    FEMA examined multiple ways by which it could potentially include 
such a credit in the deductible model. The major problem with creating 
a deductible credit in this instance is that the CRS program is 
administered exclusively at the community level, and FEMA has never 
produced statewide CRS scores. FEMA would need to be able to translate 
participating community classes into statewide scores for purposes of 
the deductible. In considering the credit, FEMA developed a basic 
framework for how this process might work.
    FEMA has considered calculating statewide CRS scores by utilizing 
population-weighted averages of the participating communities' CRS 
classes compared to the statewide population. FEMA would multiply the 
population of each CRS community by its assigned CRS class. FEMA would 
then add all of those values together and divide by the population of 
the State. The resulting number would then be subtracted from 9, the 
lowest class for which credit would be offered, to derive the statewide 
CRS score.
    Consider for example the State of Iowa. As of October 2015, Iowa 
had seven CRS communities. Those communities are as follows:

                               Table 15--Example Statewide CRS Credit Score--Iowa
----------------------------------------------------------------------------------------------------------------
                                                                                                    Pop. x CRS
                          CRS community                             Population       CRS class         class
----------------------------------------------------------------------------------------------------------------
City of Cedar Falls.............................................          39,260               5         196,300
City of Cedar Rapids............................................         126,326               6         757,956
City of Coralville..............................................          18,907               7         132,349
City of Davenport...............................................          99,685               8         797,480
City of Des Moines..............................................         203,433               7       1,424,031
City of Iowa City...............................................          67,862               7         475,034
Linn County \78\................................................          84,900               8         679,200
                                                                 -----------------------------------------------

[[Page 4097]]

 
    Sum.........................................................  ..............  ..............       4,462,350
                                                                 -----------------------------------------------
        State of Iowa...........................................       3,046,355             7.5  ..............
----------------------------------------------------------------------------------------------------------------

    FEMA has also considered multiplying the population of each 
community by the community's CRS class. For example, the City of Cedar 
Falls would contribute 196,300 to the calculation (population of 39,260 
multiplied by CRS Class 5). FEMA would then add up all of those values 
from each CRS community. In this case, that would equal 4,462,350. This 
total would then be divided by the population of the entire State 
(4,462,350/3,046,355 = 1.5). The result is then subtracted from 9 to 
yield the statewide CRS score for purposes of the deductible. In this 
case, Iowa's CRS score would be 7.5 (9.00 - 1.5 = 7.5). This value 
could then be recognized with some level of credit based upon a 
standardized conversion schedule. At this time, FEMA has not developed 
a potential deductible credit schedule for the CRS.
---------------------------------------------------------------------------

    \78\ The population of Linn County included in this example 
excludes the population of the City of Cedar Rapids because it is 
accounted for separately as an independent CRS community.
---------------------------------------------------------------------------

    Ultimately, FEMA decided not to include a model CRS deductible 
credit in this SANPRM for three reasons. First, FEMA believes that the 
flood insurance premium reductions should sufficiently incentivize NFIP 
communities to participate or better their standing within the CRS 
program. Second, FEMA would need to develop a new methodology for 
creating statewide CRS classes. This would be a novel undertaking for 
FEMA and the agency seeks comment from its State partners and the 
public regarding this endeavor. Furthermore, creating such a 
methodology is complicated because CRS communities are not necessarily 
the same as census-based communities, meaning that population numbers 
will need to be validated on a community-by-community basis for the 
calculation. Finally, even if FEMA does create a methodology for 
statewide CRS scores, FEMA is concerned that doing so would be 
confusing to stakeholders because FEMA would not be offering any NFIP 
insurance premium discounts for those scores. In other words, if a 
statewide score is better than a particular NFIP community's CRS class, 
there may be an expectation that FEMA would use the statewide score in 
place of the community's CRS Class. In fact, FEMA would not be willing 
to use the statewide score in lieu of the community score for purposes 
of granting NFIP premium discounts and FEMA believes that the creation 
of statewide CRS scores solely for the purposes of the deductible 
program would be confusing, and ultimately disappointing, to some CRS 
communities and NFIP policyholders.

VII. Legal Authority

    FEMA administers the Public Assistance program pursuant to the 
President's statutory authority conferred in Section 406 of the 
Stafford Act to ``make contributions--(A) to a State or local 
government for the repair, restoration, reconstruction, or replacement 
of a public facility damaged or destroyed by a major disaster and for 
associated expenses incurred by the government.'' \79\ These 
contributions are limited to ``. . . not less than 75 percent of the 
eligible costs of repair, restoration, reconstruction, or replacement 
carried out under this section''--known as the Federal share.\80\ The 
President has delegated this authority to the Administrator of FEMA to 
authorize the Public Assistance program, inter alia.\81\
---------------------------------------------------------------------------

    \79\ 42 U.S.C. 5172(a)(1)(A).
    \80\ 42 U.S.C. 5172(b)(1).
    \81\ Executive Order 12148, 44 FR 43239 (July 24, 1979).
---------------------------------------------------------------------------

    ``Eligible'' is a term of qualification indicating that not all 
resultant costs are automatically reimbursable. Because the Stafford 
Act does not define ``eligible costs'' within the text of the law 
itself, it is within FEMA's discretion to define the term for purposes 
of its programs authorized pursuant to that provision. FEMA has, 
through regulation and policy, leveraged its discretion to determine 
which disaster costs are ``eligible.'' For purposes of the deductible 
program, FEMA is considering revising its regulations and policies to 
reflect a determination that disaster costs that cumulatively fall 
below the amount of the State's annual deductible, as adjusted by its 
earned credits, are not ``eligible costs'' as defined by the Stafford 
Act.

VIII. Conclusion

    The concept for a deductible program responds to calls for FEMA to 
address the increasing frequency of disaster declarations, particularly 
smaller events that should be within the capacity of State and local 
governments, and to decrease Federal disaster costs. While increasing 
the per capita indicator is one way to accomplish this, solely through 
the transfer of costs from the Federal government to State and local 
jurisdictions, FEMA believes that doing so would miss a valuable 
opportunity to increase the nation's overall disaster resilience, 
thereby reducing costs for all stakeholders.
    While FEMA seeks comment on all aspects of the deductible concept, 
in particular FEMA seeks detailed comment and supporting data on the 
methodology for calculating each State's deductible amount, including 
how FEMA should consider each State's individual risk and fiscal 
capacity; and on whether FEMA's estimates of projected credits for each 
State are accurate. Detailed stakeholder comment and supporting data 
are crucial to FEMA's development of a fair and transparent means to 
calculate deductible amounts and creation of an effective and efficient 
deductible program.

    Dated: January 6, 2017.
W. Craig Fugate,
Administrator, Federal Emergency Management Agency.
[FR Doc. 2017-00467 Filed 1-11-17; 8:45 am]
 BILLING CODE 9111-23-P



                                                     4064                   Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules

                                                     DEPARTMENT OF HOMELAND                                  ADDRESSES:  You may submit comments,                   followed by a list of questions for the
                                                     SECURITY                                                identified by Docket ID FEMA–2016–                     public, the answers to which would
                                                                                                             0003, by one of the following methods:                 help FEMA assess all aspects of the
                                                     Federal Emergency Management                              Federal eRulemaking Portal: http://                  deductible concept, including how to
                                                     Agency                                                  www.regulations.gov. Follow the                        calculate the deductible, the scope of
                                                                                                             instructions for submitting comments.                  the deductible, how to satisfy the
                                                     44 CFR Part 206                                           Mail/Hand Delivery/Courier:                          deductible, how this concept could
                                                                                                             Regulatory Affairs Division, Office of                 influence change, implementation
                                                     [Docket ID FEMA–2016–0003]                              Chief Counsel, Federal Emergency                       considerations and an estimated impact.
                                                                                                             Management Agency, 8NE, 500 C Street                   With input received from the ANPRM,
                                                     RIN 1660–AA84                                           SW., Washington, DC 20472.                             FEMA has developed a more detailed
                                                                                                             FOR FURTHER INFORMATION CONTACT:                       potential deductible concept and seeks
                                                     Establishing a Deductible for FEMA’s                                                                           further public comment via this
                                                     Public Assistance Program                               Jotham Allen, Federal Emergency
                                                                                                             Management Agency, 500 C Street SW.,                   SANPRM. The goal of this SANPRM is
                                                     AGENCY:  Federal Emergency                              Washington, DC 20472, 202–646–1957.                    to gather additional public comment
                                                     Management Agency, DHS.                                                                                        about the specific aspects of a
                                                                                                             SUPPLEMENTARY INFORMATION:
                                                     ACTION: Supplemental advance notice of
                                                                                                                                                                    programmatic approach that the Agency
                                                     proposed rulemaking.                                    I. Public Participation                                recognizes would represent a change to
                                                                                                                                                                    the existing Federal disaster support
                                                                                                                We encourage you to participate in
                                                     SUMMARY:    The Federal Emergency                                                                              system.
                                                                                                             this rulemaking by submitting                            The Public Assistance deductible
                                                     Management Agency (FEMA) is                             comments and related materials. We
                                                     considering implementing a Public                                                                              would condition the States’ receipt of
                                                                                                             will consider all comments and material                FEMA reimbursement for the permanent
                                                     Assistance deductible that would                        received during the comment period.
                                                     condition States’ receipt of FEMA                                                                              repair and replacement of public
                                                                                                                If you submit a comment, identify the               infrastructure damaged by a disaster
                                                     reimbursement for the repair and                        agency name and the docket ID for this
                                                     replacement of public infrastructure                                                                           event. FEMA believes the deductible
                                                                                                             rulemaking, indicate the specific section              requirement could incentivize State risk
                                                     damaged by a disaster event. The                        of this document to which each
                                                     primary intent of the deductible concept                                                                       reduction efforts, mitigate future
                                                                                                             comment applies, and give the reason                   disaster impacts, and lower recovery
                                                     is to incentivize greater State resilience              for each comment. You may submit
                                                     to future disasters, thereby reducing                                                                          costs for the whole community. In
                                                                                                             your comments and material by                          addition, the deductible requirement
                                                     future disaster costs nationally. On                    electronic means, mail, or delivery to
                                                     January 20, 2016, FEMA (the Agency)                                                                            addresses concerns raised by Members
                                                                                                             the address under the ADDRESSES                        of Congress, the Government
                                                     published an Advance Notice of                          section. Please submit your comments
                                                     Proposed Rulemaking (ANPRM) seeking                                                                            Accountability Office (GAO), and the
                                                                                                             and material by only one means.                        Department of Homeland Security’s
                                                     comment on a Public Assistance                             Regardless of the method used for
                                                     deductible concept. The ANPRM                                                                                  Office of the Inspector General (DHS
                                                                                                             submitting comments or material, all                   OIG) over the last several years, and
                                                     provided a general description of the                   submissions will be posted, without
                                                     concept that many commenters found                                                                             potentially addresses concerns that the
                                                                                                             change, to the Federal e-Rulemaking                    current disaster declaration process
                                                     insufficient to provide meaningful                      Portal at http://www.regulations.gov,                  inadequately assesses State capacity to
                                                     comment. In an effort to offer the public               and will include any personal                          respond to and recover from a disaster
                                                     a more detailed deductible concept                      information you provide. Therefore,                    without Federal assistance.
                                                     upon which to provide additional                        submitting this information makes it                     In this SANPRM, FEMA is presenting
                                                     feedback, the Agency is issuing a                       public. You may wish to read the                       a model, or potential, deductible
                                                     supplemental ANPRM (SANPRM) that                        Privacy Act notice that is available via               program to provide more specifics of
                                                     presents a conceptual deductible                        a link on the homepage of                              what the deductible requirement may
                                                     program, including a methodology for                    www.regulations.gov.                                   entail for detailed public feedback.
                                                     calculating deductible amounts based                       Viewing comments and documents:                     Detailed public comments on this
                                                     on a combination of each State’s fiscal                 For access to the docket to read                       potential program, in particular on the
                                                     capacity and disaster risk, a proposed                  supporting documents, a supplemental                   methodologies for calculating each
                                                     credit structure to reward States for                   guidance document, and an annual                       State’s deductible and the estimates for
                                                     undertaking resilience-building                         notice template, and comments                          each State’s projected credits, could
                                                     activities, and a description of how                    received, go to the Federal e-                         assist FEMA in the development of a
                                                     FEMA could consider implementing the                    Rulemaking Portal at http://                           future proposed rule.
                                                     program. At this stage of the rulemaking                www.regulations.gov. Background                          Under the deductible concept, each
                                                     process, the deductible remains only                    documents and submitted comments                       State would be expected to expend a
                                                     something that FEMA is considering.                     may also be inspected at FEMA, Office                  predetermined, annual amount of its
                                                     The policy conceived of in this                         of Chief Counsel, 500 C Street SW.,                    own funds on emergency management
                                                     document is not a proposal. In this                     Washington, DC 20472–3100.                             and disaster costs before FEMA would
                                                     document, FEMA is providing what is                                                                            provide Public Assistance for the repair
                                                     merely a description of a direction                     II. Executive Summary
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                                                                                                                                                                    and replacement of public infrastructure
                                                     FEMA could take in future rulemaking                      On January 20, 2016, FEMA                            damaged by a disaster event. This
                                                     in an effort to solicit further feedback                published an Advance Notice of                         annually predetermined amount is the
                                                     from the public. After considering the                  Proposed Rulemaking (ANPRM), 81 FR                     State’s deductible. However, satisfying
                                                     comments it receives, or as a result of                 3082, seeking comment on a concept                     the deductible would not be required
                                                     other factors, FEMA may expand on or                    that would incorporate a deductible                    before FEMA would provide assistance
                                                     redevelop this concept.                                 requirement into the Public Assistance                 for other types of assistance, such as
                                                     DATES: Comments must be submitted by                    program. The ANPRM provided a                          debris removal or emergency protective
                                                     April 12, 2017.                                         general description of this concept,                   measures. Importantly, States may


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                                                                                     Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules                                                                       4065

                                                     choose to earn credits toward satisfying                              TABLE 1—FIRST YEAR STARTING                                   TABLE 2—POTENTIAL FIRST YEAR
                                                     their deductible through a variety of                                 DEDUCTIBLES BEFORE CREDITS 1—                                 FINAL DEDUCTIBLES ADJUSTED FOR
                                                     activities that could reduce risk and                                 Continued                                                     PROJECTED CREDITS 2—Continued
                                                     improve preparedness, thereby reducing
                                                     future disaster costs to both the State                                     First year starting deductibles                            Potential first year ‘‘final’’ deductibles
                                                     and Federal government.                                                             (before credits)                                      (adjusted for projected credits)
                                                        FEMA could calculate annually the
                                                     deductible amount (in dollars) for each                                                                     Year 1 starting                                                ‘‘Final’’ adjusted
                                                                                                                                     State                         deductible                        State                          deductible
                                                     State based on an index of State risk and                                                                    (in millions)                                                    (in millions)
                                                     fiscal capacity. FEMA anticipates a
                                                     scaled implementation of a deductible                           Virginia ..............................                 11.28    Indiana ..............................                 2.81
                                                     requirement over a yet-to-be-determined                         Washington .......................                       9.48    Iowa ..................................                1.70
                                                     period of years with starting deductibles                       West Virginia ....................                       2.61    Kansas ..............................                  3.45
                                                     in year one as follows in Table 1:                              Wisconsin .........................                      8.02    Kentucky ...........................                   4.65
                                                                                                                     Wyoming ...........................                      1.00    Louisiana ..........................                   5.57
                                                                                                                                                                                      Maine ................................                 1.46
                                                          TABLE 1—FIRST YEAR STARTING                                  To offset the deductible requirement,                          Maryland ...........................                   5.78
                                                          DEDUCTIBLES BEFORE CREDITS 1                               FEMA could provide each State with an                            Massachusetts ..................                       5.11
                                                                                                                     opportunity to apply for credits. The                            Michigan ...........................                   8.53
                                                                 First year starting deductibles                                                                                      Minnesota .........................                    1.25
                                                                         (before credits)                            credits could incentivize States to
                                                                                                                                                                                      Mississippi ........................                   2.51
                                                                                                                     dedicate resources on activities that are                        Missouri ............................                  4.78
                                                                                                 Year 1 starting     demonstrated to promote and support                              Montana ............................                   0.77
                                                                     State                         deductible        readiness, preparedness, mitigation, and
                                                                                                  (in millions)                                                                       Nebraska ..........................                    1.52
                                                                                                                     resilience. Such activities could include                        Nevada .............................                   2.03
                                                     Alabama ............................                   $6.74    adopting and enforcing building codes                            New Hampshire ................                         0.91
                                                     Alaska ...............................                  1.00    that promote disaster resilience, funding                        New Jersey .......................                     4.89
                                                     Arizona ..............................                  9.01    mitigation projects, or investing in                             New Mexico ......................                      2.02
                                                     Arkansas ...........................                    4.11    disaster relief, insurance, and                                  New York ..........................                   19.59
                                                     California ...........................                 52.53    emergency management programs.                                   North Carolina ..................                      2.48
                                                     Colorado ...........................                    7.08                                                                     North Dakota ....................                      0.30
                                                                                                                     FEMA believes that every State is                                Ohio ..................................               11.75
                                                     Connecticut .......................                     5.04    already undertaking activities that
                                                     Delaware ...........................                    1.27                                                                     Oklahoma .........................                     3.33
                                                     Florida ...............................                26.51    would qualify them for credits and                               Oregon ..............................                  3.91
                                                     Georgia .............................                  13.66    reduce their deductible requirement,                             Pennsylvania ....................                      5.52
                                                     Hawaii ...............................                  1.92    such as investing in mitigation projects                         Rhode Island ....................                      1.20
                                                     Idaho .................................                 2.21    or granting tax incentives for projects                          South Carolina ..................                      4.92
                                                     Illinois ................................              14.43    that reduce risk. Based on FEMA’s                                South Dakota ....................                      0.92
                                                     Indiana ..............................                  9.14    projection of possible credits for                               Tennessee ........................                     7.06
                                                     Iowa ..................................                 4.30    activities each State is presently                               Texas ................................                26.99
                                                     Kansas ..............................                   4.02                                                                     Utah ..................................                1.99
                                                                                                                     engaged in, FEMA estimates a potential                           Vermont ............................                   0.63
                                                     Kentucky ...........................                    6.12
                                                     Louisiana ..........................                    6.39    adjusted deductible requirement in year                          Virginia ..............................                4.89
                                                     Maine ................................                  1.87    one as follows in Table 2:                                       Washington .......................                     8.91
                                                     Maryland ...........................                    8.14                                                                     West Virginia ....................                     1.91
                                                     Massachusetts ..................                        9.23          TABLE 2—POTENTIAL FIRST YEAR                               Wisconsin .........................                    6.17
                                                     Michigan ...........................                   13.94          FINAL DEDUCTIBLES ADJUSTED FOR                             Wyoming ...........................                    0.71
                                                     Minnesota .........................                     7.48          PROJECTED CREDITS 2
                                                     Mississippi ........................                    4.18                                                                       Under the deductible concept, FEMA
                                                     Missouri ............................                   8.44                                                                     would continue to recommend whether
                                                                                                                            Potential first year ‘‘final’’ deductibles
                                                     Montana ............................                    1.40              (adjusted for projected credits)                       a State should receive a major disaster
                                                     Nebraska ..........................                     2.58
                                                                                                                                                                                      declaration pursuant to the current
                                                     Nevada .............................                    3.81                                                ‘‘Final’’ adjusted
                                                     New Hampshire ................                          1.86                                                                     factors outlined in Federal policy (44
                                                                                                                                     State                           deductible
                                                     New Jersey .......................                     12.40                                                   (in millions)     CFR 206.48(a)). If a State receives a
                                                     New Mexico ......................                       2.90                                                                     major disaster declaration authorizing
                                                     New York ..........................                    27.32    Alabama ............................                     5.01    Public Assistance reimbursement, the
                                                     North Carolina ..................                      13.45    Alaska ...............................                   0.74    State would then be required to first
                                                     North Dakota ....................                       1.00    Arizona ..............................                   4.88    satisfy its annual deductible
                                                     Ohio ..................................                16.27    Arkansas ...........................                     2.49    requirement (as adjusted by credits)
                                                     Oklahoma .........................                      5.29    California ...........................                   7.63    before FEMA would provide
                                                     Oregon ..............................                   5.40    Colorado ...........................                     5.24
                                                     Pennsylvania ....................                      17.91    Connecticut .......................                      3.72
                                                                                                                                                                                      reimbursement for Public Assistance
                                                     Rhode Island ....................                       1.48    Delaware ...........................                     0.94    permanent work. If a State has not fully
                                                     South Carolina ..................                       6.52    Florida ...............................                 10.85    satisfied its deductible through earned
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                                                     South Dakota ....................                       1.15    Georgia .............................                    9.99    credits, following a major disaster
                                                     Tennessee ........................                      8.95    Hawaii ...............................                   1.68    declaration the State would then
                                                     Texas ................................                 35.46    Idaho .................................                  1.66    identify one or more permanent work
                                                     Utah ..................................                 3.90    Illinois ................................                3.47    projects proposed under the disaster
                                                     Vermont ............................                    1.00                                                                     declaration to satisfy the remaining
                                                                                                                       2 For a full explanation of how each State’s
                                                                                                                                                                                      deductible amount (i.e., the State
                                                       1 For a full explanation of how the first year                projected credits were calculated and how those
                                                     starting deductibles could be calculated under this             credits impacted the projected first year’s final
                                                                                                                                                                                      chooses the selected project(s) and the
                                                     model program, please refer to Section V,                       deductibles under this model program, please refer               project(s) would be ineligible for FEMA
                                                     Subsections A–F of this notice.                                 to Section V, Subsections G–H of this notice.                    assistance). In order to ensure timely


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                                                     4066                   Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules

                                                     and complete response to the                            1974,3 which was amended and                             1. Estimated cost of the assistance; 11
                                                     evacuation and immediate protection of                  renamed the Robert T. Stafford Disaster                  2. Localized impacts; 12
                                                     life and property, FEMA would fund                      Relief and Emergency Assistance Act                      3. Insurance coverage in force; 13
                                                                                                                                                                      4. Hazard mitigation; 14
                                                     eligible emergency protective measures                  (Stafford Act) in 1988,4 formally                        5. Recent multiple disasters; 15 and
                                                     and debris removal regardless of                        established the foundation of the                        6. Programs of other Federal assistance.16
                                                     whether or not the State has met its                    current disaster assistance system.
                                                     deductible requirement.                                 Generally, FEMA directly provides or                   FEMA evaluates every request with
                                                        FEMA could implement the                             coordinates this assistance.                           regard to each of these delineated
                                                     deductible program by regulation,                          Pursuant to this system, the Federal                factors, to the extent applicable.
                                                     supplemented by a guidance document                     government provides various forms of                   However, there is a very strong
                                                     and annual notices. The regulation                      financial and direct assistance following              correlation between the first factor,
                                                     could set forth broadly that FEMA will                  disasters. One of the primary types of                 estimated cost of the assistance, and the
                                                     annually calculate deductible and credit                support FEMA provides to affected                      likelihood that FEMA will recommend
                                                     amounts and could describe how a                        jurisdictions is repair, restoration, and              that the President issue a major disaster
                                                     deductible requirement could be                                                                                declaration.
                                                                                                             replacement assistance through the
                                                     applied post-declaration. The guidance                                                                            Under the current system, if a State
                                                                                                             Public Assistance program.5 The Public
                                                     document could set forth more                                                                                  demonstrates that an incident has
                                                                                                             Assistance program is FEMA’s principal                 caused a certain level of damage to a
                                                     specifically the annual schedule, and                   means for assisting jurisdictions that are
                                                     how FEMA will calculate deductible                                                                             State to address the damage caused,
                                                                                                             financially overwhelmed by the costs of                FEMA would likely recommend that the
                                                     and credit amounts, and the annual                      repairing, restoring, and replacing
                                                     notice could provide FEMA’s                                                                                    President declare a major disaster. A
                                                                                                             public facilities damaged by disasters,                major disaster indicates that the
                                                     determination on State deductible                       such as buildings, roads, bridges, and
                                                     amounts for the following year. A draft                                                                        President has determined that the
                                                                                                             other types of publicly-owned                          incident has caused ‘‘damage of
                                                     guidance document and example annual                    infrastructure.
                                                     notice are included in the docket for                                                                          sufficient severity and magnitude to
                                                                                                                On average, FEMA has distributed                    warrant major disaster assistance under
                                                     this rulemaking at www.regulations.gov                  approximately $4.6 billion in grants
                                                     under docket ID FEMA–2016–0003 for                                                                             [the Stafford Act] to supplement the
                                                                                                             each year through the Public Assistance                efforts and available resources of States,
                                                     public review and comment.                              program over the past decade. Of the
                                                        Under this concept, FEMA would                                                                              local governments, and disaster relief
                                                                                                             nearly $60 billion awarded through the                 organizations in alleviating the damage,
                                                     condition the provision of grant                        Public Assistance program between
                                                     assistance for the permanent repair and                                                                        loss, hardship, or suffering caused
                                                                                                             2005 and 2014, over 65 percent was for                 thereby.’’ 17 Consequently, if the
                                                     replacement of building infrastructure                  eligible recovery projects termed
                                                     that is damaged by a major disaster                                                                            President declares a major disaster
                                                                                                             ‘‘permanent work’’ and for project                     authorizing Public Assistance, FEMA
                                                     upon the State’s meeting a Public
                                                                                                             management costs. Permanent work                       will provide supplemental financial
                                                     Assistance deductible. It would not
                                                                                                             includes expenses for repair,                          assistance grants, which pay for not less
                                                     apply to any other form of FEMA
                                                                                                             restoration, and replacement that are not              than 75 percent of eligible costs.18
                                                     assistance, including emergency
                                                                                                             related to debris removal or emergency                    Conversely, if the President does not
                                                     assistance, Individual Assistance, or the
                                                                                                             protective measures.6                                  issue a major disaster declaration, the
                                                     Hazard Mitigation Grant Program. Since
                                                                                                                Before an affected jurisdiction can                 amount of damage is presumed to be
                                                     the Public Assistance deductible would
                                                                                                             receive funding through the Public                     within the capabilities of the affected
                                                     condition States’ receipt of FEMA
                                                                                                             Assistance program, the President of the               jurisdictions and any supporting
                                                     funds, it would not apply to Indian
                                                                                                             United States must authorize it.7 The                  disaster relief organizations. In that
                                                     Tribes, the District of Columbia, or US
                                                                                                             Governor typically makes a request                     case, the affected State is responsible for
                                                     territories. The deductible would not
                                                                                                             through FEMA for a Presidential                        all of the costs of the incident, although
                                                     change the official disaster declaration
                                                                                                             declaration of an emergency or major                   the State will often pass many of the
                                                     request process, or the factors that
                                                                                                             disaster authorizing the Public                        costs on to local jurisdictions. For
                                                     FEMA considers when making disaster
                                                                                                             Assistance program.8 Upon receipt,                     example, under current regulations
                                                     declaration recommendations to the
                                                                                                             FEMA is responsible for evaluating the                 FEMA may determine a particular State
                                                     President.
                                                        A deductible program could leverage                  Governor’s request and providing a                     based on its population is able to
                                                     FEMA’s Public Assistance program to                     recommendation to the President                        independently handle up to $1,000,000
                                                     reward States for investing in readiness,               regarding its disposition.9                            in damage without the need for
                                                     preparedness, mitigation, and resilience,                  When considering a jurisdiction’s                   supplemental Federal assistance. Under
                                                     thereby increasing the nation’s ability to              request for a major disaster declaration               the current approach, an incident need
                                                     reduce disaster impacts and costs for all               authorizing the Public Assistance                      only identify damage at that amount to
                                                     levels of government, individuals, and                  program, FEMA considers six factors.10                 suggest that supplemental Federal
                                                     the private sector. FEMA seeks                          These factors include:                                 assistance is needed. If the governor of
                                                     comment on all details of this concept,                                                                        that State requests a major disaster
                                                                                                               3 Disaster Relief Act of 1974, Public Law 93–288
                                                     especially regarding how the deductible                                                                        declaration for an incident causing
                                                                                                             (1974).
                                                     could be calculated and the types and                     4 Public Law 100–707 (1988). Robert T. Stafford
                                                                                                                                                                    $999,999 in damage, it is likely that
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                                                     amounts of deductible credit that could                 Disaster Relief and Emergency Assistance Act,
                                                                                                                                                                      11 Id. at § 206.48(a)(1).
                                                     be granted.                                             Public Law 93–288 (1974), as amended; 42 U.S.C.
                                                                                                             5121 et seq.                                             12 Id. at § 206.48(a)(2).
                                                     III. Background and Development of                        5 See 42 U.S.C. 5172.                                  13 Id. at § 206.48(a)(3).

                                                     the Deductible Concept                                    6 See 44 CFR 206.201(j).                               14 Id. at § 206.48(a)(4).
                                                                                                               7 See 42 U.S.C. 5170b, 5192; see also 44 CFR           15 See 44 CFR 206.48(a)(5).
                                                        Although the Federal government has                  206.38, 206.40.                                          16 Id. at § 206.48(a)(6).
                                                     been providing supplemental disaster                      8 42 U.S.C. 5170, 5191.                                17 42 U.S.C. 5122(2) (defining a major disaster for
                                                     relief to States and localities since the                 9 See 44 CFR 206.37(c).                              purposes of the Act).
                                                     early 1800s, the Disaster Relief Act of                   10 See 44 CFR 206.48(a).                               18 42 U.S.C. 5170b(b).




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                                                                                      Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules                                                                                   4067

                                                     supplemental Federal assistance will                                        amount of damage that a State is                                             has applied inflation adjustments since
                                                     not be authorized and the State will be                                     expected to be able to independently                                         1999, and the per capita indicator has
                                                     responsible for the entirety of the loss.                                   manage without the need for                                                  risen by just 41 percent over that same
                                                     However, if instead the incident caused                                     supplemental Federal assistance. For                                         period.
                                                     exactly $1,000,000 in damage,                                               example, if a State had a population at                                         A retrospective analysis conducted by
                                                     supplemental Federal assistance may be                                      the time of the 2010 decennial census                                        FEMA suggests that if the per capita
                                                     authorized and FEMA would provide                                           population of 1,500,000, FEMA would                                          indicator had kept pace with PCPI, 70
                                                     reimbursement grants through the                                            multiply that by the 1.41 indicator and                                      percent of the major disasters between
                                                     Public Assistance program for at least                                      arrive at a State-level indicator of                                         2005 and 2014 would not have been
                                                     $750,000 (75 percent of eligible costs).                                    2,115,000. In other words, FEMA would                                        declared. This would have transferred
                                                     This has the effect of FEMA providing                                       expect that the State would be able to                                       all of the costs for 408 disasters to the
                                                     Public Assistance funding for activities                                    handle at least 2,115,000 in eligible                                        49 States that would likely have each
                                                     and damage that are identified to be                                        damage without the need for                                                  had at least one less major disaster
                                                     within State capabilities.                                                  supplemental Federal assistance.                                             declared. As an example, Missouri and
                                                        Since 1986, FEMA has used a per                                             FEMA has established, through                                             Oklahoma would have each have had 19
                                                     capita indicator to compare the                                             regulation, a 1,000,000 minimum for                                          fewer major disasters declared.
                                                     estimated cost of the incident and the                                      any major disaster, regardless of the
                                                     capabilities of the requesting                                              calculated indicator.23 The 1,000,000                                           Overall, Public Assistance grants
                                                     jurisdiction.19 This per capita indicator                                   floor is not subject to inflationary                                         would have been reduced by 10 percent
                                                     was originally set at $1.00 per person                                      adjustments. Although FEMA considers                                         had these 408 major disasters not been
                                                     and is based on the jurisdiction’s                                          every request for a Presidential major                                       declared, resulting in 5 billion dollars
                                                     decennial census population. FEMA                                           disaster declaration in the light of each                                    less in Federal disaster assistance to the
                                                     selected $1.00 because it appeared at the                                   applicable regulatory factor, the                                            States.26 Twenty-one States would have
                                                     time to be a reasonable portion of per                                      probability of an incident being                                             each received over 100 million less in
                                                     capita personal income (PCPI) for a                                         declared based on the amount of                                              Public Assistance, with California
                                                     State to contribute towards the cost of                                     disaster damage and the State-specific                                       having received 761 million less, New
                                                     a disaster.20 Collectively, this amount                                     per capita indicator has been over 80                                        York more than 600 million less, and
                                                     also ‘‘correlate[d] closely to about one-                                   percent for the past 10 years (494 of 589                                    Texas over 366 million less.
                                                     tenth of one percent of estimated                                           declared major disasters). In other                                             Table 3 presents a State-by-State
                                                     General Fund expenditures by                                                words, whether damage assessments                                            retrospective synopsis of the likely
                                                     States.’’ 21 The per capita indicator                                       find an amount of damage that meets or                                       impacts a PCPI-adjusted per capita
                                                     remained at $1.00 from 1986 until 1999                                      exceeds the Public Assistance per capita                                     indicator would have had on declared
                                                     when FEMA began to add inflation to                                         indicator is highly correlated to whether                                    major disasters between 2005 and 2014.
                                                     the value annually. FEMA did not,                                           that State will ultimately receive                                           To conduct this analysis, FEMA
                                                     however, adjust the per capita indicator                                    supplemental Federal assistance for that                                     adjusted the per capita indicator for
                                                     for inflation retroactively. Consequently,                                  incident.                                                                    each year by multiplying the previous
                                                     since 1999, the per capita indicator has                                       Since the per capita indicator was                                        year’s national per capita personal
                                                     risen to its 2016 value of $1.41.22                                         initially adopted in 1986, it has lost its                                   income value for each State by 0.0001.
                                                        FEMA publishes the updated per                                           relation to both of the metrics upon                                         This maintains the 0.01% ratio of the
                                                     capita indicator in the Federal Register                                    which it was first calculated. In 1986,                                      per capita indicator to per capita
                                                     each year. FEMA then multiplies the                                         PCPI in the United States was 11,687.24                                      personal income that FEMA noted when
                                                     indicator by the State’s most recent                                        By 2015, PCPI had risen to 48,112, an                                        it established the original per capita
                                                     decennial population to determine the                                       increase of over 300 percent.25 FEMA                                         indicator.

                                                                                 TABLE 3—IMPACT OF PCPI-ADJUSTED PER CAPITA INDICATOR ON PAST DISASTER ACTIVITY
                                                                                                                                                            [2005–2014]

                                                                                                                                                                                                                              Change in      Public assistance
                                                                                                                                   State                                                                                      numbers of          change
                                                                                                                                                                                                                               disasters     (actual in 2015$)

                                                     Alabama ...........................................................................................................................................................              ¥12     ¥$156,634,854
                                                     Alaska ..............................................................................................................................................................             ¥8       ¥16,686,176
                                                     Arizona .............................................................................................................................................................             ¥5       ¥32,864,734
                                                     Arkansas ..........................................................................................................................................................              ¥15      ¥105,560,705
                                                     California ..........................................................................................................................................................            ¥12      ¥761,414,191
                                                     Colorado ..........................................................................................................................................................               ¥3       ¥12,035,081

                                                       19 The per capita indicator is applied at the State                         24 See Disaster Assistance; Subpart C, the                                 industry&7033=-1&7025=0&7026=00000&7027=
                                                     level for major disaster declarations; however, a                           Declaration Process and State Commitments, 51 FR                             2015&7001=421&7028=3&7031=0&7040=-
                                                     second indicator is also used at the local level to                         13332, Apr. 18, 1986                                                         1&7083=levels&7029=21&7090=70. [1) Select
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                                                                                                                                   25 Per Capita Personal Income (PCPI) is calculated
                                                     determine which counties are declared within the                                                                                                         Annual State Personal Income and Employment. 2)
                                                     State.                                                                      annually by the United States Department of                                  Select Personal Income, Population, Per Capita
                                                       20 Disaster Assistance; Subpart C, the Declaration
                                                                                                                                 Commerce’s Bureau of Economic Analysis. The                                  Personal Income, Disposable Personal Income, and
                                                                                                                                 2015 PCPI data is available at http://www.bea.gov/                           Per Capita Disposable Personal Income (SA1,
                                                     Process and State Commitments, 51 FR 13332, Apr.                            iTable/iTable.cfm?reqid=70&step=1&isuri=
                                                     18, 1986.                                                                                                                                                SA51). 3) Select SA1—Personal Income Summary:
                                                                                                                                 1&acrdn=6%20-%20reqid=70&step=30&isuri=1&
                                                       21 Id.                                                                    7022=21&7023=0&7024=non-industry&7033=-                                      Personal Income, Population, Per Capita Personal
                                                                                                                                 1&7025=0&7026=00000&7027=2015&7001=                                          Income. 4) Select United States, Levels, and Per
                                                       22 Notice of Adjustment of Statewide Per Capita
                                                                                                                                 421&7028=3&7031=0&7040=-1&7083=                                              Capita Personal Income (Dollars). 5) Select 2015.
                                                     Indicator, 80 FR 61836, Oct. 14, 2015.                                                                                                                     26 Dollar amounts were adjusted to 2015 dollars
                                                                                                                                 levels&7029=21&7090=70#reqid=70&step=
                                                       23 44 CFR 206.48(a)(1).
                                                                                                                                 30&isuri=1&7022=21&7023=0&7024=non-                                          (2015).



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                                                     4068                             Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules

                                                                     TABLE 3—IMPACT OF PCPI-ADJUSTED PER CAPITA INDICATOR ON PAST DISASTER ACTIVITY—Continued
                                                                                                                                                              [2005–2014]

                                                                                                                                                                                                                                 Change in        Public assistance
                                                                                                                                    State                                                                                        numbers of            change
                                                                                                                                                                                                                                  disasters       (actual in 2015$)

                                                     Connecticut ......................................................................................................................................................                    ¥4         ¥34,539,160
                                                     Delaware ..........................................................................................................................................................                   ¥2          ¥2,734,920
                                                     Florida ..............................................................................................................................................................                ¥7        ¥170,847,001
                                                     Georgia ............................................................................................................................................................                  ¥5        ¥105,365,782
                                                     Hawaii ..............................................................................................................................................................                 ¥5         ¥19,758,046
                                                     Idaho ................................................................................................................................................................                ¥5         ¥11,113,622
                                                     Illinois ...............................................................................................................................................................             ¥11        ¥279,253,502
                                                     Indiana .............................................................................................................................................................                 ¥8         ¥98,604,662
                                                     Iowa .................................................................................................................................................................               ¥13        ¥103,292,537
                                                     Kansas .............................................................................................................................................................                 ¥12         ¥74,419,056
                                                     Kentucky ..........................................................................................................................................................                  ¥11         ¥98,057,973
                                                     Louisiana ..........................................................................................................................................................                  ¥6         ¥40,610,199
                                                     Maine ...............................................................................................................................................................                ¥11         ¥31,102,969
                                                     Maryland ..........................................................................................................................................................                   ¥7        ¥120,907,360
                                                     Massachusetts .................................................................................................................................................                       ¥7        ¥135,316,467
                                                     Michigan ...........................................................................................................................................................                  ¥3         ¥36,000,794
                                                     Minnesota ........................................................................................................................................................                   ¥10        ¥114,692,904
                                                     Mississippi ........................................................................................................................................................                  ¥7         ¥37,337,169
                                                     Missouri ............................................................................................................................................................                ¥19        ¥275,421,878
                                                     Montana ...........................................................................................................................................................                   ¥5         ¥11,589,893
                                                     Nebraska ..........................................................................................................................................................                  ¥16         ¥67,235,065
                                                     Nevada .............................................................................................................................................................                  ¥4         ¥15,984,383
                                                     New Hampshire ...............................................................................................................................................                        ¥11         ¥39,448,267
                                                     New Jersey ......................................................................................................................................................                    ¥11        ¥207,572,077
                                                     New Mexico .....................................................................................................................................................                      ¥6         ¥37,173,106
                                                     New York .........................................................................................................................................................                   ¥15        ¥600,294,475
                                                     North Carolina ..................................................................................................................................................                     ¥8        ¥124,991,358
                                                     North Dakota ....................................................................................................................................................                     ¥6         ¥11,015,041
                                                     Ohio .................................................................................................................................................................                ¥6        ¥131,629,728
                                                     Oklahoma .........................................................................................................................................................                   ¥19        ¥120,128,934
                                                     Oregon .............................................................................................................................................................                  ¥8         ¥61,741,829
                                                     Pennsylvania ....................................................................................................................................................                     ¥7        ¥144,293,529
                                                     Rhode Island ....................................................................................................................................................                     ¥1           ¥641,448
                                                     South Carolina .................................................................................................................................................                      ¥1         ¥12,859,770
                                                     South Dakota ...................................................................................................................................................                      ¥8         ¥11,791,000
                                                     Tennessee .......................................................................................................................................................                    ¥13        ¥113,576,960
                                                     Texas ...............................................................................................................................................................                 ¥9        ¥366,759,151
                                                     Utah .................................................................................................................................................................                ¥6         ¥33,421,146
                                                     Vermont ...........................................................................................................................................................                   ¥8         ¥10,790,332
                                                     Virginia .............................................................................................................................................................                ¥8        ¥159,073,446
                                                     Washington ......................................................................................................................................................                     ¥8        ¥158,351,021
                                                     West Virginia ....................................................................................................................................................                   ¥10         ¥59,884,181
                                                     Wisconsin .........................................................................................................................................................                   ¥6         ¥55,046,806

                                                            Total ..........................................................................................................................................................            ¥408       ¥5,429,864,688



                                                       The Public Assistance per capita                                            fund expenditures is just 57 percent of                                       GAO,28 reports of the DHS OIG,29 and
                                                     indicator has also fallen short of keeping                                    what it was in 1986.                                                          proposed legislation.30
                                                     pace with State general fund                                                    The failure of the per capita indicator
                                                     expenditures. According to the National                                       to keep pace with changing economic
                                                                                                                                                                                                                    28 See, e.g., GAO, Disaster Assistance:

                                                     Association of State Budget Officers                                                                                                                        Improvements Needed in Disaster Declaration
                                                                                                                                   conditions and the increasing frequency                                       Criteria and Eligibility Assurance Procedures,
                                                     (NASBO), State general fund spending                                          and costs of disasters has led to                                             GAO–01837 (2001); See also, GAO, GAO–12–838,
                                                     in 2015 totaled 759.4 billion.27                                              criticism of the per capita indicator.                                        Federal Disaster Assistance: Improved Criteria
                                                     Collectively, the States’ per capita                                          Those critiques have emphasized that                                          Needed to Assess Eligibility and a Jurisdiction’s
                                                     indicators equaled 435.3 million in                                                                                                                         Capability to Respond and Recover On Its Own, 29
                                                                                                                                   the per capita indicator is artificially                                      (2012).
                                                     2015. Consequently, the relation of the                                       low. Many have called for FEMA to find
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                                                                                                                                                                                                                    29 See Office of Inspector General, OIG–12–79,
                                                     per capita indicator to State general                                         ways to decrease the frequency of                                             Opportunities to Improve FEMA’s Public
                                                                                                                                                                                                                 Assistance Preliminary Damage Assessment Process
                                                                                                                                   disaster declarations and Federal                                             3, Department of Homeland Security (2012).
                                                                                                                                   disaster costs, by increasing the per                                            30 See, e.g., S.1960, Fairness in Federal Disaster
                                                       27 NASBO, Fiscal Survey of States, Fall 2015,
                                                                                                                                   capita indicator to transfer costs back to                                    Declarations Act of 2014, 113th Cong.; H.R. 3925,
                                                     located at https://higherlogicdownload.s3.amazo                                                                                                             Fairness in Federal Disaster Declarations Act of
                                                     naws.com/NASBO/9d2d2db1-c943-4f1b-b750-                                       State and local jurisdictions. These have
                                                                                                                                                                                                                 2014, 113th Cong. (establishing criteria for FEMA
                                                     fca152d64c2/UploadedImages/Fiscal%20Survey/                                   included recommendations from                                                 to incorporate in rulemaking with specific weighted
                                                     Fall%202015%20Fiscal%20Survey%20of%20                                                                                                                       factors); H.R. 1859, Disaster Declaration
                                                     States%20(S).pdf.                                                                                                                                           Improvement Act of 2013, 113th Cong. (requiring



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                                                                            Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules                                            4069

                                                        Concluding that the per capita                       program as a way to leverage the                          Through these guiding principles, the
                                                     indicator is artificially low,31 the GAO                program to encourage resilience and                    working group designed an initial
                                                     recommended that the FEMA                               address some of the concerns raised by                 deductible concept that could leverage
                                                     Administrator ‘‘develop and implement                   GAO. Accordingly, FEMA convened a                      the Public Assistance program to
                                                     a methodology that provides a more                      working group of subject-matter experts                recognize risk reduction investments
                                                     comprehensive assessment of a                           from within the agency. During the                     that the States were already undertaking
                                                     jurisdiction’s capability to respond and                ensuing months, the working group                      and to incentivize risk reduction best
                                                     to recover from a disaster without                      extensively explored the declaration                   practices nationwide as a means to
                                                     federal assistance.’’ 32                                process, the policies and workings of                  reduce future disaster impacts and costs
                                                        As FEMA considered these                             the Public Assistance program, the                     for the whole community rather than
                                                     observations and recommendations,                       applicable legal authorities and                       simply transferring response and
                                                     FEMA was finalizing its 2014–2018                       limitations, and many other areas that                 recovery costs from the Federal
                                                     Strategic Plan 33 that includes Strategic               would be necessary to inform the                       government to State and local
                                                     Priority 4: Enable Disaster Risk                        development of a deductible concept.                   jurisdictions. The working group also
                                                     Reduction Nationally.34 Objective 4.2 of                   In the course of this research, FEMA                determined further exploration of the
                                                     the Strategic Plan is to ‘‘incentivize and              reviewed a related rulemaking effort                   deductible concept should be cognizant
                                                     facilitate investments to manage current                that was a contemporary to the 1986                    of the two primary criticisms of FEMA’s
                                                     and future risk’’ 35 through                            development of the per capita indicator.               proposed 1986 rulemaking: The failure
                                                     ‘‘facilitate[ing] collaboration to                      FEMA had proposed a regulation that                    to recognize the efforts and
                                                     strengthen risk standards, leverage                     sought to establish (1) ‘‘capability                   expenditures that States were already
                                                     market forces, and guide resilient                      indicators’’ for the major disaster                    committing to disaster response and
                                                     investments’’ 36 as well as through                     declaration decision-making process, (2)               recovery and the insufficient
                                                     ‘‘reshap[ing] funding agreements with                   a requirement for Governors to make                    engagement with key stakeholders.
                                                     States, tribal governments, and localities              commitments on behalf of their States                     In its 2015 updated response to the
                                                     to expand cost-sharing and                              and local governments to assume a                      GAO recommendations, FEMA
                                                     deductibles,’’ 37 inter alia.                           portion of the Public Assistance costs,                presented three options that it planned
                                                        FEMA also considered the President’s                 and (3) a sliding cost-share based on the              to continue investigating:
                                                     emphasis on advancing national                          capability indicators.42 The proposed                     1. Adjust the per capita indicator to
                                                     resilience. The President issued three                  rule was met with vocal and widespread                 better reflect current national and State-
                                                     related Executive Orders in the past two                criticism by Congress and the                          specific economic conditions;
                                                     years to build resilience through (1)                                                                             2. Develop an improved methodology
                                                                                                             emergency management community and
                                                     establishing a Federal flood risk                                                                              for considering factors in addition to the
                                                                                                             FEMA ultimately abandoned the
                                                     management standard,38 (2) establishing                                                                        per capita indicator; and
                                                                                                             effort.43 Two of the primary criticisms of                3. Implement a State-specific
                                                     a Federal earthquake risk management                    FEMA’s proposed 1986 rulemaking:
                                                     standard,39 and (3) requiring agencies to                                                                      deductible concept for States to satisfy
                                                                                                                1. FEMA did not recognize the efforts               before qualifying for Public Assistance.
                                                     enhance the resilience of buildings to                  and expenditures that States were
                                                     wildfire in the wildland-urban                                                                                    After further investigation and
                                                                                                             already committing to disaster response                consideration of the alternatives, FEMA
                                                     interface.40 FEMA has been seeking                      and recovery; and
                                                     ways to leverage its programs and                                                                              decided to further develop the
                                                                                                                2. FEMA did not offer sufficient                    deductible concept because of its
                                                     resources to further other resilience-
                                                                                                             engagement with key stakeholders                       relationship to Strategic Priority 4 and
                                                     building efforts as well. For example,
                                                                                                             during the developmental process.                      its potential for reducing risk and
                                                     FEMA has instituted a policy to
                                                                                                                Considering this background, the                    disaster costs for the whole community
                                                     establish hazard resistant minimum
                                                                                                             FEMA working group developed three                     through incentivizing targeted
                                                     standards for Public Assistance
                                                                                                             guiding principles that were designed to               investments. Moving forward, FEMA
                                                     projects.41
                                                        In early 2014, FEMA began to explore                 control and direct the impact of the                   plans to pursue closeout of the GAO
                                                     the possibility of introducing a                        deductible concept:                                    recommendation through development
                                                     deductible to the Public Assistance                        1. Encourage and incentivize risk-                  of the deductible concept for the Public
                                                                                                             informed mitigation strategies on a                    Assistance program. However, FEMA
                                                     new regulations concerning major disaster               broad scale, while also recognizing                    will continue to consider alternatives to
                                                     declarations).                                          current State activities;                              the deductible concept going forward,
                                                       31 GAO 12–838, supra FN22, at 24.                        2. Incentivize consistent fiscal                    including the GAO’s recommendation to
                                                       32 Id. at 50.
                                                                                                             planning by all States for disasters and               significantly increase the current per
                                                       33 See generally FEMA Strategic Plan: 2014–2018,
                                                                                                             establish mechanisms to better assess                  capita indicator as described in Sections
                                                     available at http://www.fema.gov/media-library-
                                                     data/1405716454795-3abe60aec989ecce518c4
                                                                                                             State fiscal capacity to respond to                    III and VI(A).
                                                     cdba67722b8/July18FEMAStratPlanDigital508Hi             disasters; and
                                                     ResFINALh.pdf.                                             3. Ensure the supplemental nature of                IV. Advance Notice of Proposed
                                                       34 Id. at 23.
                                                                                                             FEMA assistance.                                       Rulemaking
                                                       35 Id. at 26.
                                                                                                                                                                      FEMA issued the ANPRM to
                                                       36 Id. at 27.
                                                       37 Ibid.
                                                                                                               42 See Disaster Assistance; Subpart C, the           introduce the deductible concept with
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                                                       38 Executive Order 13,690, 80 FR 6425, Feb. 4,
                                                                                                             Declaration Process and State Commitments, 51 FR       the emergency management community
                                                                                                             13332, Apr. 18, 1986; see also Disaster Assistance;    and the public. The ANPRM consisted
                                                     2015.                                                   Subpart E—Public Assistance—Eligibility Criteria,
                                                       39 Executive Order 13,717, 81 FR 6407, Feb. 2,
                                                                                                             51 FR 13341, Apr. 18, 1986; Disaster Assistance;       of basic background information
                                                     2016.                                                   Subpart H, Public Assistance Project                   concerning the declarations process and
                                                       40 Executive Order 13,728, 81 FR 32223, May 20,       Administration, 51 FR 13357, Apr. 18, 1986.            a very high-level overview of a
                                                     2016.                                                     43 Inquiry into FEMA’s Proposed Disaster Relief
                                                                                                                                                                    deductible concept. In keeping with the
                                                       41 Public Assistance Required Minimum                 Regulations: Hearing Before the Subcomm. on
                                                     Standards Policy, FP–104–109–4, Sep. 30, 2016,          Investigations and Oversight of the H. Comm. On
                                                                                                                                                                    preliminary and developmental state of
                                                     available at https://www.fema.gov/media-library/        Public Works and Transportation, 99th Cong.            the concept at that time, the ANPRM
                                                     assets/documents/124326.                                (1986).                                                offered few specifics concerning the


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                                                     4070                   Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules

                                                     organization or implementation of a                     concept for a deductible program in this               behalf to assist those States with
                                                     deductible. Chiefly, the ANPRM                          SANPRM.                                                identifying information pertinent to the
                                                     included an extensive list of questions                    Notwithstanding the limitations on                  development of the deductible
                                                     that FEMA was seeking to answer                         specificity in the ANPRM, FEMA                         concept.45 At the next stage of
                                                     regarding how a deductible program                      received support for the concept as a                  development, FEMA will make every
                                                     could be best structured and applied to                 means by which to achieve the goals of                 effort to gather data from a larger sample
                                                     achieve the principles outlined above.                  reducing disaster impacts and costs                    of States, preferably all States, so that
                                                     These questions were wide ranging in                    through improved preparedness                          the proposal may be as representative as
                                                     specificity to address all potential                    activities and expanded investments in                 possible. FEMA also invites States to
                                                     aspects of the deductible concept.                      mitigation and risk reduction. Many                    specifically correct any erroneous
                                                     FEMA presented these questions in an                    commenters pointed out that the                        assumptions made for purposes of
                                                     impartial manner to solicit as many                     deductible program could be a preferred                developing this SANPRM deductible
                                                     relevant responses as possible. This was                outcome compared to increasing the per                 concept during the comment period.
                                                     effective in generating varied responses                capita indicator and the potential                        Specifically, the consulting firm
                                                     to questions upon which opinions                        transfer of financial responsibility to                assisted FEMA with understanding the
                                                     differed, but in many cases commenters                  State and local governments that would                 methods and strategies currently used
                                                     noted it was difficult if not impossible                result. Some commenters found merit in                 by these nine States to pay for the costs
                                                     to answer specific questions without a                  the deductible concept as a way through                of emergency management programs,
                                                     more detailed description of the                        which to reduce costs, but also to                     mitigation initiatives, and disaster
                                                     deductible concept. As a result,                        improve disaster resiliency by investing               response and recovery. The firm also
                                                     commenters provided more general and                    before an incident and incurring                       researched innovative preparedness
                                                     conceptual responses to the questions                   reduced costs related to response and                  programs that the nine States have
                                                     asked. FEMA believes that it would                      recovery over the long term.                           developed to further encourage
                                                     have benefited from receiving more                         In addition to seeking comment via                  planning and resiliency-building, such
                                                     specific and detailed feedback, and that                the ANPRM, FEMA continued to                           as tax credit incentive programs for
                                                     the information contained in those types                conduct research to inform the design of               individuals, localities, and State
                                                     of comments would have been very                        the deductible concept. FEMA                           entities.
                                                     helpful to the rulemaking process.                      recognizes that establishing the                          FEMA primarily used the information
                                                                                                             methodology for calculating the                        it obtained from the consulting firm to
                                                        In all, FEMA received approximately                  deductible in an equitable, accurate, and
                                                     150 comments on the ANPRM.44 These                                                                             estimate baselines of current State
                                                                                                             transparent way is essential to any                    investments that FEMA then used to set
                                                     comments came from 35 entities                          future deductible proposal. Further, for
                                                     representing 28 individual States, 28                                                                          initial credit approvals at levels likely to
                                                                                                             any approach to sustain the rigors of                  encourage additional investment and
                                                     local jurisdictions, and 2 Indian Tribal                analytic and economic review, FEMA
                                                     Nations. FEMA also received comments                                                                           program growth. FEMA also leveraged
                                                                                                             recognized that it would benefit from                  the information to assist in preparing
                                                     from 19 professional industry groups, 3                 leveraging external expertise to better
                                                     governmental associations, and 9                                                                               targeted outreach efforts during the
                                                                                                             develop a methodology that was                         comment period of the ANRPM, such as
                                                     research and policy organizations.                      defensible and reproducible.                           those held with the National Governor’s
                                                        FEMA reviewed the comments that                         With the assistance of the Department               Association, the National Association of
                                                     were received and incorporated the                      of Homeland Security (DHS) Science                     Counties, the National Emergency
                                                     concerns and suggestions into the                       and Technology Directorate’s Office of                 Management Association, Big City
                                                     potential deductible program presented                  University Programs, FEMA contracted                   Emergency Managers, National League
                                                     in this SANPRM. FEMA noted many                         with the Center for Risk and the                       of Cities, and the International
                                                     concerns in the comments regarding                      Economic Analysis of Terrorism Events                  Association of Emergency Managers.
                                                     how the deductible could be applied, or                 (CREATE), a DHS Center of Excellence,
                                                                                                                                                                    These targeted engagements enabled
                                                     the burdens, either financial or                        to support development of the
                                                                                                                                                                    FEMA to draw attention to the ANPRM,
                                                     administrative, that it could create for                deductible calculation. CREATE is
                                                                                                                                                                    explain the purpose and background of
                                                     the States. FEMA addressed these                        known for its experience in hazard
                                                                                                                                                                    the deductible concept with key
                                                     concerns in the design concept. In other                assessment research, as well as
                                                                                                                                                                    stakeholders, and to solicit additional
                                                     cases, it was clear that FEMA had not                   statistical and economic modeling
                                                                                                                                                                    details that could be particularly
                                                     provided enough background                              capabilities. CREATE dedicated a team
                                                                                                                                                                    pertinent to informing FEMA’s
                                                     information for commenters to offer                     of research and academic experts to
                                                                                                                                                                    deductible design considerations.
                                                     practicable suggestions. Some                           develop a reliable methodology for                        Following closure of the ANPRM
                                                     comments may have benefited from                        calculating a deductible that is                       comment period, FEMA compiled the
                                                     FEMA providing additional explanation                   cognizant of the principles established                comments received, the research
                                                     of the current disaster declaration                     by the FEMA working group; namely                      performed by CREATE, and the research
                                                     processes, more specificity regarding the               that the proposed formula be reflective                on State disaster funding and incentive
                                                     Public Assistance program, and a more                   of the individual capabilities and risks               programs and formulated the potential
                                                     expansive description of the deductible                 unique to each State and that the                      deductible program concept described
                                                     concept itself. FEMA concluded that it                  calculus function in a transparent and                 in this SANPRM.
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                                                     had not offered sufficient information in               replicable way utilizing publically                       FEMA believes that this deductible
                                                     the ANPRM to enable the public to fully                 available information and data.                        concept is capable of meaningfully
                                                     participate in commenting on all aspects                   FEMA also contracted with a leading                 reducing the nation’s overall risk profile
                                                     of the concept. Consequently, FEMA is                   emergency management consulting firm                   over time. Calculating a deductible is,
                                                     providing the public more detail on its                 to conduct additional research pertinent               however, complex. FEMA also
                                                                                                             to developing the deductible. With the
                                                       44 The comments can be viewed on the docket for       assistance of the National Emergency                    45 The States contacted were California, Florida,

                                                     this rulemaking at www.regulations.gov under            Management Association, this firm                      Minnesota, New York, Pennsylvania, Texas,
                                                     docket ID FEMA–2016–0003.                               reached out to nine States on FEMA’s                   Washington, Wyoming, and Vermont.



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                                                                                    Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules                                                                                4071

                                                     understands a deductible could be a                                       upon the aspects of fiscal capacity and                               model is the median average amount of
                                                     significant change to FEMA’s largest                                      disaster risk that are unique to the State.                           Public Assistance received across all 50
                                                     supplemental disaster assistance                                          FEMA could do this through a four-step                                States in the past 17 years.47 FEMA
                                                     program. FEMA is therefore committed                                      process: (1) Establishing the base                                    summed the total amount of Public
                                                     to continuing to dialogue with its                                        deductible, (2) calculating the fiscal                                Assistance delivered to each State from
                                                     emergency management partners on                                          capacity index, (3) calculating the risk                              1999 to 2015 and then divided by 17 to
                                                     how best to design a program that will                                    index, and (4) normalizing the                                        determine the per State average annual
                                                     achieve mutually-beneficial goals                                         deductible amounts. FEMA has                                          amount of Public Assistance. FEMA
                                                     without the undue transfer of                                             included a step-by-step table in the                                  then created a ranked list of those
                                                     responsibility or the creation of                                         rulemaking docket that demonstrates                                   average amounts and determined the
                                                     unnecessarily burdensome                                                  how each State’s starting deductible                                  median value. Because there are 50
                                                     administrative bureaucracy.                                               amount was calculated for purposes of                                 States, the median value is the average
                                                                                                                               this SANPRM. That table and those                                     of the results for the States situated at
                                                     V. Potential Deductible Program                                           deductible amounts are included only                                  the 25th and 26th positions, which was
                                                     A. Calculation Methodology                                                as an example of how the deductible                                   22,202,726. FEMA rounded the median
                                                        There is innate uncertainty in the                                     concept may function. If implemented,
                                                                                                                                                                                                     average amount to 22.2M and imputed
                                                     likelihood of disaster events that                                        the actual deductible amounts will be
                                                                                                                                                                                                     this amount to every State as the initial
                                                                                                                               dictated by the parameters of the
                                                     prevents perfection in a deductible                                                                                                             base deductible for the subsequent year.
                                                                                                                               proposal ultimately adopted.
                                                     concept and complicates a complete                                                                                                                FEMA believes that this may be a
                                                     understanding of the complex disaster                                     B. Establishing the Base Deductible                                   reasonable approach to establishing a
                                                     environment within which the                                                 As with the rest of the SANPRM all                                 base deductible because it would
                                                     deductible program would operate.                                         numbers, figures, criteria and processes                              leverage approximately 25 percent of
                                                     However, not unlike the commercial                                        detailed in this section are notional.                                the average amount that FEMA awards
                                                     insurance markets, these uncertainties                                    They are intended to aid the public in                                in Public Assistance each year to
                                                     can be quantified and analyzed over                                       understanding how a potential                                         incentivize reducing risk. Based on
                                                     geographic areas and over long periods                                    deductible program could operate and                                  comments received in response to the
                                                     of time with increasing precision. These                                  to spur discussion and feedback.                                      ANPRM, FEMA believes that States are
                                                     calculations could be used to                                                FEMA begins its conceptual
                                                     approximate the relative exposure of                                                                                                            already making investments that would
                                                                                                                               methodology by establishing an annual                                 offset a portion of this amount through
                                                     certain regions, in this case the States,                                 base deductible that would be shared
                                                     to future disaster costs. These estimates                                                                                                       credits. By adjusting each State’s base
                                                                                                                               nationwide (i.e., the same amount for                                 deductible amount to account for its
                                                     could then be reflected in the relative                                   each State), and would then be
                                                     value of a State’s deductible.                                                                                                                  individual risk and fiscal capacity, as
                                                                                                                               increased or decreased for each State
                                                        Arriving at a calculation methodology                                                                                                        described in the subsequent
                                                                                                                               based upon a State’s fiscal capacity and
                                                     is thus one of the most critical aspects                                                                                                        subsections, this approach could yield a
                                                                                                                               risk profile relative to the other States.
                                                     of moving the deductible program                                          FEMA utilized historic annual amounts                                 meaningful deductible amount for each
                                                     beyond the conceptual stage and                                           of Public Assistance provided to States                               State, while still providing the greatest
                                                     requires public comment. FEMA                                             to establish the model base deductible.                               incentive to States that have the greatest
                                                     believes that the methodology should be                                   Although FEMA hopes to incentivize                                    potential for effectively reducing risk
                                                     transparent, reproducible, defensible,                                    risk reduction and resilience that could                              and future disaster costs. FEMA believes
                                                     and equitable. Additionally, FEMA                                         reduce overall disaster impacts and                                   this could balance the potential benefits
                                                     believes that the approach should reflect                                 costs, not solely those eligible for                                  of the disaster deductible program with
                                                     fundamental purposes of the Stafford                                      reimbursement through the Public                                      the need to continue supporting our
                                                     Act, namely that the Federal                                              Assistance program, FEMA believes it is                               State partners when disasters exceed
                                                     government support those States that                                      important that the base deductible for                                their capabilities. See Table 4 for a
                                                     are overwhelmed by the response to and                                    the Public Assistance program shares a                                breakdown of the cumulative and
                                                     recovery from a natural disaster.                                         nexus with the program itself.46                                      average amount of Public Assistance
                                                     Therefore, it is most appropriate to                                         As developed by FEMA, the base                                     that each State received from 1999
                                                     calculate each State’s deductible based                                   deductible utilized in this conceptual                                through 2015.

                                                                                                    TABLE 4—STATE RANK OF FEDERAL ASSISTANCE FROM 1999–2015
                                                                                                                                                       [In 2015 dollars]

                                                                                                                                                                                                   Total federal share         Annual average federal
                                                               No.                                                                  State                                                               obligated                 share obligated
                                                                                                                                                                                                      (1999–2015)

                                                     1 ........................   New York .................................................................................................            $21,671,388,334                  $1,274,787,549
                                                     2 ........................   Louisiana ..................................................................................................           16,621,415,286                     977,730,311
                                                     3 ........................   Florida ......................................................................................................          6,399,822,001                     376,460,118
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                                                        46 See generally Section 406 of the Stafford Act                         47 FEMA used Public Assistance data from 1999                       Assistance was awarded. The data from the 1999–
                                                     which authorizes FEMA to provide funding to assist                        to 2015 adjusted for inflation to 2015 dollars where                  2015 period is the most reliable that FEMA has
                                                     State, territorial, Tribal and local governments, as                      necessary using the Consumer Price Index inflation                    available. FEMA expects to add additional data to
                                                     well as certain private nonprofit organizations that                      calculator provided by the Bureau of Labor                            the calculation each year to increase accuracy over
                                                     provide governmental-type services, with the                              Statistics and available at http://www.bls.gov/data/
                                                                                                                                                                                                     time and to account for long-term shifts in Public
                                                     restoration of disaster damaged infrastructure.                           inflation_calculator.htm. Prior to 1999, FEMA
                                                     Because this underlying authority for the program                         utilized a data management process that was                           Assistance, rather than using a rolling window of
                                                     is for public infrastructure, FEMA believes that it                       different from the current system. Furthermore,                       data for the annual calculation. This will also limit
                                                     is important that the deductible remains connected                        prior to 1999, FEMA had different policies in place                   the impact of any outlier years in terms of Public
                                                     to Public Assistance funding for that infrastructure.                     that would have also affected the way that Public                     Assistance awards, both for high and low extremes.



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                                                     4072                           Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules

                                                                                         TABLE 4—STATE RANK OF FEDERAL ASSISTANCE FROM 1999–2015—Continued
                                                                                                                                                        [In 2015 dollars]

                                                                                                                                                                                                     Total federal share     Annual average federal
                                                               No.                                                                   State                                                                obligated             share obligated
                                                                                                                                                                                                        (1999–2015)

                                                     4 ........................   Mississippi ................................................................................................               4,180,836,633              245,931,567
                                                     5 ........................   Texas .......................................................................................................              4,094,422,168              240,848,363
                                                     6 ........................   New Jersey ..............................................................................................                  2,357,737,579              138,690,446
                                                     7 ........................   Iowa ..........................................................................................................            1,826,578,453              107,445,791
                                                     8 ........................   California ..................................................................................................              1,437,292,282               84,546,605
                                                     9 ........................   Oklahoma .................................................................................................                 1,131,691,340               66,570,079
                                                     10 ......................    Kansas .....................................................................................................               1,080,772,444               63,574,850
                                                     11 ......................    North Carolina ..........................................................................................                    953,206,418               56,070,966
                                                     12 ......................    Missouri ....................................................................................................                888,379,570               52,257,622
                                                     13 ......................    Alabama ...................................................................................................                  841,956,023               49,526,825
                                                     14 ......................    Arkansas ..................................................................................................                  744,651,963               43,803,057
                                                     15 ......................    North Dakota ............................................................................................                    679,833,405               39,990,200
                                                     16 ......................    Virginia .....................................................................................................               643,863,349               37,874,315
                                                     17 ......................    Kentucky ..................................................................................................                  615,307,272               36,194,545
                                                     18 ......................    Tennessee ...............................................................................................                    602,295,312               35,429,136
                                                     19 ......................    Pennsylvania ............................................................................................                    557,230,633               32,778,273
                                                     20 ......................    Nebraska ..................................................................................................                  435,308,536               25,606,384
                                                     21 ......................    Washington ..............................................................................................                    428,584,871               25,210,875
                                                     22 ......................    Minnesota .................................................................................................                  426,982,553               25,116,621
                                                     23 ......................    Massachusetts .........................................................................................                      422,663,583               24,862,564
                                                     24 ......................    Colorado ...................................................................................................                 408,338,653               24,019,921
                                                     25 ......................    South Carolina .........................................................................................                     384,041,986               22,590,705
                                                     M .......................    Median .....................................................................................................                 377,446,341               22,202,726
                                                     26 ......................    Ohio ..........................................................................................................              370,850,697               21,814,747
                                                     27 ......................    Georgia ....................................................................................................                 328,820,892               19,342,405
                                                     28 ......................    West Virginia ............................................................................................                   311,011,683               18,294,805
                                                     29 ......................    Illinois .......................................................................................................             309,990,918               18,234,760
                                                     30 ......................    Vermont ....................................................................................................                 297,996,556               17,529,209
                                                     31 ......................    Connecticut ..............................................................................................                   284,870,352               16,757,080
                                                     32 ......................    South Dakota ...........................................................................................                     284,612,022               16,741,884
                                                     33 ......................    New Mexico .............................................................................................                     274,303,673               16,135,510
                                                     34 ......................    Maryland ..................................................................................................                  265,115,281               15,595,017
                                                     35 ......................    Indiana .....................................................................................................                237,955,033               13,997,355
                                                     36 ......................    Alaska ......................................................................................................                203,258,189               11,956,364
                                                     37 ......................    Wisconsin .................................................................................................                  174,472,096               10,263,064
                                                     38 ......................    Oregon .....................................................................................................                 144,641,218                8,508,307
                                                     39 ......................    New Hampshire .......................................................................................                        137,674,702                8,098,512
                                                     40 ......................    Maine .......................................................................................................                 91,683,905                5,393,171
                                                     41 ......................    Hawaii ......................................................................................................                 87,697,345                5,158,667
                                                     42 ......................    Montana ...................................................................................................                   70,196,126                4,129,184
                                                     43 ......................    Arizona .....................................................................................................                 68,642,964                4,037,821
                                                     44 ......................    Rhode Island ............................................................................................                     63,361,303                3,727,135
                                                     45 ......................    Michigan ...................................................................................................                  42,583,629                2,504,919
                                                     46 ......................    Delaware ..................................................................................................                   39,007,437                2,294,555
                                                     47 ......................    Utah ..........................................................................................................               34,208,312                2,012,254
                                                     48 ......................    Nevada .....................................................................................................                  30,275,261                1,780,898
                                                     49 ......................    Wyoming ..................................................................................................                    12,973,750                  763,162
                                                     50 ......................    Idaho ........................................................................................................                11,695,737                  687,985



                                                       After establishing this base deductible                                     Because FEMA is seeking to reduce                                   C. Calculating the Fiscal Capacity Index
                                                     that is shared by every State, FEMA                                        risk through the deductible, and it is
                                                     differentiated the States and ascribed                                     precisely through this risk reduction                                    As with the rest of the SANPRM all
                                                     individual deductibles according to                                        that the nation could realize the promise                              numbers, figures, criteria and processes
                                                     each State’s relative fiscal capacity and                                  of the deductible program in decreasing                                detailed in this section are notional.
                                                                                                                                disaster impacts and costs, FEMA has                                   They are intended to aid the public in
                                                     unique disaster risk profile. Fiscal
                                                                                                                                considered in this calculation                                         understanding how a potential
                                                     capacity is important because the intent
                                                                                                                                                                                                       deductible program could operate and
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                                                     of FEMA’s Stafford Act programs,                                           prioritizing the risk portion of the
                                                                                                                                deductible calculation by a ratio of 3:1                               to spur discussion and feedback.
                                                     including Public Assistance, is to
                                                     supplement the capabilities of State and                                   compared to the fiscal capacity portion.                                 To calculate a State’s relative fiscal
                                                     local jurisdictions. Disaster risk is                                      In other words, when a State’s base                                    capacity, FEMA, with the assistance of
                                                     important because it is the primary                                        deductible is adjusted, 75 percent of the                              CREATE, developed a composite of four
                                                     driver of Public Assistance expenditures                                   adjustment results from the State’s                                    individual fiscal capacity indices.
                                                     and its reduction is the primary purpose                                   relative risk profile and the remaining                                FEMA and CREATE considered
                                                                                                                                25 percent stems from the State’s                                      multiple potential indicators of fiscal
                                                     of the deductible concept.
                                                                                                                                relative fiscal capacity.                                              capacity. The four indicators selected to


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                                                                            Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules                                                    4073

                                                     comprise the composite fiscal capacity                  running and the amount of funding that                 calculating each State’s relative disaster
                                                     index were each determined to                           a State holds in reserve are relevant                  risk level.
                                                     represent a separate and distinct aspect                indicators of a State’s overall fiscal well-              AAL is a proxy for risk commonly
                                                     of a State’s economy and governmental                   being and ability to independently                     used in risk modeling that considers the
                                                     resources; however. FEMA welcomes                       address the financial costs of disasters.              expected losses from a particular hazard
                                                     comment on whether these are the best                      Finally, the bond rating index is                   per year when averaged over many
                                                     indicators to leverage and whether there                similarly calculated by dividing the                   years. Generally, AAL is calculated by
                                                     are others that should be considered as                 State’s bond rating by the median State’s              multiplying the likelihood of the hazard
                                                     well. The four fiscal capacity indices                  bond rating. In this model, FEMA                       occurring in a particular year by the
                                                     that FEMA includes in the model                         calculates the bond rating index based                 likely cost of the event if it does occur.
                                                     deductible calculation are based on each                upon data provided by the Pew                          For example, if the likelihood of a
                                                     State’s per capita Total Taxable                        Charitable Trusts from Standard &                      hazard occurring is 0.2 percent, such as
                                                     Resources (TTR), per capita surplus/                    Poor’s State Credit Ratings.51 FEMA                    for a 500-year event, and the likely loss
                                                     deficit, per capita reserve funding, and                believes that the resulting relative index             generated by that level of event is $1
                                                     the State’s bond rating. FEMA will use                  is an indicative proxy of the State’s                  billion, the AAL for the hazard in the
                                                     the most recent indices.                                ability to quickly raise the funding                   vulnerable area would be $2 million
                                                       TTR is an annual measure of fiscal                    liquidity necessary to respond to and                  ($1B x 0.002).52
                                                     capacity calculated by the United States                recover from disaster incidents.                          There are numerous sources of AAL
                                                     Department of Treasury.48 Essentially,                     FEMA averaged these four indices of                 data for hazards. Proprietary
                                                     TTR considers all of the income streams                 relative fiscal strength into a                        catastrophic risk models developed by
                                                     available within each State, including                  consolidated fiscal capacity index, each               companies such as AIR Worldwide
                                                     gross domestic product, corporate                       factor being equally weighted. This
                                                                                                                                                                    (AIR), Risk Management Solutions
                                                     withheld earnings, and other capturable                 index accounts for 25 percent of a
                                                                                                                                                                    (RMS), and CoreLogic (EQECAT) are
                                                     revenue. TTR does not measure how                       State’s base deductible adjustment.
                                                                                                                                                                    three primary sources of AAL and risk
                                                     much revenue a State actually captures,                 However, FEMA also realized that, due
                                                                                                                                                                    information used by the reinsurance
                                                     but instead, measures how much                          to diversity in economic drivers and
                                                                                                                                                                    industry.53 FEMA considered these
                                                     revenue, in real dollars, a State has                   varying population sizes, some States
                                                                                                                                                                    sources, but did not pursue them due to
                                                     access to as compared to other States.                  may demonstrate a particular fiscal
                                                                                                                                                                    the proprietary, closed nature of the
                                                     As a per capita index, the State’s total                capacity indicator that is a statistical
                                                                                                                                                                    underlying risk models. Instead, FEMA
                                                     TTR in real dollars is then divided by                  outlier compared with its other factors
                                                                                                                                                                    used the AAL values produced using
                                                     the State’s population. This places high-               and the indicators of other States. To
                                                                                                                                                                    FEMA’s Hazus platform.
                                                     population States on equal footing with                 minimize the impact of these outliers on
                                                                                                             the disaster deductible formula, FEMA                     Hazus is a nationally applicable
                                                     low-population States with regard to the                                                                       standardized methodology that contains
                                                     index.                                                  capped the impact of any individual
                                                                                                             fiscal capacity indicator at five times the            models for estimating potential losses
                                                       The surplus/deficit and the reserve                                                                          from earthquakes, floods, and
                                                     fund indices operate in similar fashion.                median State’s relative strength. In other
                                                                                                             words, if the median State’s per capita                hurricanes. Hazus uses Geographic
                                                     In each case, the State’s value (surplus/                                                                      Information Systems (GIS) technology to
                                                     deficit or reserve) is divided by the                   reserve fund is $100 and is ascribed a
                                                                                                             value of 1.0 on the index, a State with                estimate physical, economic, and social
                                                     State’s population. That amount is then                                                                        impacts of disasters.54 FEMA used AAL
                                                     compared with the per capita value of                   an outlier per capita reserve fund value
                                                                                                             of $800 could be imputed the maximum                   estimates generated using Hazus
                                                     the median State. This creates indices of                                                                      because it is a well-established and
                                                     relative strength for each.                             per capita reserve fund value of $500,
                                                                                                             and therefore still receive an index                   familiar platform for many emergency
                                                       The surplus/deficit index is built
                                                                                                             value of 5.0, instead of the 8.0 index                 managers and, most importantly, it is an
                                                     using data provided by the Annual
                                                                                                             value that could otherwise be                          open-source platform that will provide
                                                     Survey of State Government Finances
                                                                                                             warranted. FEMA capped each fiscal                     complete transparency to stakeholders
                                                     provided by the United States Census
                                                                                                             capacity indicators in this way to                     concerning FEMA’s deductible
                                                     Bureau of the Department of
                                                                                                             contain the variability of the overall                 calculations.
                                                     Commerce.49 The reserve fund index is
                                                                                                             index and smooth the impact on outlier                    FEMA used the Hazus-based AAL
                                                     built using data provided by the Fiscal
                                                                                                             States.                                                estimates to create a simplified risk
                                                     Survey of the States conducted regularly
                                                                                                                                                                    index for each State. Specifically, FEMA
                                                     by NASBO.50 FEMA believes that both                     D. Calculating the Composite Risk Index                summed the most recently available
                                                     the surplus or deficit that a State is
                                                                                                                As with the rest of the SANPRM, all                 AAL estimates 55 for each State for each
                                                        48 Additional information regarding Total Taxable
                                                                                                             numbers, figures, criteria and processes
                                                     Resources (TTR), including the methods for              detailed in this section are notional.                   52 A 500-year event is an event that has the

                                                     calculating and the current TTR estimates, can be       They are intended to aid the public in                 statistical likelihood of occurring once every 500
                                                     found on the Web site of the Department of the          understanding how a potential                          years, or in other words, a 1 in 500 chance (0.2%).
                                                     Treasury at https://www.treasury.gov/resource-          deductible program could operate and
                                                                                                                                                                      53 A short discussion about catastrophic modeling

                                                     center/economic-policy/taxable-resources/Pages/                                                                and a description of the three proprietary AAL
                                                     Total-Taxable-Resources.aspx.                           to spur discussion and feedback.                       models identified here can be found on the Marsh,
                                                        49 Additional information concerning the Annual         FEMA explored multiple leading                      LLC Web site at https://www.marsh.com/content/
                                                                                                             alternatives for predicting disaster                   dam/marsh/Documents/PDF/US-en/Marsh-Insights-
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                                                     Survey of State Government Finances, including the
                                                     survey methodology and latest survey results, can       losses. For the model described in this                Property-Fall-2012.pdf.
                                                     be found on the Web site of the United States                                                                    54 For additional information, visit FEMA’s Hazus

                                                     Census Bureau at https://www.census.gov/govs/
                                                                                                             SANPRM, FEMA used an Average                           Web site at http://www.fema.gov/hazus.
                                                     state/.                                                 Annualized Loss (AAL) methodology for                    55 FEMA uses estimates of AAL generated using
                                                        50 Additional information concerning the Fiscal                                                             FEMA’s Hazus software. Cited AAL estimates were
                                                     Survey of States, including the survey methodology        51 Additional information concerning the data        inflation-adjusted to 2015 dollars where necessary
                                                     and latest survey results, can be found on the Web      provided by the Pew Charitable Trusts can be found     using the Consumer Price Index inflation calculator
                                                     site of the National Association of State Budget        on their Web site at http://www.pewtrusts.org/en/      provided by the Bureau of Labor Statistics and
                                                     Officers at https://www.nasbo.org/mainsite/reports-     research-and-analysis/blogs/stateline/2014/06/09/      available at http://www.bls.gov/data/inflation_
                                                     data/fiscal-survey-of-states.                           sp-ratings-2014.                                       calculator.htm.



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                                                     4074                    Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules

                                                     of the three Hazus hazards:                                The AALs produced using Hazus vary                  that its final amount remained the same
                                                     Earthquakes,56 floods (both coastal and                  from State to State depending upon the                relative to every other State, but so that
                                                     riverine),57 and hurricanes (wind                        types of hazards that each State is prone             the sum of all of the States’ post-
                                                     only).58 Collectively, these three                       to and the levels of loss that those                  indexed deductibles equaled the base
                                                     hazards accounted for more than 75                       hazards have the ability to create in                 deductible ceiling.
                                                     percent of all Public Assistance awarded                 those States. Consequently, the per                      For example, assume that the base
                                                     during the 10-year period between 2005                   capita cumulative AALs are not evenly                 deductible is calculated to be $25
                                                     and 2014.                                                distributed across the States and a few               million. This is the amount that each
                                                        FEMA created a composite risk index                   States have higher risk index scores                  State begins with prior to the
                                                     around the median cumulative AAL.                        because of that. Every State should be                application of the fiscal capacity index
                                                     FEMA arranged each State’s cumulative                    assigned a deductible that is reasonable              and risk index. FEMA multiplies the
                                                     AAL (the sum of the State’s earthquake,                  and achievable. In this model, FEMA                   base deductible ($25 million) by 50 to
                                                     flooding, and hurricane AALs) in order                   capped the composite risk index values                calculate the cumulative deductible
                                                     from the largest cumulative AAL to the                   in a manner similar to the way FEMA                   ceiling for that year. In this case the
                                                     smallest. Because there is an even                       capped the components of the fiscal                   deductible ceiling would be $1.25
                                                     number of States, FEMA averaged the                      capacity index.                                       billion for the year ($25 million × 50 =
                                                     cumulative AALs of the States in the                       FEMA capped the fiscal capacity                     $1.25 billion).
                                                     25th and 26th positions to determine                     components at a value of 5.0. This                       If, after applying the indices to each
                                                     the overall median cumulative AAL.                       means that FEMA ignored any                           State’s base deductible, the sum of all of
                                                     FEMA assigned this amount a value of                     computed fiscal capacity that is greater              the resulting, post-indexed deductibles
                                                     1.0 and indexed each State’s relative                    than five times the median State’s fiscal             exceeded the $1.25 billion dollar
                                                     cumulative AAL to determine the                          capacity for that factor. Because of the              ceiling, FEMA would normalize the
                                                     State’s risk index score.                                overall emphasis on risk, and similar to              deductible amounts so that the sum of
                                                        For example, consider a State with the                the deductible formula ratio of 3:1 risk              all of them equals $1.25 billion. This
                                                     following Hazus-based AALs:                              to fiscal capacity, FEMA capped a                     would decrease the final deductible
                                                                                                              State’s risk index at a score of 15.0. In             amounts of every State, but each State
                                                     Hurricane: $875 million                                  other words, FEMA ignored any
                                                     Flooding: $2 billion                                                                                           would remain in the same position
                                                                                                              calculated risk that is in excess of 15
                                                     Earthquake: $25 million                                                                                        relative to every other State. If a State
                                                                                                              times the risk of the median State.
                                                        Cumulative: $2.9 billion (Hurricane                                                                         had a post-indexed deductible that was
                                                     AAL + Flooding AAL + Earthquake                          E. Normalizing the Deductible Amounts                 twice that of another State that State
                                                     AAL) FEMA conducted the same                                As with the rest of the SANPRM, all                would still have a final deductible that
                                                     calculation for each State and then                      numbers, figures, criteria and processes              was twice the deductible of the other
                                                     ordered them from largest to smallest in                 detailed in this section are notional.                State, but both final deductibles would
                                                     terms of each State’s cumulative AAL.                    They are intended to aid the public in                be lower.
                                                        If the median cumulative AAL across                   understanding how a potential                            Normalization is a common statistical
                                                     all of the States is $1.45 billion, that                 deductible program could operate and                  approach for addressing variations that
                                                     would be ascribed a score of 1.0 on the                  to spur discussion and feedback.                      occur when adjustments are made to
                                                     risk index, the hypothetical State above                    FEMA used the base deductible,                     values through indices of relativity,
                                                     would receive a risk index score of 2.0                  composite risk index, and fiscal                      which both the fiscal capacity and risk
                                                     because its cumulative AAL is twice as                   capacity index established above to                   index are. This important step could
                                                     large as the median cumulative AAL                       calculate the post-indexed deductible                 ensure that the Public Assistance
                                                     ($2.9 billion versus $1.45 billion,                      value for each State. As explained                    deductibles remain rooted in their
                                                     respectively). For purposes of                           previously, 75 percent of the total index             nexus to the Public Assistance program.
                                                     calculating the State’s Public Assistance                adjustment to the base deductible is                  This final step, normalization, will
                                                     deductible, the State could be                           determined by the State’s relative risk               establish the Starting Deductible for
                                                     considered to have twice the risk of the                 profile and the remaining 25 percent is               each state.
                                                     median State.                                            determined by the State’s relative fiscal             F. Calculating Each State’s Starting
                                                                                                              capacity. For the final step in the                   Deductible
                                                        56 KS Jaiswal, et al. (2015). Estimating Annualized   deductible calculation process, FEMA
                                                     Earthquake Losses for the Conterminous United            normalized the post-indexed values to                   As with the rest of the SANPRM, all
                                                     States. Earthquake Spectra: December 2015, Vol. 31,      establish each State’s final deductible               numbers, figures, criteria and processes
                                                     No. S1, pp. S221–S243. FEMA is unable to post a          amount. Normalization is a statistical                detailed in this section are notional.
                                                     copy of the document in the docket due to                                                                      They are intended to aid the public in
                                                     copyright restrictions. A summary of the document        term that can mean different things in
                                                     and purchase information is available at http://         different contexts. In the case of the                understanding how a potential
                                                     dx.doi.org/10.1193/010915EQS005M.                        deductible, FEMA uses normalization to                deductible program could operate and
                                                        57 Hazus AAL results for flood (coastal and
                                                                                                              mean adjusting the post-indexed values                to spur discussion and feedback.
                                                     riverine) are available at https://                                                                              As summarized above, the base
                                                     data.femadata.com/Hazus/FloodProjects/AAL/State
                                                                                                              to equal the pre-indexed values overall.
                                                     AAL_proj.zip and http://www.arcgis.com/home/                Specifically, FEMA multiplied the                  deductible will be multiplied by the
                                                     item.html?id=cb8228309e9d405ca6b4db                      base deductible that it established in the            sum of: 0.75 multiplied by the State’s
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                                                     6027df36d9. Accessed June 2, 2016. Note that             first step by 50 to establish the overall             Composite Risk Index and 0.25
                                                     Hazus flood AAL estimates are not available for          deductible ceiling for the 50 States.                 multiplied by the State’s Composite
                                                     Hawaii and Alaska; these losses are estimated by
                                                     indexing against National Oceanic and Atmospheric        FEMA then summed all of the post-                     Fiscal Capacity Index. That calculation
                                                     Administration (NOAA) flood loss estimates from          indexed deductible values of each State.              establishes an adjusted deductible for
                                                     2011–2014, available at http://www.nws.noaa.gov/         If the sum of these post-indexed values               each State. FEMA will then normalize
                                                     hic/summaries/.                                          exceeded the deductible ceiling                       the adjusted deductibles to ensure that
                                                        58 FEMA Mitigation Directorate, Hazus-MH

                                                     Estimated Annualized Hurricane Losses for the
                                                                                                              established by the base deductible,                   the total sum of all of the adjusted
                                                     United States (unpublished draft report), September      FEMA made a downward adjustment to                    deductibles equals the sum of the base
                                                     2006.                                                    each State’s post-indexed deductible so               deductibles. This methodology yields


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                                                                                     Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules                                              4075

                                                     the following model normalized                                    deductibles would be reduced by any                    is committed to limiting that burden to
                                                     deductibles for each State in 2016:                               credits that FEMA approves for the State               successfully carry out the program and
                                                                                                                       pursuant to the annual deductible credit               ensure that it is applied effectively. The
                                                         TABLE 5—MODEL 2016 STARTING                                   menu. The following section will detail                following sections detail the
                                                                 DEDUCTIBLES                                           the types of credits that FEMA expects                 administrative steps and timelines
                                                                                                                       to initially offer.                                    currently envisioned for the program.
                                                                                                       Starting                                                               FEMA has carefully considered both the
                                                                       State                          deductible       G. Credit Structure
                                                                                                                                                                              likely burden and the likely benefit
                                                                                                        ($M)              As with the rest of the SANPRM all                  underlying each of the seven credit
                                                                                                                       numbers, figures, criteria and processes               categories and believes that each
                                                     Alabama ................................                $12.96
                                                     Alaska ...................................               19.42
                                                                                                                       detailed in this section are notional.                 category represents potential activities
                                                     Arizona ..................................               18.67    They are intended to aid the public in                 worth pursuing and incentivizing. Each
                                                     Arkansas ...............................                  8.01    understanding how a potential                          of the seven credit categories received
                                                     California ...............................              141.03    deductible program could operate and                   generally favorable support from those
                                                     Colorado ...............................                  7.08    to spur discussion and feedback.                       who commented on the ANPRM. FEMA
                                                     Connecticut ...........................                  20.85       A potential credit structure could                  seeks additional public input on these
                                                     Delaware ...............................                  8.03    offer States the ability to partially or               categories and on the potential
                                                     Florida ...................................             141.53    fully satisfy their deductible in advance              administrative burdens of assembling
                                                     Georgia .................................                17.65    of a major disaster declaration. While
                                                     Hawaii ...................................                9.17                                                           the supporting information.
                                                                                                                       simply raising the per capita indicator
                                                     Idaho .....................................               7.68                                                           1. Dedicated Funding for Emergency
                                                     Illinois ....................................            14.43    to qualify for Public Assistance would
                                                                                                                       reduce Federal costs, a potential credit               Response/Recovery Activities
                                                     Indiana ..................................               12.23
                                                     Iowa ......................................              10.63    structure, if successful, could eventually                A State that has planned for and taken
                                                     Kansas ..................................                 9.54    deliver the true benefits of reduced risk              fiscal steps to address the financial
                                                     Kentucky ...............................                  9.47    and realized disaster response and                     impacts of potential disasters ahead of
                                                     Louisiana ..............................                 73.90    recovery cost savings nationwide.                      time is better prepared to immediately
                                                     Maine ....................................                8.52    FEMA’s goal is to design a model credit                respond to and to rapidly recover from
                                                     Maryland ...............................                  9.26    structure that would create financial                  a major disaster. FEMA recognizes that
                                                     Massachusetts ......................                     30.34
                                                     Michigan ...............................                 23.20
                                                                                                                       and economic incentives for meaningful                 States use multiple strategies for
                                                     Minnesota .............................                   9.44    State investments in preparedness and                  addressing the financial consequences
                                                     Mississippi ............................                 13.32    risk-reduction measures.                               of a disaster, including: Supplemental
                                                     Missouri ................................                11.38       FEMA believes that the model credit                 State appropriations, issuing recovery
                                                     Montana ................................                  6.23    structure described in this SANPRM                     bonds, diverting funding from other
                                                     Nebraska ..............................                   9.93    would allow every State to earn credits                State programs or cutting State agency
                                                     Nevada .................................                  8.81    for activities that each would already be              operating budgets, and imposing special
                                                     New Hampshire ....................                        7.92    undertaking, and also improve risk                     tax assessments to raise recovery
                                                     New Jersey ...........................                   29.28    reduction and resilience building for                  resources. FEMA, however, has also
                                                     New Mexico ..........................                    11.11
                                                     New York ..............................                  51.70
                                                                                                                       States that choose to expand those                     observed that the time required to enact
                                                     North Carolina ......................                    17.50    activities. To that end, the deductible                many of these ad-hoc funding strategies
                                                     North Dakota ........................                    10.09    model described in this SANPRM                         can significantly delay a State’s ability
                                                     Ohio ......................................              25.86    includes seven potential categories of                 to rapidly respond to a disaster.
                                                     Oklahoma .............................                   10.40    credits.                                                  FEMA believes that response and
                                                     Oregon ..................................                24.62       Due to the differences among the                    recovery efforts could be improved if
                                                     Pennsylvania ........................                    21.88    credit categories and their likely effects             the affected States maintain dedicated
                                                     Rhode Island ........................                    12.30    upon reducing risk, each category offers               disaster relief funds. By having this
                                                     South Carolina ......................                    11.60    a unique credit-to-cost ratio, and a few               funding available, these States also
                                                     South Dakota ........................                     8.25
                                                                                                                       have caps to provide States with an                    could potentially obviate the need to
                                                     Tennessee ............................                   16.68
                                                     Texas ....................................               73.72    opportunity to develop a potentially                   reduce or eliminate other planned State
                                                     Utah ......................................               7.73    diverse portfolio of risk reduction                    services to divert funding to disaster
                                                     Vermont ................................                  8.64    strategies.                                            operations and infrastructure repair. For
                                                     Virginia ..................................              13.51       FEMA would monitor which credits                    example, a State could divert funding
                                                     Washington ...........................                   27.30    States elect to earn and would continue                for summer roadway maintenance or
                                                     West Virginia ........................                   23.39    to refine its credit offerings each year.              improvements to cover debris removal
                                                     Wisconsin .............................                  13.50    FEMA would provide an annual notice                    costs following a hurricane or snow
                                                     Wyoming ...............................                  10.47    of credit offerings so that States would               removal costs following a major winter
                                                           Average .........................                  22.20    have ample opportunity to carefully                    storm. States that maintain a dedicated
                                                           Median ...........................                 12.26    consider all of their options. FEMA                    disaster relief fund may be able to more
                                                           Minimum ........................                    6.23    would also continue to engage with the                 rapidly ameliorate disaster
                                                           Maximum .......................                   141.53    States and with key intergovernmental                  consequences, leverage supplemental
                                                                                                                       organizations to ensure that the credit                Federal assistance programs, and repair
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                                                       These deductibles represent FEMA’s                              structure is calibrated to provide the                 public buildings and infrastructure,
                                                     assessment of each State’s fiscal                                 right levels of reward to incentivize                  without diverting funding from other
                                                     capacity and risk profile as of 2016.                             continuous improvement for each State                  important initiatives.
                                                     FEMA has included a table in the                                  in the disaster resilience and emergency                  Furthermore, States without
                                                     rulemaking docket for this SANPRM                                 management contexts.                                   dedicated disaster relief funds could
                                                     that shows every step for each State                                 FEMA recognizes that any additional                 find themselves in the position of
                                                     with regard to how these notional                                 program could create some additional                   incurring new public obligations, or in
                                                     deductibles were calculated for                                   administrative burden to State and                     some cases debt, while simultaneously
                                                     purposes of this concept. These                                   Federal governments. However, FEMA                     suffering from the tax losses of disaster-


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                                                     4076                   Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules

                                                     induced decreased economic activity.                    additional support from their State                     of the credit, so therefore these State
                                                     By having a dedicated fund available to                 partners. This is, the commenters                       expenditures must be either
                                                     address the direct costs of disaster                    offered, an additional burden upon the                  independent of any other Federal
                                                     response and damage restoration, States                 State that the current system of Public                 assistance program or must be in excess
                                                     could be better positioned to address                   Assistance does not recognize or                        of the minimum cost-share requirement
                                                     these secondary disaster consequences.                  incentivize.                                            of any applicable Federal assistance
                                                        In order to incentivize States to take                  FEMA seeks to preserve and                           program. For purposes of this credit,
                                                     the proactive step of establishing and                  strengthen this important State-local                   FEMA defined qualifying mitigation
                                                     funding a dedicated disaster relief fund                relationship and to incentivize States to               activities as it does under FEMA’s
                                                     in advance, this potential model credit                 continue providing assistance when                      Hazard Mitigation Assistance
                                                     structure includes $1.00 in deductible                  jurisdictional capabilities are exceeded,               Guidance.60
                                                     credit for every $1.00 of State funding                 regardless of the availability of                         Due to the importance of
                                                     that the State has appropriated and                     supplemental Federal assistance. In                     incentivizing mitigation activities to the
                                                     deposited in a qualifying disaster relief               order to do so, this potential deductible               success of the deductible program in
                                                     fund during the course of the previous                  model includes $1.00 in deductible                      reducing future disaster impacts and
                                                     year. This credit may account for up to                 credit for every $1.00 of annual State                  costs nationwide, FEMA is not currently
                                                     20 percent of the State’s annual                        funding that the State expends to                       considering capping the potential
                                                     deductible. Funds that are carried over                 respond and/or recover from an incident                 mitigation credit that may be earned in
                                                     or that expire and are reappropriated for               that either: (1) Does not receive a                     this model. In other words, a State could
                                                     the same limited purpose could still                    Stafford Act declaration or, (2) affects a              fully satisfy its annual deductible by
                                                     qualify for the credit.                                 locality not designated for Public                      investing at least one-third of its
                                                                                                             Assistance by a major disaster                          deductible amount in qualifying
                                                     2. Expenditures for Non-Stafford Act
                                                                                                             declaration. In either case, the Governor               mitigation activities each year. This
                                                     Response and Recovery Activities
                                                                                                             of the State would be required to declare               could not only fully satisfy the State’s
                                                        FEMA received multiple comments                      a State of emergency, or issue a similar                deductible well in advance of any
                                                     during the ANPRM comment period                         proclamation, pursuant to applicable                    declaration activity, thereby eliminating
                                                     that emphasized that FEMA does not                      State law. In this model, this credit                   application of the deductible in the
                                                     fully understand or appreciate the                      could account for up to 20 percent of                   State for that year, but could also deliver
                                                     amount of investment that States                        the State’s annual deductible.                          the State future savings by reducing the
                                                     already make in emergency management                                                                            severity or consequences of forthcoming
                                                     and disaster recovery. Commenters                       3. Expenditures for Mitigation Activities
                                                                                                                                                                     disasters. FEMA also seeks comment
                                                     pointed out that for every major disaster                  Integral to any effort to lessen the                 specifically on whether incentivizing
                                                     declared, that there are multiple smaller               risks associated with and consequences                  further spending by State governments
                                                     incidents that do not rise to the level of              of disaster is effective mitigation.                    using credit mechanisms of mitigation
                                                     warranting supplemental Federal                         Mitigation is the act of lessening or                   expenditure credits and non-Stafford
                                                     assistance, but nonetheless exceed local                avoiding the impacts of a hazard,                       expenditure credits could potentially
                                                     capabilities and often require State                    typically through engineered solutions.                 dampen or crowd out private mitigation
                                                     funding support for response and                        The linkage between advanced                            expenditures.
                                                     recovery activities. FEMA seeks to                      mitigation and lowering disaster
                                                     encourage States to continue providing                  impacts and costs has been                              4. Insurance Coverage for Public
                                                     State-level assistance to overwhelmed                   demonstrated many times, both through                   Facilities, Assets, and Infrastructure
                                                     localities, even when Federal assistance                academia and research, and also in                         States have choices when it comes to
                                                     may be unavailable.                                     practical application.                                  how they elect to address their disaster
                                                        Commenters also noted that counties                     FEMA provides funding assistance for                 risks. Some States have chosen to
                                                     and cities often lack the independent                   mitigation projects through several                     establish dedicated disaster relief funds
                                                     ability to raise the necessary financial                programs, including the Hazard                          that can be leveraged to address the
                                                     resources to address the costs of                       Mitigation Grant Program and the Pre-                   costs of disasters without jeopardizing
                                                     significant localized impacts. In these                 Disaster Mitigation Grant Program, as                   other services and operations. Other
                                                     cases, the support provide by their State               well as to mitigation-enhanced                          States have elected to purchase third-
                                                     partners is invaluable to ensuring that                 restoration projects through the Public                 party insurance to cover some of those
                                                     adequate funding is available to support                Assistance program authorized by                        costs, while others have established self-
                                                     the response and recovery operations                    Section 406 of the Stafford Act.59 FEMA                 insurance risk pools to better distribute
                                                     necessary to assist the affected localities             recognizes, however, that States often                  the risk. Regardless of the choice that is
                                                     and survivors. Additionally,                            invest significantly in mitigation efforts              made, FEMA may choose to encourage
                                                     commenters explained that, even                         apart from these Federal assistance                     pre-disaster financial preparedness
                                                     following a major disaster declaration,                 programs. FEMA seeks to recognize                       through the deductible program.
                                                     supplemental Federal assistance is                      those continued investments and                            The model FEMA is currently
                                                     typically only made available to the                    incentivize additional investments by                   contemplating includes percentage
                                                     most severely impacted jurisdictions                    providing significant credit for direct                 deductible credits for States that elect to
                                                     within the affected State. However,                     mitigation-related expenditures through                 utilize insurance policies as a means to
                                                                                                                                                                     address future disaster costs. To qualify
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                                                     there are other communities that are not                the Public Assistance deductible
                                                     designated, but nonetheless have                        program.                                                for credit, the insurance policy must
                                                     experienced damage resulting from the                      This model includes $3.00 in                         cover costs related to losses that would
                                                     same incident. The commenters                           deductible credit for every $1.00 in                    otherwise qualify for reimbursement
                                                     postulated that the damage experienced                  State spending on qualifying mitigation
                                                                                                                                                                       60 See Hazard Mitigation Assistance Guidance,
                                                     within these non-declared jurisdictions                 activities. FEMA will not count State
                                                                                                                                                                     Part III, section E.1.3.1, available at this link https://
                                                     may nevertheless still exceed their                     matching funds toward the calculation                   www.fema.gov/media-library-data/1424983165449-
                                                     individual capacities to effectively                                                                            38f5dfc69c0bd4ea8a161e8bb7b79553/
                                                     respond and recover, necessitating                        59 42   U.S.C. 5172.                                  HMA_Guidance_022715_508.pdf.



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                                                                            Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules                                                      4077

                                                     assistance through the Public Assistance                120 times the amount of the State’s                    incentive to simply participate in ISO’s
                                                     program. For purposes of the credit, the                deductible ($30 million) and is within                 Building Code Effectiveness Grading
                                                     policies must provide guaranteed                        the range of 100 to 150 times the                      Schedule (BCEGS®) program and
                                                     coverage for losses from natural hazards,               deductible that FEMA suggests should                   increasing incentives as States reach
                                                     fires, explosions, floods, or terrorist                 receive a 10 percent credit. This                      higher levels of adoption and
                                                     attacks. For a self-insurance fund or risk              outcome could be the same whether the                  enforcement. ISO provides BCEGS®
                                                     pool, FEMA would verify through the                     State chose to purchase its insurance                  scores for both residential and
                                                     State Insurance Commissioner, or                        through third-party insurers or                        commercial codes and enforcement,
                                                     similar State official, that the fund or                reinsurers or chose to self-insure and                 each on an improving scale from 10 to
                                                     pool is actuarially sound and solvent.                  self-manage the risk. FEMA could                       1. In 2015, over 60 percent of States had
                                                        This model includes credit based on                  confirm coverage level through the
                                                     the aggregate limits of applicable State                                                                       BCEGS® scores of 4 or 5 in each
                                                                                                             insurance contract or, for self-insurance,
                                                     policies, rather than on the premiums                                                                          category.
                                                                                                             through the appropriate State official
                                                     paid for coverage. Consequently, FEMA                   that the self-insurance fund is                           The following model incentive
                                                     believes that States choosing to insure                 actuarially sound up to the $3.6 billion               structure is based on each State’s annual
                                                     against future disaster risk would have                 limit. Given the specific goal of                      BCEGS® score for both residential and
                                                     very large overall limits, even though a                incentivizing mitigation, FEMA seeks                   commercial building codes:
                                                     particular incident would likely only                   comment on the inclusion of insurance
                                                     affect a fraction of the total insured                  coverage credits in the deductible                     TABLE 7—BCEGS CREDIT SCHEDULE
                                                     property. For example, if a State                       model.
                                                     maintains $1M policies on 10 facilities                                                                                               Residential     Commercial
                                                     across the State, the aggregate limit of                5. Building Code Effectiveness Grade                     BCEGS®                  credit           credit
                                                     the policy coverage is $10M, even                       Schedule (BCEGS®)                                         score             (percentage of   (percentage of
                                                     though it is unlikely that all 10 facilities                                                                                          deductible)      deductible)
                                                                                                                The Insurance Services Office, Inc.
                                                     will suffer an insured loss at the same                 (ISO), a leading provider of information               1 ................              20               20
                                                     time. FEMA believes this could be a                     concerning risk assessment and                         2 ................              15               15
                                                     reasonable and equitable approach                       property and casualty insurance, has                   3 ................              12               12
                                                     because both the deductible and                         explored the relationship of building                  4 ................               9                9
                                                     insurance coverage levels should largely                codes to risk reduction. According to a                5 ................               8                8
                                                     be driven by each State’s individual risk               recent ISO report:                                     6 ................               6                6
                                                     profile.                                                   [M]odel building codes have most clearly            7 ................               5                5
                                                        This model includes a potential three-               addressed the hazards associated with wind,            8 ................               4                4
                                                     tier incentive structure for insurance                  earthquake, and fire. Experts maintain that            9 ................               3                3
                                                     coverage based upon multiples of each                   buildings constructed according to the                 10 ..............                2                2
                                                     State’s annual deductible amount as                     requirements of model building codes suffer
                                                     follows:                                                fewer losses from those perils. If
                                                                                                             municipalities adopt and rigorously enforce              This structure could allow States to
                                                         TABLE 6—INSURANCE COVERAGE                          up-to-date codes, losses from other risks              earn between 4 percent and 40 percent
                                                                                                             (including man-made perils) may also                   credits based upon their residential and
                                                               CREDIT SCHEDULE                               decrease.61                                            commercial BCEGS® scores. As of 2015,
                                                                                                  FEMA agrees with the ISO’s analysis
                                                                                               Credit                                                               45 States participate in the BCEGS®
                                                           Coverage amount                        that building codes, when adopted and
                                                                                           (percentage of                                                           program and could have received, at a
                                                                                             deductible)
                                                                                                  properly enforced, have the ability to                            minimum, the 4 percent credit for doing
                                                                                                  reduce future disaster risk on a broad                            so under this structure. Based on 2015
                                                     50x Deductible ≤ Coverage
                                                                                                  scale. Consequently, in this model                                scores, the average participating State
                                                       <100x Deductible ..............          5
                                                     100x Deductible ≤Coverage                    FEMA incorporated deductible credits                              could receive a 16 percent reduction to
                                                       <150x Deductible ..............         10 to States that have committed to                                  their deductible amount. The smallest
                                                     150x Deductible ≤ Coverage                15 adopting, promoting, and enforcing                                credit would have been 7 percent and
                                                                                                  building codes.                                                   the largest would have been 24 percent.
                                                       For example, if a State has an annual         This model includes an escalating
                                                                                                  credit structure that provides moderate                           The following chart depicts the number
                                                     deductible of $30 million and carries
                                                                                                                                                                    of States per credit level in 2015.
                                                     insurance policies on public facilities
                                                                                                    61 Insurance Services Office, Inc., National
                                                     with an aggregate limit of $3.6 billion,
                                                                                                  Building Code Assessment Report: ISO’s Building
                                                     the State could receive a credit equal to    Code Effectiveness Grading Schedule (2015), 8,
                                                     10 percent of its initial deductible, or $3 available at https://www.isomitigation.com/
                                                     million. This is because $3.6 billion is     downloads/ISO-BCEGS-State-Report_web.pdf.
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                                                     4078                   Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules




                                                     6. Tax Incentive Programs                               deductible credit for every $1.00 in                   Program,62 the Homeland Security
                                                                                                             State funding expended or foregone.                    Grant Program,63 including both the
                                                        FEMA recognizes that the most                           Because FEMA sees this credit as a                  State Homeland Security Program 64 and
                                                     effective ways to reduce risk across the                type of whole-community risk                           the Urban Area Security Initiative,65 and
                                                     entire nation employ a whole-                           reduction, in this model FEMA is not                   through management costs awarded in
                                                     community approach that involves                        currently including a cap on this                      administering Stafford Act declarations.
                                                     every level of government, the private                  particular credit. In other words, a State               In order to further incentivize States
                                                     sector, and the citizenry in taking steps               with a large enough tax incentivize                    to allocate their own resources to their
                                                     to promote and increase resilience. With                program(s) could largely offset its                    emergency management enterprises, this
                                                     that in mind, FEMA included in this                     deductible by annually foregoing tax                   model includes a deductible credit for
                                                     model credit to States for tax-incentive                revenue, through credits/deductions                    annual State expenditures supporting
                                                     programs designed to encourage                          offered to businesses and/or citizens,                 State emergency management programs
                                                     preparedness or mitigation activities.                  equal to half of its deductible amount.                beyond any cost-share required by a
                                                        For example, a State may offer an                    FEMA specifically requests comment on                  Federal assistance program or grant.
                                                     income tax credit for elevating homes or                the types of tax incentive programs that               FEMA solicits comments on what types
                                                     host a sales-tax holiday for personal                   have a nexus to preparedness and                       of emergency management enterprises
                                                     preparedness supplies. FEMA would                       disaster risk reduction and their                      and activities could be eligible for
                                                     defer to the States to decide what types                effectiveness, both in terms of cost                   deductible credit within this category
                                                     of programs would be most successful                    effectiveness and outcome effectiveness.               and information relating to the current
                                                     and appropriate given each State’s                                                                             level of State investment in these
                                                     unique considerations and risks,                        7. Expenditures on State Emergency                     enterprises and activities.
                                                     however the program would still need                    Management Programs                                      FEMA includes in this model $1.00 in
                                                     to maintain a clear nexus with                            Perhaps the most visible factor in a                 deductible credit for every $1.00 that a
                                                     preparedness, mitigation, or resilience                 State’s ability to address disasters in the            State invests in emergency management
                                                     building. In some cases, a State may                    broad sense is the quality of its                      beyond the cost-share required by a
                                                     offer a program that incentivizes general               emergency management program. States                   Federal program. A State could satisfy
                                                     preparedness, or it may decide to target                have organized their emergency                         up to 20 percent of its annual Public
                                                     a program to a specific hazard, such as                 management function in a number of                     Assistance deductible through this
                                                     the installation of hurricane straps or                 different ways. In some States,                        credit.
                                                     seismic retrofits to existing building                  emergency management is a standalone                   8. Emergency Management
                                                     foundations.                                            office, whereas in other States the                    Accreditation Program (EMAP®) Credit
                                                                                                             function is embedded in a broader
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                                                        Regardless, this model includes                                                                             Enhancement
                                                     credits to States for these types of                    public safety or military organization.
                                                                                                               The Federal government provides                         The Emergency Management
                                                     innovative tax incentive programs.                                                                             Accreditation Program (EMAP®) is an
                                                     FEMA would allow States to request                      numerous types of assistance to States
                                                                                                             to develop, maintain, and implement                    independent non-profit organization
                                                     credit for both the direct costs of the
                                                     program (administration, advertising,                   their emergency management programs.                     62 6 U.S.C. 762.
                                                     etc.), and for the indirect costs, such as              At FEMA, assistance is generally                         63 6 U.S.C. 603.
                                                     forgone tax revenue. In both cases,                     available through the Emergency                          64 6 U.S.C. 605.

                                                     FEMA would approve $2.00 in                             Management Performance Grant
                                                                                                                                                                                                                EP12JA17.023</GPH>




                                                                                                                                                                      65 6 U.S.C. 604.




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                                                                                  Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules                                                             4079

                                                     that offers an emergency management                             comment on the appropriate value of                       accreditation. The credit caps applicable
                                                     program review and recognition                                  this credit amount. These three credits                   to each credit category would remain
                                                     program.66 EMAP® is a completely                                could be:                                                 unchanged. FEMA believes that
                                                     voluntary program and accreditation is                            1. Dedicated funding for emergency                      applying the credit enhancement in this
                                                     not presently a factor in any FEMA                              response and recovery activities;                         manner could encourage States to seek
                                                     program. However, FEMA recognizes                                 2. expenditures for non-Stafford Act                    and/or maintain EMAP® accreditation
                                                     that EMAP® provides a valuable                                  response and recovery activities; and                     and that by doing so, could demonstrate
                                                     resource to accredited programs by                                3. expenditures on State emergency                      improved readiness to confront the
                                                     establishing best practices and offering                        management programs.                                      consequences of disasters.
                                                     a level of independent accountability.                            Specifically, instead of offering $1.00
                                                                                                                                                                               9. Credit Summary
                                                        This model includes a credit                                 in deductible credit for each $1.00 in
                                                     enhancement to States that voluntarily                          qualifying State funding and                                 Table 8 provides an overview of the
                                                     seek and achieve provisional or full                            expenditures, FEMA would instead                          credits that FEMA is envisioning, the
                                                     EMAP® accreditation. FEMA could                                 approve $1.05 for each $1.00 in                           amount of credit that could be
                                                     increase the credit amount by 5 percent                         qualifying State funding and                              approved, any cap that FEMA envisions
                                                     for three credit types for EMAP®                                expenditures for States maintaining                       applying, and whether an enhancement
                                                     accreditation, but specifically seeks                           current EMAP® provisional or full                         is available to the credit.

                                                                                                                        TABLE 8—SUMMARY CREDIT MENU
                                                                                                                                                                                                                         EMAP®
                                                       Credit No.                                Credit name                                                 Credit amount                         Credit cap          enhancement

                                                     1 ..................   Dedicated Funding for Emergency Response/                     $1.00 in credit for each $1.00 in qualifying de-       20% ..............    Yes.
                                                                              Recovery Activities.                                          posits.
                                                     2 ..................   Expenditures for Non-Stafford Act Response                    $1.00 in credit for each $1.00 in qualifying ex-       20% ..............    Yes.
                                                                              and Recovery Activities.                                      penditures.
                                                     3 ..................   Expenditures for Mitigation Activities ................       $3.00 in credit for each $1.00 in qualifying ex-       No Cap .........      No.
                                                                                                                                            penditures.
                                                     4 ..................   Insurance Coverage for Public Facilities, As-                 % reduction based on qualifying coverage               N/A ...............   No.
                                                                              sets, and Infrastructure.                                     above deductible amount.
                                                     5 ..................   Building Code Effectiveness Grade Schedule                    % reduction to the starting deductible based           N/A ...............   No.
                                                                              (BCEGS®).                                                     on BCEGS®.
                                                     6 ..................   Tax Incentive Programs ....................................   $2.00 in credit for every $1.00 in qualifying          No Cap .........      No.
                                                                                                                                            costs.
                                                     7 ..................   Expenditures on State Emergency Manage-                       $1.00 in credit for every $1.00 in qualifying ex-      20% ..............    Yes.
                                                                              ment Programs.                                                penditures.



                                                     H. Estimates of Initial Credits                                 information readily available. Where                      Across the States, FEMA expects that
                                                                                                                     information is lacking, FEMA attempted                    these initial credits would range from a
                                                        Based upon the preliminary research
                                                                                                                     to use assumptions as to current State                    minimum of approximately 6 percent to
                                                     discussed above and interviews with                             activities. For instance, FEMA was                        a maximum of approximately 85
                                                     key stakeholders and subject matter                             unable to identify annual amounts of
                                                     experts, FEMA believes that every State                                                                                   percent. Table 9 depicts FEMA’s
                                                                                                                     forgone revenue from a State tax                          estimates for each State under this
                                                     would receive deductible credit under                           incentive program and thus assumed an
                                                     the preceding credit structure for                                                                                        model. Specifically, Table 9 indicates
                                                                                                                     amount equal to 1 percent of a State’s                    each State’s applicable model starting
                                                     activities and investments that each                            starting deductible.67 FEMA
                                                     State is already undertaking; however,                                                                                    deductible, the credit amount from each
                                                                                                                     intentionally utilized what it believes                   of the seven categories of credits, the
                                                     there may be some States that have been                         are conservative estimates where
                                                     able to undertake more credit-qualifying                                                                                  total estimated credits (shown both as a
                                                                                                                     uncertainty exists and assumptions                        dollar value and percentage of the
                                                     activities than others.                                         were needed. FEMA has attempted to
                                                        As with the rest of the SANPRM, all                                                                                    starting deductible amount), and the
                                                                                                                     estimate the amount of credit that each                   model final deductible amount that the
                                                     numbers, figures, criteria and processes                        State might qualify for initially to
                                                     detailed in this section are notional.                                                                                    State would carry into the new year.
                                                                                                                     provide context on the potential impact
                                                     They are intended to aid the public in                          of the deductible requirement. FEMA                         This potential final deductible
                                                     understanding how a potential                                   welcomes comments on its assumptions                      amount represents what each State
                                                     deductible program could operate and                            with information more readily available                   would potentially need to satisfy if it
                                                     to spur discussion and feedback.                                to each State.                                            experiences a disaster that results in
                                                        FEMA has used the information that                             Overall, based on this analysis, FEMA                   disaster damages that exceed the
                                                     it has available to estimate the amount                         anticipates that the average State would                  amount of credits that FEMA has
                                                     of credit that each State might qualify                         receive initial credits worth                             approved. It is the remaining amount
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                                                     for initially. In many cases, however,                          approximately 40 percent of its first                     that is not offset by the credits that a
                                                     FEMA anticipates offering credit for                            deductible without making any changes                     State has earned.
                                                     activities for which there is very little                       to its current spending or activities.                    BILLING CODE 9111–23–P




                                                        66 Additional information on EMAP can be found                 67 For example, given Alabama’s starting                forgone revenues from the State’s tax incentive
                                                     at https://www.emap.org/index.php.                              deductible of $12.96 million, FEMA assumes                program of $129,574.



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                                                                                                                                                                                                 4080
                                                         Table 9: Initial Estimated Deductible Credit Amounts- Expected 2016 Investments Only (in millions)
20:40 Jan 11, 2017




                                                             Dedicated    Non-Stafford                                                     Emergency
                                                   Full                                  Mitigation   Insurance   Building      Tax                         Total      Credit%
                                                               Fund       Expenditures                                                     Management                               Full Final




                                                                                                                                                                                                 Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules
                                   State         Starting                                 Activity    Coverage     Code      Incentives                   Estimated     of Full
                                                               Credit        Credit                                                           Credit                                Deductible
                                                Deductible                                Credit        Ct·edit    Credit      Credit                      Credits     Deductible
                                                             (20% cap)     (20% cap)                                                        (20% cap)
                             Alabama                $12.96    $0.00              $0.51        $0.51       $0.00      $1.55        $0.2(,      $0.50            $3.33       25.7%         S9.63
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                             Alaska                 $19.42    $0.00              $0.20        $0.37       $0.00      $3.11        $0.39       $0.89            $4.96       25.5%        $14.46
                             Arizona**              $18.67    $3.73   *          $0.10        $0.58       $0.00      $3.36        $0.37       $0.39            $8.55       45.8%        $10.12
                             Arkansas**              $8.01    $1.60   *          $0.11        $0.32       $0.00      $0.96        $0.16       $0.00            $3.15       39.4%         S4.85
PO 00000




                             Califomia**           $141.03   $28.21   *          $o.14       $21.13       $0.00     $3385         $2.82      $28.21   *     $120.55        85.5%        $20.48
                             Colorado**              $7.08    $0.01              $0.06        $0.14       $0.35      $1.13        $0.14       $0.00            $1.84       26.0%         S5.24
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                             Connecticut            $20.85    $0.00              $0.23        $0.73       $0.00      $1.07        $0.42       $2.41            $5.46       2o.2%        $15.39
                             Delaware                $8.03    $0.00              $0.01        $0.30       $0.00      $1.28        $0.16       $0.35            $2.09       26.1%         S5.93
                             Florida**             $141.53    $0.00              $9.80        $8.71       $0.00     $33.97        $2.83      $28.31   *      $83.60        59.1%        $57.92
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                             Georgia**              $17.65    $0.00              $0.20        $0.48       $0.88      $2.82        $0.35       $0.00            $4.74       26.9%        $12.91
                             Hawaii                  $9.17    $0.00              $0.01        $0.36       $0.00      $0.00        $0.18       $0.61            $1.17       12.7%         S8.00
                             Idaho                   $7.68    $1.54   *          $0.00        $0.23       $0.00      $0.00        $0.15       $0.00            $1.92       25.0%         S5.76
Sfmt 4725




                             Illinois**             $14.43    $0.00              $0.46        $4.87       $0.72      $173         $0.29       $2.89   *      $10.96        76.0%         S3.47
                             Indiana**              $12.23    $0.32              $0.76        $3.11       $0.61      $0.98        $0.24       $2.45   *        $8.47       69.3%         S3.76
E:\FR\FM\12JAP3.SGM




                             Iowa**                 $1o.63    $2.13   *          $0.41        $0.55       $0.00      $1.70        $0.21       $1.43            $6.43       60.5%         S4.20
                             Kansas**                $9.54    $0.00              $0.17        $0.24       $0.00      $0.76        $0.I9       $0.00            $1.36       I4.2%         S8.18
                             Kentucky**              $9.47    $0.00              $0.10        $0.28       $0.00      $1.71        $0.19       $0.00            $2.27       23.9%         S7.21
                             Louisiana**            $73.90    $0.00              $2.72        $103        $0.00      $0.00        $I.48       $4.2I            $9.44       I2.8%        $64.46
                             Maine                   $8.52    $0.00              $0.17        $0.17       $0.00      $1.36        $0.17       $0.00            $1.87       21.9%         S6.66
12JAP3




                             Maryland**              $9.26    $0.00              $004         $0.33       $0.46      $1.67        $0.I9       $0.00            $2.69       29.0%         S6.57
                             Massachusetts
                             **                     $30.34    $0.00              $0.07        $194        $0.00      $4.85        $0.61       $6.07   *      $13.54        44.6%        $16.80
                             Michigan**             $23.20    $3.15              $0 01        $0.74       $0.00      $4.18        $0.46       $0.47            $9.01       38.8%        $14.19
                             Minnesota               $9.44    $1.89   *          $0.06        $166        $0.47      $1.70        $0.19       $1.89   *        $7.86       83.3%         S1.58
                             Mississippi**          $13.32    $0.70              $0.84        $0.86       $0.00      $0.00        $0.27       $2.66   *        $5.33       40.0%         S7.99
                             Missouri**             $11.38    $0.00              $1.94        $0.37       $0.57      $1.82        $0.23       $0.00            $4.93       43.4%         S6.45
                             Montana                 $6.23    $1.25   *          $0.11        $0.19       $0.00      $1.12        $0.12       $0.00            $2.79       44.9%         S3.44




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                                                             Dedicated    Non-Stafford                                                      Emergency
                                                   Full                                   Mitigation   Insurance   Building      Tax                         Total      Credit%
20:40 Jan 11, 2017




                                                               Fund       Expenditures                                                      Management                               Full Final
                                   State         Starting                                  Activity    Coverage     Code      Incentives                   Estimated     of Full
                                                               Credit        Credit                                                            Credit                                Deductible
                                                Deductible                                 Credit        Ct·edit    Credit      Credit                      Credits     Deductible




                                                                                                                                                                                                  Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules
                                                             (20% cap)     (20% cap)                                                         (20% cap)
                             Nebraska**              $9.93    $1.99   *          $0.60         $0.28       $0.00      $0.99        $0.20      $0.00             $4.07       40.9%         S5.87
                             Nevada**                $8.81    $1.76   *          $0.00         $0.06       $0.00      $2.11        $0.18      $0.00             $4.11       46.7%         S4.70
                             New
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                             Hampshire               $7.92    $0.00              $0.31         $0.72       $0.00      $127         $0.16      $1.58    *        $4.04       51.0%         S3.88
                             New Jersev**           $29.28    $0.00              $0.97         $3.30       $0.00      $7.03        $0.5')     $5.86    *      $17.74        60.6%        $11.55
                             New
PO 00000




                             Mexico**               $11.11    $0.00              $0.13         $0.39       $0.00      $2.00        $0.22      $0.62             $3.36       30.2%         S7.75
                             New York**             $51.70    $0.00              $7.4()        $0.90       $0.00      $5.17        $1.01      $0.00           $14.63        2!U%         $37.07
                             North
Frm 00019




                             Carolina**             $17.50    $3.50   *          $108          $1.82       $0.88      $3.15        $0.35      $3.50    *      $14.27        81.5%         S3.23
                             North Dakota           $10.09    $1.50              $0.17         $140        $0.00      $182         $0.20      $2.02    *        $7.11       70.5%         S2.98
                             Ohio**                 $25.86    $0.00              $0.10         $0.90       $0.00      $4.66        $0.52      $1.01             $7.19       27.8%        $18.67
Fmt 4701




                             Oklahoma**             $10.40    $1.05              $0.85         $0.09       $0.00      $1.66        $0.21      $0.00             $3.85       37.1%         S6.54
                             Oregon                 $24.62    $0.05              $0.02         $0.31       $0.00      $5.91        $0.49      $0.00             $6.78       27.5%        $17.84
                             PeiiiiSy lvania*
Sfmt 4725




                             *                      $21.88    $2.10              $0.90         $2.29       $1.09      $3.94        $0.44      $4.38    *      $15.14        69.2%         S6.74
                             Rhode Island           $12.30    $0.00              $0.01         $0.29       $0.00      $148         $0.25      $0.30             $2.32       18.9%         S9.98
                             South
E:\FR\FM\12JAP3.SGM




                             Carolina**             $11.60    $0.00              $00()         $0.44       $0.00      $209         $0.21      $0.04             $2.85       24.G%         S8.75
                             South Dakota            $8.25    $0.00              $0.04         $0.12       $0.00      $1.32        $0.16      $0.00             $1.64       19.9%         S6.61
                             Tennessee**            $16.68    $0.00              $009          $0.44       $0.00      $2.G7        $0.31      $0.00             $3.53       21.2%        $13.15
                             Texas                  $73.72    $0.00              $3.56         $0.79       $0.00     $11.79        $1.47      $0.00           $17.61        23.9%        $56.10
                             Utah**                  $7.73    $1.55   *          $0.01         $0.22       $0.00      $1.86        $0.15      $0.00             $3.78       48.9%         S3.95
12JAP3




                             Vermont**               $8.64    $0.00              $0.12         $0.37       $0.00      $1.56        $0.17      $0.98             $3.20       37.0%         S5.44
                             Virginia**             $13.51    $0.00              $0.10         $147        $0.68      $2.43        $0.27      $2.70    *        $7.65       56.7%         S5.85
                             W ashinglon            $27.30    $0.00              $0.60         $0.50       $0.00      $0.00        $0.55      $0.00             $1.64        6.0%        $25.66
                             West Virginia          $23.39    $0.00              $0.29         $0.48       $0.00      $3.74        $0.47      $1.30             $6.29       26.9%        $17.10
                             Wisconsin              $13.50    $0.14              $0.43         $0.50       $0.00      $1.62        $0.27      $0.15             $3.11       23.0%        $10.39
                             Wyoming                $10.47    $0.75              $0.00         $0.15       $0.00      $1.88        $0.21      $0.00             $3.00       28.6%         S7.47
                                 Average            $22.20    $1.18              $0.87         $137        $0.13      $3.59        $0.44      $2.1()            $9.74       38.7%        $12.46




                                                                                                                                                                                                  4081
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                                                                                                                                                                                             4082
20:40 Jan 11, 2017




                                                                                                                                                                                             Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules
                                                             Dedicated   Non-Stafford                                                    Emergency
                                                   Full                                 Mitigation   Insurance   Building      Tax                      Total      Credit%
                                                               Fund      Expenditures                                                    Management                             Full Final
                                   State         Starting                                Activity    Coverage     Code      Incentives                Estimated     of Full
                                                               Credit       Credit                                                          Credit                              Deductible
                                                Deductible                               Credit        Ct·edit    Credit      Credit                   Credits     Deductible
Jkt 241001




                                                             (20% cap)    (20% cap)                                                       (20% cap)
                                 Median             $12.26    $0.00             $0.17        $0.48       $0.00      $1.72        $0.25      $0.37          $4.43       29.6%         S7.61
                                Minimum              $6.23    $0.00             $0.00        $0.06       $0.00      $0.00        $0.12      $0.00          $1.17        6.0%         S1.58
PO 00000




                               Maximum             $141.53   $28.21             $9.80       $2113        $1.09     $33.97        $2.83     $28.31       $120.55        85.5%        $64.46
Frm 00020




                             *Values marked with an asterisk in Table 9 indicate that the State has reached the applicable cap for that credit category.

                             ** States marked with a double asterisk in Table 9 indicate that the State received a 5 percent EMAP bonus in the dedicated fund, non-Stafford
Fmt 4701




                             expenditures, and emergency management credit categories.
Sfmt 4725
E:\FR\FM\12JAP3.SGM
12JAP3




EP12JA17.026</GPH>


                                                                               Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules                                                          4083

                                                     I. Deductible Program Timeline and                          the States and an opportunity for each                   may request a 16 percent reduction for
                                                     Procedures                                                  State to offer feedback.                                 maintaining BCEGS® scores of 5 for
                                                        FEMA is committed to developing a                           Contemporaneously with the issuance                   both the commercial and residential
                                                     Public Assistance deductible program                        of the Annual Notice, FEMA would                         building code categories. Generally, the
                                                     that is effective, but that also minimizes                  publish in the Federal Register the                      State would not need to submit any
                                                     the cost and administrative burden                          Application and Submission                               additional information or supporting
                                                     required of our State partners. FEMA                        Information for Public Assistance                        documentation to support its request.
                                                     expects to request the minimum amount                       Deductible credits to provide guidance                     FEMA would review the State’s
                                                     of information and reporting necessary                      concerning the deductible credits that                   submission and make a determination of
                                                     for the program to be successful. To do                     could be offered during the next year                    the amount of deductible credit to be
                                                     this, FEMA’s model concept could                            and an application form for credits.                     approved. FEMA could actively reach
                                                     follow a strict and consistent                              FEMA does not anticipate making                          out to the State-identified subject matter
                                                     programmatic schedule throughout the                        significant changes to the credit                        expert if any additional information
                                                     year so that States could have a clear                      structure year over year, but could                      would be needed for purposes of
                                                     understanding of current and upcoming                       constantly and actively be monitoring                    determining whether the activity would
                                                     expectations. FEMA designed this                            credit types and amounts and may                         qualify for credit. If the activity
                                                     potential model schedule to operate on                      adjust the structure as necessary to                     appeared to qualify, either from the face
                                                     the calendar year to provide simplicity                     improve the program’s effectiveness                      of the credit application or after
                                                     and standardization across jurisdictions                    over time. FEMA anticipates engaging                     consulting with the State subject matter
                                                     that operate on various iterations of the                   extensively with States in making any                    expert, FEMA would approve the
                                                     fiscal year.                                                adjustments to the credit structure.                     appropriate amount of credit up to the
                                                        As with the rest of the SANPRM all                          Credit applications could be due to                   credit category cap (for the categories to
                                                     numbers, figures, criteria, timeframes,                     FEMA by September 1 of each year.                        which a cap applies).
                                                     and processes detailed in this section                      Because there might be a limited period
                                                                                                                 of about one month to complete the                         FEMA envisions notifying each State
                                                     are notional. They are intended to aid
                                                                                                                 application for deductible credits, it                   individually by October 1 of the amount
                                                     the public in understanding how a
                                                                                                                 would be important that States assess                    of credit approved and the remaining
                                                     potential deductible program could
                                                                                                                 and account for their past year’s                        deductible, if any, that would apply
                                                     operate and to spur discussion and
                                                                                                                 activities before the Annual Notice is                   during the subsequent calendar year. If
                                                     feedback.
                                                                                                                 published or quickly thereafter.                         FEMA approved any less credit than
                                                     1. Model Timeline                                              The actual application could be                       what the State requested, FEMA would
                                                        On August 1 of each year, FEMA                           minimal compared to other Federal                        include an explanation of the rationale
                                                     could issue an Annual Notice of Public                      applications, grant applications in                      for the discrepancy. In the case that
                                                     Assistance Deductible Amounts                               particular. FEMA envisions a simple                      FEMA did not fully approve the State’s
                                                     (Annual Notice). This notice could be                       form in which a State could request the                  credit request, the State could be able to
                                                     published in the Federal Register and                       appropriate amount of credit for each                    appeal the determination to FEMA. For
                                                     would indicate each State’s pre-credit                      credit category, include a brief                         this model timeline, FEMA envisions
                                                     deductible amount. The Annual Notice                        description of the activity for which the                appeals of credit determinations would
                                                     could provide sufficient detail regarding                   credit is requested, provide the contact                 be due by December 1.
                                                     the calculation methodology to provide                      information for a subject matter expert                    Once FEMA has adjudicated any
                                                     transparency regarding the source of the                    that can answer questions about the                      appeals and all credit has been
                                                     deductible figures. If a State believes                     activity, and affix the signatures of the                approved, FEMA could issue a notice in
                                                     that FEMA has made a technical error                        appropriate State officials.                             the Federal Register no later than
                                                     in calculating its deductible, the State                       For example, a State may request $1.5                 January 1 of the subsequent year
                                                     could be able to appeal the amount. In                      million in credit for spending $500,000                  announcing each State’s beginning
                                                     addition, FEMA would not expect to                          moving a fire station out of a flood                     deductible amount, the amount of credit
                                                     otherwise change the calculation                            hazard area (mitigation would be                         approved, and the final remaining
                                                     methodology without advance notice to                       credited $3.00:$1.00). Likewise, a State                 deductible, if any.

                                                                                               TABLE 10—NOTIONAL DEDUCTIBLE PROGRAM ANNUAL MILESTONES
                                                             Date                      Actor                                                                   Activity

                                                                                                         • FEMA publishes Annual Notice of Public Assistance Deductible Amounts in the Federal Register.
                                                     August 1 ..............   FEMA .................    • FEMA publishes Application and Submission information for Public Assistance Deductible Credits in
                                                                                                           the Federal Register, which provides formal credit guidance and the credit application form.
                                                     September 1 .......       States ................   • Deadline for States to submit the Application for Public Assistance Deductible Credits.68
                                                     October 1 ............    States ................   • Deadline for States to appeal FEMA’s determination of the pre-credit deductible amounts.
                                                     October 1 ............    FEMA .................    • FEMA completes review of the credit applications and notifies each State of the credit amounts ap-
                                                                                                           proved and FEMA’s proposed final deductible amount.
                                                     November 1 ........       FEMA .................    • FEMA notifies States of the outcome of any pre-credit deductible amount appeals.
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                                                     December 1 ........       States ................   • Deadline for States to appeal FEMA’s approved credit amounts and/or proposed final deductible
                                                                                                           amount.
                                                     January 1 ............    FEMA .................    • FEMA notifies States of the outcome of any pending appeals and publishes each State’s final deduct-
                                                                                                           ible and credit amounts in the Federal Register.



                                                       68 Activities undertaken after the cutoff date for        year’s deductible. For example, activities               deductible in effect 3 months later, but instead to
                                                     applying for credits would be applied to the next           undertaken in October would not be applied to the        the one in effect 15 months later.



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                                                                                 TABLE 10—NOTIONAL DEDUCTIBLE PROGRAM ANNUAL MILESTONES—Continued
                                                             Date                   Actor                                                                   Activity

                                                     Beginning Janu-         FEMA .................   • FEMA provides supplemental Public Assistance for all of the credits that a State has earned in every
                                                       ary 1.                                           disaster.
                                                                                                      • For any permanent work disaster costs exceeding the State’s earned credits, FEMA applies the re-
                                                                                                        maining final deductible amount, if any.



                                                     2. Post Disaster Deductible Procedures                   replacement projects resulting from                      than the State’s $10 million final
                                                        FEMA believes it is important that for                disasters declared in that year could                    deductible for that calendar year.
                                                     every major disaster, the States receive                 receive supplemental Federal assistance                    If the State receives a second major
                                                     assistance for emergency protective                      in accordance with the standard                          disaster declaration in the same
                                                     measures and debris removal. FEMA                        procedures of the Public Assistance                      calendar year, the State would need to
                                                     does not want to delay those essential                   program. If there are insufficient                       identify $2 million in permanent work
                                                     activities in the immediate aftermath of                 projects to satisfy the full remaining                   to satisfy the deductible remaining after
                                                     a disaster incident. Under FEMA’s                        deductible requirement, the unsatisfied                  the first disaster. After the deductible is
                                                     deductible concept, FEMA assistance                      portion of the deductible could be                       fully met, all additional eligible costs
                                                     for debris removal and emergency                         carried forward to any additional major                  could be documented on Project
                                                     protective measure projects could                        disasters declared within the State that                 Worksheets and processed for
                                                     follow the normal procedures and                         year. Any deductible that is remaining                   reimbursement assistance pursuant to
                                                     receive funding at the applicable cost                   unsatisfied at the end of the year would                 the applicable cost share and standard
                                                     share for that disaster.                                 expire. Each year could start the                        rules and procedures of FEMA’s Public
                                                        FEMA envisions applying the                           deductible cycle anew with regards to                    Assistance program.
                                                     deductible amount (i.e., the portion of a                the starting deductibles, credits earned,                  Any deductible amount remaining
                                                     State’s deductible not fully satisfied by                and final deductibles.                                   unsatisfied due to lack of eligible
                                                     the credits earned, if any) on an annual                    If a State has an unsatisfied                         disaster costs at the end of a year would
                                                     basis and only to the provision of                       deductible requirement remaining after                   be canceled. For example, consider a
                                                     supplemental Federal assistance for                      a major disaster, and it receives a                      State with a starting deductible of $30
                                                     permanent repair and replacement                         second major disaster declaration that                   million. The State then requests and is
                                                     activities. For repair and replacement                   year, pursuant to this initial version of                granted credits worth $20 million.
                                                     assistance, the State would receive                      the deductible concept, the State would                  FEMA notifies the State on January 1
                                                     supplemental Federal assistance only                     be required to identify a project or                     that it has a final deductible amount of
                                                     after it has satisfied its deductible                    grouping of projects that have a                         $10 million for the following calendar
                                                     requirement.                                             preliminary cost estimate (Federal and                   year. The State does not experience any
                                                        If in a given year the affected State has             non-Federal share combined) equal to                     incidents during the calendar year for
                                                     not fully satisfied its annual Public                    the unsatisfied deductible requirement.                  which the President declares a major
                                                     Assistance deductible with the credits                   With agreement by FEMA as to the                         disaster. The $10 million final
                                                     that it earned and a major disaster is                   preliminary cost estimate, these projects                deductible could expire and be
                                                     declared, after the declaration the State                would be deemed ineligible costs                         cancelled at the end of the calendar year
                                                     would be asked to identify projects that                 pursuant to Section 406 of the Stafford                  and the State could receive a new final
                                                     have a preliminary cost estimate                         Act. Once the State has satisfied its                    deductible amount for the next year.
                                                     (Federal and non-Federal share                           annual deductible requirement, all                       J. Validation Procedures
                                                     combined) equal to the unsatisfied                       eligible costs in subsequent disaster
                                                     deductible amount. With agreement by                                                                                 FEMA desires for the deductible
                                                                                                              declarations could be processed for                      program to recognize, reward, and
                                                     FEMA as to the preliminary cost                          reimbursement through standard Public
                                                     estimate, those projects the State selects                                                                        incentivize mitigation and resilience
                                                                                                              Assistance program procedures.                           building best practices.
                                                     to satisfy the remaining deductible
                                                     would be deemed ineligible under                            Consider a State that has a starting                     As with the rest of the SANPRM all
                                                     Section 406 of the Stafford Act.69 The                   deductible of $25 million and has                        numbers, figures, criteria and processes
                                                     State would assume responsibility for                    earned credits of $15 million. The                       detailed in this section are notional.
                                                     these projects.70 FEMA would require                     State’s final deductible would be $10                    They are intended to aid the public in
                                                     that the States identify these projects                  million. This is the amount that the                     understanding how a potential
                                                     within the first 60 calendar days after a                State would need to satisfy before it can                deductible program could operate and
                                                     disaster declaration so as not to impede                 receive permanent repair and                             to spur discussion and feedback.
                                                     the provision of supplemental Federal                    replacement assistance. Suppose the                         In order to ensure that the program is
                                                     assistance for other projects.                           State experiences a major disaster that                  both effective in truly incentivizing risk
                                                        After the State satisfies its deductible              requires $3 million in debris removal                    reduction and is being continually
                                                     in any major disaster event, any                         and causes $8 million in damage to                       improved, FEMA would seek to validate
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                                                     remaining eligible repair and                            public infrastructure. FEMA would                        a portion of the credits that States are
                                                                                                              document the debris removal costs on                     approved each year.
                                                        69 Stafford Act, supra FN4, § 406(b) (providing the   Project Worksheets and process all of                       FEMA believes that its analysis will
                                                     ‘‘Federal share of assistance under this section shall   those eligible costs for reimbursement                   ultimately show that reviewing a sample
                                                     be not less than 75 percent of the eligible cost of      assistance at the applicable disaster cost               of credit approvals would be sufficient
                                                     repair, restoration, reconstruction, or replacement      share, typically 75 percent Federal. The                 to ensure the fidelity of the approvals
                                                     carried out under this section’’) (emphasis added).
                                                        70 Costs of satisfying the deductible, like cost      State could be responsible for paying for                and ultimately, confidence in the
                                                     share costs, would not qualify for credit towards the    all of the permanent work repairs                        credibility of the deductible program.
                                                     next year’s deductible.                                  because the $8 million in damage is less                 FEMA solicits comment on this


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                                                                            Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules                                            4085

                                                     assumption and the ideal portion of                     when further action could be                           be implemented prior to publishing a
                                                     credit submissions that would be                        appropriate in the case of a State which               final rule in the Federal Register.
                                                     subject to validation. Whatever the case,               has submitted consistently unverifiable                   Even if a final rule is published,
                                                     FEMA would notify the State of its                      credits.                                               FEMA also recognizes that
                                                     intent to validate credits and would                       For example, consider a State that has              implementing such a fundamental
                                                     specify precisely which credits are to be               received a credit approval of $3 million               change would require sufficient time to
                                                     validated.                                              for a tax incentive program that allows                enable all parties to thoughtfully and
                                                       During the validation process, FEMA                   consumers to purchase hurricane                        strategically adapt to the new structure
                                                     would review the records and                            preparedness supplies without paying                   in the form best befitting each.
                                                     documentation that States maintain to                   sales tax during the first weekend of                     Consequently, FEMA would likely not
                                                     support their credit requests. Every                    hurricane season each year. In this case,              apply any deductible for at least one
                                                     State would likely have different                       this particular credit has been included               year following publication of a final
                                                     standards for documentation and each                    within the sample of credit approvals                  rule. Thereafter, FEMA’s concept
                                                     credit may require a different type of                  selected for validation. FEMA notifies                 envisions a phased implementation
                                                     documentation, none of which FEMA                       the State of its intent to validate the                strategy that would make most States
                                                     plans to prescribe; however, each State                 credit and requests the necessary                      responsible for only a partial deductible
                                                     would be responsible for maintaining                    supporting documentation. The State is                 amount in the beginning of the program
                                                     and providing, upon FEMA’s notice of                    able to produce documentation for                      and delaying full application of the
                                                     intent to validate a credit, sufficient                 $100,000 of qualifying advertising costs               deductible requirement for most States
                                                     documentation to reasonably and                         and $1.1 million worth of foregone sales               over a scheduled implementation
                                                     objectively substantiate the credit                     tax receipts. Because the credit concept               period.
                                                     approval. FEMA anticipates that States                  offers a deductible credit at a ratio of                  Specifically, FEMA is considering
                                                     would have to maintain the relevant                     $2.00:$1.00 for this credit, FEMA would                capping the first year deductible at each
                                                     documentation for at least 5 years.                     be able to validate $2.4 million worth of              State’s then-current per capita indicator
                                                     FEMA requests comment from States                       credit. FEMA notifies the State of its                 as determined by FEMA pursuant to 44
                                                     regarding the capital and startup costs                 failure to validate $600,000 of credit and             CFR 206.48(a)(1). FEMA could then
                                                     that may be involved in this                            of FEMA’s intent to increase the State’s               increase each State’s deductible by a
                                                     recordkeeping requirement as well as                    next annual deductible by $600,000 to                  share of the unapplied deductible,
                                                     suggestions for how FEMA may                            compensate for the amount of the                       which for the purposes of this model is
                                                     minimize the burden on States to keep                   previous credit approval that FEMA was                 50 percent, each year thereafter until the
                                                     this information.                                       unable to validate.                                    State reaches the full deductible
                                                       In the event that FEMA is unable to                      In this case, the State appeals the                 amount. FEMA could recalculate the
                                                     validate a credit award, either because                 approval and is able to produce                        full deductible amount annually based
                                                     the underlying State activity did not                   documentation of an additional                         on the fiscal capacity and risk index
                                                     actually qualify for deductible credit or               $600,000 in forgone tax receipts from                  methodology described above. Through
                                                     because the State was unable to produce                 the sales tax holiday. FEMA is now able                this method and based on the model
                                                     sufficient documentation to objectively                 to validate the entire credit approval                 FEMA provides in this SANPRM, half of
                                                     validate the credit approval, FEMA                      and would not add any additional                       the States could reach their full
                                                     would notify the State of its failure to                amount to the State’s next deductible.                 deductible within 4 years and all of the
                                                     validate the credit. FEMA would detail                                                                         States could reach their full deductible
                                                     the applicable requirements of the                      K. Possible Implementation Strategy                    within 9 years. Two States, Illinois and
                                                     deductible credit that was approved and                   FEMA will gather the suggestions and                 Colorado, could potentially reach their
                                                     specifically why FEMA was unable to                     concerns that have been expressed                      full deductible in the first year because
                                                     validate it.                                            through the ANPRM and SANPRM and                       the contemplated deductible
                                                       Once FEMA notifies the State that                     use them to determine whether it can                   methodology produces deductibles
                                                     FEMA was unable to validate a credit,                   design a deductible concept that                       below their current Public Assistance
                                                     FEMA could permit the State 60 days to                  achieves FEMA’s overall guiding                        per capita indicators. Figure 2 depicts
                                                     appeal the determination. If the State’s                principles, but does so in a way that is               the application of this implementation
                                                     appeal is denied, FEMA would add any                    both appreciative of and responsive to                 strategy over the first 3 years of the
                                                     credit approval that could not be                       the needs and concerns of its emergency                deductible program. Figure 3 depicts the
                                                     validated to the applicable State’s                     management partners, particularly the                  number of States that are forecast to
                                                     deductible amount in the next year. If                  States to which it would apply. If FEMA                reach their full deductible, as calculated
                                                     FEMA was able to validate the credit on                 decides the deductible program has                     in this model, in each year. Table 11
                                                     appeal, the credit approval would stand                 continued merit, FEMA would issue a                    depicts the model starting deductibles
                                                     and FEMA would make no further                          Notice of Proposed Rulemaking (NPRM)                   for each State in each year based on
                                                     inquiry or take any other adverse action.               before possibly issuing a final rule. No               current calculations.
                                                     FEMA seeks comment on whether and                       aspect of the deductible concept would                 BILLING CODE 9111–23–P
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                                                                                                                                                                         1


                                                                                                                                                                                   1
                                                                      Figure 3: Number of Years Until Application of the Futl Starting Deductible- Notional
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                                                                                                                                                                                      88O0FP
  Table 11: Notional Phased Deductible Implementation with Starting Cap at the Current Per Capita Indicator and
                      Subsequent Annual Caps at 1.5x the Previous Year‘s Deductible Amount




                                                                                                                                                                samy pasodold/iI0Z ‘ZT Lrenuwef ‘Kepsimu/g ‘ON ‘zg OA /JejstSay Jfe1apaq
All Amounts in Millions $      Year 1       Year 2       Year 3       Year 4       Year 5       Year 6       Year 7       Year 8       Year 9
  Shaded Cells Indicate       Starting     Starting     Starting     Starting     Starting     Starting     Starting     Starting     Starting
     Capped Values           Deductible   Deductible   Deductible   Deductible   Deductible   Deductible   Deductible   Deductible   Deductible
                                                                                                                                                      Full
                 Current                                                                                                                            Starting
                   Per                                                                                                                             Deductible
                  Capita
                Indicator
                 (PCD
Alabama             $6.74                                  $12.96       $12.96       $12.96       $12.96       $12.96       $12.96       $12.96        $12.96
Alaska              $1.00                                                                                                                $19.42        $19.42
Arizona             $9.01                                  $18.67       $18.67       $18.67       $18.67       $18.67       $18.67       $18.67        $18.67
Arkansas            $4.11                                   $8.01        $8.01        $8.01        $8.01        $8.01        $8.01        $8.01         $8.01
California         $52.53                                              $141.03      $141.03      $141.03      $141.03      $141.03      $141.03       $141.03
Colorado            $7.09                      $7.08        $7.08        $7.08        $7.08        $7.08        $7.08        $7.08        $7.08         $7.08
Connecticut         $5.04                                                            $20.85       $20.85       $20.85       $20.85       $20.85        $20.85
Delaware            $1.27                                                                          $8.03        $8.03        $8.03        $8.03         $8.03
Florida            $26.51                                                                        $141.53      $141.53      $141.53      $141.53       $141.53
Georgia            $13.066                                                           $17.65       $17.65       $17.65       $17.65       $17.065       $17.65
Hawaii              $1.92                                                             $9.17        $9.17        $9.17        $9.17        $9.17         $9.17
Idaho               $2.21                                                             $7.68        $7.68        $7.68        $7.68        $7.68         $7.68
Illinois           $18.09        $14.43       $14.43                                 $14.43       $14.43       $14.43       $14.43       $14.43        $14.43
Indiana             $9.14                     $12.23                                 $12.23       $12.23       $12.23       $12.23       $12.23        $12.23
lowa                $4.30                                                            $10.63       $10.63       $10.63       $10.63       $10.63        $10.63
Kansas              $4.02                                                             $9.54        $9.54        $9.54        $9.54        $9.54         $9.54
Kentucky            $6.12                                                             $9.47        $9.47        $9.47        $9.47        $9.47         $9.47
Louisiana           $6.39                                                                                                   $73.90       $73.90        $73.90
Maine               $1.87                                                             $8.52        $8.52        $8.52        $8.52        $8.52         $8.52
Maryland            $8.14                                                             $9.26        $9.26        $9.26        $9.26        $9.26         $9.26
Massachusetts       $9.23                                                            $30.34       $30.34       $30.34       $30.34       $30.34        $30.34
Michigan           $13.94                                                            $23.20       $23.20       $23.20       $23.20       $23.20        $23.20
Minnesota           $7.48                                                             $9.44        $9.44        $9.44        $9.44        $9.44         $9.44


Mississippi                                   $13.32    $13.3     $13.32    $13.32    $13.32    $13.32    $13.32
Missounri                 $11.38    $11.38    $11.38    $11.38    $11.38    $11.38    $11.38    $11.38    $11.38
Montana                                                  $6.23     $6.23     $6.23     $6.23     $6.23     $6.23




                                                                                                                   samy pasodold/iI0Z ‘ZT Lrenuwef ‘Kepsimu/g ‘ON ‘zg OA /JejstSay Jfe1apaq
Nebraska                                                 $9.93     $9.93     $9.93     $9.93     $9.93     $9.93
Nevada                                         $8.81     $8.81     $8.81     $8.81     $8.81     $8.81     $8.81
New
                                                         $7.92     $7.92     $7.92     $7.92     $7.92     $7.92

NewJersey                                     $29.28    $29.28    $29.28    $29.28    $29.28    $29.28    $29.28
NewMexico                                               $11.11    $11.11    $11.11    $11.11    $11.11    $11.11
New York                            $51.70    $51.70    $51.70    $51.70    $51.70    $51.70    $51.70    $51.70
North
                                    $17.50    $17.50    $17.50    $17.50    $17.50    $17.50    $17.50    $17.50
Carolina
North Dakota                                                                $10.09    $10.09    $10.09    $10.09
Ohio                                $25.86    $25.86    $25.86    $25.86    $25.86    $25.86    $25.86    $25.86
Oklahoma                            $10.40    $10.40    $10.40    $10.40    $10.40    $10.40    $10.40    $10.40
Oregon                                                  $24.62    $24.62    $24.62    $24.62    $24.62    $24.62
Pennsylvania                        $21.88    $21.88    $21.88    $21.88    $21.88    $21.88    $21.88    $21.88
Rhode Island                                                                $12.30    $12.30    $12.30    $12.30
South
                                    $11.60    $11.60    $11.60    $11.60    $11.60    $11.60    $11.60    $11.60
Carolina
South Dakota                                                       $8.25     $8.25     $8.25     $8.25     $8.25
Tennessee                           $16.68    $16.68    $16.68    $16.68    $16.68    $16.68    $16.68    $16.68
Texas                               $73.72    $73.72    $73.72    $73.72    $73.72    $73.72    $73.72    $73.72
Utah                                 $7.73     $7.73     $7.73     $7.73     $7.73     $7.73     $7.73     $7.73
Vermont                                                                      $8.64     $8.64     $8.64     $8.64
Virginia                                      $13.51    $13.51    $13.51    $13.51    $13.51    $13.51    $13.51
Washington                                    $27.30    $27.30    $27.30    $27.30    $27.30    $27.30    $27.30
West Virginia                                                               $23.39    $23.39    $23.39    $23.39
Wisconsin                           $13.50    $13.50    $13.50    $13.50    $13.50    $13.50    $13.50    $13.50
Wyoming                                                                     $10.47    $10.47    $10.47    $10.47
       Average    $8.62   $12.29    $15.94    $18.39    $20.28    $21.24    $22.02    $22.16    $22.20    $22.20
        Median    $6.26    $8.64    $10.04    $11.01    $11.49    $11.49    $11.92    $12.27    $12.27    $12.27
   Maximum       $52.53   $78.80   $118.19   $141.03   $141.03   $141.53   $141.53   $141.53   $141.53   $141.53
    Minimum       $1.00    $1.50     $2.25     $3.38     $5.06     $6.23     $6.23     $6.23     $6.23     $6.23




                                                                                                                                         680F


                                                     4090                   Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules

                                                       FEMA believes that this approach                      implementation the starting deductible                 depicted in Table 9. To extrapolate into
                                                     would allow States the opportunity to                   is a lesser amount, for example 25                     the out years, FEMA assumed that each
                                                     adapt to the deductible concept and to                  percent of the full deductible, FEMA                   State would increase the amount of
                                                     take steps that would earn additional                   would apply the same percentage as a                   credit earned by 5 percent year-over-
                                                     credits and begin to address their future               cap to the credits earned, or in this case             year. FEMA then deducted that amount,
                                                     disaster risk, without applying                         25 percent.                                            in proportion of the starting deductible
                                                     deductibles at levels that would be                        Table 12 depicts each State’s notional              to full deductible as described above, to
                                                     punitive.                                               starting deductible for the first 9 years              calculate the model projected final
                                                       Similar to the phased implementation                  of the deductible program. It also                     deductible amounts for each State in
                                                     of the deductible amounts, FEMA                         depicts the model final deductibles that               each of the first 9 years.
                                                     envisions a phased application of                       FEMA expects would be applied in each                     These amounts are only estimates,
                                                     credits in lockstep to each State’s                     year. As described above, these model                  however, and will be affected by many
                                                     deductible amount. This would be done                   final deductibles are the model starting               factors, including changes to the base
                                                     by applying the credits earned each year                deductibles minus the amount of credits                deductible, changes to each State’s
                                                     in the same proportion of the State’s                   that each State earns in that particular               relative risk or fiscal capacity, the
                                                     capped deductible to its full deductible.               year. For the purposes of this model,                  amount of credit each State earns in the
                                                     For example, if a State’s starting                      FEMA has estimated the amount of                       first year for activities already
                                                     deductible is equal to its full deductible              credit that each State might earn in the               underway, and changes to those
                                                     in a given year, FEMA would apply all                   first year based on activities that FEMA               activities that result in more or less than
                                                     of the credits earned in that year.                     believes every State is already                        5 percent year-over-year credit
                                                     However, if because of phased                           undertaking. These amounts were                        increases. All shaded values are capped.
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                                              Table 12 Phased Deductible                                lementation Includ                    Projected Credits                     millions

            Current          Year1                  Year 2                Year 3                   Year 4                  Year 5                  Year 6                  Year 7                  Year 8                  Year 9                Full
              Per                                                                                                                                                                                                                              Starting
            Capita      Year 1    Year 1       Year 2    Year 2      Year 3     Year 3       Year 4      Year 4       Year 5     Year 5       Year 6     Year 6       Year 7     Year 7       Year 8     Year 8       Year 9     Year 9       Deductible
                       Starting    Final      Starting    Final     Starting     Final      Starting      Final      Starting     Final      Starting     Final      Starting     Final      Starting     Final      Starting     Final


               $6.74                  $5.01                  $7        $12.96       $9.29     $12.96         $9.11     $12.96        $8.91     $12.96        $8.71     $12.96        $8.50     $12.96        $8.27     $12.96        $8.04        $12.96




                                                                                                                                                                                                                                                           samy pasodoldg/II0Z ‘ZT Lrenuwef ‘Kepsimu1/g ‘ON ‘zg OA /JojpstSay Jfe1opaq
               $1.00                  $0.7.                  $1.1                                            $2.38                   $3.49                   $5.12                   $7.49                  $10.95     $19.42       $12.09        $19.42
               $9.01                                         $7        $18.67       $9.24     81             $8.77     $18.67        $8.28     $18.67        $7.       $18.67        $7.21     $18.67        $6.64     $18.67        $6.04        $18.67
               $4.11                  $2.                               $8.01       $4.54       $8.01        $4.36       $8.01       $4.18       $8.01                   $8.01       $3.79       $8.01       $3.58       $8.01       $3.36         $8.01
              $52.53                  $7                                            $6.81    $141.03         $1.48    $141.03                 $141.03                 $141.03                 $141.03                 $141.03                    $141.03
               $7.09                                                    $7.08       $5.05       $7           $4.95       $7.08       $4.84       $7.08                   $7.08       $4.61       $7.08       $4.49       $7          $4.36         $7.08
               $5.04                  $3.                                           $8.07                   $11.85     $20.85       $14.21     $20.85                  $20.85       $13.53     $20.85       $13.17      $20.85      $12.78        $20.85
               $1.27                                                                $2.04                    $2.99                   $4.40       $8.03                   $8.03       $5.23       $8.03       $5.09       $8.03       $4.94         $8.03
              $26.51                 S1                                            $20.80                   $28.29                  $37.85    $141.53                 $141.53       $29.50    $141.53       $23.90    $141.53       $18.01       $141.53
              $13.66                                                   $17.65      $12.42     $17.65        $12.16     $17.65       $11.89     $17.65       $11.60     $17.65       $11.30     $17.65       $10.98     $17.65       $10.65        $17.65
               $1.92                  $                                             $3.71                    $5.52       $9.17       $7.75       $9.17       $7.68       $9.17       $7.60       $9.17       $7.52       $9.17       $7.44         $9.17
               $221                   $                                             $3.60                    $5.30       $7.68       $5.35       $7.68                   $7.68       $5.1        $7.68       $4.98       $7.68       $4.84         $7.68
              $18.09                  $3.                                           $2.35                    $1.74     $14.43        $L.11     $14.43        $0.       $14.43                  $14.43                  $14.43                     $14.43
               $9.14                  $2.81                                         $2.89                    $2.42     $12.23        $1.93     $12.23        $1.       $12.23        $0.88     $12.23        $0.31      $12.23                    $12.23
               $4.30                  81.                                           $3.22                    $3.19     $10.63        $2.81     $10.63        $2.       $10.63        $2.01     $10.63        $1.58     $10.63                     $10.63
               $4.02                  $3.                                           $7.62                    $7.97       $9.54       $7.89       $9.54       $7          $9.54       $7.72       $9.54       $7.63       $9                        $9.54
               $6.12                                                                $6.97                    $6.84       $9.47       $6.71       $9.47                   $9.47       $6.43       $9.47       $6.28       $9.4                      $9.47
               $6.39                                                               $12.35                   $18.38                  $27.33                                          $60.33     $73.90       $60.62      $73                       $73.90
               $1.87                                                                $3.19                    $4.71       $8.52       $6.25       $8.52                   $8.52       $6.01       $8.52       $5.89       $8.5                      $8.52
               $8.14                                                    $9.26       $6.29                    $6.15       $9.26       $5.99       $9.26                   $9.26       $5.66       $9.26       $5.47       $9                        $9.26
               $9.23                                                               $10.55                   $14.67     $30.34       $13.88     $30.34                  $30.34       $12.20     $30.34       $11,29      $30                       $30.34
              $13.94                                                   $23.20      $13.27                   $12.77     $23.20       $12.25     $23.20       $11.       $23.20       $11.13     $23.20       $10.52      $23                       $23.20
               $748                                                     $9.44       $0.77                    $0.34       $9.44                   $9.44                   $9.44                   $9.44                   $9.                       $9.44
               $4.18                                                                $5.26                    $7.15     $13.32        $6.84     $13.32                  $13.32        $6.18     $13.32        $5.82                                $13.32
               $844                                                    $11.38       $5.94                    $5.67     $11.38        $5.39     $11.38                  $11.38        $4.77     $11.38        $4.44                                $11.38
               $140                                                                 $1.59                    $2.28       $6.23       $2.84       $6.23                   $6.23       $2.49       $6.23       $2.30                                 $6.23
               $2.58                                                                $3.18                    $4.58       $9.93       $4.98       $9.93                   $9.93       $4.48       $9.93       $4.20                                 $9.93
               $3.81                                                                $4.16                    $4.05       $8.81       $3.81       $8.81                   $8.81       $3.30       $8.81       $3.03                                 $8.81
               $1.86                                                                $1.83                    $2.57       $7.92       $3.01       $7.92                   $7.92       $2.51       $7.92       $2.24                                 $7.92
              $1240                                                                 $9.26                    $8.74     $29.28        $7.72     $29.28                  $29.28        $5.51     $29.28        $4.32                                $29.28
Mexico         $2.90                                                                $4.35                    $6.36     S11.11        $7.03     S11.11                  S1L.11        $6.61     SIL.L1        $6.38                                S1L.11
York          $27.32                                                               $35.57                   $34.76     $51.70       $33.92     $51.70                  $51.70       $32.09     $51.70       $31.11                                $51.70
 Carolina     $13.45                                                                $1.77                    $0.98     $17.50        $0.15     $17.50                  $17.50                  $17.50                                             $17.50
 Dakota        $1.00                                                                $0.50                    $0.62                   $0.73                             $10.09        $0.56     $10.09        $0.09                                $10.09
              $16.27                                                               $17.93                   $17.54     $25.86       $17.12     $25.86                  $25.86       $16.22     $25.86       $15.74                  $15.24        $25.86
               $5.29                                                                $6.16                    $5.94     $10.40        $5.72     $10.40                  $10.40        $5.24     $10.40        $4.98                   $4.71        $10.40
               $5.40                                                                $8.46                   $12.41     $24.62       $16.38     $24.62                  $24.62       $15.53     $24.62       $15.08                  $14.60        $24.62
              $17.91                                                                $5.19                    $4.35     $21.88        $3.48     $21.88                  $21.88        $1.59     $21.88        $0.58                                $21.88
 Island        $148                                                                 $2.64                    $3.90                   $5.77                             $12.30        $9.19     $12.30        $9.04                   $8.87        $12.30
 Carolina      $6.52                                                                $8.46                    $8.30     $11.60        $8.14     $11.60                  $11.60        $7.78     $11.60        $7.59                   $7.39        $11.60
Dakota         $1.15                                                                $2.02                    $2.99                   $4.42       $8.25                   $8.25       $6.05       $8.25       $5.94                   $5.83         $8.25
               $8.95                                                               $12.79                   $12.59     $16.68       $12.39     $16.68                  $16.68       $11.95     $16.68       $11.71                  $11.46        $16.68
              $3546                                                                $54.30                   $53.33     $73.72       $52.31     $73.72                  $73.72       $50.12     $73.72       $48.94                  $47.70        $73.72
               $3.90                                                                $3.56                    $3.35       $7.73       $3.14       $7.73                   $7.73       $2.66       $7.73       $2.41                   $2.15         $7.73
               $1.00                                                                $1.33                    $1.93                   $2.78                               $8.64       $4.35       $8.64       $4.14                   $3.91         $8.64
              $11.28                                                                $5.08                    $4.65     $13.51        $4.21     $13.51                  $13.51        $3.26     $13.51        $2.75                   $2.21        $13.51
               $9.48                                                               $19.92     $27           $25.40     $27.30       $25.31     $27.30                  $27.30       $25.10     $27.30       $24.99                  $24.88        $27.30
               $2.61                                                                $4.13                    $6.07                   $8.89                             $23.39       $14.96     $23.39       $14.54                  $14.10        $23.39
               $8.02                                                               $10.07     $13            $9.90     $13.50        $9.72     $13.50                  $13.50        $9.33     $13.50        $9.12      $13          $8.91        $13.50
               $1.00                                                                $1.54                    $2.26                   $3.30                             $10.47        $6.45     $1047         $6.25                   $6.04        $10.47
               $8.70                                                                $7.87     $183           $8.58     $20.28        $9.14     $21.24                  $22.02        $9.49     $22.16        $9.14      $22          $8.72        $22.20
               $6.26                                                                $5.13     $11.01         $5.60     $11.49        $5.88     $11.49                  $11.92        $6.11     $12.27        $5.92     $12           $5.179       $12.27




                                                                                                                                                                                                                                                                                  1I60F
              $52.53                                                               $54.30    $141.03        $53.33    $141.03       $52.31    $141.53                 $141.53       $60.33    $141.53       $60.62    $141.53       $59.95       $141.53
               $1.00                                                                $0.50       $3           $0.34       $5.06                   $6.23                   $6.23                   $6.23                   $6.23                     $6.23


                                                     4092                           Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules

                                                     VI. Alternatives Considered                                    alternatives described below and may                   0.0001) of PCPI. Had FEMA adjusted the
                                                       Over the course of developing this                           consider and pursue other alternatives                 per capita indicator each year so that it
                                                     deductible model, FEMA has                                     that may not necessarily be a logical                  maintained its ratio to rising PCPI, more
                                                                                                                    outgrowth of this SANPRM.                              than 70 percent of major disasters
                                                     considered many alternatives, and
                                                     selected the attributes that FEMA                              A. Increasing the Per Capita Indicator                 between 2005 and 2014 would not have
                                                     believes could best achieve the intended                                                                              been declared. Additionally, the per
                                                                                                                       FEMA originally began consideration                 capita indicator would have risen to
                                                     outcomes of the program, adhere to the                         of the deductible concept in the context
                                                     program’s guiding principles, and                                                                                     $4.81 for 2016.72 For comparison, the
                                                                                                                    of repeated calls—by the GAO, DHS                      current 2016 per capita indicator is just
                                                     minimize administrative burdens. The                           OIG, Congress, and others—to change
                                                     options that FEMA has considered                                                                                      $1.41. Switching to this alternative
                                                                                                                    the Public Assistance per capita                       methodology would result in a nearly a
                                                     included alternatives to specific aspects                      indicator.71 Instead, FEMA suggests that
                                                     of the program, such as which credits                                                                                 250-percent increase to the average per
                                                                                                                    the Public Assistance deductible                       capita indicator, which could be phased
                                                     could be offered or the value that FEMA                        program may be a better option for
                                                     could approve for those credits, but also                                                                             in over a number of years or decades
                                                                                                                    reducing the costs of future disasters                 through accelerated upward adjustment
                                                     included alternatives to the entire                            because it incentivizes State
                                                     deductible concept itself. FEMA                                                                                       of the per capita indicator at rates higher
                                                                                                                    investments in risk reduction. FEMA
                                                     believes that the deductible program has                                                                              than inflation.
                                                                                                                    believes simply increasing the per
                                                     the potential to improve the nation’s                          capita indicator, to the levels suggested                Under this alternative FEMA has
                                                     resilience and reduce disaster risk and                        by the GAO, would likely maintain the                  explored also adjusting the PCPI-
                                                     costs on a broad scale, but FEMA                               same level of disaster risk that exists                adjusted per capita indicator value by
                                                     welcomes comment on alternative                                today and transfer the future costs of                 the current TTR index for each State.73
                                                     methodologies for achieving these                              disaster to impacted State and local                   GAO recommended adjusting the per
                                                     results.                                                       governments. FEMA seeks comment on                     capita indicator values by the current
                                                       The following subsections detail a few                       this assumption.                                       TTR index.74 Finally, for purposes of
                                                     of the alternatives and options that                              However, recognizing that the status                comparison, because the Public
                                                     FEMA is considering in developing its                          quo is unsustainable in the long term,                 Assistance per capita indicator is
                                                     potential deductible program concept.                          FEMA has seriously considered                          applied on a disaster-by-disaster basis
                                                     FEMA did not use these alternatives in                         adjusting the per capita indicator and                 and FEMA envisions an annual
                                                     the model described in this SANPRM,                            may still do so in the future. Increasing              deductible, under this alternative FEMA
                                                     but believes that they demonstrated                            the per capita indicator, to include an                has multiplied the PCPI-adjusted per
                                                     enough promise that including a brief                          additional consideration of State fiscal               capita indicator by each State’s 10-year
                                                     discussion of each could facilitate                            capacity, is the only viable alternative to            average disaster frequency to provide a
                                                     improved engagement and transparency                           a deductible that FEMA has identified at               more comparable comparison. Table 13
                                                     in this process.                                               this time.                                             indicates the amount of cumulative
                                                       FEMA has not made a final                                       As was explained earlier in this                    damage that a State would need to
                                                     determination regarding the most                               SANPRM, the Public Assistance per                      experience before FEMA would
                                                     appropriate approach moving forward.                           capita indicator was initially set in 1986             recommend that the President issue a
                                                     In addition to the potential deductible                        at $1.00 based upon PCPI. At the time,                 major disaster declaration in 2016 if the
                                                     model described in this SANPRM,                                that amount represented approximately                  per capita indicator were raised to $4.81
                                                     FEMA is still considering the                                  one-hundredth of one percent (0.01% or                 and adjusted by the TTR Index.

                                                                    TABLE 13—CURRENT PER CAPITA INDICATOR COMPARED WITH NATIONAL PCPI GROWTH ADJUSTMENTS
                                                                                          Data by state                                  Current per               Indicator
                                                                                                                                       capita indicator          adjusted for
                                                                                                                                        2016 = $1.41            national PCPI             Annual              Annualized
                                                                                                                                                             growth 2016 = $4.81       average major         PCPI-Adjusted
                                                                                                                  Current TTR                                                             disaster             per capita
                                                                  State                    2010 population                                                      National PCPI
                                                                                                                     index            Current indicator                                 declarations            indicator
                                                                                                                                                                adjusted total
                                                                                                                                            total                 (with TTR
                                                                                                                                                                 adjustment)

                                                     Alabama .....................               4,779,736                    75.9          $6,739,428                $17,449,812                    1.6         $27,919,700
                                                     Alaska ........................               710,231                   126.8           1,001,426                  4,331,756                    1.6           6,930,809
                                                     Arizona .......................             6,392,017                    70.7           9,012,744                 21,737,140                    0.9          19,563,426
                                                     Arkansas ....................               2,915,918                    75.9           4,111,444                 10,645,404                    1.9          20,226,268
                                                     California ....................            37,253,956                   104.9          52,528,078                187,971,913                    1.5         281,957,870
                                                     Colorado .....................              5,029,196                   107.9           7,091,166                 26,101,477                    0.7          18,271,034
                                                     Connecticut ................                3,574,097                   138.2           5,039,477                 23,758,524                    1.2          28,510,229
                                                     Delaware ....................                 897,934                   115.3           1,266,087                  4,979,879                    0.6           2,987,927
                                                     Florida ........................           18,801,310                    82.2          26,509,847                 74,336,996                    1.6         118,939,193
                                                     Georgia ......................              9,687,653                    90.7          13,659,591                 42,264,033                    0.8          33,811,226
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                                                     Hawaii ........................             1,360,301                    84.8           1,918,024                  5,548,505                    0.9           4,993,654
                                                     Idaho ..........................            1,567,582                    70.9           2,210,291                  5,345,909                    0.6           3,207,546
                                                     Illinois .........................         12,830,632                   107.1          18,091,191                 66,097,129                    1.5          99,145,694
                                                     Indiana .......................             6,483,802                    90.7           9,142,161                 28,286,688                    1.2          33,944,026
                                                     Iowa ............................           3,046,355                    98.8           4,295,361                 14,477,132                    2.3          33,297,403
                                                     Kansas .......................              2,853,118                    93.3           4,022,896                 12,804,023                    2.3          29,449,253

                                                       71 See GAO, supra note 28; OIG supra note 29; see              72 Per Capita Personal Income in 2015 was              73 Per State PCPI Adjusted Total = $4.81 Per

                                                     also 44 CFR 206.48.                                            $48,112 × 0.0001 = $4.81.                              Capita Indicator × (State’s TTR Index/100).
                                                                                                                                                                             74 See GAO, supra FN28, at 50.




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                                                                                   Federal Register / Vol. 82, No. 8 / Thursday, January 12, 2017 / Proposed Rules                                                              4093

                                                        TABLE 13—CURRENT PER CAPITA INDICATOR COMPARED WITH NATIONAL PCPI GROWTH ADJUSTMENTS—Continued
                                                                                         Data by state                                              Current per              Indicator
                                                                                                                                                  capita indicator         adjusted for
                                                                                                                                                   2016 = $1.41           national PCPI              Annual              Annualized
                                                                                                                                                                       growth 2016 = $4.81        average major         PCPI-Adjusted
                                                                                                                         Current TTR                                                                 disaster             per capita
                                                                 State                    2010 population                                                                 National PCPI
                                                                                                                            index                Current indicator                                 declarations            indicator
                                                                                                                                                                          adjusted total
                                                                                                                                                       total                (with TTR
                                                                                                                                                                           adjustment)

                                                     Kentucky ....................                 4,339,367                            78.6             6,118,507               16,405,671                    1.5          24,608,507
                                                     Louisiana ....................                4,533,372                            97.6             6,392,055               21,282,187                    1.2          25,538,624
                                                     Maine .........................               1,328,361                            77.6             1,872,989                4,958,187                      2           9,916,374
                                                     Maryland ....................                 5,773,552                           120.3             8,140,708               33,408,254                      1          33,408,254
                                                     Massachusetts ...........                     6,547,629                           133.3             9,232,157               41,981,629                    1.7          71,368,770
                                                     Michigan .....................                9,883,640                            85.3            13,935,932               40,551,883                    0.4          16,220,753
                                                     Minnesota ...................                 5,303,925                           110.7             7,478,534               28,241,650                    1.8          50,834,971
                                                     Mississippi ..................                2,967,297                            68.1             4,183,889                9,719,708                    1.4          13,607,591
                                                     Missouri ......................               5,988,927                            89.6             8,444,387               25,810,838                    2.4          61,946,011
                                                     Montana .....................                   989,415                            75.8             1,395,075                3,607,387                    0.8           2,885,910
                                                     Nebraska ....................                 1,826,341                           105.5             2,575,141                9,267,859                    2.3          21,316,075
                                                     Nevada .......................                2,700,551                            82.3             3,807,777               10,690,482                    0.7           7,483,338
                                                     New Hampshire .........                       1,316,470                           106.9             1,856,223                6,769,144                    2.2          14,892,117
                                                     New Jersey ................                   8,791,894                             129            12,396,571               54,552,823                    1.4          76,373,952
                                                     New Mexico ...............                    2,059,179                            75.8             2,903,442                7,507,725                    1.3           9,760,043
                                                     New York ...................                 19,378,102                           133.7            27,323,124              124,619,993                    2.5         311,549,982
                                                     North Carolina ............                   9,535,483                            86.7            13,445,031               39,765,539                    1.2          47,718,646
                                                     North Dakota ..............                     672,591                           122.2               948,353                3,953,369                      2           7,906,738
                                                     Ohio ............................            11,536,504                            92.3            16,266,471               51,217,809                      1          51,217,809
                                                     Oklahoma ...................                  3,751,351                            85.3             5,289,405               15,391,531                      3          46,174,592
                                                     Oregon .......................                3,831,074                            95.2             5,401,814               17,542,948                      1          17,542,948
                                                     Pennsylvania ..............                  12,702,379                            98.1            17,910,354               59,937,573                    1.1          65,931,330
                                                     Rhode Island ..............                   1,052,567                           102.3             1,484,119                5,179,293                    0.7           3,625,505
                                                     South Carolina ...........                    4,625,364                            73.2             6,521,763               16,285,537                    0.3           4,885,661
                                                     South Dakota .............                      814,180                            97.9             1,147,994                3,833,965                    2.2           8,434,724
                                                     Tennessee .................                   6,346,105                            82.5             8,948,008               25,182,931                    1.6          40,292,690
                                                     Texas .........................              25,145,561                           106.7            35,455,241              129,053,808                    1.7         219,391,474
                                                     Utah ............................             2,763,885                            83.4             3,897,078               11,087,435                    0.7           7,761,205
                                                     Vermont ......................                  625,741                            87.1               882,295                2,621,548                    1.6           4,194,477
                                                     Virginia .......................              8,001,024                           114.6            11,281,444               44,103,725                    1.2          52,924,469
                                                     Washington ................                   6,724,540                           105.6             9,481,601               34,156,359                    1.2          40,987,631
                                                     West Virginia ..............                  1,852,994                            73.4             2,612,722                6,542,069                    1.6          10,467,311
                                                     Wisconsin ...................                 5,686,986                            95.1             8,018,650               26,014,037                    0.9          23,412,633
                                                     Wyoming ....................                    563,626                           128.9               794,713                3,494,532                    0.2             698,906



                                                       FEMA believes that the deductible                                    reduction that will ultimately reduce                    advantages to the States. These financial
                                                     concept has the potential to result in a                               the financial impact of future disasters.                advantages could be even greater in the
                                                     better outcome for the nation than                                       Compared with the alternative option                   preliminary years over which the full
                                                     increasing the per capita indicator as it                              of linking the Public Assistance per                     deductible amount is phased in. Table
                                                     promotes State investment in risk                                      capita indicator to PCPI, the deductible                 14 indicates the differences that FEMA
                                                                                                                            model could deliver financial                            expects might occur with each option.
                                                     TABLE 14—ESTIMATED COSTS OF THE NOTIONAL DEDUCTIBLE PROGRAM VERSUS ADJUSTING THE PER CAPITA INDICATOR
                                                                                                  FOR PCPI

                                                                                                                                                                                                       National PCPI-     Annualized
                                                                                                                                                               Full estimated
                                                                                                                                               Full starting                          Final            Adjusted total    PCPI-Adjusted
                                                                                  All amounts in $M                                                            credits (current
                                                                                                                                                deductible                          deductible           (with TTR         per capita
                                                                                                                                                               activities only)                         adjustment)         indicator

                                                     Average State ......................................................................             $22.20              $9.74              $12.46           $29.37            $43.00
                                                     Median State ........................................................................             12.26               4.43                7.61            17.35             23.81
                                                     Minimum State .....................................................................                6.23               1.17                1.58             2.59            0.69 75
                                                     Maximum State ....................................................................               141.53             120.55               64.46           186.40            308.95



                                                       FEMA recognizes that increasing the                                  government spends on disasters. It is                    the responsibility for that damage would
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                                                     Public Assistance per capita indictor                                  also simple to communicate and uses                      be transferred to State and local
                                                     will likely lower the amount the Federal                               processes that everyone is already                       jurisdictions. It is true that there is
                                                                                                                            familiar with. However, FEMA currently                   likely a level at which a high enough
                                                       75 Although the application of the annualization                     believes the decrease in spending that                   per capita indicator would transfer
                                                     calculation suggests a per capita indicator below $1                   the Federal government may see with                      enough risk to the States that they
                                                     million due to low major disaster frequency in some
                                                     States, 44 CFR 206.48(a)(1) would still set the
                                                                                                                            the GAO’s suggested indicators would                     would be forced to internalize sufficient
                                                     minimum per capita indicator at $1 million. See                        not result because future incidents are                  disaster costs that may incentivize them
                                                     supra FN23.                                                            any less devastating, but rather because                 to increase mitigation. We do not


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                                                     believe that level of per capita indicator              Actual Revenue (TAR),76 which FEMA                     to be ancillary benefits of the program.
                                                     is viable at this time. Moreover, we                    defined as the amount of revenue a                     This is no less true if the indirect Public
                                                     believe that a deductible concept, which                particular State actually raises in a                  Assistance reduction benefits are just a
                                                     creates incentives for States both                      typical year, and State Gross Domestic                 fraction of the overall deductible
                                                     through a transfer of risk and through                  Product (GDP),77 which FEMA defined                    improvements through reduced AALs.
                                                     rewards provided by a credit system,                    as the total value of the goods and                    FEMA seeks comment on this approach.
                                                     will be more effective in driving risk                  services produced within the State in a                   One shortcoming of the AAL
                                                     reduction and will lower all disaster                   particular year. Upon closer inspection,               methodology, at least at present, is that
                                                     spending over time. FEMA will                           however, FEMA found that both of these                 Hazus does not currently produce loss
                                                     undertake more analysis over the course                 indicators were closely correlated to                  estimates of any kind for severe storms
                                                     of this rulemaking and will make the                    TTR by factors of 0.981 and 0.998                      or tornadoes. Overall, these types of
                                                     ultimate decision based on the                          respectively.                                          incidents account for the most
                                                     outcomes of this analysis, and not on                     FEMA believes that TTR, with its                     frequently declared major disasters and
                                                     the beliefs expressed in this section.                  broad consideration of potential State                 count for approximately 20 percent of
                                                     Any direction commenters could                          revenue resources, was the best of these               Public Assistance obligations between
                                                     provide to support that analysis would                  three indicators. FEMA also appreciated                2005 and 2014. However, looking below
                                                     be appreciated.                                         that TTR, as a measure of potential, does              the surface of the classification, FEMA
                                                                                                             not suffer from complications of                       has found that a significant amount of
                                                     B. Alternative Deductible Approaches                    political choice in TAR or GDP that                    the damage that occurs in a major
                                                        In developing this potential                         result from differences between States                 disaster declared for severe storms is
                                                     deductible concept, FEMA is                             in State tax obligations and the services              actually caused by flooding.
                                                     considering many variations, including                  for which tax dollars are allocated.                   Consequently, just a small percentage of
                                                     simpler ways to calculate the deductible                Since all three measures were so highly                major disasters are actually issued for
                                                     amount, additional fiscal capacity                      correlated, FEMA selected to include                   damage from storms that do not include
                                                     indicators, alternative methodologies to                TTR as the preferred metric from this                  some flooding. These would include
                                                     determine relative risk among the                       group. The other three fiscal capacity                 damage resulting from wind (tornado,
                                                     States, altering the threshold, and                     indicators used in the model were less                 derecho, microburst, etc.), hail, or
                                                     additional possible activities that could               correlated with one another and,                       winter storms.
                                                     be incentivized through the credit                      consequently, represent a unique                          Nevertheless, it is likely that the AAL-
                                                     structure.                                              measure of State fiscal capacity that                  based approach to calculating the risk
                                                                                                             FEMA believes should be considered to                  index will somewhat undervalue the
                                                     1. Calculation Alternatives                             inform that portion of the deductible                  risk to locals that are particularly prone
                                                        There are many different methods by                  calculation.                                           to these types of incidents, such as the
                                                     which FEMA could determine a State’s                                                                           Midwest for tornadoes and the
                                                                                                             3. Risk Index                                          Northeast for snow and ice storms.
                                                     deductible amount, and FEMA has
                                                                                                                The model methodology for                           FEMA plans to continue seeking ways
                                                     considered the advantages and                           establishing the risk index utilizes AAL               to improve the Hazus model and expand
                                                     disadvantages of many options as it                     values produced from Hazus to evaluate                 the modeling capabilities through AAL
                                                     developed the potential deductible                      each State’s relative risk level. One                  estimates, but it also acknowledges this
                                                     program. One of the simplest                            feature of the AAL approach is that AAL                particular limitation of the current
                                                     approaches would be to tie each State’s                 reflects the total amount of the loss                  approach. FEMA is soliciting comment
                                                     Public Assistance deductible amount to                  caused by the hazard. This includes                    on ways to potentially overcome these
                                                     its current per capita Public Assistance                losses by individuals, businesses,                     limitations in the Hazus model.
                                                     indicator in some way. Many                             economic drivers, and insured losses.                     FEMA also considered a completely
                                                     commenters to the ANPRM remarked                        However, because of limitations in the                 different approach to assessing a State’s
                                                     that they appreciated the simplicity,                   types of assistance that FEMA provides                 relative risk that looks specifically at the
                                                     understandability, stability, and                       through the Public Assistance program,                 likelihood that a State will require
                                                     predictability of the current per capita                there is inherent variability between                  Public Assistance and the amount of
                                                     indicator.                                              Hazus-based AAL estimates of overall                   assistance that will likely be needed.
                                                        While FEMA appreciates these values,                 disaster losses and any impact that                    FEMA engaged CREATE to assist in the
                                                     the deductible concept, to be successful,               reducing these broader disaster losses                 statistical and economic aspects of
                                                     must incentivize greater State resilience               would have on Public Assistance costs.                 designing the deductible concept.
                                                     to future disasters. It is important,                      FEMA is willing to accept this                      CREATE produced an alternative
                                                     therefore, that the deductible amounts                  attribute, however, because the intent of              approach for modeling risk using
                                                     truly represent the States’ individual                  the deductible program is to reduce risk               historical Public Assistance obligations
                                                     characteristics that are relevant in the                and build resilience to disasters overall.             to estimate States’ risk. Essentially,
                                                     disaster context. Overall, FEMA believes                FEMA considers the non-Public                          CREATE has developed a methodology
                                                     that assessing fiscal capacity and                      Assistance cost reductions that would                  for modeling the likely amounts of
                                                     relative risk is a better strategy for                  occur as a result of a deductible program              Public Assistance that every State will
                                                     calculating deductibles than utilizing                                                                         require by leveraging historical Public
                                                     the current per capita indicator that
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                                                                                                               76 The United States Census Bureau produces an
                                                                                                                                                                    Assistance levels to forecast potential
                                                     lacks relevance to either of those gauges.              annual State Government Finances report that
                                                                                                                                                                    future need.
                                                                                                             details the amount and sources of actual revenue
                                                     2. Fiscal Capacity Index                                captured by each State. Additional information can        Specifically, the CREATE model
                                                                                                             be found at: https://www.census.gov/govs/state/.       utilizes Public Assistance data from
                                                        FEMA considered two additional                         77 The Bureau of Economic Analysis produces          1999 to 2015 (the broadest range for
                                                     financial indicators before selecting the               annual estimates of each State’s Gross Domestic        which reliable data is available).
                                                     four contained in the fiscal capacity                   Product. These estimates are available at: http://
                                                                                                             www.bea.gov/iTable/iTable.cfm?reqid=
                                                                                                                                                                    CREATE’s model assumes that both the
                                                     index included in this model. Those                     70&step=1&isuri= 1&acrdn=2#reqid=                      magnitude and frequency of disasters
                                                     additional indicators included Total                    70&step=1&isuri=1.                                     are random variables while


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                                                     simultaneously taking a State’s                         it might not engender the same level of                independently contribute to those
                                                     characteristics into account, such as the               public confidence as the AAL-based                     outcomes, but also to work within the
                                                     amount of infrastructure. CREATE then                   methodology. AAL estimates are used                    broader system to create a cohesive
                                                     developed statistical models, adjusting                 by many organizations within the risk                  structure of achievable progress for all
                                                     the modeling parameters so that the                     management and insurance industries                    States.
                                                     outputs best matched the frequency and                  and are generally accepted and                            When developing the model credit
                                                     magnitude of historical Public                          defensible approaches to modeling                      offerings, FEMA considered other
                                                     Assistance outlays. CREATE was then                     future hazard costs. Additionally, FEMA                credits as well. These credits were not
                                                     able to use those models to look forward                expects that many within the emergency                 ultimately selected for the model for a
                                                     and determine the likely frequency and                  management community will be                           variety of reasons. In some cases, the
                                                     amounts of Public Assistance that each                  familiar with Hazus and the capabilities               credit was too complicated or could
                                                     State would require in the future,                      of that platform. Hazus data is openly                 create an unreasonable burden upon the
                                                     converting those amounts to an index of                 available and FEMA values the                          State or FEMA to administer. In other
                                                     relative risk.                                          transparency and reproducibility that                  cases, the ability of the credit to actually
                                                        CREATE’s approach advanced                           use of the existing Hazus platform offers              reduce risk or improve resilience was
                                                     FEMA’s ability to forecast Public                       to the deductible methodology.                         dubious. Ultimately, FEMA believes it
                                                     Assistance requirements. However,                          Finally, FEMA believes that utilizing               included in the model the best mix of
                                                     FEMA is considering using the Hazus-                    Hazus-based AALs will offer benefits to                credits available from what it
                                                     based AAL methodology for establishing                  other programs as well by creating a                   considered.
                                                     each State’s score on the risk index                    significant use of the Hazus platform.                    One credit in particular that FEMA
                                                     instead for a number of reasons.                        FEMA will enjoy an efficiency by                       considered at length would have been
                                                        First, FEMA was concerned with the                   leveraging an existing platform instead                tied to FEMA’s Community Rating
                                                     small quantity of data that it was able                 of designing and constructing a new                    System (CRS). Many of the comments
                                                     to offer to CREATE and upon which                       one. Additionally, because the                         that FEMA received from stakeholders
                                                     CREATE relied to build its model.                       deductible program has the potential to                when it published the ANPRM
                                                     FEMA could only provide reliable data                   become a major consumer of Hazus                       suggested that FEMA should offer
                                                     for 17 years’ worth of Public Assistance.               outputs, it increases the value of the                 deductible credit for CRS participation.
                                                     FEMA was concerned that this dataset                    Hazus platform to FEMA and to the                      CRS is a program administered by
                                                     was of insufficient length to form the                  nation. This likely would lead to future               FEMA’s National Flood Insurance
                                                     basis for establishing long-term forecast               updates and improvements to Hazus                      Program (NFIP). The NFIP provides
                                                     trends for the Public Assistance                        capabilities that would benefit not only               federally-backed flood insurance within
                                                     program. Some types of disasters, in                    the deductible program, but also all                   communities that enact and enforce
                                                     some areas occur on 100-year, 500-year,                 other users of Hazus products. However,                floodplain regulations. FEMA
                                                     1,000-year, or even longer cycles. It is                FEMA certainly welcomes comment on                     recognizes that CRS is an important
                                                     likely that FEMA’s 17-year dataset is                   the use of Hazus data, and AALs                        program that incentivizes important
                                                     insufficient to capture these types of                  generally, and their application to                    floodplain management activities, many
                                                     events. This is particularly true of rare               formulating a risk-informed deductible                 of which mirror or support activities
                                                     but devastating hazards, such as major                  calculation.                                           that FEMA is looking to incentivize
                                                     earthquakes. Conversely, States that                       In deciding between the Hazus-based                 through deductible credits, and that
                                                     have happened to experience a major                     AAL approach and the CREATE                            inclusion as a separate credit could
                                                     disaster in the past 17 years may have                  historical Public Assistance approach,                 further incentivize those activities. At
                                                     their relative risk overstated by this                  FEMA decided that the former was the                   this point, however, as discussed below,
                                                     dataset compared to what may be                         better option to incorporate as the risk               FEMA does not believe that inclusion of
                                                     expected from a longer-term trend.                      index into the broader potential                       CRS as a credit is appropriate at this
                                                        Likewise, it is also likely that the                 deductible formula. FEMA believes that                 time.
                                                     Public Assistance dataset will include                  the advantages of using the Hazus-based                   A structure must be located within an
                                                     incidents that are unlikely to occur                    AAL approach described above                           NFIP community to be eligible for
                                                     again in the near future and that may be                outweigh the disadvantages of slightly                 federally-backed NFIP coverage. NFIP
                                                     skewing the data. The costs associated                  lessening the risk assessment portion of               communities may also elect to
                                                     with Hurricane Katrina is an example of                 the deductible methodology’s strict                    participate in the CRS program to
                                                     this possibility. While the chances of                  nexus to the Public Assistance program.                receive a percentile reduction to the
                                                     the Gulf Coast being struck by a                        In other words, FEMA believes that                     premiums for every NFIP policy within
                                                     moderate to major hurricane in the                      taking a more expansive view of risk                   the community. As of October 2015,
                                                     coming years are reasonable, the                        through use of Hazus-based AALs,                       1,368 of the 21,600 NFIP communities
                                                     likelihood that it will cause the level of              which include costs not typically                      have chosen to participate in the CRS
                                                     destruction as Hurricane Katrina is                     associated with the Public Assistance                  program. This provides discounted
                                                     much lower. This is because a                           program, is acceptable given the intent                flood insurance premiums to nearly 3.8
                                                     significant portion of the costs from                   of the deductible concept is to reduce                 million policyholders.
                                                     Katrina stemmed from the flooding that                  risk nationally.                                          The CRS classifies each participating
                                                     resulted from failure of the water                                                                             community on a scale from 10 to 1
                                                                                                             4. Additional Credits
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                                                     management and levee systems in New                                                                            based on multiple scoring criteria
                                                     Orleans, Louisiana. Following extensive                    FEMA carefully considered the                       relating to floodplain management,
                                                     improvements to those systems over the                  credits included in the model described                investments, and enforcement. Each
                                                     past decade, a hurricane of similar                     in this SANPRM. FEMA attempted to                      CRS class receives a corresponding
                                                     intensity to Katrina might not cause the                offer a menu of credits that cover a                   percentile reduction to the premiums of
                                                     same level of damage to public facilities               range of activities and that would                     all of the NFIP flood insurance policies
                                                     and infrastructure today.                               support a diversified approach to risk                 covering property within those
                                                        FEMA was also concerned that                         reduction and improved preparedness.                   communities. The lower the
                                                     because the CREATE approach is novel,                   FEMA intended each model credit to                     community’s CRS class, the larger the


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                                                     percentile premium reduction will be.                                     Special Flood Hazard Area, whereas a                                   assigned to either class 8 or 9. Less than
                                                     For example, a CRS class 7 community                                      CRS class 1 community would receive                                    1 percent of CRS communities have
                                                     would receive a 15 percent premium                                        a 45 percent reduction.                                                reached beyond class 5. Figure 4 depicts
                                                     reduction on all policies covering                                          As of October 2015, more than 50                                     the number of communities in each CRS
                                                     property within the community’s                                           percent of CRS communities were                                        class (as of October 2015).




                                                       FEMA examined multiple ways by                                          for purposes of the deductible. In                                     CRS class. FEMA would then add all of
                                                     which it could potentially include such                                   considering the credit, FEMA developed                                 those values together and divide by the
                                                     a credit in the deductible model. The                                     a basic framework for how this process                                 population of the State. The resulting
                                                     major problem with creating a                                             might work.                                                            number would then be subtracted from
                                                     deductible credit in this instance is that                                  FEMA has considered calculating                                      9, the lowest class for which credit
                                                     the CRS program is administered                                           statewide CRS scores by utilizing                                      would be offered, to derive the
                                                     exclusively at the community level, and                                   population-weighted averages of the                                    statewide CRS score.
                                                     FEMA has never produced statewide                                         participating communities’ CRS classes                                    Consider for example the State of
                                                     CRS scores. FEMA would need to be                                         compared to the statewide population.                                  Iowa. As of October 2015, Iowa had
                                                     able to translate participating                                           FEMA would multiply the population of                                  seven CRS communities. Those
                                                     community classes into statewide scores                                   each CRS community by its assigned                                     communities are as follows:

                                                                                                           TABLE 15—EXAMPLE STATEWIDE CRS CREDIT SCORE—IOWA
                                                                                                                                                                                                                                      Pop. × CRS
                                                                                                               CRS community                                                                          Population      CRS class          class
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                                                     City of Cedar Falls .......................................................................................................................           39,260                 5       196,300
                                                     City of Cedar Rapids ...................................................................................................................             126,326                 6       757,956
                                                     City of Coralville ...........................................................................................................................        18,907                 7       132,349
                                                     City of Davenport .........................................................................................................................           99,685                 8       797,480
                                                     City of Des Moines ......................................................................................................................            203,433                 7     1,424,031
                                                     City of Iowa City ..........................................................................................................................          67,862                 7       475,034
                                                     Linn County 78 ..............................................................................................................................         84,900                 8       679,200
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                                                                                              TABLE 15—EXAMPLE STATEWIDE CRS CREDIT SCORE—IOWA—Continued
                                                                                                                                                                                                                                                               Pop. × CRS
                                                                                                              CRS community                                                                               Population                 CRS class                    class

                                                          Sum ......................................................................................................................................   ........................   ........................          4,462,350
                                                                State of Iowa .................................................................................................................               3,046,355                              7.5     ........................



                                                        FEMA has also considered                                               insurance premium discounts for those                                       policy, leveraged its discretion to
                                                     multiplying the population of each                                        scores. In other words, if a statewide                                      determine which disaster costs are
                                                     community by the community’s CRS                                          score is better than a particular NFIP                                      ‘‘eligible.’’ For purposes of the
                                                     class. For example, the City of Cedar                                     community’s CRS class, there may be an                                      deductible program, FEMA is
                                                     Falls would contribute 196,300 to the                                     expectation that FEMA would use the                                         considering revising its regulations and
                                                     calculation (population of 39,260                                         statewide score in place of the                                             policies to reflect a determination that
                                                     multiplied by CRS Class 5). FEMA                                          community’s CRS Class. In fact, FEMA                                        disaster costs that cumulatively fall
                                                     would then add up all of those values                                     would not be willing to use the                                             below the amount of the State’s annual
                                                     from each CRS community. In this case,                                    statewide score in lieu of the                                              deductible, as adjusted by its earned
                                                     that would equal 4,462,350. This total                                    community score for purposes of                                             credits, are not ‘‘eligible costs’’ as
                                                     would then be divided by the                                              granting NFIP premium discounts and                                         defined by the Stafford Act.
                                                     population of the entire State                                            FEMA believes that the creation of
                                                     (4,462,350/3,046,355 = 1.5). The result                                                                                                               VIII. Conclusion
                                                                                                                               statewide CRS scores solely for the
                                                     is then subtracted from 9 to yield the                                    purposes of the deductible program                                             The concept for a deductible program
                                                     statewide CRS score for purposes of the                                   would be confusing, and ultimately                                          responds to calls for FEMA to address
                                                     deductible. In this case, Iowa’s CRS                                      disappointing, to some CRS                                                  the increasing frequency of disaster
                                                     score would be 7.5 (9.00 ¥ 1.5 = 7.5).                                    communities and NFIP policyholders.                                         declarations, particularly smaller events
                                                     This value could then be recognized                                                                                                                   that should be within the capacity of
                                                     with some level of credit based upon a                                    VII. Legal Authority
                                                                                                                                                                                                           State and local governments, and to
                                                     standardized conversion schedule. At                                         FEMA administers the Public                                              decrease Federal disaster costs. While
                                                     this time, FEMA has not developed a                                       Assistance program pursuant to the                                          increasing the per capita indicator is
                                                     potential deductible credit schedule for                                  President’s statutory authority conferred                                   one way to accomplish this, solely
                                                     the CRS.                                                                  in Section 406 of the Stafford Act to                                       through the transfer of costs from the
                                                        Ultimately, FEMA decided not to                                        ‘‘make contributions—(A) to a State or                                      Federal government to State and local
                                                     include a model CRS deductible credit                                     local government for the repair,                                            jurisdictions, FEMA believes that doing
                                                     in this SANPRM for three reasons. First,                                  restoration, reconstruction, or                                             so would miss a valuable opportunity to
                                                     FEMA believes that the flood insurance                                    replacement of a public facility                                            increase the nation’s overall disaster
                                                     premium reductions should sufficiently                                    damaged or destroyed by a major                                             resilience, thereby reducing costs for all
                                                     incentivize NFIP communities to                                           disaster and for associated expenses                                        stakeholders.
                                                     participate or better their standing                                      incurred by the government.’’ 79 These                                         While FEMA seeks comment on all
                                                     within the CRS program. Second, FEMA                                      contributions are limited to ‘‘. . . not                                    aspects of the deductible concept, in
                                                     would need to develop a new                                               less than 75 percent of the eligible costs                                  particular FEMA seeks detailed
                                                     methodology for creating statewide CRS                                    of repair, restoration, reconstruction, or                                  comment and supporting data on the
                                                     classes. This would be a novel                                            replacement carried out under this                                          methodology for calculating each State’s
                                                     undertaking for FEMA and the agency                                       section’’—known as the Federal share.80                                     deductible amount, including how
                                                     seeks comment from its State partners                                     The President has delegated this                                            FEMA should consider each State’s
                                                     and the public regarding this endeavor.                                   authority to the Administrator of FEMA                                      individual risk and fiscal capacity; and
                                                     Furthermore, creating such a                                              to authorize the Public Assistance                                          on whether FEMA’s estimates of
                                                     methodology is complicated because                                        program, inter alia.81                                                      projected credits for each State are
                                                     CRS communities are not necessarily                                          ‘‘Eligible’’ is a term of qualification                                  accurate. Detailed stakeholder comment
                                                     the same as census-based communities,                                     indicating that not all resultant costs are                                 and supporting data are crucial to
                                                     meaning that population numbers will                                      automatically reimbursable. Because the                                     FEMA’s development of a fair and
                                                     need to be validated on a community-                                      Stafford Act does not define ‘‘eligible
                                                     by-community basis for the calculation.                                                                                                               transparent means to calculate
                                                                                                                               costs’’ within the text of the law itself,                                  deductible amounts and creation of an
                                                     Finally, even if FEMA does create a
                                                                                                                               it is within FEMA’s discretion to define                                    effective and efficient deductible
                                                     methodology for statewide CRS scores,
                                                                                                                               the term for purposes of its programs                                       program.
                                                     FEMA is concerned that doing so would
                                                                                                                               authorized pursuant to that provision.                                       Dated: January 6, 2017.
                                                     be confusing to stakeholders because
                                                                                                                               FEMA has, through regulation and
                                                     FEMA would not be offering any NFIP                                                                                                                   W. Craig Fugate,
                                                                                                                                  79 42
                                                                                                                                                                                                           Administrator, Federal Emergency
                                                       78 The population of Linn County included in this                              U.S.C. 5172(a)(1)(A).
                                                                                                                                                                                                           Management Agency.
mstockstill on DSK3G9T082PROD with PROPOSALS3




                                                                                                                                  80 42
                                                                                                                                      U.S.C. 5172(b)(1).
                                                     example excludes the population of the City of
                                                     Cedar Rapids because it is accounted for separately                         81 Executive Order 12148, 44 FR 43239 (July 24,                           [FR Doc. 2017–00467 Filed 1–11–17; 8:45 am]
                                                     as an independent CRS community.                                          1979).                                                                      BILLING CODE 9111–23–P




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Document Created: 2017-03-21 14:40:21
Document Modified: 2017-03-21 14:40:21
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionSupplemental advance notice of proposed rulemaking.
DatesComments must be submitted by April 12, 2017.
ContactJotham Allen, Federal Emergency Management Agency, 500 C Street SW., Washington, DC 20472, 202-646- 1957.
FR Citation82 FR 4064 
RIN Number1660-AA84

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