Continuum of Care Program: Solicitation of Comment on Continuum of Care Formula, 48366-48369 [2016-17567]
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48366
Federal Register / Vol. 81, No. 142 / Monday, July 25, 2016 / Proposed Rules
Dated: July 19, 2016.
Nancy A. Potok,
Deputy Director, Bureau of the Census.
[FR Doc. 2016–17484 Filed 7–22–16; 8:45 am]
BILLING CODE 3510–07–P
DEPARTMENT OF HOUSING AND
URBAN DEVELOPMENT
24 CFR Part 578
[Docket No. FR–5476–N–04]
RIN 2506–AC29
Continuum of Care Program:
Solicitation of Comment on Continuum
of Care Formula
Office of the Assistant
Secretary for Community Planning and
Development, HUD.
ACTION: Notice; request for comments.
AGENCY:
On July 31, 2012, HUD
published an interim rule, for public
comment, entitled ‘‘Homeless
Emergency Assistance and Rapid
Transition to Housing: Continuum of
Care Program,’’ a program designed to
address the critical problem of
homelessness through a coordinated
community-based process of identifying
needs and building a system of housing
and services to address those needs.
HUD received 551 public comments on
the interim rule. Approximately 42 of
the public comments addressed the
Continuum of Care formula, with the
majority of these commenters seeking
changes to the formula. With the interim
rule now in place for 3 years, HUD seeks
additional comment on the Continuum
of Care formula.
Comment Due Date: September 23,
2016.
SUMMARY:
Interested persons are
invited to submit comments regarding
this rule to the Regulations Division,
Office of General Counsel, 451 7th
Street SW., Room 10276, Department of
Housing and Urban Development,
Washington, DC 20410–0500.
Communications must refer to the above
docket number and title. There are two
methods for submitting public
comments. All submissions must refer
to the above docket number and title.
1. Submission of Comments by Mail.
Comments may be submitted by mail to
the Regulations Division, Office of
General Counsel, Department of
Housing and Urban Development, 451
7th Street SW., Room 10276,
Washington, DC 20410–0500.
2. Electronic Submission of
Comments. Interested persons may
submit comments electronically through
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ADDRESSES:
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the Federal eRulemaking Portal at
www.regulations.gov. HUD strongly
encourages commenters to submit
comments electronically. Electronic
submission of comments allows the
commenter maximum time to prepare
and submit a comment, ensures timely
receipt by HUD, and enables HUD to
make them immediately available to the
public. Comments submitted
electronically through the
www.regulations.gov Web site can be
viewed by other commenters and
interested members of the public.
Commenters should follow the
instructions provided on that site to
submit comments electronically.
Note: To receive consideration as public
comments, comments must be submitted
through one of the two methods specified
above. Again, all submissions must refer to
the docket number and title of the document.
No Facsimile Comments. Facsimile
(fax) comments are not acceptable.
Public Inspection of Public
Comments. All properly submitted
comments and communications
submitted to HUD will be available for
public inspection and copying between
8 a.m. and 5 p.m. weekdays at the above
address. Due to security measures at the
HUD Headquarters building, an advance
appointment to review the public
comments must be scheduled by calling
the Regulations Division at 202–708–
3055 (this is not a toll-free number).
Individuals with speech or hearing
impairments may access this number
through TTY by calling the Federal
Relay Service at 800–877–8339. Copies
of all comments submitted are available
for inspection and downloading at
www.regulations.gov.
FOR FURTHER INFORMATION CONTACT:
Norm Suchar, Director, Office of Special
Needs Assistance Programs, Office of
Community Planning and Development,
Department of Housing and Urban
Development, 451 7th Street SW.,
Washington, DC 20410–7000; telephone
number 202–708–4300 (this is not a tollfree number). Hearing- and speechimpaired persons may access this
number through TTY by calling the
Federal Relay Service at 800–877–8339
(this is a toll-free number).
SUPPLEMENTARY INFORMATION:
I. Background
Continuum of Care (CoC) Interim Rule
On July 31, 2012, at 77 FR 45422,
HUD published in the Federal Register
an interim rule to implement the CoC
authorized amendments to the
McKinney-Vento Homeless Assistance
Act in the Homeless Emergency
Assistance and Rapid Transition to
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Housing Act of 2009 (HEARTH Act).
The purpose of the CoC program is to
promote communitywide commitment
to the goal of ending homelessness;
provide funding for efforts by nonprofit
providers, and State and local
governments to quickly rehouse
homeless individuals and families while
minimizing the trauma and dislocation
caused to homeless individuals,
families, and communities by
homelessness; promote access to and
effective utilization of mainstream
programs by homeless individuals and
families; and optimize self-sufficiency
among individuals and families
experiencing homelessness.
Section 427 of the McKinney Vento
Act, as amended by the HEARTH Act,
directs the Secretary to establish, by
regulation, a funding formula that is
based upon factors that are appropriate
to allocate funds to meet the goals and
objectives of the CoC program. As part
of the interim rule, HUD codified the
formula for establishing a CoC’s
Preliminary Pro Rata Need (PPRN
formula) that had been used for many
years prior to the interim rule to
establish a CoC’s PPRN. The PPRN
formula is a combination of the formula
used to award Emergency Solutions
Grants (ESG) Program grant funds and
Community Development Block Grant
(CBDG) funds. Under the current PPRN
formula, after a .2 percent set-aside for
U.S. territories and insular areas, 75
percent of the total CoC allocation is
distributed to ESG entitlement
communities, generally comprised of
large metropolitan cities and urban
counties where homelessness is more
concentrated, according to the CDBG
formula. The remaining 25 percent of
the CoC allocation is distributed to ESG
non-entitlement communities according
to the CDBG formula. Within this
framework, the current CDBG formula is
structured as a ‘‘dual formula’’ system.
As set forth below, Formula A allocates
funds to communities based on the
following weighted factors: population,
poverty, and overcrowding. Formula B
assigns a different weighting scheme to
an alternative menu of factors:
population growth lag,1 poverty, and
pre-1940s housing.2 Specifically, the
existing CDBG formulas 3 are weighted
as follows.
1 Population growth lag identifies slower growing
communities or communities experiencing
population loss as potential indicators of
communities in decline and in need of
development assistance.
2 The share of housing units built before 1940
reflects the age of a community’s housing stock, a
potential indicator of blight.
3 For non-entitlement communities, Formula B
uses population instead of population growth lag.
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Federal Register / Vol. 81, No. 142 / Monday, July 25, 2016 / Proposed Rules
Formula A
Formula B
25% * population .......
20% * population
growth lag.
30% * poverty.
50% * pre-1940 housing.
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50% * poverty ...........
25% * overcrowding ..
Pursuant to this dual formula system,
HUD calculates the funding amounts for
each jurisdiction under both Formulas
A and B and assigns the larger of the
two grant calculations, less a pro rata
reduction to ensure the total amount
allocated is within the amount
appropriated for funding.
Section 427 of the McKinney Vento
Act, as amended by the HEARTH Act
also allows HUD to adjust a CoC’s
formula to ensure that the formula
amount is sufficient to renew existing
projects in each CoC for one year, which
is known as the Annual Renewal
Demand (ARD). In the FY 2015
Continuum of Care Program NOFA, and
in several previous Continuum of Care
Program NOFAs, the amount of funding
that CoCs were eligible to receive was
based primarily on their ARD and the
PPRN formula had little impact on the
amount they were eligible to apply for.
Only for a minority of CoCs that had a
PPRN that was larger than their ARD
did the PPRN formula affect funding,
and in these cases, it only affected the
amount available for new projects. The
PPRN formula would only have a more
significant impact on CoC funding if the
amount of funding available for the CoC
program nationally is significantly
larger than the amount needed to renew
existing projects for one year.
Several stakeholders indicated that
the existing PPRN formula was not
representative of the number of
individuals and families experiencing
homelessness in their geographic area.
Therefore, the interim rule specifically
sought comment on the PPRN formula
and the process for determining a CoC’s
maximum award amount. HUD solicited
public comment through November 16,
2012 and of the 551 public comments
that HUD received, approximately 42
public comments were directed to the
PPRN formula. The majority of the
comments on the PPRN formula were
from western States, counties, and
cities, and indicated that the CDBG
formula was not the appropriate basis
for the PPRN formula because the CDBG
formula utilizes urban blight, as
reflected in the age of housing stock,
and population growth lag factors to
allocate funds, which may measure
community development needs
generally, but are not specifically
tailored to measure homelessness. Other
commenters stated that they opposed
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reductions in funding for renewal
projects.
As a result of the comments received,
HUD has explored several alternative
factors relevant to homelessness for
potential inclusion in the PPRN formula
and is re-opening the public comment
period on the PPRN formula established
in 24 CFR 578.17(a) of the interim rule
for the purpose of seeking broader input
on four proposed changes to the PPRN
formula described in this section of the
Notice before HUD selects the formula
to include in the final rule. In
developing the following proposals,
HUD considered the many comments
received in response to the formula in
the interim rule, including those stating
that the current formula utilizes factors
that are not necessarily correlated with
homelessness such as urban blight and
population growth lag, and the request
that the PPRN formula be based on
updated factors that are intended to
specifically measure homelessness.
In developing proposals for
alternative factors to be included in the
final formula, HUD sought to maintain
the basic structure of the current PPRN
formula, while investigating alternative
data sources and measures to be
included as formula factors. The
characteristics of the data sources for
the four proposed alternative formula
factors were determined to be consistent
with HUD’s 2001 Report to Congress 4
on measuring need for homeless grant
funding. Namely, the data sources for
the proposed factors 5 are: (1) Relevant
to measuring homelessness, (2) accurate,
(3) timely, and (4) readily available for
every jurisdiction. HUD chose not to
incorporate the point-in-time count data
into the formula because not all CoCs
use the same methodology to conduct
their counts—with some CoCs having
stronger methodology than others—and
because not all CoCs conduct annual
PIT counts. Instead, HUD used an
average of two years of PIT count data
to compare how highly a factor being
considered for the formula correlated
with rates of homelessness. In this way,
PIT counts helped quantify the
relevance of potential formula factors to
measuring homelessness, while
4 See ‘‘Report to Congress: Measuring ‘‘Need’’ for
HUD’s McKinney-Vento Homeless Competitive
Grants,’’ January 2001 at https://
www.hudexchange.info/resources/documents/
MeasuringNeed.pdf.
5 Including the decennial Census (population),
American Community Survey 5-Year Data (poverty,
overcrowding, pre-1940 housing, renter-occupied
units, average gross rent, rent-to-income ratio,
vacant rental units, and hybrid factor), and
Comprehensive Housing Affordability Strategy 5Year Data (affordability gap, rent-burdened
extremely low-income households, and hybrid
factor).
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48367
insulating potential formulas from the
limitations of directly including PIT
counts. Further, by using factors
correlated with the PIT count, the
proposed formulas mitigate the risk of
data fluctuations in PIT counts that may
be less prevalent in large Census
datasets. Finally, since PIT counts are
locally-generated and self-reported by
jurisdictions seeking funding under the
CoC program, direct inclusion of PIT
counts into an allocation formula may
create perverse incentives against
objective PIT count methodologies.
Before considering any new factors,
HUD reviewed the factors included in
the existing PPRN formula—
overcrowding, poverty, pre-1940s
housing, and population—and their
correlation to rates of homelessness.
HUD conducted Pearson’s Correlation
analyses 6 and found that three of these
factors had a positive and statistically
significant correlation with rates of
homelessness. These were: (1)
Overcrowding, with a .277 correlation;
(2) poverty, with a .153 correlation; and
(3) pre-1940s housing, with a .113
correlation. Population was not shown
to have a significant correlation with
rates of homelessness in a community.
In addition to analyzing factors
included in the current PPRN formula,
HUD also considered several other
potential factors related to housing
markets, affordability, and
demographics, as well as a hybrid factor
that combined housing market and
affordability measures. Understanding
these factors, along with their
correlation, is necessary to
understanding the formulas being
proposed for consideration.
Broadly speaking, the potential
formula factors chosen by HUD for
analysis, and described more fully
below, represent important communitylevel determinants of homelessness
identified in the research literature.
Together, these factors represent three
related categories of known
determinants of homelessness: housing
market factors, economic conditions,
and housing affordability (which
combines housing market and economic
factors). Other categories of known
community-level determinants of
homelessness, such as climate factors or
the robustness and quality of a
community’s safety net of social
services for vulnerable populations,
were found to lack the type of data
6 Pearson’s correlation coefficients range from -1
to 1. A correlation coefficient of -1 or 1 indicates
a perfect linear relationship (negative or positive,
respectively) between two variables, while a
correlation coefficient of 0 indicates a random
relationship or no linear relationship between two
variables.
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Federal Register / Vol. 81, No. 142 / Monday, July 25, 2016 / Proposed Rules
measures (e.g., timely and readily
available for each jurisdiction)
necessary to be included as potential
formula factors. Similarly, some
demographic factors identified as
possible correlates to homelessness
were excluded from consideration due
to data limitations. For example,
population growth lag could not be
readily calculated for every jurisdiction
due to changes in geographic
boundaries since 1960 that artificially
affect population counts.
Potential Housing Market Factors:
HUD considered the following potential
housing market factors:
• Renter-occupied units—HUD
explored this factor because renters
generally experience higher housing
instability than inhabitants of owneroccupied units. They are also more
vulnerable to steep or sudden increases
in rent, may be more economically
unstable, and are subject to evictions as
a result of non-payment of rent which
tend to happen more quickly than the
foreclosure process. For this factor, HUD
found a .444 correlation between renteroccupied units as a percentage of all
occupied housing units and rates of
homelessness.
• Average gross rent—HUD explored
this factor because several studies have
found measures of ‘‘rent level’’ to be
significantly correlated to higher rates of
homelessness. However, this aggregate
measure encompasses the entire rental
market and may not be a good indicator
of the rent pressures specifically faced
by individuals and families
experiencing homelessness or at risk of
homelessness. For this factor, HUD
found a .248 correlation between
average gross rent (calculated by
dividing aggregate gross rent by the
number of renter-occupied housing
units) and rates of homelessness.
• Vacant rental units—HUD explored
this factor because some studies have
theorized that people are at higher risk
of homelessness in tight rental markets;
however, HUD found no significant
correlation between rental vacancy rates
(calculated by dividing the number of
vacant rental units by total rental units)
and rates of homelessness. Therefore, it
was not used in any of the proposed
formulas for consideration.
• Affordability gap—This factor was
created to measure the gap between the
demand for and supply of rental units
that are both affordable and available to
Extremely Low-Income (ELI) 7 renter
households. HUD considered this factor
because ELI households have been
shown to be at a greater risk of housing
instability and homelessness. For this
factor, HUD found a .310 correlation
between this factor as a percentage of
total housing units and rates of
homelessness.
Potential Affordability Factors: HUD
considered the following potential
factors related to the cost of housing
combined with renters’ ability to pay:
• Rent-to-income ratio is the
comparison of how much rent people
pay when compared to their income in
the designated geographic area. HUD
found a .288 correlation with rates of
homelessness.
• Rent-burdened ELI households are
those ELI households that pay more
than 30% of their gross income for
housing. HUD found a .336 correlation
with rates of homelessness.
Hybrid Factor: HUD considered one
factor, developed specifically for the
purposes of this formula, that weighted
an affordability factor (rent-burdened
ELI households) by a housing market
factor (renter-occupied units), two
variables found to be correlated with
homelessness (with correlations of .336
and .444, respectively). This factor was
calculated by multiplying the number of
rent-burdened ELI households by the
ratio of: the jurisdiction’s percentage of
renter-occupied units divided by the
national percentage of renter-occupied
units. HUD found that this hybrid factor
had a .393 correlation with rates of
homelessness.
II. Proposed PPRN Formula Options for
Public Comment
After reviewing the simple (bivariate)
Pearson’s correlations between rates of
homelessness and each of the above
factors, HUD considered many different
options for leveraging a combination of
these factors into a formula that would
better capture pro-rata need than any
single factor on its own. HUD
considered various factor weights as
representing the relative magnitude of
each factor’s effect on need within a
particular formula combination. The
proposed weights represent what HUD
views to be reasonable options for
weighting the relative magnitudes of
factors within each formula option
based on its simple correlational
analyses and the theoretical
relationships between sets of factors and
homelessness documented in
established research literature.
HUD seeks comment on the four
formula options set out in the table
below. HUD believes these options are
better correlated with rates of
homelessness at the local level than the
current PPRN formula.
Formula A
Formula B
Formula C
10% * population ...........................
15% * poverty ................................
25% * affordability gap ..................
25% * poverty ...............................
25% * affordability gap .................
25% * rent-burdened ELI households.
25% * rental units.
25% * population ..........................
25% * poverty ...............................
50% * hybrid factor .......................
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25% * rent-burdened ELI households.
25% * rental units.
None of these proposed PPRN formula
options include the 75%/25% split
between entitlement and nonentitlement communities that is a part
of the current formula. In addition to
comments on the proposed formulas set
forth above, HUD welcomes comments
on factors and corresponding weights
that will target formula funding to urban
and rural areas most in need of
homeless assistance, whether by ESG
entitlement designation, population
density considerations, or otherwise. In
addition, HUD welcomes comments on
whether any of the four proposed
options should be combined into a dual
or multi-formula system similar to the
Formula D
25% * poverty
25% * affordability gap
50% * hybrid factor
dual calculation system utilized under
the current PPRN formula.
HUD has posted, on its Web site, a
listing of each CoC’s existing PPRN
amount (as determined using the
existing formula) as well as the amount
that each CoC’s PPRN would be using
each of these four proposed formulas.
HUD has also published a tool on its
7 ELI households consist of families with incomes
that do not exceed 30 percent of the area median
income.
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25JYP1
Federal Register / Vol. 81, No. 142 / Monday, July 25, 2016 / Proposed Rules
Web site that stakeholders can use to
adjust the weights of the proposed
factors and determine the resulting
PPRN. This tool can be used to explore
formula options, using the factors listed
above, other than the four formula
options already published by HUD on
its Web site. Using all of this
information, HUD seeks comment on
the proposed formulas made available
as well as any new formulas and factors
relevant to the goals and objectives of
the CoC program for HUD to consider.
Additionally, HUD acknowledges that
each of the proposed formula options
will result in the PPRN amounts of some
CoCs decreasing. To prevent against a
CoC losing a substantial amount of
PPRN in a given year, HUD is
considering including language that
would prevent a CoC from losing more
than a certain portion of their PPRN. For
example, if a CoC’s current PPRN
amount is $2.5 million and a newly
adopted PPRN formula would result in
the CoC’s PPRN amount being reduced
to $1.7 million, HUD could consider
language that would provide the CoC
with more than $1.7 million in PPRN,
but less than $2.5 million. HUD seeks
comment on this proposal and also,
what the appropriate amount or portion
to be protected should be.
HUD welcomes other comments on
how the CoC formula may be improved.
Dated: July 19, 2016.
Harriet Tregoning,
Principal Deputy Assistant Secretary for
Community Planning and Development.
[FR Doc. 2016–17567 Filed 7–22–16; 8:45 am]
BILLING CODE 4210–67–P
DEPARTMENT OF HOMELAND
SECURITY
Coast Guard
33 CFR Part 117
[Docket No. USCG–2016–0582
RIN 1625–AA09
Drawbridge Operation Regulation;
Keweenaw Waterway, Houghton and
Hancock, MI
Coast Guard, DHS.
Notice of proposed rulemaking.
AGENCY:
mstockstill on DSK3G9T082PROD with PROPOSALS
ACTION:
The Coast Guard proposes to
change the operating schedule that
governs the US41 bridge, mile 16.0 over
the Keweenaw Waterway between the
towns of Houghton and Hancock,
Michigan. The Michigan Department of
Transportation (MDOT) has requested a
review of the current operating schedule
of the drawbridge due to a lack of
SUMMARY:
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17:53 Jul 22, 2016
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openings during the early morning
hours. They have also requested to
expand and modify the current winter
operating schedule.
DATES: Comments and related material
must reach the Coast Guard on or before
August 24, 2016.
ADDRESSES: You may submit comments
identified by docket number USCG–
2016–0582 using Federal eRulemaking
Portal at https://www.regulations.gov.
See the ‘‘Public Participation and
Request for Comments’’ portion of the
SUPPLEMENTARY INFORMATION section
below for instructions on submitting
comments.
FOR FURTHER INFORMATION CONTACT: If
you have questions on this proposed
rule, call or email Mr. Lee D. Soule,
Bridge Management Specialist, U.S.
Coast Guard; telephone 216–650–5408,
email Lee.D.Soule@uscg.mil.
SUPPLEMENTARY INFORMATION:
I. Table of Abbreviations
CFR Code of Federal Regulations
DHS Department of Homeland Security
E.O. Executive order
FR Federal Register
MDOT Michigan Department of
Transportation
NPRM Notice of proposed rulemaking
SNPRM Supplemental notice of proposed
rulemaking
Pub. L. Public Law
§ Section
U.S.C. United States Code
II. Background, Purpose and Legal
Basis
MDOT has requested to change the
operating schedule of the US41 bridge at
mile 16.0. The US41 bridge is the only
crossing over the Keweenaw Waterway
and connects the towns of Houghton
and Hancock, Michigan. The current
operating schedule has been in place for
approximately 31 years and the use of
the waterway has significantly changed,
prompting the request to modify the
current regulation.
Keweenaw Peninsula is the
northernmost part of Michigan’s Upper
Peninsula projecting into Lake Superior.
The Keweenaw Waterway runs
northwesterly to southeasterly and
separates the peninsula from the
mainland making the US41 bridge the
only bridge crossing for residents and
visitors to the peninsula.
The Keweenaw Waterway is used by
recreational, commercial, inspected and
uninspected passenger, and towing
vessels. The US41 bridge is a vertical lift
type drawbridge and provides a
horizontal clearance of 250 feet, a
vertical clearance of 103 feet in the fully
open position, a vertical clearance of 7
feet in the closed position, and a vertical
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48369
clearance of 35 feet in the intermediate
position. The US41 bridge is a bi-level
bridge originally designed with the
upper level providing access for
automobiles and the lower level
providing access for rail, oversized
vehicles, and snowmobiles.
The rail service to the peninsula has
been discontinued and oversized
vehicles must provide advance notice to
the state before traveling over the road
to the peninsula. Most recreational and
commercial vessel traffic, including
passenger vessel services, end prior to
November 15 each year and do not
resume services until after May 7 due to
the formation of ice in the waterway.
Large commercial freighter vessels do
not routinely pass through the
Keweenaw Waterway.
The current regulation, 33 CFR
117.635, requires the bridge to operate
with a 24-hour advance notice for
openings from January 1 through March
15 each year. From March 16 through
December 31 the bridge opens on signal
at all times.
III. Discussion of Proposed Rule
This rule proposes to amend 33 CFR
117.635 in accordance with the below
described changes. The table below
shows total bridge opening data
provided by MDOT, from April 16 to
December 14, between the hours of
midnight and 4 a.m., for the past 6
years.
Year
2010
2011
2012
2013
2014
2015
Openings
......................................
......................................
......................................
......................................
......................................
......................................
4
6
6
10
7
6
This proposed rule would allow the
bridge to operate with at least a 2-hour
advance notice for openings from April
15 through December 14 between the
hours of midnight and 4 a.m. During
these hours no bridge tender will be
required at the bridge. The bridge will
be placed in the intermediate position
during this 4-hour time period
providing a vertical clearance of 35 feet.
Vessels requiring a full bridge opening
will still be able to obtain an opening
with a 2-hour advance notice. Vessels
may also go around the peninsula to
avoid passing through the bridge.
The table below shows the total
bridge opening data provided by MDOT,
between December 15 and April 15, for
the past 5 years.
E:\FR\FM\25JYP1.SGM
Year
Openings
2011
0
25JYP1
Agencies
[Federal Register Volume 81, Number 142 (Monday, July 25, 2016)]
[Proposed Rules]
[Pages 48366-48369]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2016-17567]
=======================================================================
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DEPARTMENT OF HOUSING AND URBAN DEVELOPMENT
24 CFR Part 578
[Docket No. FR-5476-N-04]
RIN 2506-AC29
Continuum of Care Program: Solicitation of Comment on Continuum
of Care Formula
AGENCY: Office of the Assistant Secretary for Community Planning and
Development, HUD.
ACTION: Notice; request for comments.
-----------------------------------------------------------------------
SUMMARY: On July 31, 2012, HUD published an interim rule, for public
comment, entitled ``Homeless Emergency Assistance and Rapid Transition
to Housing: Continuum of Care Program,'' a program designed to address
the critical problem of homelessness through a coordinated community-
based process of identifying needs and building a system of housing and
services to address those needs. HUD received 551 public comments on
the interim rule. Approximately 42 of the public comments addressed the
Continuum of Care formula, with the majority of these commenters
seeking changes to the formula. With the interim rule now in place for
3 years, HUD seeks additional comment on the Continuum of Care formula.
Comment Due Date: September 23, 2016.
ADDRESSES: Interested persons are invited to submit comments regarding
this rule to the Regulations Division, Office of General Counsel, 451
7th Street SW., Room 10276, Department of Housing and Urban
Development, Washington, DC 20410-0500. Communications must refer to
the above docket number and title. There are two methods for submitting
public comments. All submissions must refer to the above docket number
and title.
1. Submission of Comments by Mail. Comments may be submitted by
mail to the Regulations Division, Office of General Counsel, Department
of Housing and Urban Development, 451 7th Street SW., Room 10276,
Washington, DC 20410-0500.
2. Electronic Submission of Comments. Interested persons may submit
comments electronically through the Federal eRulemaking Portal at
www.regulations.gov. HUD strongly encourages commenters to submit
comments electronically. Electronic submission of comments allows the
commenter maximum time to prepare and submit a comment, ensures timely
receipt by HUD, and enables HUD to make them immediately available to
the public. Comments submitted electronically through the
www.regulations.gov Web site can be viewed by other commenters and
interested members of the public. Commenters should follow the
instructions provided on that site to submit comments electronically.
Note: To receive consideration as public comments, comments
must be submitted through one of the two methods specified above.
Again, all submissions must refer to the docket number and title of
the document.
No Facsimile Comments. Facsimile (fax) comments are not acceptable.
Public Inspection of Public Comments. All properly submitted
comments and communications submitted to HUD will be available for
public inspection and copying between 8 a.m. and 5 p.m. weekdays at the
above address. Due to security measures at the HUD Headquarters
building, an advance appointment to review the public comments must be
scheduled by calling the Regulations Division at 202-708-3055 (this is
not a toll-free number). Individuals with speech or hearing impairments
may access this number through TTY by calling the Federal Relay Service
at 800-877-8339. Copies of all comments submitted are available for
inspection and downloading at www.regulations.gov.
FOR FURTHER INFORMATION CONTACT: Norm Suchar, Director, Office of
Special Needs Assistance Programs, Office of Community Planning and
Development, Department of Housing and Urban Development, 451 7th
Street SW., Washington, DC 20410-7000; telephone number 202-708-4300
(this is not a toll-free number). Hearing- and speech-impaired persons
may access this number through TTY by calling the Federal Relay Service
at 800-877-8339 (this is a toll-free number).
SUPPLEMENTARY INFORMATION:
I. Background
Continuum of Care (CoC) Interim Rule
On July 31, 2012, at 77 FR 45422, HUD published in the Federal
Register an interim rule to implement the CoC authorized amendments to
the McKinney-Vento Homeless Assistance Act in the Homeless Emergency
Assistance and Rapid Transition to Housing Act of 2009 (HEARTH Act).
The purpose of the CoC program is to promote communitywide commitment
to the goal of ending homelessness; provide funding for efforts by
nonprofit providers, and State and local governments to quickly rehouse
homeless individuals and families while minimizing the trauma and
dislocation caused to homeless individuals, families, and communities
by homelessness; promote access to and effective utilization of
mainstream programs by homeless individuals and families; and optimize
self-sufficiency among individuals and families experiencing
homelessness.
Section 427 of the McKinney Vento Act, as amended by the HEARTH
Act, directs the Secretary to establish, by regulation, a funding
formula that is based upon factors that are appropriate to allocate
funds to meet the goals and objectives of the CoC program. As part of
the interim rule, HUD codified the formula for establishing a CoC's
Preliminary Pro Rata Need (PPRN formula) that had been used for many
years prior to the interim rule to establish a CoC's PPRN. The PPRN
formula is a combination of the formula used to award Emergency
Solutions Grants (ESG) Program grant funds and Community Development
Block Grant (CBDG) funds. Under the current PPRN formula, after a .2
percent set-aside for U.S. territories and insular areas, 75 percent of
the total CoC allocation is distributed to ESG entitlement communities,
generally comprised of large metropolitan cities and urban counties
where homelessness is more concentrated, according to the CDBG formula.
The remaining 25 percent of the CoC allocation is distributed to ESG
non-entitlement communities according to the CDBG formula. Within this
framework, the current CDBG formula is structured as a ``dual formula''
system. As set forth below, Formula A allocates funds to communities
based on the following weighted factors: population, poverty, and
overcrowding. Formula B assigns a different weighting scheme to an
alternative menu of factors: population growth lag,\1\ poverty, and
pre-1940s housing.\2\ Specifically, the existing CDBG formulas \3\ are
weighted as follows.
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\1\ Population growth lag identifies slower growing communities
or communities experiencing population loss as potential indicators
of communities in decline and in need of development assistance.
\2\ The share of housing units built before 1940 reflects the
age of a community's housing stock, a potential indicator of blight.
\3\ For non-entitlement communities, Formula B uses population
instead of population growth lag.
[[Page 48367]]
------------------------------------------------------------------------
Formula A Formula B
------------------------------------------------------------------------
25% * population.......................... 20% * population growth lag.
50% * poverty............................. 30% * poverty.
25% * overcrowding........................ 50% * pre-1940 housing.
------------------------------------------------------------------------
Pursuant to this dual formula system, HUD calculates the funding
amounts for each jurisdiction under both Formulas A and B and assigns
the larger of the two grant calculations, less a pro rata reduction to
ensure the total amount allocated is within the amount appropriated for
funding.
Section 427 of the McKinney Vento Act, as amended by the HEARTH Act
also allows HUD to adjust a CoC's formula to ensure that the formula
amount is sufficient to renew existing projects in each CoC for one
year, which is known as the Annual Renewal Demand (ARD). In the FY 2015
Continuum of Care Program NOFA, and in several previous Continuum of
Care Program NOFAs, the amount of funding that CoCs were eligible to
receive was based primarily on their ARD and the PPRN formula had
little impact on the amount they were eligible to apply for. Only for a
minority of CoCs that had a PPRN that was larger than their ARD did the
PPRN formula affect funding, and in these cases, it only affected the
amount available for new projects. The PPRN formula would only have a
more significant impact on CoC funding if the amount of funding
available for the CoC program nationally is significantly larger than
the amount needed to renew existing projects for one year.
Several stakeholders indicated that the existing PPRN formula was
not representative of the number of individuals and families
experiencing homelessness in their geographic area. Therefore, the
interim rule specifically sought comment on the PPRN formula and the
process for determining a CoC's maximum award amount. HUD solicited
public comment through November 16, 2012 and of the 551 public comments
that HUD received, approximately 42 public comments were directed to
the PPRN formula. The majority of the comments on the PPRN formula were
from western States, counties, and cities, and indicated that the CDBG
formula was not the appropriate basis for the PPRN formula because the
CDBG formula utilizes urban blight, as reflected in the age of housing
stock, and population growth lag factors to allocate funds, which may
measure community development needs generally, but are not specifically
tailored to measure homelessness. Other commenters stated that they
opposed reductions in funding for renewal projects.
As a result of the comments received, HUD has explored several
alternative factors relevant to homelessness for potential inclusion in
the PPRN formula and is re-opening the public comment period on the
PPRN formula established in 24 CFR 578.17(a) of the interim rule for
the purpose of seeking broader input on four proposed changes to the
PPRN formula described in this section of the Notice before HUD selects
the formula to include in the final rule. In developing the following
proposals, HUD considered the many comments received in response to the
formula in the interim rule, including those stating that the current
formula utilizes factors that are not necessarily correlated with
homelessness such as urban blight and population growth lag, and the
request that the PPRN formula be based on updated factors that are
intended to specifically measure homelessness.
In developing proposals for alternative factors to be included in
the final formula, HUD sought to maintain the basic structure of the
current PPRN formula, while investigating alternative data sources and
measures to be included as formula factors. The characteristics of the
data sources for the four proposed alternative formula factors were
determined to be consistent with HUD's 2001 Report to Congress \4\ on
measuring need for homeless grant funding. Namely, the data sources for
the proposed factors \5\ are: (1) Relevant to measuring homelessness,
(2) accurate, (3) timely, and (4) readily available for every
jurisdiction. HUD chose not to incorporate the point-in-time count data
into the formula because not all CoCs use the same methodology to
conduct their counts--with some CoCs having stronger methodology than
others--and because not all CoCs conduct annual PIT counts. Instead,
HUD used an average of two years of PIT count data to compare how
highly a factor being considered for the formula correlated with rates
of homelessness. In this way, PIT counts helped quantify the relevance
of potential formula factors to measuring homelessness, while
insulating potential formulas from the limitations of directly
including PIT counts. Further, by using factors correlated with the PIT
count, the proposed formulas mitigate the risk of data fluctuations in
PIT counts that may be less prevalent in large Census datasets.
Finally, since PIT counts are locally-generated and self-reported by
jurisdictions seeking funding under the CoC program, direct inclusion
of PIT counts into an allocation formula may create perverse incentives
against objective PIT count methodologies.
---------------------------------------------------------------------------
\4\ See ``Report to Congress: Measuring ``Need'' for HUD's
McKinney-Vento Homeless Competitive Grants,'' January 2001 at
https://www.hudexchange.info/resources/documents/MeasuringNeed.pdf.
\5\ Including the decennial Census (population), American
Community Survey 5-Year Data (poverty, overcrowding, pre-1940
housing, renter-occupied units, average gross rent, rent-to-income
ratio, vacant rental units, and hybrid factor), and Comprehensive
Housing Affordability Strategy 5-Year Data (affordability gap, rent-
burdened extremely low-income households, and hybrid factor).
---------------------------------------------------------------------------
Before considering any new factors, HUD reviewed the factors
included in the existing PPRN formula--overcrowding, poverty, pre-1940s
housing, and population--and their correlation to rates of
homelessness. HUD conducted Pearson's Correlation analyses \6\ and
found that three of these factors had a positive and statistically
significant correlation with rates of homelessness. These were: (1)
Overcrowding, with a .277 correlation; (2) poverty, with a .153
correlation; and (3) pre-1940s housing, with a .113 correlation.
Population was not shown to have a significant correlation with rates
of homelessness in a community. In addition to analyzing factors
included in the current PPRN formula, HUD also considered several other
potential factors related to housing markets, affordability, and
demographics, as well as a hybrid factor that combined housing market
and affordability measures. Understanding these factors, along with
their correlation, is necessary to understanding the formulas being
proposed for consideration.
---------------------------------------------------------------------------
\6\ Pearson's correlation coefficients range from -1 to 1. A
correlation coefficient of -1 or 1 indicates a perfect linear
relationship (negative or positive, respectively) between two
variables, while a correlation coefficient of 0 indicates a random
relationship or no linear relationship between two variables.
---------------------------------------------------------------------------
Broadly speaking, the potential formula factors chosen by HUD for
analysis, and described more fully below, represent important
community-level determinants of homelessness identified in the research
literature. Together, these factors represent three related categories
of known determinants of homelessness: housing market factors, economic
conditions, and housing affordability (which combines housing market
and economic factors). Other categories of known community-level
determinants of homelessness, such as climate factors or the robustness
and quality of a community's safety net of social services for
vulnerable populations, were found to lack the type of data
[[Page 48368]]
measures (e.g., timely and readily available for each jurisdiction)
necessary to be included as potential formula factors. Similarly, some
demographic factors identified as possible correlates to homelessness
were excluded from consideration due to data limitations. For example,
population growth lag could not be readily calculated for every
jurisdiction due to changes in geographic boundaries since 1960 that
artificially affect population counts.
Potential Housing Market Factors: HUD considered the following
potential housing market factors:
Renter-occupied units--HUD explored this factor because
renters generally experience higher housing instability than
inhabitants of owner-occupied units. They are also more vulnerable to
steep or sudden increases in rent, may be more economically unstable,
and are subject to evictions as a result of non-payment of rent which
tend to happen more quickly than the foreclosure process. For this
factor, HUD found a .444 correlation between renter-occupied units as a
percentage of all occupied housing units and rates of homelessness.
Average gross rent--HUD explored this factor because
several studies have found measures of ``rent level'' to be
significantly correlated to higher rates of homelessness. However, this
aggregate measure encompasses the entire rental market and may not be a
good indicator of the rent pressures specifically faced by individuals
and families experiencing homelessness or at risk of homelessness. For
this factor, HUD found a .248 correlation between average gross rent
(calculated by dividing aggregate gross rent by the number of renter-
occupied housing units) and rates of homelessness.
Vacant rental units--HUD explored this factor because some
studies have theorized that people are at higher risk of homelessness
in tight rental markets; however, HUD found no significant correlation
between rental vacancy rates (calculated by dividing the number of
vacant rental units by total rental units) and rates of homelessness.
Therefore, it was not used in any of the proposed formulas for
consideration.
Affordability gap--This factor was created to measure the
gap between the demand for and supply of rental units that are both
affordable and available to Extremely Low-Income (ELI) \7\ renter
households. HUD considered this factor because ELI households have been
shown to be at a greater risk of housing instability and homelessness.
For this factor, HUD found a .310 correlation between this factor as a
percentage of total housing units and rates of homelessness.
---------------------------------------------------------------------------
\7\ ELI households consist of families with incomes that do not
exceed 30 percent of the area median income.
---------------------------------------------------------------------------
Potential Affordability Factors: HUD considered the following
potential factors related to the cost of housing combined with renters'
ability to pay:
Rent-to-income ratio is the comparison of how much rent
people pay when compared to their income in the designated geographic
area. HUD found a .288 correlation with rates of homelessness.
Rent-burdened ELI households are those ELI households that
pay more than 30% of their gross income for housing. HUD found a .336
correlation with rates of homelessness.
Hybrid Factor: HUD considered one factor, developed specifically
for the purposes of this formula, that weighted an affordability factor
(rent-burdened ELI households) by a housing market factor (renter-
occupied units), two variables found to be correlated with homelessness
(with correlations of .336 and .444, respectively). This factor was
calculated by multiplying the number of rent-burdened ELI households by
the ratio of: the jurisdiction's percentage of renter-occupied units
divided by the national percentage of renter-occupied units. HUD found
that this hybrid factor had a .393 correlation with rates of
homelessness.
II. Proposed PPRN Formula Options for Public Comment
After reviewing the simple (bivariate) Pearson's correlations
between rates of homelessness and each of the above factors, HUD
considered many different options for leveraging a combination of these
factors into a formula that would better capture pro-rata need than any
single factor on its own. HUD considered various factor weights as
representing the relative magnitude of each factor's effect on need
within a particular formula combination. The proposed weights represent
what HUD views to be reasonable options for weighting the relative
magnitudes of factors within each formula option based on its simple
correlational analyses and the theoretical relationships between sets
of factors and homelessness documented in established research
literature.
HUD seeks comment on the four formula options set out in the table
below. HUD believes these options are better correlated with rates of
homelessness at the local level than the current PPRN formula.
----------------------------------------------------------------------------------------------------------------
Formula A Formula B Formula C Formula D
----------------------------------------------------------------------------------------------------------------
10% * population..................... 25% * poverty.......... 25% * population....... 25% * poverty
15% * poverty........................ 25% * affordability gap 25% * poverty.......... 25% * affordability gap
25% * affordability gap.............. 25% * rent-burdened ELI 50% * hybrid factor.... 50% * hybrid factor
households.
25% * rent-burdened ELI households... 25% * rental units.....
25% * rental units...................
----------------------------------------------------------------------------------------------------------------
None of these proposed PPRN formula options include the 75%/25%
split between entitlement and non-entitlement communities that is a
part of the current formula. In addition to comments on the proposed
formulas set forth above, HUD welcomes comments on factors and
corresponding weights that will target formula funding to urban and
rural areas most in need of homeless assistance, whether by ESG
entitlement designation, population density considerations, or
otherwise. In addition, HUD welcomes comments on whether any of the
four proposed options should be combined into a dual or multi-formula
system similar to the dual calculation system utilized under the
current PPRN formula.
HUD has posted, on its Web site, a listing of each CoC's existing
PPRN amount (as determined using the existing formula) as well as the
amount that each CoC's PPRN would be using each of these four proposed
formulas. HUD has also published a tool on its
[[Page 48369]]
Web site that stakeholders can use to adjust the weights of the
proposed factors and determine the resulting PPRN. This tool can be
used to explore formula options, using the factors listed above, other
than the four formula options already published by HUD on its Web site.
Using all of this information, HUD seeks comment on the proposed
formulas made available as well as any new formulas and factors
relevant to the goals and objectives of the CoC program for HUD to
consider.
Additionally, HUD acknowledges that each of the proposed formula
options will result in the PPRN amounts of some CoCs decreasing. To
prevent against a CoC losing a substantial amount of PPRN in a given
year, HUD is considering including language that would prevent a CoC
from losing more than a certain portion of their PPRN. For example, if
a CoC's current PPRN amount is $2.5 million and a newly adopted PPRN
formula would result in the CoC's PPRN amount being reduced to $1.7
million, HUD could consider language that would provide the CoC with
more than $1.7 million in PPRN, but less than $2.5 million. HUD seeks
comment on this proposal and also, what the appropriate amount or
portion to be protected should be.
HUD welcomes other comments on how the CoC formula may be improved.
Dated: July 19, 2016.
Harriet Tregoning,
Principal Deputy Assistant Secretary for Community Planning and
Development.
[FR Doc. 2016-17567 Filed 7-22-16; 8:45 am]
BILLING CODE 4210-67-P