Fair Market Rents for the Housing Choice Voucher Program and Moderate Rehabilitation Single Room Occupancy Program Fiscal Year 2017; Revised, 15711-15714 [2017-06298]
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Federal Register / Vol. 82, No. 60 / Thursday, March 30, 2017 / Notices
FOR FURTHER INFORMATION, CONTACT:
DEPARTMENT OF HOUSING AND
URBAN DEVELOPMENT
[Docket No. FR–5962–N–03]
Fair Market Rents for the Housing
Choice Voucher Program and
Moderate Rehabilitation Single Room
Occupancy Program Fiscal Year 2017;
Revised
Office of the Assistant
Secretary for Policy Development and
Research, HUD.
ACTION: Notice of Revised Fiscal Year
(FY) 2017 Fair Market Rents (FMRs) and
Discussion of Comments on FY 2017
FMRs.
AGENCY:
This notice updates the FY
2017 FMRs for Portland, ME HUD Metro
FMR Area (HMFA) and VallejoFairfield, CA Metropolitan Statistical
Area (MSA), as requested by
commenters. In addition to announcing
these revised FY 2017 FMRs, this notice
also includes HUD responses to the
comments received regarding the FY
2017 FMRs.
DATES: Effective Date: The revised FY
2017 FMRs for Portland, ME, HMFA
and Vallejo-Fairfield, CA, MSA are
effective on May 1, 2017.
SUMMARY:
Questions on how to conduct FMR
surveys or concerning further
methodological explanations may be
addressed to Marie L. Lihn or Peter B.
Kahn, Economic and Market Analysis
Division, Office of Economic Affairs,
Office of Policy Development and
Research, telephone 202–402–2409.
Persons with hearing or speech
impairments may access this number
through TTY by calling the toll-free
Federal Relay Service at 800–877–8339
(toll-free).
Questions related to use of FMRs or
voucher payment standards should be
directed to the respective local HUD
program staff.
For technical information on the
methodology used to develop FMRs or
a listing of all FMRs, please call the
HUD USER information line at 800–
245–2691 (toll-free) or access the
information on the HUD USER Web site:
https://www.huduser.gov/portal/
datasets/fmr.html. FMRs are listed at
the 40th or 50th percentile in Schedule
B. For informational purposes, 40th
percentile recent-mover rents for the
areas with 50th percentile FMRs will be
provided in the HUD FY 2017 FMR
documentation system at https://
www.huduser.gov/portal/datasets/
fmr.html#2017_query and 50th
percentile rents for all FMR areas are
published at https://www.huduser.gov/
portal/datasets/50per.html.
SUPPLEMENTARY INFORMATION: On August
26, 2016, HUD published the FY 2017
FMRs, requesting comments on the FY
2017 FMRs, and outlined procedures for
requesting a reevaluation of an area’s FY
2017 FMRs (81 FR 58952). This notice
revises FY 2017 FMRs for two areas that
requested reevaluation and provided
data to HUD to allow for a reevaluation,
and provides responses to the public
comments HUD received on the
previous notice referenced above.
I. Revised FY 2017 FMRs
The FMRs appearing in the following
table supersede the use of the FY 2016
FMRs for Portland, ME HUD Metro FMR
Area (HMFA) and Vallejo-Fairfield, CA
Metropolitan Statistical Area (MSA).
The updated FY 2017 FMRs are based
on surveys conducted in December 2016
by the area public housing agencies
(PHAs) and reflect the estimated 40th
percentile rent levels trended to April 1,
2017.
The FMRs for the affected area are
revised as follows:
FMR by number of bedrooms in unit
2017 fair market rent area
0 BR
Portland, ME, HMFA ............................................................
Vallejo-Fairfield, CA MSA ....................................................
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The FMR Schedules are amended as
shown in the Appendix to this notice
and are available on the HUD USER
Web site: https://www.huduser.gov/
portal/datasets/fmr.html. The FMR
Schedules will not be codified in 24
CFR part 888.
II. Public Comments on FY 2017 FMRs
A total of 29 comments were received
and posted on regulations.gov, https://
www.regulations.gov/docket?D=HUD2016-0093. Fourteen of these comments
were requests for reevaluation of the FY
2017 FMRs for 11 FMR areas. HUD
approved requests for nine metropolitan
areas and declined them for two
metropolitan areas (where the
requester(s) did not administer more
than 50 percent of the housing choice
voucher families in the metropolitan
area, as required) in a posting on
October 3, 2016 available at https://
www.huduser.gov/portal/datasets/fmr/
fmr2017/Areas-where-FY2016-FMRsRemain-in-Effect.pdf. These nine areas
were granted approval to continue to
use FY 2016 FMRs until the
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reevaluation of the FY 2017 FMRs has
occurred. Each metropolitan area was
given until January 6, 2017 to provide
HUD with the data to reevaluate the FY
2017 FMRs. One area, the Dallas, TX
HUD Metro FMR Area (HMFA), which
uses Small Area FMRs under a court
settlement, has already been reevaluated
and its FY 2017 Small Area FMRs have
been updated (81 FR 78177), effective
December 7, 2016. This notice updates
FY 2017 FMRs for two additional areas.
The remaining six areas did not provide
HUD data to complete a reevaluation,
and their FY 2017 FMRs are unchanged
from the amounts provided in the
August 26, 2016 notice. In accordance
with the reevaluation procedures
outlined in the August 26, 2016 FY 2017
Fair Market Rent notice (81 FR 58952,
Section V. Requests For FMR
Reevaluations, item 4), HUD posted a
listing of these six areas where data was
not submitted and announced that the
FY 2017 FMRs for these areas became
effective on January 9, 2017 (https://
www.huduser.gov/portal/datasets/fmr/
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fmr2017/Areas-Where-FY2017-FMRsbecome-effective.pdf).
Most of the other comments discussed
inaccuracies of the FMRs and a need for
more current data. Several of the
comments addressed HUD’s specific
request for public comment on ‘‘on what
should be considered ‘material changes’
in FMR estimation methods for
purposes of triggering public notice and
comment under HOTMA.’’ 1 In addition,
there was a request for a change in a
geographic area definition for a
metropolitan area in which parts of the
area are not contiguous. HUD has
summarized the comments where
possible and provides responses to these
comment groups in greater detail below.
General Comments
Comments: FMRs do not represent
accurate on-the-ground rental market
prices. The accuracy of FMRs is a
function of the underlying data set and
1 HOTMA is the Housing Opportunities Through
Modernization Act of 2016 (Pub. L. 114–201,
approved July 29, 2016).
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the methodology used to convert the
data set to the FMRs, and the source of
the data is unchanged from last year.
HUD Response: The American
Community Survey (ACS) continues to
be the primary source of gross rent data
used in the calculation of the FMRs as
it is the only known statistically reliable
data source that provides
comprehensive information on gross
rents paid collected in a consistent
manner nationwide. The ACS data HUD
acquires is adjusted for housing quality
and calculated at the 40th percentile
rent for the FMR areas. HUD does point
out that the data used to calculate FY
2017 FMRs is one year more current
than the data used to calculate FY 2016
FMRs. HUD uses the most current ACS
data available when calculating the
FMRs. As an example, consider the
publication timeline for the FY 2017
FMRs. The FY 2017 FMRs were
calculated in June and July of 2016 for
publication in August 2016, but the
2015 ACS data was not released until
September through December of 2016.
Therefore, during calculation of FY
2017 FMRs, the 2014 ACS data was the
most current available ACS data. HUD
augments the most current available
ACS data with the annual change in
gross rents measured by the Bureau of
Labor Statistics’ Consumer Price Index
(measured between 2014 and 2015 in
the FY 2017 FMR example), and a
forecasted trend factor to align the
calculated FMRs with the Fiscal Year
for which the FMRs are effective.
Comments: Inaccurate FMRs have
strong negative impacts on PHAs’ ability
to serve Housing Choice Voucher (HCV)
participants. Low-income families that
rely on the HCV program will feel the
greatest impact in areas where the
published FMRs are too low relative to
actual costs. These low FMRs cause cost
burdens for voucher-assisted
households to increase, sometimes to
the point of forcing low-income families
to seek housing in areas with greater
concentrations of poverty and lowerquality housing stock.
HUD Response: HUD is aware of the
impacts when FMRs are too high or too
low and strives to limit inaccuracies and
year-to-year fluctuations in FMRs. HUD
continually reviews its methodology
and expects to propose changes in a
future Federal Register notice.
Comments: HUD’s previous
statements about making further
changes that would be reflected in its
FY 2017 FMRs, were not acted upon.
There are erratic fluctuations in FMR
values within the same bedroom size in
the same county, in opposite directions
year over year, which do not accurately
reflect many local housing markets.
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There are fluctuations in FMR values in
opposite directions between different
bedroom sizes within the same year and
there are erratic fluctuations in opposite
directions year over year that have had
the effect of largely cancelling each
other out over this three-year period, in
a way that does not accurately reflect
gross rent values in many rental housing
markets. This commenter also expressed
concern in the large variations in
differences between the FY 2017
Unadjusted rents and the FY 2017 Final
FMRs.
HUD Response: HUD’s initial plan for
Proposed FY 2017 FMRs included
several changes to the FMR calculation
methods to address these criticisms of
FMRs; however, with the enactment of
the Housing Opportunities Through
Modernization Act (HOTMA) (Pub. L.
114–201, approved July 29, 2016) which
changed the FMR publication process,
there was insufficient time to publish a
notice of proposed material change,
review comments, and post FY 2017
FMRs with a 30-day delayed effective
date (as is all now required), and still
meet the mandated October 1, 2016
effective date for FY 2017 FMRs (which
is unchanged). Therefore, HUD
published FY 2017 FMRs with no
methodology changes, and expects to
propose them in a forthcoming notice.
HUD implemented the state nonmetropolitan minimum FMR standard
to ensure that voucher holders have
access to suitable rental housing units
where the rent paid is sufficient to cover
the long-term operating and capital
requirements for the dwelling. Areas
where the state non-metropolitan
minimum rent is applied have ACSbased unadjusted rents that are below a
reasonable level for these long-term
commitments.
State non-metropolitan minimum
rents are calculated as the population
weighted median 2 bedroom rent
calculated from the data specific to each
non-metropolitan county in a state. The
Final 2 bedroom FMR for an area
becomes the state non-metropolitan
minimum if the rent calculated based on
the county level data is below the
minimum; therefore, depending on the
distribution of county-level unadjusted
rents, certain counties could have
considerable differences between their
unadjusted rent and their published
FMR. Unadjusted rents are made
available to PHAs solely for the purpose
of setting flat rents for their public
housing portfolios.
Comments: FMRs are deeply flawed
and the changes HUD has taken
regarding annual adjustment factors are
still insufficient. Actions taken by the
Senate Appropriations Committee are
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an attempt to force HUD to make deeper
and broader improvements to its FMRs.
The Senate FY 2017 THUDAppropriations bill (Pub. L. 114–223,
approved on September 29, 2016)
appropriates $41.5 million to HUD to
pay for local rental market surveys of
areas affected by changing economic
conditions and natural disasters.
HUD Response: The funds in the
Senate appropriations bill referenced by
the commenter are for the American
Housing Survey, which focuses on
housing quality and other demographic
issues rather than rents. This is a
longitudinal survey with limited local
data and the funds cannot be redirected
for rent surveys in areas affected by
changing economic conditions and
natural disasters. The HUD
appropriations previously used to
conduct rent surveys to adjust FMRs
have not been made since 2012.
Comments: Ever since HUD used its
discretionary authority to adopt each
new OMB area for FMR purposes,
starting in FY 2006, HUD’s rent
estimates have gone haywire. To
calculate the FY 2016 FMRs, HUD
incorporated OMB’s latest metropolitan
area definition from 2013. As a result,
there are counties previously designated
by HUD as non-metro that HUD
subsequently designated as
metropolitan and vice-versa. HUD’s
FMR areas and SAFMR areas artificially
inflate rent values in non-metropolitan
areas and artificially deflate FMR values
in metropolitan areas.
HUD Response: In 2006, when HUD
applied OMB’s new metropolitan area
definitions based on the 2000 Decennial
Census to the FMRs, HUD was following
longstanding past practice. HUD
modified FMR areas in accordance with
updated OMB area definitions after the
1980, and 1990 Decennial Censuses.
HUD’s incorporation of the 2010
Decennial Census-based area definitions
into the FY 2016 FMRs continued
HUD’s longstanding past practices. The
updated OMB area definitions’ changes
in area geography, and especially
changes from non-metropolitan to
metropolitan area designations, are
important in providing consistency
across all federal programs. HUD
specifically considers the impact of area
definition changes on Fair Market Rent
levels and other program parameters
when implementing metropolitan area
definition changes, and specifically
deviates from OMB definitions to
prevent large changes when sufficient
local data is available.
Comments: HUD should use more
timely data when calculating FMRs.
HUD should work to develop a method
to incorporate more recent data into its
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published FMRs rather than continue to
rely on PHA-funded studies to correct
inaccuracies in FMRs. The ACS fiveyear and one-year datasets do not
possess adequate external validity for
calculating current non-regulated rents
for all FMR areas. Additionally, the ACS
dataset fails to capture key data on
housing quality to ensure that
calculations are based on the relevant
population. This omission greatly alters
the FMR estimates and leads to
underestimation of the current housing
costs. PHAs are not well suited to
conduct surveys and compile
sophisticated statistical analyses. This is
a function that would be better suited
for HUD’s Office of Policy Development
and Research (PD&R).
HUD Response: There is no other data
on gross rents paid that is consistently
collected on a nationwide basis,
available to HUD, and more timely than
the ACS dataset. HUD recognizes the
housing quality data limitations of the
ACS dataset and uses a combination of
ACS survey responses and a public
housing ‘‘cut-off’’ rent calculated from
HUD administrative data to identify and
eliminate these low rent units from the
distribution of gross rents paid before a
40th percentile rent is calculated. The
rationale for using this ‘‘cut-off’’ rent is
that units with gross rents below these
amounts are either of insufficient
quality to meet the housing quality
standards for units occupied by voucher
holders, or are representative of an
assisted tenant’s out of pocket expenses
and not a true measure of the market
gross rent for the unit. Eliminating these
units from the distribution before the
40th percentile rent is calculated raises
the 40th percentile rent for the area. As
discussed earlier, HUD currently lacks
funding and the mechanisms necessary
to collect rent data by a more
specialized survey method.
Comments: The effective date for new
FMRs should be 60 days from
publication, not 30 days. HUD has
offered only a 30-day period for PHAs
to submit a request for reevaluation of
the FMR for their regions. HUD should
provide at least 60 days for PHAs to
make a reevaluation request. Further,
PHAs should be able to choose to
continue to use the prior year FMR or
use the new FMR for which they
requested a reevaluation. Otherwise, a
PHA seeking reevaluation whose FMR
has increased is, in effect, penalized for
requesting reevaluation because it must
continue to use the prior year’s lower
FMR.
HUD Response: HOTMA requires that
FMRs become effective no less than 30
days following their publication. In
order to provide additional time for
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PHAs to implement newly effective
FMRs, HUD’s Small Area FMR rule (81
FMR 80567) provides that all PHAs
have up to three months from the date
when the new FMRs go into effect in
which to update their payment
standards if a change is necessary to fall
within the basic range of the new FMRs.
Regarding the timing of reevaluation
requests, the FY 2017 FMRs were
delayed due to the HOTMA-mandated
changes in FMR publication
requirements and procedures. Based on
timing constraints, HUD provided the
longest window possible for making the
FY 2017 FMRs effective and for
providing a request for FMR
reevaluation. Finally, provisions within
HOTMA govern the process for FMR
reevaluation requests. Specifically,
HOTMA states: ‘‘The Secretary shall
establish a procedure for public housing
agencies and other interested parties to
comment on such fair market rentals
and to request, within a time specified
by the Secretary, reevaluation of the fair
market rentals in a jurisdiction before
such rentals become effective.’’
[emphasis added]. Therefore, HUD may
not make the newly calculated FMRs
effective when a valid reevaluation
request is received. Practically speaking,
allowing a PHA to use the higher of the
previous year or current year FMR
would also create significant issues for
quality control and program audit
activities.
Comments: HUD should allow
interested stakeholders to comment on
the utility component of FMRs. We
recommend that HUD provide PHAs
with the utility data it gathers from the
annual FMR calculations so that PHAs
may evaluate the percentage change in
the utility component from year to year.
HUD Response: HUD receives ACS
data on gross rents paid from the Census
Bureau to determine FMRs. The utility
component is embedded in this gross
rent and not separately available. The
inflation adjustments HUD applies to
the ACS data includes indices for rent
and utilities. While the rent and utility
inflation indices can be found in the
FMR documentation system, they only
serve to inflate the gross rents HUD
receives from the ACS, and are not
separate estimates of the utility
component of gross rent. Section 108 of
HOTMA charges HUD with collecting
data on utility consumption and costs in
local areas to the extent that HUD can
do so cost efficiently. HUD is reviewing
what can be accomplished cost
efficiently and will release these data
when they become available.
Comments: HUD should take an
expansive view of what constitutes a
‘‘material change’’ in FMR estimation
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15713
methods. It is unlikely that HUD can
predict the impact of changes in FMR
methodology for every FMR geography.
The ‘‘material change’’ criteria should
not be based on either the number of
FMR areas impacted or a triggering
threshold based on the number of areas
whose FMRs would change by a certain
percentage before HUD is required to get
comments on a ‘‘material change’’. Only
changes that impact how a PHA can
spend money (since PHA payment
standards are based on FMRs) should be
required to be considered material.
HUD Response: HUD appreciates this
comment and HUD is taking an
expansive view on what constitutes a
‘‘material change’’ and intends to
provide an opportunity for public
comment on all FMR methodological
changes in forthcoming proposed
notices of material changes in FMR
calculations. Moreover, HUD points out
that most method changes do not occur
in one direction and are not static. That
is, FMRs in some areas will go up and
some areas will go down as a result of
calculation changes, and these changes
may mean that an area that went up one
year will go down the next year.
Comments: HUD should consider
smoothing-out the sharp swings in rents
from the year-to-year caused by year-toyear changes in the determination of the
recent mover factor. Such large changes
affect planning and management efforts.
HUD Response: HUD may assess the
need to propose changes to the FMR
estimation methodology related to data
integrity in a forthcoming notice of
Proposed Material Change that should
reduce such large year-to-year swings
that can arise from the one-year recent
mover data.
Comments: The bonuses for threebedroom, four-bedroom and higher
bedroom-count units, ostensibly to help
the largest and most difficult-to-house
families find units, should not be used
without qualification. HUD’s policy
signals to every developer that a greater
profit is to be found in the production
of high bedroom-count units. The perroom rent differential offered by HUD
for a three-bedroom unit is five times as
attractive (per room) as the one offered
for a single-bedroom unit, and thus
hinders our ability to respond to local
housing market conditions.
HUD Response: The bonuses applied
to the ratios used to calculate the FMRs
for higher bedroom-count units have
been an important means of serving the
relatively small group of large-sized
families dependent on vouchers. While
HUD appreciate the comment, HUD
does not believe the bonuses should be
eliminated, even for certain areas.
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Comments Specific to Puerto Rico
Comments: HUD should not use
multiple non-contiguous geographical
areas as an FMR Area nor apply a single
FMR to non-adjacent geographical areas.
HUD’s use of non-contiguous county
equivalents (municipios) in a
metropolitan area does not conform to
the adjacency standard governing the
designation of metropolitan and
nonmetropolitan areas.
HUD Response: The county removed
from the Barranquitas AibonitoQuebradillas FMR area was not removed
because it is not a contiguous area, it
was removed because OMB removed it
from this metropolitan area. OMB kept
the remaining non-contiguous county
(municipio), Maunabo, in the
metropolitan area, and did not follow
the adjacency criteria for this
metropolitan area. Both counties
(municipios) have been in the metro
area at least as far back as 2006.
Functionally, removing Maunabo
Municipio from the current FMR area
will not change the effective FMR for
the municipio as there is insufficient
data to calculate a stand-alone FMR for
the municipio and the state nonmetropolitan minimum would still be
used.
Comments: The use of the Consumer
Expenditure Survey (CES) heat use
index as a proxy to adjust the ‘‘Rent of
primary residence’’ statistic to remove
the influence of utilities has a
depressing effect in a tropical area.
HUD Response: HUD’s longstanding
use of the CES heat use index helps
HUD estimate the portion of gross rent
attributable to shelter cost and the
portion attributable to utility costs. The
commenter suggests that HUD’s
methodology has the effect of lowering
FMRs in tropical areas. However, given
recent economic trends, increasing the
influence of utility costs in the
calculation of gross rents in Puerto Rico
at this time would further depress rents,
not raise them. More fundamentally,
HUD’s use of the heat use index to
‘‘remove’’ the influence of utilities from
the ‘‘rent of primary residence
component’’ of gross rents is necessary
because the rent of primary residence
index captures some utility costs for
units where utilities are included in the
rent payment. Therefore, HUD must
determine how much utility costs are
embedded in the rent of primary
residence so as to not double count the
influence of utility costs changes when
constructing a gross rent inflation factor.
To summarize how the CES heat use
index is used in the calculation of
FMRs: FMRs are gross rent estimates.
Gross rents include the cost of the
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shelter plus the cost of the necessary
utilities for the dwelling unit. In order
to produce an FMR that comports with
the statutory requirements of calculating
the FMRs ‘‘based on the most recent
available data trended so the rentals will
be current for the year to which they
apply,’’ HUD uses data from the
American Community Survey on gross
rents paid, updated by the change in
gross rents measured through the CPI
and trended using a national forecast of
expected growth in gross rents. In order
to calculate a gross rent increase factor
using CPI data, HUD must determine
how to combine the CPI’s measurement
of the ‘‘rent of primary residence’’ and
the ‘‘fuels and utilities’’ component of
Housing. This step is complicated by
the fact that some of the rents reported
in the survey used to generate the CPI
data for ‘‘rent of primary residence’’
already include utility costs. To cleanly
separate the two components of ‘‘rents’’
and ‘‘utilities,’’ it is necessary to factor
out any utility costs reported as rents.
HUD uses the CES heat use index to
estimate this amount.
Several years ago, HUD began using
CPI ‘‘rent’’ and ‘‘utilities’’ components
measured solely for Puerto Rico to
calculate Puerto Rico’s gross rent
increase factor. However, because no
local measure is known to exist that
could serve as the equivalent of the CES
heat use index, HUD uses the South
Census Region CES information as a
proxy in Puerto Rico. For the relevant
time period (2014 to 2015), the ‘‘rent of
primary residence’’ statistic measured
across all of Puerto Rico increased by
0.47 percent while the ‘‘fuels and
utilities’’ component of housing
declined by 14.75 percent. Given the
large decrease in fuels and utilities
measured in Puerto Rico, every
combination of the two CPI components
to obtain a measurement of the change
in gross rents where the weight on the
‘‘rent of primary residence’’ component
is 95 percent or less for Puerto Rico
yields an overall negative CPI update
factor (less than 1). Therefore, as stated
above, increasing the influence of utility
costs in the calculation of gross rents in
Puerto Rico in 2017 would further
depress rents, not raise them.
III. Environmental Impact
This Notice makes changes in FMRs
for two FMR areas and does not
constitute a development decision
affecting the physical condition of
specific project areas or building sites.
Accordingly, under 24 CFR 50.19(c)(6),
this Notice is categorically excluded
from environmental review under the
National Environmental Policy Act of
1969 (42 U.S.C. 4321).
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Dated: March 23, 2017.
Matthew E. Ammon,
General Deputy Assistant Secretary for Policy
Development & Research.
[FR Doc. 2017–06298 Filed 3–29–17; 8:45 am]
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DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
[FWS–HQ–FHC–2017–N033;
FXFR131109WFHS0–167–FF09F10000]
Information Collection Request Sent to
the Office of Management and Budget
for Approval; Injurious Wildlife;
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Fish and Wildlife Service,
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ACTION: Notice; request for comments.
AGENCY:
We (U.S. Fish and Wildlife
Service) have sent an Information
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Management and Budget (OMB) for
review and approval. We summarize the
ICR below and describe the nature of the
collection and the estimated burden and
cost. This information collection is
scheduled to expire on March 31, 2017.
We may not conduct or sponsor and a
person is not required to respond to a
collection of information unless it
displays a currently valid OMB control
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regulations, we may continue to
conduct or sponsor this information
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DATES: You must submit comments on
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ADDRESSES: Send your comments and
suggestions on this information
collection to the Desk Officer for the
Department of the Interior at OMB–
OIRA at (202) 395–5806 (fax) or OIRA_
DOCKET@OMB.eop.gov (email). Please
provide a copy of your comments to the
Service Information Collection
Clearance Officer, U.S. Fish and
Wildlife Service, MS BPHC, 5275
Leesburg Pike, Falls Church, VA 22041–
3803 (mail), or madonna_baucum@
fws.gov (email). Please include ‘‘1018–
0078’’ in the subject line of your
comments. You may review the ICR
online at https://www.reginfo.gov. Follow
the instructions to review Department of
the Interior collections under review by
OMB.
FOR FURTHER INFORMATION CONTACT:
Madonna Baucum, at madonna_
baucum@fws.gov (email) or (703) 358–
2503 (telephone).
SUPPLEMENTARY INFORMATION:
SUMMARY:
E:\FR\FM\30MRN1.SGM
30MRN1
Agencies
[Federal Register Volume 82, Number 60 (Thursday, March 30, 2017)]
[Notices]
[Pages 15711-15714]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2017-06298]
[[Page 15711]]
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DEPARTMENT OF HOUSING AND URBAN DEVELOPMENT
[Docket No. FR-5962-N-03]
Fair Market Rents for the Housing Choice Voucher Program and
Moderate Rehabilitation Single Room Occupancy Program Fiscal Year 2017;
Revised
AGENCY: Office of the Assistant Secretary for Policy Development and
Research, HUD.
ACTION: Notice of Revised Fiscal Year (FY) 2017 Fair Market Rents
(FMRs) and Discussion of Comments on FY 2017 FMRs.
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SUMMARY: This notice updates the FY 2017 FMRs for Portland, ME HUD
Metro FMR Area (HMFA) and Vallejo-Fairfield, CA Metropolitan
Statistical Area (MSA), as requested by commenters. In addition to
announcing these revised FY 2017 FMRs, this notice also includes HUD
responses to the comments received regarding the FY 2017 FMRs.
DATES: Effective Date: The revised FY 2017 FMRs for Portland, ME, HMFA
and Vallejo-Fairfield, CA, MSA are effective on May 1, 2017.
FOR FURTHER INFORMATION, CONTACT: Questions on how to conduct FMR
surveys or concerning further methodological explanations may be
addressed to Marie L. Lihn or Peter B. Kahn, Economic and Market
Analysis Division, Office of Economic Affairs, Office of Policy
Development and Research, telephone 202-402-2409. Persons with hearing
or speech impairments may access this number through TTY by calling the
toll-free Federal Relay Service at 800-877-8339 (toll-free).
Questions related to use of FMRs or voucher payment standards
should be directed to the respective local HUD program staff.
For technical information on the methodology used to develop FMRs
or a listing of all FMRs, please call the HUD USER information line at
800-245-2691 (toll-free) or access the information on the HUD USER Web
site: https://www.huduser.gov/portal/datasets/fmr.html. FMRs are listed
at the 40th or 50th percentile in Schedule B. For informational
purposes, 40th percentile recent-mover rents for the areas with 50th
percentile FMRs will be provided in the HUD FY 2017 FMR documentation
system at https://www.huduser.gov/portal/datasets/fmr.html#2017_query
and 50th percentile rents for all FMR areas are published at https://www.huduser.gov/portal/datasets/50per.html.
SUPPLEMENTARY INFORMATION: On August 26, 2016, HUD published the FY
2017 FMRs, requesting comments on the FY 2017 FMRs, and outlined
procedures for requesting a reevaluation of an area's FY 2017 FMRs (81
FR 58952). This notice revises FY 2017 FMRs for two areas that
requested reevaluation and provided data to HUD to allow for a
reevaluation, and provides responses to the public comments HUD
received on the previous notice referenced above.
I. Revised FY 2017 FMRs
The FMRs appearing in the following table supersede the use of the
FY 2016 FMRs for Portland, ME HUD Metro FMR Area (HMFA) and Vallejo-
Fairfield, CA Metropolitan Statistical Area (MSA). The updated FY 2017
FMRs are based on surveys conducted in December 2016 by the area public
housing agencies (PHAs) and reflect the estimated 40th percentile rent
levels trended to April 1, 2017.
The FMRs for the affected area are revised as follows:
----------------------------------------------------------------------------------------------------------------
FMR by number of bedrooms in unit
2017 fair market rent area -------------------------------------------------------------------------------
0 BR 1 BR 2 BR 3 BR 4 BR
----------------------------------------------------------------------------------------------------------------
Portland, ME, HMFA.............. 911 1028 1301 1755 1906
Vallejo-Fairfield, CA MSA....... 830 1035 1294 1884 2280
----------------------------------------------------------------------------------------------------------------
The FMR Schedules are amended as shown in the Appendix to this
notice and are available on the HUD USER Web site: https://www.huduser.gov/portal/datasets/fmr.html. The FMR Schedules will not be
codified in 24 CFR part 888.
II. Public Comments on FY 2017 FMRs
A total of 29 comments were received and posted on regulations.gov,
https://www.regulations.gov/docket?D=HUD-2016-0093. Fourteen of these
comments were requests for reevaluation of the FY 2017 FMRs for 11 FMR
areas. HUD approved requests for nine metropolitan areas and declined
them for two metropolitan areas (where the requester(s) did not
administer more than 50 percent of the housing choice voucher families
in the metropolitan area, as required) in a posting on October 3, 2016
available at https://www.huduser.gov/portal/datasets/fmr/fmr2017/Areas-where-FY2016-FMRs-Remain-in-Effect.pdf. These nine areas were granted
approval to continue to use FY 2016 FMRs until the reevaluation of the
FY 2017 FMRs has occurred. Each metropolitan area was given until
January 6, 2017 to provide HUD with the data to reevaluate the FY 2017
FMRs. One area, the Dallas, TX HUD Metro FMR Area (HMFA), which uses
Small Area FMRs under a court settlement, has already been reevaluated
and its FY 2017 Small Area FMRs have been updated (81 FR 78177),
effective December 7, 2016. This notice updates FY 2017 FMRs for two
additional areas. The remaining six areas did not provide HUD data to
complete a reevaluation, and their FY 2017 FMRs are unchanged from the
amounts provided in the August 26, 2016 notice. In accordance with the
reevaluation procedures outlined in the August 26, 2016 FY 2017 Fair
Market Rent notice (81 FR 58952, Section V. Requests For FMR
Reevaluations, item 4), HUD posted a listing of these six areas where
data was not submitted and announced that the FY 2017 FMRs for these
areas became effective on January 9, 2017 (https://www.huduser.gov/portal/datasets/fmr/fmr2017/Areas-Where-FY2017-FMRs-become-effective.pdf).
Most of the other comments discussed inaccuracies of the FMRs and a
need for more current data. Several of the comments addressed HUD's
specific request for public comment on ``on what should be considered
`material changes' in FMR estimation methods for purposes of triggering
public notice and comment under HOTMA.'' \1\ In addition, there was a
request for a change in a geographic area definition for a metropolitan
area in which parts of the area are not contiguous. HUD has summarized
the comments where possible and provides responses to these comment
groups in greater detail below.
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\1\ HOTMA is the Housing Opportunities Through Modernization Act
of 2016 (Pub. L. 114-201, approved July 29, 2016).
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General Comments
Comments: FMRs do not represent accurate on-the-ground rental
market prices. The accuracy of FMRs is a function of the underlying
data set and
[[Page 15712]]
the methodology used to convert the data set to the FMRs, and the
source of the data is unchanged from last year.
HUD Response: The American Community Survey (ACS) continues to be
the primary source of gross rent data used in the calculation of the
FMRs as it is the only known statistically reliable data source that
provides comprehensive information on gross rents paid collected in a
consistent manner nationwide. The ACS data HUD acquires is adjusted for
housing quality and calculated at the 40th percentile rent for the FMR
areas. HUD does point out that the data used to calculate FY 2017 FMRs
is one year more current than the data used to calculate FY 2016 FMRs.
HUD uses the most current ACS data available when calculating the FMRs.
As an example, consider the publication timeline for the FY 2017 FMRs.
The FY 2017 FMRs were calculated in June and July of 2016 for
publication in August 2016, but the 2015 ACS data was not released
until September through December of 2016. Therefore, during calculation
of FY 2017 FMRs, the 2014 ACS data was the most current available ACS
data. HUD augments the most current available ACS data with the annual
change in gross rents measured by the Bureau of Labor Statistics'
Consumer Price Index (measured between 2014 and 2015 in the FY 2017 FMR
example), and a forecasted trend factor to align the calculated FMRs
with the Fiscal Year for which the FMRs are effective.
Comments: Inaccurate FMRs have strong negative impacts on PHAs'
ability to serve Housing Choice Voucher (HCV) participants. Low-income
families that rely on the HCV program will feel the greatest impact in
areas where the published FMRs are too low relative to actual costs.
These low FMRs cause cost burdens for voucher-assisted households to
increase, sometimes to the point of forcing low-income families to seek
housing in areas with greater concentrations of poverty and lower-
quality housing stock.
HUD Response: HUD is aware of the impacts when FMRs are too high or
too low and strives to limit inaccuracies and year-to-year fluctuations
in FMRs. HUD continually reviews its methodology and expects to propose
changes in a future Federal Register notice.
Comments: HUD's previous statements about making further changes
that would be reflected in its FY 2017 FMRs, were not acted upon. There
are erratic fluctuations in FMR values within the same bedroom size in
the same county, in opposite directions year over year, which do not
accurately reflect many local housing markets. There are fluctuations
in FMR values in opposite directions between different bedroom sizes
within the same year and there are erratic fluctuations in opposite
directions year over year that have had the effect of largely
cancelling each other out over this three-year period, in a way that
does not accurately reflect gross rent values in many rental housing
markets. This commenter also expressed concern in the large variations
in differences between the FY 2017 Unadjusted rents and the FY 2017
Final FMRs.
HUD Response: HUD's initial plan for Proposed FY 2017 FMRs included
several changes to the FMR calculation methods to address these
criticisms of FMRs; however, with the enactment of the Housing
Opportunities Through Modernization Act (HOTMA) (Pub. L. 114-201,
approved July 29, 2016) which changed the FMR publication process,
there was insufficient time to publish a notice of proposed material
change, review comments, and post FY 2017 FMRs with a 30-day delayed
effective date (as is all now required), and still meet the mandated
October 1, 2016 effective date for FY 2017 FMRs (which is unchanged).
Therefore, HUD published FY 2017 FMRs with no methodology changes, and
expects to propose them in a forthcoming notice.
HUD implemented the state non-metropolitan minimum FMR standard to
ensure that voucher holders have access to suitable rental housing
units where the rent paid is sufficient to cover the long-term
operating and capital requirements for the dwelling. Areas where the
state non-metropolitan minimum rent is applied have ACS-based
unadjusted rents that are below a reasonable level for these long-term
commitments.
State non-metropolitan minimum rents are calculated as the
population weighted median 2 bedroom rent calculated from the data
specific to each non-metropolitan county in a state. The Final 2
bedroom FMR for an area becomes the state non-metropolitan minimum if
the rent calculated based on the county level data is below the
minimum; therefore, depending on the distribution of county-level
unadjusted rents, certain counties could have considerable differences
between their unadjusted rent and their published FMR. Unadjusted rents
are made available to PHAs solely for the purpose of setting flat rents
for their public housing portfolios.
Comments: FMRs are deeply flawed and the changes HUD has taken
regarding annual adjustment factors are still insufficient. Actions
taken by the Senate Appropriations Committee are an attempt to force
HUD to make deeper and broader improvements to its FMRs. The Senate FY
2017 THUD-Appropriations bill (Pub. L. 114-223, approved on September
29, 2016) appropriates $41.5 million to HUD to pay for local rental
market surveys of areas affected by changing economic conditions and
natural disasters.
HUD Response: The funds in the Senate appropriations bill
referenced by the commenter are for the American Housing Survey, which
focuses on housing quality and other demographic issues rather than
rents. This is a longitudinal survey with limited local data and the
funds cannot be redirected for rent surveys in areas affected by
changing economic conditions and natural disasters. The HUD
appropriations previously used to conduct rent surveys to adjust FMRs
have not been made since 2012.
Comments: Ever since HUD used its discretionary authority to adopt
each new OMB area for FMR purposes, starting in FY 2006, HUD's rent
estimates have gone haywire. To calculate the FY 2016 FMRs, HUD
incorporated OMB's latest metropolitan area definition from 2013. As a
result, there are counties previously designated by HUD as non-metro
that HUD subsequently designated as metropolitan and vice-versa. HUD's
FMR areas and SAFMR areas artificially inflate rent values in non-
metropolitan areas and artificially deflate FMR values in metropolitan
areas.
HUD Response: In 2006, when HUD applied OMB's new metropolitan area
definitions based on the 2000 Decennial Census to the FMRs, HUD was
following longstanding past practice. HUD modified FMR areas in
accordance with updated OMB area definitions after the 1980, and 1990
Decennial Censuses. HUD's incorporation of the 2010 Decennial Census-
based area definitions into the FY 2016 FMRs continued HUD's
longstanding past practices. The updated OMB area definitions' changes
in area geography, and especially changes from non-metropolitan to
metropolitan area designations, are important in providing consistency
across all federal programs. HUD specifically considers the impact of
area definition changes on Fair Market Rent levels and other program
parameters when implementing metropolitan area definition changes, and
specifically deviates from OMB definitions to prevent large changes
when sufficient local data is available.
Comments: HUD should use more timely data when calculating FMRs.
HUD should work to develop a method to incorporate more recent data
into its
[[Page 15713]]
published FMRs rather than continue to rely on PHA-funded studies to
correct inaccuracies in FMRs. The ACS five-year and one-year datasets
do not possess adequate external validity for calculating current non-
regulated rents for all FMR areas. Additionally, the ACS dataset fails
to capture key data on housing quality to ensure that calculations are
based on the relevant population. This omission greatly alters the FMR
estimates and leads to underestimation of the current housing costs.
PHAs are not well suited to conduct surveys and compile sophisticated
statistical analyses. This is a function that would be better suited
for HUD's Office of Policy Development and Research (PD&R).
HUD Response: There is no other data on gross rents paid that is
consistently collected on a nationwide basis, available to HUD, and
more timely than the ACS dataset. HUD recognizes the housing quality
data limitations of the ACS dataset and uses a combination of ACS
survey responses and a public housing ``cut-off'' rent calculated from
HUD administrative data to identify and eliminate these low rent units
from the distribution of gross rents paid before a 40th percentile rent
is calculated. The rationale for using this ``cut-off'' rent is that
units with gross rents below these amounts are either of insufficient
quality to meet the housing quality standards for units occupied by
voucher holders, or are representative of an assisted tenant's out of
pocket expenses and not a true measure of the market gross rent for the
unit. Eliminating these units from the distribution before the 40th
percentile rent is calculated raises the 40th percentile rent for the
area. As discussed earlier, HUD currently lacks funding and the
mechanisms necessary to collect rent data by a more specialized survey
method.
Comments: The effective date for new FMRs should be 60 days from
publication, not 30 days. HUD has offered only a 30-day period for PHAs
to submit a request for reevaluation of the FMR for their regions. HUD
should provide at least 60 days for PHAs to make a reevaluation
request. Further, PHAs should be able to choose to continue to use the
prior year FMR or use the new FMR for which they requested a
reevaluation. Otherwise, a PHA seeking reevaluation whose FMR has
increased is, in effect, penalized for requesting reevaluation because
it must continue to use the prior year's lower FMR.
HUD Response: HOTMA requires that FMRs become effective no less
than 30 days following their publication. In order to provide
additional time for PHAs to implement newly effective FMRs, HUD's Small
Area FMR rule (81 FMR 80567) provides that all PHAs have up to three
months from the date when the new FMRs go into effect in which to
update their payment standards if a change is necessary to fall within
the basic range of the new FMRs. Regarding the timing of reevaluation
requests, the FY 2017 FMRs were delayed due to the HOTMA-mandated
changes in FMR publication requirements and procedures. Based on timing
constraints, HUD provided the longest window possible for making the FY
2017 FMRs effective and for providing a request for FMR reevaluation.
Finally, provisions within HOTMA govern the process for FMR
reevaluation requests. Specifically, HOTMA states: ``The Secretary
shall establish a procedure for public housing agencies and other
interested parties to comment on such fair market rentals and to
request, within a time specified by the Secretary, reevaluation of the
fair market rentals in a jurisdiction before such rentals become
effective.'' [emphasis added]. Therefore, HUD may not make the newly
calculated FMRs effective when a valid reevaluation request is
received. Practically speaking, allowing a PHA to use the higher of the
previous year or current year FMR would also create significant issues
for quality control and program audit activities.
Comments: HUD should allow interested stakeholders to comment on
the utility component of FMRs. We recommend that HUD provide PHAs with
the utility data it gathers from the annual FMR calculations so that
PHAs may evaluate the percentage change in the utility component from
year to year.
HUD Response: HUD receives ACS data on gross rents paid from the
Census Bureau to determine FMRs. The utility component is embedded in
this gross rent and not separately available. The inflation adjustments
HUD applies to the ACS data includes indices for rent and utilities.
While the rent and utility inflation indices can be found in the FMR
documentation system, they only serve to inflate the gross rents HUD
receives from the ACS, and are not separate estimates of the utility
component of gross rent. Section 108 of HOTMA charges HUD with
collecting data on utility consumption and costs in local areas to the
extent that HUD can do so cost efficiently. HUD is reviewing what can
be accomplished cost efficiently and will release these data when they
become available.
Comments: HUD should take an expansive view of what constitutes a
``material change'' in FMR estimation methods. It is unlikely that HUD
can predict the impact of changes in FMR methodology for every FMR
geography. The ``material change'' criteria should not be based on
either the number of FMR areas impacted or a triggering threshold based
on the number of areas whose FMRs would change by a certain percentage
before HUD is required to get comments on a ``material change''. Only
changes that impact how a PHA can spend money (since PHA payment
standards are based on FMRs) should be required to be considered
material.
HUD Response: HUD appreciates this comment and HUD is taking an
expansive view on what constitutes a ``material change'' and intends to
provide an opportunity for public comment on all FMR methodological
changes in forthcoming proposed notices of material changes in FMR
calculations. Moreover, HUD points out that most method changes do not
occur in one direction and are not static. That is, FMRs in some areas
will go up and some areas will go down as a result of calculation
changes, and these changes may mean that an area that went up one year
will go down the next year.
Comments: HUD should consider smoothing-out the sharp swings in
rents from the year-to-year caused by year-to-year changes in the
determination of the recent mover factor. Such large changes affect
planning and management efforts.
HUD Response: HUD may assess the need to propose changes to the FMR
estimation methodology related to data integrity in a forthcoming
notice of Proposed Material Change that should reduce such large year-
to-year swings that can arise from the one-year recent mover data.
Comments: The bonuses for three-bedroom, four-bedroom and higher
bedroom-count units, ostensibly to help the largest and most difficult-
to-house families find units, should not be used without qualification.
HUD's policy signals to every developer that a greater profit is to be
found in the production of high bedroom-count units. The per-room rent
differential offered by HUD for a three-bedroom unit is five times as
attractive (per room) as the one offered for a single-bedroom unit, and
thus hinders our ability to respond to local housing market conditions.
HUD Response: The bonuses applied to the ratios used to calculate
the FMRs for higher bedroom-count units have been an important means of
serving the relatively small group of large-sized families dependent on
vouchers. While HUD appreciate the comment, HUD does not believe the
bonuses should be eliminated, even for certain areas.
[[Page 15714]]
Comments Specific to Puerto Rico
Comments: HUD should not use multiple non-contiguous geographical
areas as an FMR Area nor apply a single FMR to non-adjacent
geographical areas. HUD's use of non-contiguous county equivalents
(municipios) in a metropolitan area does not conform to the adjacency
standard governing the designation of metropolitan and nonmetropolitan
areas.
HUD Response: The county removed from the Barranquitas Aibonito-
Quebradillas FMR area was not removed because it is not a contiguous
area, it was removed because OMB removed it from this metropolitan
area. OMB kept the remaining non-contiguous county (municipio),
Maunabo, in the metropolitan area, and did not follow the adjacency
criteria for this metropolitan area. Both counties (municipios) have
been in the metro area at least as far back as 2006. Functionally,
removing Maunabo Municipio from the current FMR area will not change
the effective FMR for the municipio as there is insufficient data to
calculate a stand-alone FMR for the municipio and the state non-
metropolitan minimum would still be used.
Comments: The use of the Consumer Expenditure Survey (CES) heat use
index as a proxy to adjust the ``Rent of primary residence'' statistic
to remove the influence of utilities has a depressing effect in a
tropical area.
HUD Response: HUD's longstanding use of the CES heat use index
helps HUD estimate the portion of gross rent attributable to shelter
cost and the portion attributable to utility costs. The commenter
suggests that HUD's methodology has the effect of lowering FMRs in
tropical areas. However, given recent economic trends, increasing the
influence of utility costs in the calculation of gross rents in Puerto
Rico at this time would further depress rents, not raise them. More
fundamentally, HUD's use of the heat use index to ``remove'' the
influence of utilities from the ``rent of primary residence component''
of gross rents is necessary because the rent of primary residence index
captures some utility costs for units where utilities are included in
the rent payment. Therefore, HUD must determine how much utility costs
are embedded in the rent of primary residence so as to not double count
the influence of utility costs changes when constructing a gross rent
inflation factor.
To summarize how the CES heat use index is used in the calculation
of FMRs: FMRs are gross rent estimates. Gross rents include the cost of
the shelter plus the cost of the necessary utilities for the dwelling
unit. In order to produce an FMR that comports with the statutory
requirements of calculating the FMRs ``based on the most recent
available data trended so the rentals will be current for the year to
which they apply,'' HUD uses data from the American Community Survey on
gross rents paid, updated by the change in gross rents measured through
the CPI and trended using a national forecast of expected growth in
gross rents. In order to calculate a gross rent increase factor using
CPI data, HUD must determine how to combine the CPI's measurement of
the ``rent of primary residence'' and the ``fuels and utilities''
component of Housing. This step is complicated by the fact that some of
the rents reported in the survey used to generate the CPI data for
``rent of primary residence'' already include utility costs. To cleanly
separate the two components of ``rents'' and ``utilities,'' it is
necessary to factor out any utility costs reported as rents. HUD uses
the CES heat use index to estimate this amount.
Several years ago, HUD began using CPI ``rent'' and ``utilities''
components measured solely for Puerto Rico to calculate Puerto Rico's
gross rent increase factor. However, because no local measure is known
to exist that could serve as the equivalent of the CES heat use index,
HUD uses the South Census Region CES information as a proxy in Puerto
Rico. For the relevant time period (2014 to 2015), the ``rent of
primary residence'' statistic measured across all of Puerto Rico
increased by 0.47 percent while the ``fuels and utilities'' component
of housing declined by 14.75 percent. Given the large decrease in fuels
and utilities measured in Puerto Rico, every combination of the two CPI
components to obtain a measurement of the change in gross rents where
the weight on the ``rent of primary residence'' component is 95 percent
or less for Puerto Rico yields an overall negative CPI update factor
(less than 1). Therefore, as stated above, increasing the influence of
utility costs in the calculation of gross rents in Puerto Rico in 2017
would further depress rents, not raise them.
III. Environmental Impact
This Notice makes changes in FMRs for two FMR areas and does not
constitute a development decision affecting the physical condition of
specific project areas or building sites. Accordingly, under 24 CFR
50.19(c)(6), this Notice is categorically excluded from environmental
review under the National Environmental Policy Act of 1969 (42 U.S.C.
4321).
Dated: March 23, 2017.
Matthew E. Ammon,
General Deputy Assistant Secretary for Policy Development & Research.
[FR Doc. 2017-06298 Filed 3-29-17; 8:45 am]
BILLING CODE 4210-67-P