Fair Market Rents for the Housing Choice Voucher Program and Moderate Rehabilitation Single Room Occupancy Program Fiscal Year 2018; Revised, 7205-7208 [2018-03398]
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Federal Register / Vol. 83, No. 34 / Tuesday, February 20, 2018 / Notices
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Dated: February 12, 2018.
Sylvia L. Neal,
Program Analyst, Office of Federal Advisory
Committee Policy.
[FR Doc. 2018–03320 Filed 2–16–18; 8:45 am]
BILLING CODE 4140–01–P
DEPARTMENT OF HOUSING AND
URBAN DEVELOPMENT
[Docket No. FR–6021–N–03]
Fair Market Rents for the Housing
Choice Voucher Program and
Moderate Rehabilitation Single Room
Occupancy Program Fiscal Year 2018;
Revised
Office of the Assistant
Secretary for Policy Development and
Research, HUD.
ACTION: Notice of revised fiscal year (FY)
2018 fair market rents (FMRs) and
discussion of comments on FY 2018
FMRs.
AGENCY:
This notice updates the FY
2018 FMRs for eight areas based on new
survey data: Hawaii County, HI; Hood
River County, OR; Jonesboro, AR HUD
Metro FMR Area (HMFA); Santa CruzWatsonville, CA Metropolitan Statistical
Area (MSA); Santa Maria-Santa Barbara,
CA MSA; Seattle-Bellevue, WA HMFA;
Urban Honolulu, HI MSA; and, Wasco
County, OR. All comments received on
the FY 2018 FMRs are also discussed.
DATES: Applicability: The revised FY
2018 FMRs for these eight areas are
applicable beginning March 22, 2018.
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
SUMMARY:
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 website:
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 2018 FMR
documentation system at https://
www.huduser.gov/portal/datasets/
fmr.html#2018_query and 50th
percentile rents for all FMR areas are
published at https://www.huduser.gov/
portal/datasets/50per.html.
On
September 1, 2017 HUD published the
FY 2018 FMRs, requesting comments on
the FY 2018 FMRs, and outlining
procedures for requesting a reevaluation
of an area’s FY 2018 FMRs (82 FR
41637). This notice revises FY 2018
FMRs for eight 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.
SUPPLEMENTARY INFORMATION:
I. Revised FY 2018 FMRs
The FMRs appearing in the following
table supersede the use of the FY 2017
FMRs for these eight areas. The updated
FY 2018 FMRs are based on surveys
conducted by the area public housing
agencies (PHAs) and reflect the
estimated 40th percentile rent levels
trended to April 1, 2018.
The FMRs for the affected area are
revised as follows:
FMR by number of bedrooms in unit
2018 Fair market rent area
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0 BR
Hawaii County, HI ................................................................
Hood River County, OR .......................................................
Jonesboro, AR, HMFA .........................................................
Santa Cruz-Watsonville, CA MSA .......................................
Santa Maria-Santa Barbara, CA MSA .................................
Seattle-Bellevue, WA HMFA ................................................
Urban Honolulu, HI MSA .....................................................
Wasco County, OR ..............................................................
The FY 2018 FMRs are amended and
are available on the HUD USER website:
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1 BR
877
696
493
1,253
1,393
1,363
1,352
708
1,009
901
613
1,477
1,636
1,529
1,527
798
https://www.huduser.gov/portal/
datasets/fmr.html. The FY 2018 Small
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2 BR
3 BR
1,322
1,090
743
1,965
1,917
1,878
2,031
1,062
1,663
1,586
1,046
2,615
2,603
2,719
2,954
1,440
4 BR
1,936
1,739
1,047
2,961
3,030
3,219
3,525
1,835
Area FMRs (SAFMRs) for the revised
metropolitan areas have also been
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updated and may be found at https://
www.huduser.gov/portal/datasets/fmr/
smallarea/.
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II. Public Comments on FY 2018 FMRs
A total of 18 comments were received
and posted on regulations.gov, https://
www.regulations.gov/docketBrowser?
rpp=25&so=DESC&sb=commentDue
Date&po=0&dct=PS&D=HUD-20170051. Fifteen of these comments were
requests for reevaluation of the FY 2018
FMRs. HUD granted requests for
reevaluation for 13 FMR areas, and
rejected one area’s request, by
Department of Human Services for
Monmouth County, NJ, because this
requestor did not administer at least half
of the housing choice voucher families
as required. HUD discussed these
requests for reevaluation in a posting
available at https://www.huduser.gov/
portal/datasets/fmr.html#2018_data.
These 13 areas continued to use FY
2017 FMRs until the PHAs provided
local survey rent data, which was due
no later than January 5, 2018. Only eight
of these 13 areas have continued to use
FY 2017 FMRs because they provided
sufficient data. HUD published a list of
the five FMR areas not providing data
on January 8, 2018 stating that the FY
2018 FMRs become applicable on
January 8, 2018 (https://
www.huduser.gov/portal/datasets/
fmr.html#2018_data). This notice
provides the reevaluated FY 2018 FMRs
for these eight areas.
General Comments
Most of the comments discussed
inaccuracies of the FMRs and a need for
more current and local data. There were
also comments on HUD’s methodology,
especially HUD’s failure to use more
local forecasts for the trend factor and
a request to use vacancy data to adjust
FMRs. Several commenters also asked
HUD to agree to use FMRs revised by
PHA surveys for three years as FMRs
and as an input to the Renewal Funding
Inflation Factors. These comments and
their responses are discussed in greater
detail below.
Comment: FMRs do not represent
accurate on-the-ground rental market
prices. The accuracy of FMRs is a
function of the underlying data set and
the methodology used to convert the
data set to the FMRs, and the source of
the data is unchanged from last year.
More current and more local data
should be used.
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
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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
2018 FMRs is one year more current
than the data used to calculate FY 2017
FMRs. HUD uses the most current ACS
data available when calculating the
FMRs. As an example, consider the
publication timeline for the FY 2018
FMRs. The FY 2018 FMRs were
calculated in June and July of 2017 for
publication by September 2017, but the
2016 ACS data was not released until
September through December of 2017.
Therefore, during calculation of FY
2018 FMRs, the 2015 ACS data was the
most current available ACS data. FMRs
use a 40th percentile standard quality
gross rent paid by recent movers, which
requires a special tabulation from the
Census that is provided by June of the
year following the release of the 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 (CPI), measured between
2015 and 2016 for the FY 2018 FMR,
and a forecasted trend factor to align the
calculated FMRs with the Fiscal Year
for which the FMRs are applicable.
Comment: HUD should use local and
regional forecasts of the CPI rather than
national forecasts.
HUD Response: HUD has evaluated
the use of more local forecasts for a
trend factor, but has only been able to
develop forecasts based on national
inputs. The lack of consistent local data
reduces the effectiveness of the local
forecast.
Comment: HUD’s use of Office of
Management and Budget (OMB)
metropolitan area definitions continues
to be a problem in setting FMRs. HUD
should not have changed the area
definitions in FY 2006 based on the new
OMB definitions and this change is
continued through the changes to area
definitions for FY 2016. HUD has the
discretion to not accept the OMB
definition changes and should exercise
this discretion rather than continue to
follow its past practice of updating area
definitions with the OMB changes.
HUD Response: While the commenter
is correct that HUD is not required to
adopt OMB metropolitan area
definitions for the calculation of FMRs,
HUD believes there are compelling
reasons to continue to use these area
definitions. OMB defines metropolitan
areas primarily based on commuting
interchange patterns that also offer a
good approximation of areas within
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which housing units are in competition
with one another. These patterns change
over time with growth and decline in
jobs and populations. HUD’s use of
updated OMB metropolitan area
definitions in estimating FMRs
recognizes these changes in housing
markets. The commuting interchange
patterns coupled with other factors
comprise the standards that have come
to be known as ‘‘core based statistical
areas’’ (75 FR 37246).1 The core based
statistical areas are the metropolitan and
micropolitan statistical areas published
by OMB. For the purposes of calculating
and publishing FMRs, HUD uses the
metropolitan statistical areas (and
subdivisions thereof) delineated using
the core based statistical area standards.
Further, the accuracy of the annual
FMR values lies in the accuracy of the
underlying statistical information used
to calculate the FMRs. As HUD has
established numerous times, the only
known source of information on gross
rents paid that is collected and
distributed in a consistent manner
across the country is the American
Community Survey (ACS). As stated by
OMB, ‘‘The purpose of the Metropolitan
and Micropolitan Statistical Area
standards is to provide nationally
consistent delineations for collecting,
tabulating, and publishing Federal
statistics for a set of geographic areas’’
(75 FR 37249). The ACS uses the OMB
metropolitan area definitions in
collecting its rent (and other) data.
Therefore, it is imperative that HUD
continue to base the FMR calculations
on OMB metropolitan area definitions,
as updated.
The commenter also asserts that
HUD’s continued use of OMB
metropolitan area definitions ‘‘remain
one of the biggest contributors to erratic
and by extension inaccurate FMR and
SAFMR estimates.’’ HUD has employed
numerous strategies to address the
accuracy and to attenuate the variability
in the FMRs precisely due to changes in
metropolitan area definitions. For
example, HUD modified the OMBdefined metropolitan areas in the FY
2006 FMR implementation if the
underlying gross rent or area median
family income data exhibited more than
a five percent difference in the subject
area’s FMR or area median family
income calculation. More recently, HUD
has discontinued the practice of using
metropolitan area wide base rents, when
local values are statistically reliable, for
counties newly added to metropolitan
areas. HUD uses data specific to the
1 2010 Standards for Delineating Metropolitan
and Micropolitan Statistical Areas; Notice. Federal
Register, June 28, 2010.
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county when available and uses the
smallest encompassing geography for
recent mover gross rent update factors
and CPI update factors when local data
is not available.
Comment: HUD should use more
timely data when calculating FMRs.
HUD should work to develop a method
to incorporate more recent data into its
published FMRs rather than continue to
rely on PHA-funded studies to correct
inaccuracies in FMRs. 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, that is more current
than the data we receive from 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.
Propriety rental data cannot be used in
establishing FMRs because it is not
consistently available for all areas and is
not statistically representative of the
market it covers. Some of these sources
focus on rents for major apartment
projects only. Other sources that include
single family homes, which are at least
30 percent of the rental market in major
metropolitan areas and a greater portion
in rural areas, are typically compiled
from internet-based ads. These online
listings of rents are akin to newspaper
ads and newspaper ads have been
excluded as a source of rent data for
FMRs since the mid-1980s due to a
directive issued by HUD’s Inspector
General.
HUD currently lacks funding to
conduct surveys of area rents to adjust
FMRs. HUD would need to obtain
budget authority to conduct surveys as
well as OMB approval under the
Paperwork Reduction Act for the survey
mechanism. HUD is subject to stricter
federal rules for conducting surveys
than PHAs, which means that it would
take longer for HUD to pass these
hurdles before being able to conduct
surveys. HUD would also likely have to
weigh competing needs for surveys
based on a limited budget. HUD has
provided technical assistance,
significant at times, in compiling and
analyzing the data collected by PHAs.
Comment: Allow PHAs to use other
survey methodologies for at least half of
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the FMR Area. HUD should allow PHAs
to conduct valid rent studies for their
portion of an FMR area for the purposes
of appealing the portion of the FMR in
their service area and for RFIF purposes.
These agencies do not have the
necessary funding to conduct or secure
services to conduct rental market survey
for the entire FMR area.
HUD Response: FMRs are area-wide
assessments of the 40th percentile of
gross rents paid by recent movers for
standard quality housing units. Surveys
or other methods of collecting data in a
portion of the metropolitan area may not
be representative of rents across the
entire area. Issues pertaining to FMRs in
portions of the FMR area are best
addressed through Exception Payment
Standards which are defined at 24 CFR
982.503. HUD requires PHAs
representing at least half of the voucher
holders in a given FMR area to
acknowledge and agree that a survey is
necessary because the FMR directly
impacts the PHAs’ administration of
their HCV program. HUD includes this
requirement to ensure that the decision
to request an FMR reevaluation is
supported by PHAs that administer at
least half of the vouchers under lease in
the metropolitan area.
Comment: HUD should use valid rent
studies in FMRs, small area FMRs
(SAFMRs) and renewal funding
inflation factors (RFIF) for three years.
Depending on the date on which HUD
approved a PHA’s rent survey, HUD’s
use of that data in subsequent years
resulted in a dilution of its value for
purposes of determining RFIFs for areas.
HUD Response: HUD will use the rent
surveys conducted by PHAs to modify
FMRs for such time until the majority of
the ACS data supersedes the survey. For
a large metropolitan area where the
FMR is estimated from local one-year
ACS data, the survey can be used until
the ACS data is of the same year (for
those conducted up through June), and
in the following year for those
conducted from July and on. For smaller
areas that rely on five-year ACS data,
they will continue to have FMRs based
on the local survey until more than half
of the five-year ACS data is newer,
which means they will be used for more
than three years.
Historically, HUD has included
survey-based FMRs in the next RFIF
calculation following the applicability
date of the newly revised FMRs. In some
cases, the year of the RFIF containing
the initial survey based FMR matches
the year of the first implementation of
the survey and in other cases the survey
based FMR is included in the following
year’s RFIF calculation. Regardless of
when the survey based FMR is included
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in the RFIF calculation, the surveybased FMRs remain part of the
calculation until the survey is no longer
used in the calculation of the FMRs.
Comment: PHAs should freeze FMRs
and payment standards during FMR
appeals. PHAs should be awarded HAP
funds upon successful appeal of
changes to the HUD-approved inflation
factor adjustment.
HUD Response: The Housing
Opportunities Through Modernization
Act (HOTMA) specifies that newly
posted FMRs do not go into effect in
areas that have initiated valid
reevaluation requests. Existing FMRs
remain in effect until the reevaluation
process is complete and reevaluated
FMRs have been posted and become
applicable. With regards to the portion
of the comment concerning the
awarding of HAP funds, reevaluated
FMRs are included in the next
calculation of RFIFs following the end
of the reevaluation process. Should the
renewal funding calculations and
awards occur before the reevaluation
process is complete, under current HUD
policy, the survey-based FMR increase
is incorporated into the calculation of
the RFIFs in the following year.
Comment: HUD should request a
reallocation of a portion of the $41.5
million that the Department receives so
that it can begin to conduct its own rent
studies.
HUD Response: The budget item of
$41.5 million covers the cost of
conducting the American Housing
Survey, the Survey of Construction, the
Survey of Market Absorption, the Rental
Housing Finance Survey, and the
Manufactured Housing Placement
Survey. There are no excess funds in
that amount that could be used to
conduct area rent surveys to adjust
FMRs, so additional funds would have
to be made available for area rent
surveys. HUD would also need a
contract to spend these additional funds
for surveys and would have to receive
approval under the Paperwork
Reduction Act from OMB (required for
any data collection activity of 10 or
more respondents (in this case tenants)).
Comment: For certain rural areas the
FMR is too high.
HUD Response: Unfortunately, in
many cases these are small areas that do
not have enough ACS data for locally
calculated FMRs. These areas typically
have FMRs set at the state minimum
FMR. Where available, HUD publishes
the rents below the state minimum for
use as public housing flat rents. A PHA
that believes the FMR for a rural county
is too high for purposes of HCV
administration may request HUD
approval to establish a payment
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standard lower than the basic range in
accordance with 24 CFR 982.503(d).
Comment: The zero bedroom and onebedroom FMRs are the same. Please
verify.
HUD Response: This is correct. HUD
does not allow the zero-bedroom FMR
to be greater than the one-bedroom
FMR, so where it would be higher, it is
set at the one-bedroom FMR. Zerobedroom units, or efficiencies, represent
a much smaller segment of the rental
market population than one-bedroom
units and their rents may be skewed in
some areas by a preponderance of the
units in newer buildings and/or
buildings with better amenities.
Comment: Small Area FMRs should
not be required. SAFMRs will increase
the complexity in administering the
voucher program by increasing the
number of payment schedules. Also,
many ZIP Codes where voucher holders
live have lower SAFMRs that will force
voucher holders out of neighborhoods
where they have lived their entire lives
to areas away from their support groups.
HUD Response: Small Area FMRs
(SAFMRs) are required in the
administration of the housing choice
voucher (HCV) program in a limited
number of metropolitan areas where
voucher holders are highly concentrated
in areas of concentrated low income and
where SAFMRs are likely to be an
effective tool in helping HCV holders
access units in higher opportunity areas.
HUD included provisions in the
SAFMR rule to provide PHAs the ability
to maintain payment standards at
current levels for in-place tenants
should the PHA choose to do so.
To assist with the administrative
complexity of converting to SAFMRs,
HUD has tasked a Technical Assistance
provider to develop training materials
and to conduct in-person trainings for
all PHAs who are required to implement
SAFMRs.
sradovich on DSK3GMQ082PROD with NOTICES
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: February 13, 2018.
Todd M. Richardson,
Deputy Assistant Secretary, Office of Policy
Development, Office of Policy Development
and Research.
[FR Doc. 2018–03398 Filed 2–16–18; 8:45 am]
BILLING CODE 4210–67–P
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DEPARTMENT OF HOUSING AND
URBAN DEVELOPMENT
[Docket No. FR–7009–N–01]
Privacy Act of 1974, System of
Records; Notice: Comprehensive
Servicing and Management System
Office of Asset Management
and Portfolio Oversight (OAMPO), HUD.
ACTION: Notice of a new system of
records.
AGENCY:
In accordance with the
Privacy Act of 1974, the Department of
Housing and Urban Development
(HUD), Office of Asset Management and
Portfolio Oversight (OAMPO) provides
public notice that it proposes to
establish a new system, Department of
Housing and Urban Development
System of Records Titled,
‘‘Comprehensive Servicing and
Monitoring System (CSMS) P085’’.
DATES: March 22, 2018.
Comments Due Date: March 22, 2018.
ADDRESSES: You may submit comments,
identified by docket number and title,
by one of the following methods:
Federal e-Rulemaking Portal: https://
www.regulations.gov. Follow the
instructions provided on that site to
submit comments electronically.
Fax: 202–619–8365.
Email: privacy@hud.gov.
Mail: Attention: Housing and Urban
Development, Privacy Office; John
Bravacos, The Executive Secretariat; 451
Seventh Street SW, Room 10139;
Washington, DC 20410.
FOR FURTHER INFORMATION CONTACT: For
general questions please contact: John
Bravacos, SAOP, Department of Housing
and Urban Development, 451 Seventh
Street SW, Washington, DC 20410;
telephone number 202–708–1515 for
privacy issues please contact: Senior
Agency Official, John Bravacos.
SUPPLEMENTARY INFORMATION: This
system of records titled P085—
Comprehensive Servicing and
Monitoring System (CSMS), Department
of Housing and Urban Development
(HUD), Office of Asset Management and
Portfolio Oversight (OAMPO). P–085–
CSMS is operated by HUD’s OAMPO,
and includes personally identifiable
information (PII) provided on or about
families receiving rental housing
assistance, multifamily property
owners, multifamily vendors, and HUD
employees who have system access,
which information is retrieved by a
name or unique identifier. CSMS,
identified in HUD’s Inventory of
Systems as P085, supports the
accounting and asset management
functions for the Federal Housing
SUMMARY:
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Administration (FHA) an agency of the
US Department of Housing and Urban
Development. The system supports asset
servicing and accounting for HUD held
and HUD-owned multifamily assets and
is a subsidiary ledger to the FHA general
ledger. CSMS supports several
management and accounting functions
for these loans and properties, including
financial recordkeeping, performance
analysis, and status reporting for HUD’s
financial and business managers. CSMS
is a proprietary system that maintains
both Business Identifiable Information
(BII) and PII.
This system of records incorporates
Federal privacy requirements and HUD
policy requirements. The Privacy Act
provides certain safeguards for an
individual against an invasion of
personal privacy by requiring Federal
agencies to protect records in an agency
system of records from unauthorized
disclosure, ensure that information is
current for its intended use, and that
adequate safeguards are provided to
prevent misuse of such information. The
notice reflects the Department’s focus
on industry best practices in protecting
the personal privacy of the individuals
covered by each system notification.
This notice states the name and location
of the record system, the authority for
and manner of its operations, the
categories of individuals it covers, the
records it contains, the sources of the
information for those records, the
routine uses made of the records, and
the system of records exemption types.
In addition, the notice includes the
business address of the HUD officials
who will inform interested persons of
the procedures whereby they may gain
access to and/or request amendments to
records pertaining to them. The routine
uses that apply to this publication are
reiterated based on past publication to
clearly communicate the ways in which
HUD continues to conduct some of its
business practices. In accordance with 5
U.S.C. 552a(e)(4) and (11), HUD has
provided a report of this new system to
the Office of Management and Budget
(OMB), the Senate Committee on
Homeland Security and Governmental
Affairs, and the House Committee on
Oversight and Government Reform as
instructed by OMB Circular No. A–108,
‘‘Federal Agencies Responsibilities for
Review, Reporting, and Publication
under the Privacy Act.’’
SYSTEM NAME AND NUMBER
P085—COMPREHENSIVE
SERVICING AND MONITORING
SYSTEM (CSMS)
SECURITY CLASSIFICATION:
UNCLASSIFIED, BUT SENSITIVE
E:\FR\FM\20FEN1.SGM
20FEN1
Agencies
[Federal Register Volume 83, Number 34 (Tuesday, February 20, 2018)]
[Notices]
[Pages 7205-7208]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2018-03398]
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DEPARTMENT OF HOUSING AND URBAN DEVELOPMENT
[Docket No. FR-6021-N-03]
Fair Market Rents for the Housing Choice Voucher Program and
Moderate Rehabilitation Single Room Occupancy Program Fiscal Year 2018;
Revised
AGENCY: Office of the Assistant Secretary for Policy Development and
Research, HUD.
ACTION: Notice of revised fiscal year (FY) 2018 fair market rents
(FMRs) and discussion of comments on FY 2018 FMRs.
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SUMMARY: This notice updates the FY 2018 FMRs for eight areas based on
new survey data: Hawaii County, HI; Hood River County, OR; Jonesboro,
AR HUD Metro FMR Area (HMFA); Santa Cruz-Watsonville, CA Metropolitan
Statistical Area (MSA); Santa Maria-Santa Barbara, CA MSA; Seattle-
Bellevue, WA HMFA; Urban Honolulu, HI MSA; and, Wasco County, OR. All
comments received on the FY 2018 FMRs are also discussed.
DATES: Applicability: The revised FY 2018 FMRs for these eight areas
are applicable beginning March 22, 2018.
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
website: 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 2018 FMR documentation
system at https://www.huduser.gov/portal/datasets/fmr.html#2018_query
and 50th percentile rents for all FMR areas are published at https://www.huduser.gov/portal/datasets/50per.html.
SUPPLEMENTARY INFORMATION: On September 1, 2017 HUD published the FY
2018 FMRs, requesting comments on the FY 2018 FMRs, and outlining
procedures for requesting a reevaluation of an area's FY 2018 FMRs (82
FR 41637). This notice revises FY 2018 FMRs for eight 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 2018 FMRs
The FMRs appearing in the following table supersede the use of the
FY 2017 FMRs for these eight areas. The updated FY 2018 FMRs are based
on surveys conducted by the area public housing agencies (PHAs) and
reflect the estimated 40th percentile rent levels trended to April 1,
2018.
The FMRs for the affected area are revised as follows:
----------------------------------------------------------------------------------------------------------------
FMR by number of bedrooms in unit
2018 Fair market rent area -------------------------------------------------------------------------------
0 BR 1 BR 2 BR 3 BR 4 BR
----------------------------------------------------------------------------------------------------------------
Hawaii County, HI............... 877 1,009 1,322 1,663 1,936
Hood River County, OR........... 696 901 1,090 1,586 1,739
Jonesboro, AR, HMFA............. 493 613 743 1,046 1,047
Santa Cruz-Watsonville, CA MSA.. 1,253 1,477 1,965 2,615 2,961
Santa Maria-Santa Barbara, CA 1,393 1,636 1,917 2,603 3,030
MSA............................
Seattle-Bellevue, WA HMFA....... 1,363 1,529 1,878 2,719 3,219
Urban Honolulu, HI MSA.......... 1,352 1,527 2,031 2,954 3,525
Wasco County, OR................ 708 798 1,062 1,440 1,835
----------------------------------------------------------------------------------------------------------------
The FY 2018 FMRs are amended and are available on the HUD USER
website: https://www.huduser.gov/portal/datasets/fmr.html. The FY 2018
Small Area FMRs (SAFMRs) for the revised metropolitan areas have also
been
[[Page 7206]]
updated and may be found at https://www.huduser.gov/portal/datasets/fmr/smallarea/.
II. Public Comments on FY 2018 FMRs
A total of 18 comments were received and posted on regulations.gov,
https://www.regulations.gov/docketBrowser?rpp=25&so=DESC&sb=commentDueDate&po=0&dct=PS&D=HUD-2017-0051. Fifteen of these comments were requests for reevaluation of the
FY 2018 FMRs. HUD granted requests for reevaluation for 13 FMR areas,
and rejected one area's request, by Department of Human Services for
Monmouth County, NJ, because this requestor did not administer at least
half of the housing choice voucher families as required. HUD discussed
these requests for reevaluation in a posting available at https://www.huduser.gov/portal/datasets/fmr.html#2018_data.
These 13 areas continued to use FY 2017 FMRs until the PHAs
provided local survey rent data, which was due no later than January 5,
2018. Only eight of these 13 areas have continued to use FY 2017 FMRs
because they provided sufficient data. HUD published a list of the five
FMR areas not providing data on January 8, 2018 stating that the FY
2018 FMRs become applicable on January 8, 2018 (https://www.huduser.gov/portal/datasets/fmr.html#2018_data). This notice
provides the reevaluated FY 2018 FMRs for these eight areas.
General Comments
Most of the comments discussed inaccuracies of the FMRs and a need
for more current and local data. There were also comments on HUD's
methodology, especially HUD's failure to use more local forecasts for
the trend factor and a request to use vacancy data to adjust FMRs.
Several commenters also asked HUD to agree to use FMRs revised by PHA
surveys for three years as FMRs and as an input to the Renewal Funding
Inflation Factors. These comments and their responses are discussed in
greater detail below.
Comment: FMRs do not represent accurate on-the-ground rental market
prices. The accuracy of FMRs is a function of the underlying data set
and the methodology used to convert the data set to the FMRs, and the
source of the data is unchanged from last year. More current and more
local data should be used.
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 2018 FMRs
is one year more current than the data used to calculate FY 2017 FMRs.
HUD uses the most current ACS data available when calculating the FMRs.
As an example, consider the publication timeline for the FY 2018 FMRs.
The FY 2018 FMRs were calculated in June and July of 2017 for
publication by September 2017, but the 2016 ACS data was not released
until September through December of 2017. Therefore, during calculation
of FY 2018 FMRs, the 2015 ACS data was the most current available ACS
data. FMRs use a 40th percentile standard quality gross rent paid by
recent movers, which requires a special tabulation from the Census that
is provided by June of the year following the release of the 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 (CPI), measured between 2015 and 2016 for the FY 2018 FMR, and a
forecasted trend factor to align the calculated FMRs with the Fiscal
Year for which the FMRs are applicable.
Comment: HUD should use local and regional forecasts of the CPI
rather than national forecasts.
HUD Response: HUD has evaluated the use of more local forecasts for
a trend factor, but has only been able to develop forecasts based on
national inputs. The lack of consistent local data reduces the
effectiveness of the local forecast.
Comment: HUD's use of Office of Management and Budget (OMB)
metropolitan area definitions continues to be a problem in setting
FMRs. HUD should not have changed the area definitions in FY 2006 based
on the new OMB definitions and this change is continued through the
changes to area definitions for FY 2016. HUD has the discretion to not
accept the OMB definition changes and should exercise this discretion
rather than continue to follow its past practice of updating area
definitions with the OMB changes.
HUD Response: While the commenter is correct that HUD is not
required to adopt OMB metropolitan area definitions for the calculation
of FMRs, HUD believes there are compelling reasons to continue to use
these area definitions. OMB defines metropolitan areas primarily based
on commuting interchange patterns that also offer a good approximation
of areas within which housing units are in competition with one
another. These patterns change over time with growth and decline in
jobs and populations. HUD's use of updated OMB metropolitan area
definitions in estimating FMRs recognizes these changes in housing
markets. The commuting interchange patterns coupled with other factors
comprise the standards that have come to be known as ``core based
statistical areas'' (75 FR 37246).\1\ The core based statistical areas
are the metropolitan and micropolitan statistical areas published by
OMB. For the purposes of calculating and publishing FMRs, HUD uses the
metropolitan statistical areas (and subdivisions thereof) delineated
using the core based statistical area standards.
---------------------------------------------------------------------------
\1\ 2010 Standards for Delineating Metropolitan and Micropolitan
Statistical Areas; Notice. Federal Register, June 28, 2010.
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Further, the accuracy of the annual FMR values lies in the accuracy
of the underlying statistical information used to calculate the FMRs.
As HUD has established numerous times, the only known source of
information on gross rents paid that is collected and distributed in a
consistent manner across the country is the American Community Survey
(ACS). As stated by OMB, ``The purpose of the Metropolitan and
Micropolitan Statistical Area standards is to provide nationally
consistent delineations for collecting, tabulating, and publishing
Federal statistics for a set of geographic areas'' (75 FR 37249). The
ACS uses the OMB metropolitan area definitions in collecting its rent
(and other) data. Therefore, it is imperative that HUD continue to base
the FMR calculations on OMB metropolitan area definitions, as updated.
The commenter also asserts that HUD's continued use of OMB
metropolitan area definitions ``remain one of the biggest contributors
to erratic and by extension inaccurate FMR and SAFMR estimates.'' HUD
has employed numerous strategies to address the accuracy and to
attenuate the variability in the FMRs precisely due to changes in
metropolitan area definitions. For example, HUD modified the OMB-
defined metropolitan areas in the FY 2006 FMR implementation if the
underlying gross rent or area median family income data exhibited more
than a five percent difference in the subject area's FMR or area median
family income calculation. More recently, HUD has discontinued the
practice of using metropolitan area wide base rents, when local values
are statistically reliable, for counties newly added to metropolitan
areas. HUD uses data specific to the
[[Page 7207]]
county when available and uses the smallest encompassing geography for
recent mover gross rent update factors and CPI update factors when
local data is not available.
Comment: HUD should use more timely data when calculating FMRs. HUD
should work to develop a method to incorporate more recent data into
its published FMRs rather than continue to rely on PHA-funded studies
to correct inaccuracies in FMRs. 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, that is
more current than the data we receive from 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. Propriety rental data
cannot be used in establishing FMRs because it is not consistently
available for all areas and is not statistically representative of the
market it covers. Some of these sources focus on rents for major
apartment projects only. Other sources that include single family
homes, which are at least 30 percent of the rental market in major
metropolitan areas and a greater portion in rural areas, are typically
compiled from internet-based ads. These online listings of rents are
akin to newspaper ads and newspaper ads have been excluded as a source
of rent data for FMRs since the mid-1980s due to a directive issued by
HUD's Inspector General.
HUD currently lacks funding to conduct surveys of area rents to
adjust FMRs. HUD would need to obtain budget authority to conduct
surveys as well as OMB approval under the Paperwork Reduction Act for
the survey mechanism. HUD is subject to stricter federal rules for
conducting surveys than PHAs, which means that it would take longer for
HUD to pass these hurdles before being able to conduct surveys. HUD
would also likely have to weigh competing needs for surveys based on a
limited budget. HUD has provided technical assistance, significant at
times, in compiling and analyzing the data collected by PHAs.
Comment: Allow PHAs to use other survey methodologies for at least
half of the FMR Area. HUD should allow PHAs to conduct valid rent
studies for their portion of an FMR area for the purposes of appealing
the portion of the FMR in their service area and for RFIF purposes.
These agencies do not have the necessary funding to conduct or secure
services to conduct rental market survey for the entire FMR area.
HUD Response: FMRs are area-wide assessments of the 40th percentile
of gross rents paid by recent movers for standard quality housing
units. Surveys or other methods of collecting data in a portion of the
metropolitan area may not be representative of rents across the entire
area. Issues pertaining to FMRs in portions of the FMR area are best
addressed through Exception Payment Standards which are defined at 24
CFR 982.503. HUD requires PHAs representing at least half of the
voucher holders in a given FMR area to acknowledge and agree that a
survey is necessary because the FMR directly impacts the PHAs'
administration of their HCV program. HUD includes this requirement to
ensure that the decision to request an FMR reevaluation is supported by
PHAs that administer at least half of the vouchers under lease in the
metropolitan area.
Comment: HUD should use valid rent studies in FMRs, small area FMRs
(SAFMRs) and renewal funding inflation factors (RFIF) for three years.
Depending on the date on which HUD approved a PHA's rent survey, HUD's
use of that data in subsequent years resulted in a dilution of its
value for purposes of determining RFIFs for areas.
HUD Response: HUD will use the rent surveys conducted by PHAs to
modify FMRs for such time until the majority of the ACS data supersedes
the survey. For a large metropolitan area where the FMR is estimated
from local one-year ACS data, the survey can be used until the ACS data
is of the same year (for those conducted up through June), and in the
following year for those conducted from July and on. For smaller areas
that rely on five-year ACS data, they will continue to have FMRs based
on the local survey until more than half of the five-year ACS data is
newer, which means they will be used for more than three years.
Historically, HUD has included survey-based FMRs in the next RFIF
calculation following the applicability date of the newly revised FMRs.
In some cases, the year of the RFIF containing the initial survey based
FMR matches the year of the first implementation of the survey and in
other cases the survey based FMR is included in the following year's
RFIF calculation. Regardless of when the survey based FMR is included
in the RFIF calculation, the survey-based FMRs remain part of the
calculation until the survey is no longer used in the calculation of
the FMRs.
Comment: PHAs should freeze FMRs and payment standards during FMR
appeals. PHAs should be awarded HAP funds upon successful appeal of
changes to the HUD-approved inflation factor adjustment.
HUD Response: The Housing Opportunities Through Modernization Act
(HOTMA) specifies that newly posted FMRs do not go into effect in areas
that have initiated valid reevaluation requests. Existing FMRs remain
in effect until the reevaluation process is complete and reevaluated
FMRs have been posted and become applicable. With regards to the
portion of the comment concerning the awarding of HAP funds,
reevaluated FMRs are included in the next calculation of RFIFs
following the end of the reevaluation process. Should the renewal
funding calculations and awards occur before the reevaluation process
is complete, under current HUD policy, the survey-based FMR increase is
incorporated into the calculation of the RFIFs in the following year.
Comment: HUD should request a reallocation of a portion of the
$41.5 million that the Department receives so that it can begin to
conduct its own rent studies.
HUD Response: The budget item of $41.5 million covers the cost of
conducting the American Housing Survey, the Survey of Construction, the
Survey of Market Absorption, the Rental Housing Finance Survey, and the
Manufactured Housing Placement Survey. There are no excess funds in
that amount that could be used to conduct area rent surveys to adjust
FMRs, so additional funds would have to be made available for area rent
surveys. HUD would also need a contract to spend these additional funds
for surveys and would have to receive approval under the Paperwork
Reduction Act from OMB (required for any data collection activity of 10
or more respondents (in this case tenants)).
Comment: For certain rural areas the FMR is too high.
HUD Response: Unfortunately, in many cases these are small areas
that do not have enough ACS data for locally calculated FMRs. These
areas typically have FMRs set at the state minimum FMR. Where
available, HUD publishes the rents below the state minimum for use as
public housing flat rents. A PHA that believes the FMR for a rural
county is too high for purposes of HCV administration may request HUD
approval to establish a payment
[[Page 7208]]
standard lower than the basic range in accordance with 24 CFR
982.503(d).
Comment: The zero bedroom and one-bedroom FMRs are the same. Please
verify.
HUD Response: This is correct. HUD does not allow the zero-bedroom
FMR to be greater than the one-bedroom FMR, so where it would be
higher, it is set at the one-bedroom FMR. Zero-bedroom units, or
efficiencies, represent a much smaller segment of the rental market
population than one-bedroom units and their rents may be skewed in some
areas by a preponderance of the units in newer buildings and/or
buildings with better amenities.
Comment: Small Area FMRs should not be required. SAFMRs will
increase the complexity in administering the voucher program by
increasing the number of payment schedules. Also, many ZIP Codes where
voucher holders live have lower SAFMRs that will force voucher holders
out of neighborhoods where they have lived their entire lives to areas
away from their support groups.
HUD Response: Small Area FMRs (SAFMRs) are required in the
administration of the housing choice voucher (HCV) program in a limited
number of metropolitan areas where voucher holders are highly
concentrated in areas of concentrated low income and where SAFMRs are
likely to be an effective tool in helping HCV holders access units in
higher opportunity areas.
HUD included provisions in the SAFMR rule to provide PHAs the
ability to maintain payment standards at current levels for in-place
tenants should the PHA choose to do so.
To assist with the administrative complexity of converting to
SAFMRs, HUD has tasked a Technical Assistance provider to develop
training materials and to conduct in-person trainings for all PHAs who
are required to implement SAFMRs.
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: February 13, 2018.
Todd M. Richardson,
Deputy Assistant Secretary, Office of Policy Development, Office of
Policy Development and Research.
[FR Doc. 2018-03398 Filed 2-16-18; 8:45 am]
BILLING CODE 4210-67-P