Fair Market Rents for the Housing Choice Voucher Program, Moderate Rehabilitation Single Room Occupancy Program, and Other Programs Fiscal Year 2022; Revised, 13744-13747 [2022-05040]
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Federal Register / Vol. 87, No. 47 / Thursday, March 10, 2022 / Notices
Applicable Date: The revised FY
2022 FMRs for these 12 areas are
applicable on April 11, 2022.
FOR FURTHER INFORMATION CONTACT:
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), email the
Program Parameters and Research
Division via pprd@hud.gov, or access
the information on the HUD USER
website: https://www.huduser.gov/
portal/datasets/fmr.html.
SUPPLEMENTARY INFORMATION: On August
6, 2021, HUD published the FY 2022
FMRs, requested comments on the FY
2022 FMRs, and outlined procedures for
requesting a reevaluation of an area’s FY
DATES:
DEPARTMENT OF HOUSING AND
URBAN DEVELOPMENT
[Docket No. FR–6277–N–02]
Fair Market Rents for the Housing
Choice Voucher Program, Moderate
Rehabilitation Single Room Occupancy
Program, and Other Programs Fiscal
Year 2022; Revised
Office of the Assistant
Secretary for Policy Development and
Research, HUD.
ACTION: Notice of Revised Fiscal Year
(FY) 2022 Fair Market Rents (FMRs) and
Discussion of Comments on FY 2022
FMRs.
AGENCY:
This notice updates the FY
2022 FMRs for 12 areas based on new
survey data. Further, HUD responds to
comments received on the FY 2022
FMRs.
SUMMARY:
2022 FMRs (86 FR 43260). This notice
revises FY 2022 FMRs for 12 areas based
on data provided to HUD. In addition to
providing revised FY 2022 FMRs, this
notice also provides responses to the
public comments HUD received on the
notice referenced above.
I. Revised FY 2022 FMRs
The FMRs appearing in the following
table supersede the use of the FY 2021
FMRs for the twelve areas that provided
statistically valid data. The updated FY
2022 FMRs are based on surveys
conducted by the area public housing
agencies (PHAs) and reflect the
estimated 40th percentile rent levels
trended to Fiscal Year 2022.
The FMRs for the affected areas are
revised as follows:
FMR by number of bedrooms in unit
2022 Fair market rent area
0 BR
Abilene, TX MSA .................................................................
Asheville, NC HUD Metro FMR Area ..................................
Boston-Cambridge-Quincy, MA-NH HUD Metro FMR Area
Bremerton-Silverdale, WA MSA ..........................................
Iron County, UT ...................................................................
New York, NY HUD Metro FMR Area .................................
Portland, ME HUD Metro FMR Area ...................................
Portland-Vancouver-Hillsboro, OR-WA MSA .......................
San Diego-Carlsbad, CA MSA ............................................
Santa Maria-Santa Barbara, CA MSA .................................
Seattle-Bellevue, WA HUD Metro FMR Area ......................
Transylvania County, NC .....................................................
HUD has published these revised
FMR values on the HUD USER website
at: https://www.huduser.gov/portal/
datasets/fmr.html. HUD has also
updated the FY 2022 Small Area FMRs
(SAFMRs) for metropolitan areas with
revised FMRs, which may be found at
https://www.huduser.gov/portal/
datasets/fmr/smallarea/.
HUD has also updated the 50th
percentile rents for all FMR areas,
which are published at https://
www.huduser.gov/portal/datasets/
50per.html.
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II. Public Comments on FY 2021 FMRs
This summary of comments addresses
the most significant concerns raised by
the commenters. Commenters are
identified in the summary by the last
four numbers of the electronic
rulemaking number used at
www.regulations.gov.
The public comment period for the
August 6, 2021, notice closed on
September 30, 2021, and HUD received
99 distinct comments relating to the
notice. The comments were from
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1 BR
$688
1,188
1,803
1,174
615
2,018
1,143
1,416
1,573
1,875
1,674
706
$732
1,209
1,986
1,368
757
2,054
1,330
1,512
1,739
2,157
1,739
711
housing authorities, community
development agencies, homeless
shelters, healthcare providers, social
workers, counselors, and nonprofit
social service providers.
Concerns Regarding the Accuracy of the
Current FMR Methodology
Commenters noted concerns with the
methodology used to calculate the FMRs
in light of rapid changes in housing
costs. One commenter stated that the
current FMR calculations are inadequate
for rural counties because it is often
difficult to gather valid data in rural
counties, and the use of contiguous
county data may not accurately reflect
the rates present within the jurisdiction
and suggested that HUD should develop
a methodology that would accurately
reflect the FMRs for rural areas. Another
commenter noted that HUD’s use of the
40th percentile in calculating FMR rates
limits the available housing to
individuals in the voucher plans.
Other commenters stated that the use
of the 2019 American Community
Survey (ACS) data does not adequately
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2 BR
3 BR
$945
1,378
2,399
1,765
926
2,340
1,721
1,735
2,232
2,516
2,044
935
$1,288
1,879
2,966
2,435
1,268
2,952
2,195
2,451
3,099
3,316
2,796
1,156
4 BR
$1,598
2,359
3,253
2,909
1,585
3,173
2,689
2,903
3,795
3,790
3,285
1,364
represent a tightening rental market,
even if the survey was an accurate
representation of the FMR in previous
years. Commenters stated that using
current local data from reliable sources
would more accurately reflect the
changes in the rental market since 2019.
One commenter suggested that HUD use
commercial data to calculate the FMRs,
as the data may be more up-to-date and
accurately reflect the individual markets
and would ensure that the gross rent
data used in the calculation is accurate
to current markets, which the
commenter stated would prove more
effective than HUD’s previous research
into the trend factor. Another
commenter supported HUD’s previously
announced intent to explore alternative
methodologies for FMR calculation. One
commenter supported their
jurisdiction’s FMR value.
HUD Response: HUD’s current
regulations require it to set the FMR at
the 40th percentile rent paid by recent
movers. Assessing the accuracy of FMRs
is difficult because at any given time the
true 40th percentile rent paid by recent
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movers is unknown. Commercial
sources of rent data do not provide an
estimate of the 40th percentile rent paid
by recent movers, and what data they do
provide are often not based on the
entirety of the rental market, such as by
building type or by geographic area.
Survey-based estimates of rent are
subject to sampling and non-sampling
error. For the Voucher program, HUD’s
policy addresses these sources of
uncertainty by allowing the payment
standard to be set from 90–110 percent
of the FMR, as well as above 110
percent of the FMR through the use of
exception payment standards. HUD has
provided for expedited waivers of
payment standard regulation per PIH
Notice 2021–34. HUD remains
committed to continually assessing its
FMR calculation methodology to
attempt to deal with its inherent
challenges, through both in-house
research and working with external
research partners.
Small Area FMR Determinations
A commenter stated that the Small
Area Fair Market Rent (SAFMR)
calculations do not adequately represent
the true market rent, citing as an
example a significant decrease in a
county’s SAFMR in one ZIP Code
despite being a high opportunity area.
The commenter noted that the 2bedroom SAFMR for the ZIP Code in
question was nearly $1000 below
surrounding ZIP Codes, while other ZIP
Codes in their jurisdiction more
accurately reflect existing local
commercial data on current market
prices. The commenter also noted that
the decreased SAFMR for a onebedroom in this ZIP Code is $200 less
than the fair market rent established by
a HUD validated rent comparability
study of the same area from 2019. The
commenter stated that a decrease in the
SAFMR would defeat the intent of
calculating fair market rents for specific
ZIP Codes.
A commenter opposed allowing
certain jurisdictions to opt out or be
excluded from SAFMR mandates.
Commenters noted that the use of
excepted payment standards, rather
than calculating SAFMR for the areas,
leaves PHAs without the resources and
flexibility to adjust to increasing rents in
the jurisdictions, reducing the
availability of affordable housing
options to voucher holders. Commenters
stated that voucher holders are being
pushed into low-rent areas in
jurisdiction that have received an
exception payment standard, and that
residents are not receiving reasonable
accommodations because reasonable
accommodations are based on the metro
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area’s FMR, not the exceptionally high
local rental rates that justified the
excepted payment standards, and
therefore do not provide any value.
HUD Response: Calculating SAFMRs
poses the same challenges as
metropolitan-level FMRs, with the
added difficulty of greater uncertainty
found in ZIP Code-level rent estimates
due to their smaller size. HUD will
continue to carefully consider how any
future changes to its FMR calculation
affect Small Area FMRs, as well as
explore any SAFMR-specific
methodology changes.
HUD remains committed to evaluating
the operation of the Housing Choice
Voucher program in areas that are
required to set payment standards based
on Small Area FMRs.
Concerns Regarding the FMR
Reevaluation Process
Commenters raised concerns about
the current reevaluation process for
FMRs. Commenters noted that the
reevaluation surveys require a
significant amount of time and funding
and stated that HUD should provide
funding for PHAs who elect to provide
local rent surveys. A commenter
suggested that address-based mail
surveys could be conducted at a lower
cost than HUD anticipates, and that a
yearly allocation of $5,000 to each PHA
would allow PHAs to conduct the
necessary reevaluation surveys.
One commenter noted that rural PHAs
are often unable to meet the regulatory
requirements for reevaluation surveys.
The commenter noted that although
small, nonmetro counties may conduct
surveys with one or more contiguous
nonmetro county to obtain a sufficient
number of results, this methodology
does not provide many options to rural
counties that face lower FMRs than
neighboring counties. Furthermore, this
commenter noted that rural PHAs often
do not have the necessary capacity to
conduct an in-house survey or the funds
to hire outside consultants. The
commenter noted their previous request
for reevaluation in fiscal year 2021 cost
the PHA over $27,000 and was
ultimately rejected by HUD as they only
received 13 valid responses in a county
of 34,000 people. As a result, this
commenter stated that FMRs may
continue to be inaccurate even if the
PHA attempts to request reevaluation if
the jurisdiction’s PHA is unable to
conduct a valid survey.
HUD Response: HUD is committed to
working with PHAs who are interested
in conducting local rental market
surveys, and has accepted surveys and
issued revised FMRs for small nonmetropolitan counties numerous times.
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Surveys and data collection are often
inherently expensive, and their costs are
beyond HUD’s control. In addition,
HUD’s ability to provide funds to PHAs
for local rental market surveys is
dependent on the availability of funds
and their authorized uses specified in
annual appropriations statutes.
Requests for Additional Flexibilities in
PHA Implementation
A commenter stated that HUD has
additional authority under the CARES
Act to implement a ‘‘hold harmless
policy’’ for FMRs in areas that
experienced significant FMR reductions.
This waiver would be in light of the
additional challenges created by the
COVID–19 pandemic and would be
limited to PHAs that experienced a
significant FMR decrease that could not
be accounted for through the existing
flexibilities in payment standards. The
commenter noted that the waiver would
be aimed at increasing depressed
voucher utilization rates.
Another commenter suggested that
increased flexibilities for payment
standards should be implemented
through permanent statutory changes.
This would include allowing PHAs to
utilize payment standards between 80
and 120 percent of the FMR, with up to
130 percent available as a reasonable
accommodation for a person with a
disability and would ultimately reduce
the burden of inaccurate FMRs for
PHAs.
Another commenter requested
authorization to increase their
jurisdiction’s payment standards to 120
percent or greater for all SAFMRs in
their jurisdiction. The commenter also
requested that all ZIP Codes be grouped
under one payment standard to reduce
administrative burdens on the PHA. The
commenter stated that this flexibility
would provide additional access to safe
housing in high opportunity areas for
voucher holders.
HUD Response: Declines in FMR are
limited by regulation to 10 percent.
Additionally, at the PHA’s discretion,
they may ‘‘hold harmless’’ any in-place
household from a payment standard
reduction. Requests for exception
payment standards should be made to
local HUD Field Offices. PHAs
operating under Small Area FMRs may
group ZIP Codes into one payment
standard area as long as the combined
payment standard is within 90–110
percent of the Small Area FMR.
The Ability of PHAs To Respond to Rent
Increases and FMR Changes Through
the Use of Payment Standards
Commenters noted that PHAs can
adjust payment standards within
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statutory limits to provide voucher
holders access to units above the FMRs,
thus increasing voucher utilization.
However, many commenters stated that
their jurisdictions were already using
the statutory maximum payment
standard of 110 percent but continue to
face challenges in finding units for
voucher holders, with PHAs continuing
to experience decreasing success rates.
For example, one commenter noted that
available units in their jurisdiction are
listed at 127 percent to 175 percent of
the proposed FMR, beyond the statutory
flexibilities that PHAs have without
HUD approval. Another commenter
noted that a lack of available units in
their jurisdiction within the statutory
payment standard has caused some onebedroom voucher holders to rent single
room units within the payment
standards instead.
Commenters also noted that using
payment standards to adjust for
insufficient FMRs is limited by its effect
on individuals with fixed incomes or
the PHA’s ability to provide reasonable
accommodations. One commenter noted
that adjusting their jurisdiction’s
payment standards in response to an
FMR decrease would greatly increase
the rent burden for residents that
depend on fixed Social Security or SSI
Payments, as cost of living increases in
those programs are much lower than the
rise in rent. Other commenters noted
that the use of excepted payment
standards for high-rent areas also limits
the availability of reasonable
accommodations for individuals with
disabilities, and accommodations may
actually lower the value of vouchers in
some cases if the FMR is insufficient for
the area.
HUD Response: PHAs have a variety
of options beyond setting payment
standards at 110 percent of the FMR.
PHAs may pursue exception payment
standards above 110 percent of FMR,
including through the expedited waiver
process described in PIH Notice 2021–
34. PHAs may apply for success rate
payment standards, which allow for
setting payment standards using the
50th percentile estimates of rent. PHAs
may, with HUD approval, establish an
exception payment standard of more
than 120 percent of the published FMR
if required as a reasonable
accommodation in accordance with 24
CFR part 8 for a family that includes a
person with a disability after approval
from HUD. Finally, PHAs may adopt
Small Area FMRs (or use Small Area
FMRs as the basis for exception
payment standards), which may allow
for payment standards of up to 160
percent of the metropolitan FMR in
high-rent ZIP Codes.
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Market Factors Affecting the Supply of
Units at FMR Levels
Commenters noted that the current
housing market is competitive.
Commenters stated that the rental
market for voucher holders is already
somewhat limited by the 40th percentile
limitations on the program, and a lack
of available units for rent has driven
rising rent prices. Commenters noted
that units are being converted to short
term rentals, affected by the impact of
natural disasters, or utilized by new
residents or temporary college students.
This lack of available units can be
further complicated by the needs of
voucher holders, as a commenter noted
necessary features can drive rent prices
above the FMRs. Even when the
vouchers are sufficient to meet rent, a
commenter stated that landlords may
choose to rent the limited supply to
residents with the best credit and rental
histories, further increasing competition
within the market.
Commenters also noted that
increasing rents have limited voucher
holders’ housing options due to
insufficient FMR rates. When FMR rates
are below the current market rates,
voucher holders face significant
difficulty in finding units within the
allowed range. A commenter noted that
rent has increased in their jurisdiction
by an average of 9.7 percent, while
another noted that rent has been
consistently rising in the three years
since the 2019 ACS survey. A
commenter noted that increases in rent
prices are not being met by increased
wages, while another commenter noted
that their jurisdictions have experienced
rapid job growth in the area, leading to
increased demand and higher prices.
One commenter noted that the FMRs in
their jurisdiction leave little to no room
for the utility allowance, limiting the
available options further.
Other commenters stated that the
recent end of rent moratoriums imposed
by states in response to COVID–19 will
result in rapidly increasing rents.
Commenters noted that the FMR
methodology may not fully capture
these recent changes in rent prices,
leaving voucher holders with reduced
options at the FMR level.
Commenters also noted that landlords
are unwilling to accept vouchers as the
FMRs are below the rates they can
receive on the open market, which
further reduces voucher holders’
options and drives up competition for
the remaining units. Commenters noted
that landlords’ costs of operation,
including taxes, insurance, and repair
prices, are increasing, forcing landlords
to prioritize the higher rates available on
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the open market and reducing the
number of single-family rental units
available to voucher holders. Another
commenter stated that while they would
be interested in accepting voucher
holders, the current market rates in their
jurisdiction are between 52 and 123
percent higher than the FMR.
Furthermore, a commenter stated that a
decrease in FMR for their jurisdiction
could harm their existing efforts to
address landlord concerns, which could
result in landlords leaving the program
before PHAs have the chance to resolve
previously existing concerns.
HUD Response: As noted earlier, HUD
is committed to continuously evaluating
its FMR calculation methodology,
including considering the implications
for areas with rapidly rising rents. HUD
recognizes the interaction of the level of
FMR on landlords’ decisions to accept
Housing Choice Vouchers; at the same
time, research shows that a variety of
factors influence landlord participation
in the program. HUD’s setting the FMR
at the 40th percentile of rents means
that by definition a large portion of
rental units in any given area will not
be available to voucher holders,
reflecting HUD’s desire to provide a
modest unit for low-income families
and maximize the number of families
served by HUD’s limited funds.
Insufficient or Decreasing FMRs Impose
Hardships
Commenters noted that FMRs that
decrease or fail to keep up with market
rents would result in significant
hardships for families and individuals
as the insufficient value would limit the
available units for voucher holders,
would require great effort to find units
even from voucher holders who are able
to find units, and would limit the ability
of voucher holders to enter new
jurisdictions. Commenters noted that
voucher holders face competition from
residents with better credit and rental
history, require accommodations, or
face additional financial pressure and
burdens from market inflation and
disasters, such as the COVID–19
pandemic.
Commenters noted that PHAs are
facing decreasing success rates with
vouchers at the current FMR rates and
that additional decreases or gaps
between the FMR and market rates
could further depress success rates,
leaving more voucher holders homeless.
Commenters stated that landlords are no
longer accepting vouchers and are
choosing not to renew voucher holders’
leases. One commenter also noted that
additional COVID–19 response fundings
allocated to PHAs may remain unused
if PHAs continue to face decreasing
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success rates from below-market FMRs.
One commenter further noted that this
has led to almost a 10 percent increase
in rent burdened households since 2019
and has led to PHAs being unable to
realize their full administrative fee
potential.
Commenters also noted that limited
availability of units or insufficient FMRs
can put a strain on homeless shelters
and nonprofits, as voucher holders may
rely on these services when they face
difficulty using their vouchers. Some
commenters also expressed concern that
PHAs have already raised payment
standards to the statutory maximum but
remain unable to meet market rates due
to the FMRs. Furthermore, many
commenters stated that decreasing
FMRs will increase the burden on
voucher holders and PHAs and could
lead to increased housing instability or
homelessness. One commenter noted
that additional vouchers issued under
the CARES Act to homeless populations
are facing lower success rates due to a
decrease in single-bedroom FMRs for
their jurisdiction, as the target
population of the CARES Act vouchers
primarily needs one-bedroom units. As
a result, many commenters called for
FMRs to increase this year.
HUD Response: As noted elsewhere,
PHAs are not required to reduce the
payment standard for in-place tenants in
response to declining FMRs, and PHAs
with declining voucher success rates
have a variety of options for setting
higher payment standards. HUD
acknowledges the many hardships that
low-income household face, as well as
challenges faced by PHAs and other
partners in working with HUD to
accomplish its mission. Having an
accurate FMR is often critical to helping
address these challenges, and as
previously discussed, HUD is
committed to its ongoing evaluation of
its FMR calculation. At the same time,
the FMR itself cannot solve all the
problems associated with keeping lowincome families housed and preventing
homelessness, particularly those arising
from a low supply of housing in general.
The Impact of COVID–19 and Other
Disasters May Not Be Accurately
Reflected in the FMRs
Commenters noted that the COVID–19
pandemic has greatly affected the
housing market, leading to potentially
inaccurate FMRs for Fiscal Year 2022.
Commenters stated that the pandemic
has worsened an existing housing crisis
by increasing rents and decreasing
affordable housing supply, leading to
rapidly increasing rental prices. One
commenter stated that recent data
shows average rents have increased 9.4
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percent on average since March 2020,
with anecdotal evidence pointing to
more drastic increases in recent months.
Commenters also stated that the nature
and impact of the pandemic requires
additional steps to keep people in their
homes, while PHAs need additional
support and resources to respond to
additional burdens imposed by the
pandemic. Some commenters noted that
the expiration of state rent moratoriums
will artificially affect the calculation of
FMRs, as landlords will begin raising
rents after the moratoriums expire. This
would result in voucher holders facing
difficulty in finding units within the
FMRs calculated prior to the end of the
moratorium.
Other commenters noted that the
COVID–19 pandemic has driven
population changes in certain areas, as
higher-income new residents purchase
units that would otherwise be available
as rental units. This decrease in the
supply of rental units has driven up rent
prices, which the FMR methodology
may not be able to account for without
updated local data.
Commenters also noted that other
disasters have contributed to limited
housing supply, such as floods and
hurricanes. These disasters can limit the
housing supply through permanent or
temporary damage to units, ultimately
driving prices up due to both increased
demand from displaced residents and
decreased supply. For example, one
commenter noted that flooding in their
jurisdiction affected over 700 homes,
increasing an existing deficit in
affordable units.
HUD Response: The COVID–19
pandemic has caused widespread
volatility in the U.S. economy,
including in many of the nation’s rental
markets. Similarly, natural disasters
often cause major consequences to
housing markets of the areas they affect.
In calculating FMRs, HUD is limited by
the availability of data and its
requirement to calculate FMRs using the
current methodology. HUD is
committed to evaluating the ongoing
impacts of these disasters and adjusting
its policies as needed to meet its
mission.
Requests for Reevaluations
Commenters submitted valid requests
for reevaluation for 28 FMR areas, as
well as 10 requests that did not meet
HUD requirements. Commenters
requesting or in support of a
reevaluation for the FY 2022 FMRs
stated that the proposed FMRs were not
an accurate representation of their area’s
rental market. Many commenters stated
that they would undertake a local rent
survey as part of their request for
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13747
reevaluation. Other commenters stated
that prior rent surveys are no longer
accurate predictors of rental prices in
the market and that new data would
more accurately reflect the current
market. One commenter stated they did
not have the resources to conduct a
formal rent survey in line with HUD’s
requirements and submitted other data
points instead. One commenter
requested a reevaluation without any
discussion of the market conditions in
their jurisdiction or a discussion of rent
survey data.
HUD Response: HUD published the
list of areas requesting reevaluation on
October 20, 2021, and the list of areas
without a submission of rental market
data on January 10, 2022. This notice
provides the revised FMRs for areas that
submitted survey data and concludes
the FY 2022 FMR re-evaluation process.
III. Environmental Impact
This Notice involves establishment of
a rate 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).
Todd M. Richardson,
General Deputy Assistant Secretary, Office
of Policy Development and Research.
[FR Doc. 2022–05040 Filed 3–9–22; 8:45 am]
BILLING CODE 4210–67–P
DEPARTMENT OF HOUSING AND
URBAN DEVELOPMENT
[Docket No. FR–7061–N–02]
60-Day Notice of Proposed Information
Collection: Jobs Plus; OMB Control
No.: 2577–0281
Office of the Assistant
Secretary for Public and Indian
Housing, HUD.
ACTION: Notice.
AGENCY:
HUD is seeking approval from
the Office of Management and Budget
(OMB) for the information collection
described below. In accordance with the
Paperwork Reduction Act, HUD is
requesting comment from all interested
parties on the proposed collection of
information. The purpose of this notice
is to allow for 60 days of public
comment.
DATES: Comments Due Date: May 9,
2022.
ADDRESSES: Interested persons are
invited to submit comments regarding
SUMMARY:
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[Federal Register Volume 87, Number 47 (Thursday, March 10, 2022)]
[Notices]
[Pages 13744-13747]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2022-05040]
[[Page 13744]]
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DEPARTMENT OF HOUSING AND URBAN DEVELOPMENT
[Docket No. FR-6277-N-02]
Fair Market Rents for the Housing Choice Voucher Program,
Moderate Rehabilitation Single Room Occupancy Program, and Other
Programs Fiscal Year 2022; Revised
AGENCY: Office of the Assistant Secretary for Policy Development and
Research, HUD.
ACTION: Notice of Revised Fiscal Year (FY) 2022 Fair Market Rents
(FMRs) and Discussion of Comments on FY 2022 FMRs.
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SUMMARY: This notice updates the FY 2022 FMRs for 12 areas based on new
survey data. Further, HUD responds to comments received on the FY 2022
FMRs.
DATES: Applicable Date: The revised FY 2022 FMRs for these 12 areas are
applicable on April 11, 2022.
FOR FURTHER INFORMATION CONTACT: 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), email the Program
Parameters and Research Division via [email protected], or access the
information on the HUD USER website: https://www.huduser.gov/portal/datasets/fmr.html.
SUPPLEMENTARY INFORMATION: On August 6, 2021, HUD published the FY 2022
FMRs, requested comments on the FY 2022 FMRs, and outlined procedures
for requesting a reevaluation of an area's FY 2022 FMRs (86 FR 43260).
This notice revises FY 2022 FMRs for 12 areas based on data provided to
HUD. In addition to providing revised FY 2022 FMRs, this notice also
provides responses to the public comments HUD received on the notice
referenced above.
I. Revised FY 2022 FMRs
The FMRs appearing in the following table supersede the use of the
FY 2021 FMRs for the twelve areas that provided statistically valid
data. The updated FY 2022 FMRs are based on surveys conducted by the
area public housing agencies (PHAs) and reflect the estimated 40th
percentile rent levels trended to Fiscal Year 2022.
The FMRs for the affected areas are revised as follows:
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FMR by number of bedrooms in unit
2022 Fair market rent area -------------------------------------------------------------------------------
0 BR 1 BR 2 BR 3 BR 4 BR
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Abilene, TX MSA................. $688 $732 $945 $1,288 $1,598
Asheville, NC HUD Metro FMR Area 1,188 1,209 1,378 1,879 2,359
Boston-Cambridge-Quincy, MA-NH 1,803 1,986 2,399 2,966 3,253
HUD Metro FMR Area.............
Bremerton-Silverdale, WA MSA.... 1,174 1,368 1,765 2,435 2,909
Iron County, UT................. 615 757 926 1,268 1,585
New York, NY HUD Metro FMR Area. 2,018 2,054 2,340 2,952 3,173
Portland, ME HUD Metro FMR Area. 1,143 1,330 1,721 2,195 2,689
Portland-Vancouver-Hillsboro, OR- 1,416 1,512 1,735 2,451 2,903
WA MSA.........................
San Diego-Carlsbad, CA MSA...... 1,573 1,739 2,232 3,099 3,795
Santa Maria-Santa Barbara, CA 1,875 2,157 2,516 3,316 3,790
MSA............................
Seattle-Bellevue, WA HUD Metro 1,674 1,739 2,044 2,796 3,285
FMR Area.......................
Transylvania County, NC......... 706 711 935 1,156 1,364
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HUD has published these revised FMR values on the HUD USER website
at: https://www.huduser.gov/portal/datasets/fmr.html. HUD has also
updated the FY 2022 Small Area FMRs (SAFMRs) for metropolitan areas
with revised FMRs, which may be found at https://www.huduser.gov/portal/datasets/fmr/smallarea/. HUD has also updated the 50th
percentile rents for all FMR areas, which are published at https://www.huduser.gov/portal/datasets/50per.html.
II. Public Comments on FY 2021 FMRs
This summary of comments addresses the most significant concerns
raised by the commenters. Commenters are identified in the summary by
the last four numbers of the electronic rulemaking number used at
www.regulations.gov.
The public comment period for the August 6, 2021, notice closed on
September 30, 2021, and HUD received 99 distinct comments relating to
the notice. The comments were from housing authorities, community
development agencies, homeless shelters, healthcare providers, social
workers, counselors, and nonprofit social service providers.
Concerns Regarding the Accuracy of the Current FMR Methodology
Commenters noted concerns with the methodology used to calculate
the FMRs in light of rapid changes in housing costs. One commenter
stated that the current FMR calculations are inadequate for rural
counties because it is often difficult to gather valid data in rural
counties, and the use of contiguous county data may not accurately
reflect the rates present within the jurisdiction and suggested that
HUD should develop a methodology that would accurately reflect the FMRs
for rural areas. Another commenter noted that HUD's use of the 40th
percentile in calculating FMR rates limits the available housing to
individuals in the voucher plans.
Other commenters stated that the use of the 2019 American Community
Survey (ACS) data does not adequately represent a tightening rental
market, even if the survey was an accurate representation of the FMR in
previous years. Commenters stated that using current local data from
reliable sources would more accurately reflect the changes in the
rental market since 2019. One commenter suggested that HUD use
commercial data to calculate the FMRs, as the data may be more up-to-
date and accurately reflect the individual markets and would ensure
that the gross rent data used in the calculation is accurate to current
markets, which the commenter stated would prove more effective than
HUD's previous research into the trend factor. Another commenter
supported HUD's previously announced intent to explore alternative
methodologies for FMR calculation. One commenter supported their
jurisdiction's FMR value.
HUD Response: HUD's current regulations require it to set the FMR
at the 40th percentile rent paid by recent movers. Assessing the
accuracy of FMRs is difficult because at any given time the true 40th
percentile rent paid by recent
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movers is unknown. Commercial sources of rent data do not provide an
estimate of the 40th percentile rent paid by recent movers, and what
data they do provide are often not based on the entirety of the rental
market, such as by building type or by geographic area. Survey-based
estimates of rent are subject to sampling and non-sampling error. For
the Voucher program, HUD's policy addresses these sources of
uncertainty by allowing the payment standard to be set from 90-110
percent of the FMR, as well as above 110 percent of the FMR through the
use of exception payment standards. HUD has provided for expedited
waivers of payment standard regulation per PIH Notice 2021-34. HUD
remains committed to continually assessing its FMR calculation
methodology to attempt to deal with its inherent challenges, through
both in-house research and working with external research partners.
Small Area FMR Determinations
A commenter stated that the Small Area Fair Market Rent (SAFMR)
calculations do not adequately represent the true market rent, citing
as an example a significant decrease in a county's SAFMR in one ZIP
Code despite being a high opportunity area. The commenter noted that
the 2-bedroom SAFMR for the ZIP Code in question was nearly $1000 below
surrounding ZIP Codes, while other ZIP Codes in their jurisdiction more
accurately reflect existing local commercial data on current market
prices. The commenter also noted that the decreased SAFMR for a one-
bedroom in this ZIP Code is $200 less than the fair market rent
established by a HUD validated rent comparability study of the same
area from 2019. The commenter stated that a decrease in the SAFMR would
defeat the intent of calculating fair market rents for specific ZIP
Codes.
A commenter opposed allowing certain jurisdictions to opt out or be
excluded from SAFMR mandates. Commenters noted that the use of excepted
payment standards, rather than calculating SAFMR for the areas, leaves
PHAs without the resources and flexibility to adjust to increasing
rents in the jurisdictions, reducing the availability of affordable
housing options to voucher holders. Commenters stated that voucher
holders are being pushed into low-rent areas in jurisdiction that have
received an exception payment standard, and that residents are not
receiving reasonable accommodations because reasonable accommodations
are based on the metro area's FMR, not the exceptionally high local
rental rates that justified the excepted payment standards, and
therefore do not provide any value.
HUD Response: Calculating SAFMRs poses the same challenges as
metropolitan-level FMRs, with the added difficulty of greater
uncertainty found in ZIP Code-level rent estimates due to their smaller
size. HUD will continue to carefully consider how any future changes to
its FMR calculation affect Small Area FMRs, as well as explore any
SAFMR-specific methodology changes.
HUD remains committed to evaluating the operation of the Housing
Choice Voucher program in areas that are required to set payment
standards based on Small Area FMRs.
Concerns Regarding the FMR Reevaluation Process
Commenters raised concerns about the current reevaluation process
for FMRs. Commenters noted that the reevaluation surveys require a
significant amount of time and funding and stated that HUD should
provide funding for PHAs who elect to provide local rent surveys. A
commenter suggested that address-based mail surveys could be conducted
at a lower cost than HUD anticipates, and that a yearly allocation of
$5,000 to each PHA would allow PHAs to conduct the necessary
reevaluation surveys.
One commenter noted that rural PHAs are often unable to meet the
regulatory requirements for reevaluation surveys. The commenter noted
that although small, nonmetro counties may conduct surveys with one or
more contiguous nonmetro county to obtain a sufficient number of
results, this methodology does not provide many options to rural
counties that face lower FMRs than neighboring counties. Furthermore,
this commenter noted that rural PHAs often do not have the necessary
capacity to conduct an in-house survey or the funds to hire outside
consultants. The commenter noted their previous request for
reevaluation in fiscal year 2021 cost the PHA over $27,000 and was
ultimately rejected by HUD as they only received 13 valid responses in
a county of 34,000 people. As a result, this commenter stated that FMRs
may continue to be inaccurate even if the PHA attempts to request
reevaluation if the jurisdiction's PHA is unable to conduct a valid
survey.
HUD Response: HUD is committed to working with PHAs who are
interested in conducting local rental market surveys, and has accepted
surveys and issued revised FMRs for small non-metropolitan counties
numerous times. Surveys and data collection are often inherently
expensive, and their costs are beyond HUD's control. In addition, HUD's
ability to provide funds to PHAs for local rental market surveys is
dependent on the availability of funds and their authorized uses
specified in annual appropriations statutes.
Requests for Additional Flexibilities in PHA Implementation
A commenter stated that HUD has additional authority under the
CARES Act to implement a ``hold harmless policy'' for FMRs in areas
that experienced significant FMR reductions. This waiver would be in
light of the additional challenges created by the COVID-19 pandemic and
would be limited to PHAs that experienced a significant FMR decrease
that could not be accounted for through the existing flexibilities in
payment standards. The commenter noted that the waiver would be aimed
at increasing depressed voucher utilization rates.
Another commenter suggested that increased flexibilities for
payment standards should be implemented through permanent statutory
changes. This would include allowing PHAs to utilize payment standards
between 80 and 120 percent of the FMR, with up to 130 percent available
as a reasonable accommodation for a person with a disability and would
ultimately reduce the burden of inaccurate FMRs for PHAs.
Another commenter requested authorization to increase their
jurisdiction's payment standards to 120 percent or greater for all
SAFMRs in their jurisdiction. The commenter also requested that all ZIP
Codes be grouped under one payment standard to reduce administrative
burdens on the PHA. The commenter stated that this flexibility would
provide additional access to safe housing in high opportunity areas for
voucher holders.
HUD Response: Declines in FMR are limited by regulation to 10
percent. Additionally, at the PHA's discretion, they may ``hold
harmless'' any in-place household from a payment standard reduction.
Requests for exception payment standards should be made to local HUD
Field Offices. PHAs operating under Small Area FMRs may group ZIP Codes
into one payment standard area as long as the combined payment standard
is within 90-110 percent of the Small Area FMR.
The Ability of PHAs To Respond to Rent Increases and FMR Changes
Through the Use of Payment Standards
Commenters noted that PHAs can adjust payment standards within
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statutory limits to provide voucher holders access to units above the
FMRs, thus increasing voucher utilization. However, many commenters
stated that their jurisdictions were already using the statutory
maximum payment standard of 110 percent but continue to face challenges
in finding units for voucher holders, with PHAs continuing to
experience decreasing success rates. For example, one commenter noted
that available units in their jurisdiction are listed at 127 percent to
175 percent of the proposed FMR, beyond the statutory flexibilities
that PHAs have without HUD approval. Another commenter noted that a
lack of available units in their jurisdiction within the statutory
payment standard has caused some one-bedroom voucher holders to rent
single room units within the payment standards instead.
Commenters also noted that using payment standards to adjust for
insufficient FMRs is limited by its effect on individuals with fixed
incomes or the PHA's ability to provide reasonable accommodations. One
commenter noted that adjusting their jurisdiction's payment standards
in response to an FMR decrease would greatly increase the rent burden
for residents that depend on fixed Social Security or SSI Payments, as
cost of living increases in those programs are much lower than the rise
in rent. Other commenters noted that the use of excepted payment
standards for high-rent areas also limits the availability of
reasonable accommodations for individuals with disabilities, and
accommodations may actually lower the value of vouchers in some cases
if the FMR is insufficient for the area.
HUD Response: PHAs have a variety of options beyond setting payment
standards at 110 percent of the FMR. PHAs may pursue exception payment
standards above 110 percent of FMR, including through the expedited
waiver process described in PIH Notice 2021-34. PHAs may apply for
success rate payment standards, which allow for setting payment
standards using the 50th percentile estimates of rent. PHAs may, with
HUD approval, establish an exception payment standard of more than 120
percent of the published FMR if required as a reasonable accommodation
in accordance with 24 CFR part 8 for a family that includes a person
with a disability after approval from HUD. Finally, PHAs may adopt
Small Area FMRs (or use Small Area FMRs as the basis for exception
payment standards), which may allow for payment standards of up to 160
percent of the metropolitan FMR in high-rent ZIP Codes.
Market Factors Affecting the Supply of Units at FMR Levels
Commenters noted that the current housing market is competitive.
Commenters stated that the rental market for voucher holders is already
somewhat limited by the 40th percentile limitations on the program, and
a lack of available units for rent has driven rising rent prices.
Commenters noted that units are being converted to short term rentals,
affected by the impact of natural disasters, or utilized by new
residents or temporary college students. This lack of available units
can be further complicated by the needs of voucher holders, as a
commenter noted necessary features can drive rent prices above the
FMRs. Even when the vouchers are sufficient to meet rent, a commenter
stated that landlords may choose to rent the limited supply to
residents with the best credit and rental histories, further increasing
competition within the market.
Commenters also noted that increasing rents have limited voucher
holders' housing options due to insufficient FMR rates. When FMR rates
are below the current market rates, voucher holders face significant
difficulty in finding units within the allowed range. A commenter noted
that rent has increased in their jurisdiction by an average of 9.7
percent, while another noted that rent has been consistently rising in
the three years since the 2019 ACS survey. A commenter noted that
increases in rent prices are not being met by increased wages, while
another commenter noted that their jurisdictions have experienced rapid
job growth in the area, leading to increased demand and higher prices.
One commenter noted that the FMRs in their jurisdiction leave little to
no room for the utility allowance, limiting the available options
further.
Other commenters stated that the recent end of rent moratoriums
imposed by states in response to COVID-19 will result in rapidly
increasing rents. Commenters noted that the FMR methodology may not
fully capture these recent changes in rent prices, leaving voucher
holders with reduced options at the FMR level.
Commenters also noted that landlords are unwilling to accept
vouchers as the FMRs are below the rates they can receive on the open
market, which further reduces voucher holders' options and drives up
competition for the remaining units. Commenters noted that landlords'
costs of operation, including taxes, insurance, and repair prices, are
increasing, forcing landlords to prioritize the higher rates available
on the open market and reducing the number of single-family rental
units available to voucher holders. Another commenter stated that while
they would be interested in accepting voucher holders, the current
market rates in their jurisdiction are between 52 and 123 percent
higher than the FMR. Furthermore, a commenter stated that a decrease in
FMR for their jurisdiction could harm their existing efforts to address
landlord concerns, which could result in landlords leaving the program
before PHAs have the chance to resolve previously existing concerns.
HUD Response: As noted earlier, HUD is committed to continuously
evaluating its FMR calculation methodology, including considering the
implications for areas with rapidly rising rents. HUD recognizes the
interaction of the level of FMR on landlords' decisions to accept
Housing Choice Vouchers; at the same time, research shows that a
variety of factors influence landlord participation in the program.
HUD's setting the FMR at the 40th percentile of rents means that by
definition a large portion of rental units in any given area will not
be available to voucher holders, reflecting HUD's desire to provide a
modest unit for low-income families and maximize the number of families
served by HUD's limited funds.
Insufficient or Decreasing FMRs Impose Hardships
Commenters noted that FMRs that decrease or fail to keep up with
market rents would result in significant hardships for families and
individuals as the insufficient value would limit the available units
for voucher holders, would require great effort to find units even from
voucher holders who are able to find units, and would limit the ability
of voucher holders to enter new jurisdictions. Commenters noted that
voucher holders face competition from residents with better credit and
rental history, require accommodations, or face additional financial
pressure and burdens from market inflation and disasters, such as the
COVID-19 pandemic.
Commenters noted that PHAs are facing decreasing success rates with
vouchers at the current FMR rates and that additional decreases or gaps
between the FMR and market rates could further depress success rates,
leaving more voucher holders homeless. Commenters stated that landlords
are no longer accepting vouchers and are choosing not to renew voucher
holders' leases. One commenter also noted that additional COVID-19
response fundings allocated to PHAs may remain unused if PHAs continue
to face decreasing
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success rates from below-market FMRs. One commenter further noted that
this has led to almost a 10 percent increase in rent burdened
households since 2019 and has led to PHAs being unable to realize their
full administrative fee potential.
Commenters also noted that limited availability of units or
insufficient FMRs can put a strain on homeless shelters and nonprofits,
as voucher holders may rely on these services when they face difficulty
using their vouchers. Some commenters also expressed concern that PHAs
have already raised payment standards to the statutory maximum but
remain unable to meet market rates due to the FMRs. Furthermore, many
commenters stated that decreasing FMRs will increase the burden on
voucher holders and PHAs and could lead to increased housing
instability or homelessness. One commenter noted that additional
vouchers issued under the CARES Act to homeless populations are facing
lower success rates due to a decrease in single-bedroom FMRs for their
jurisdiction, as the target population of the CARES Act vouchers
primarily needs one-bedroom units. As a result, many commenters called
for FMRs to increase this year.
HUD Response: As noted elsewhere, PHAs are not required to reduce
the payment standard for in-place tenants in response to declining
FMRs, and PHAs with declining voucher success rates have a variety of
options for setting higher payment standards. HUD acknowledges the many
hardships that low-income household face, as well as challenges faced
by PHAs and other partners in working with HUD to accomplish its
mission. Having an accurate FMR is often critical to helping address
these challenges, and as previously discussed, HUD is committed to its
ongoing evaluation of its FMR calculation. At the same time, the FMR
itself cannot solve all the problems associated with keeping low-income
families housed and preventing homelessness, particularly those arising
from a low supply of housing in general.
The Impact of COVID-19 and Other Disasters May Not Be Accurately
Reflected in the FMRs
Commenters noted that the COVID-19 pandemic has greatly affected
the housing market, leading to potentially inaccurate FMRs for Fiscal
Year 2022. Commenters stated that the pandemic has worsened an existing
housing crisis by increasing rents and decreasing affordable housing
supply, leading to rapidly increasing rental prices. One commenter
stated that recent data shows average rents have increased 9.4 percent
on average since March 2020, with anecdotal evidence pointing to more
drastic increases in recent months. Commenters also stated that the
nature and impact of the pandemic requires additional steps to keep
people in their homes, while PHAs need additional support and resources
to respond to additional burdens imposed by the pandemic. Some
commenters noted that the expiration of state rent moratoriums will
artificially affect the calculation of FMRs, as landlords will begin
raising rents after the moratoriums expire. This would result in
voucher holders facing difficulty in finding units within the FMRs
calculated prior to the end of the moratorium.
Other commenters noted that the COVID-19 pandemic has driven
population changes in certain areas, as higher-income new residents
purchase units that would otherwise be available as rental units. This
decrease in the supply of rental units has driven up rent prices, which
the FMR methodology may not be able to account for without updated
local data.
Commenters also noted that other disasters have contributed to
limited housing supply, such as floods and hurricanes. These disasters
can limit the housing supply through permanent or temporary damage to
units, ultimately driving prices up due to both increased demand from
displaced residents and decreased supply. For example, one commenter
noted that flooding in their jurisdiction affected over 700 homes,
increasing an existing deficit in affordable units.
HUD Response: The COVID-19 pandemic has caused widespread
volatility in the U.S. economy, including in many of the nation's
rental markets. Similarly, natural disasters often cause major
consequences to housing markets of the areas they affect. In
calculating FMRs, HUD is limited by the availability of data and its
requirement to calculate FMRs using the current methodology. HUD is
committed to evaluating the ongoing impacts of these disasters and
adjusting its policies as needed to meet its mission.
Requests for Reevaluations
Commenters submitted valid requests for reevaluation for 28 FMR
areas, as well as 10 requests that did not meet HUD requirements.
Commenters requesting or in support of a reevaluation for the FY 2022
FMRs stated that the proposed FMRs were not an accurate representation
of their area's rental market. Many commenters stated that they would
undertake a local rent survey as part of their request for
reevaluation. Other commenters stated that prior rent surveys are no
longer accurate predictors of rental prices in the market and that new
data would more accurately reflect the current market. One commenter
stated they did not have the resources to conduct a formal rent survey
in line with HUD's requirements and submitted other data points
instead. One commenter requested a reevaluation without any discussion
of the market conditions in their jurisdiction or a discussion of rent
survey data.
HUD Response: HUD published the list of areas requesting
reevaluation on October 20, 2021, and the list of areas without a
submission of rental market data on January 10, 2022. This notice
provides the revised FMRs for areas that submitted survey data and
concludes the FY 2022 FMR re-evaluation process.
III. Environmental Impact
This Notice involves establishment of a rate 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).
Todd M. Richardson,
General Deputy Assistant Secretary, Office of Policy Development and
Research.
[FR Doc. 2022-05040 Filed 3-9-22; 8:45 am]
BILLING CODE 4210-67-P