CLPHA, Reno & Cavanaugh Submit Comments to HUD on Interim Affirmatively Furthering Fair Housing (AFFH) Rule
This week, CLPHA and our counsel Reno & Cavanaugh submitted comments to HUD regarding the agency's interim final rule “Restoring Affirmatively Furthering Fair Housing Definitions and Certifications." Our comments applaud HUD's renewed commitment to fair housing...
CLPHA, Reno & Cavanaugh Submit Comments Opposing HUD’s Transphobic Proposed Changes to the Equal Access Rule
On September 22, CLPHA and our counsel Reno & Cavanaugh submitted comments to HUD strongly opposing the agency’s transphobic proposed modifications to the Equal Access Rule. The changes would reverse the 2016 portion of the rule that requires homeless service providers to...
Comments to HUD Re: Docket No. FR–6124-P-01 Housing and Community Development Act of 1980: Verification of Eligible Status
On July 9, 2019, CLPHA and Reno & Cavanaugh PLLC submitted comments opposing HUD’s proposed rule titled “Housing and Community Development Act of 1980: Verification of Eligible Status.” View CLPHA and Reno & Cavanaugh's Comments
Comments to HUD Re: [Docket No. FR-6161-N-01] Proposed Changes to the Methodology Used for Estimating Fair Market Rents
On July 5, 2019, CLPHA submitted comments on HUD's proposed changes to the methodology used for estimating fair market rents (FMRs). View CLPHA's Comments
Draft comments for the proposed rule on changes to Section 3 are now available. CLPHA received valuable feedback on the changes during our recent member call and those concerns are reflected in our draft comments. Please contact Senior Research & Policy Analyst Emily Warren at ewarren@...