After NAHRO Letter, HUD Releases Funds; Still No Word on Additional CARES Act Reporting Guidance
On July 17, 2020, NAHRO CEO Adrianne Todman sent a letter to Secretary Carson asking that HUD, among other things, release Coronavirus Aid, Relief, and Economic Security (CARES) Act funding related to the Housing Choice Voucher (HCV) program and to release guidance on additional reporting requirements for CARES Act funding.
Specifically, the letter requested that HUD immediately:
- “Disburse all administrative fee funding from the CARES Act”;
- “Disburse all Housing Assistance Payment (HAP) funding from the CARES Act”; and
- “Publish clear and concise guidance on additional CARES Act reporting requirements for” the HCV program.
Earlier today, HUD began the process of disbursing the HCV HAP and administrative fee funding. The National Association of Housing and Redevelopment Officials is pleased that HUD took this step in response to its letter.
Unfortunately, neither the notice on HAP funding nor the notice on admin. fee funding provided additional new information on the additional CARES Act requirements for recipients of $150,000 or more of CARES Act funding. The notices continue to state that within “10 days after the end of each calendar quarter, a report containing information regarding the amount of funds received; the amount of funds obligated or expended for each project or activity; a detailed list of all such projects or activities, including a description of the project or activity; and detailed information on any subcontracts or subgrants awarded by the recipient” be submitted. The notices continue to state that as outlined in Office of Management and Budget memorandum M-20-21, existing reporting requirements may meet CARES Act requirements and that HUD will issue further guidance, if necessary.
The Department has yet to state, if additional CARES Act reporting guidance is necessary. If it is, the Department has yet to publish it.
The National Association of Housing and Redevelopment Officials urges HUD to immediately publish clear and concise guidance around the reporting requirements of these CARES Act funds.