EMERGENCY SOLUTIONS GRANT Office of Economic Opportunity February 15, 2013 1:30 p.m.

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Presentation transcript:

EMERGENCY SOLUTIONS GRANT Office of Economic Opportunity February 15, :30 p.m.

About the presentation This Power Point presentation will be posted on the OEO website ( under the Homeless/Housing tab. There will be breaks for questions throughout the presentation This presentation is not intended to substitute, or completely explain the ESG regulations. Sub-grantees and project sponsors are responsible for following all ESG regulations.

Learning as we go Together we learned quite a bit from HPRP We are still learning about the new ESG Program This first year will be one of adaptation as we may need to make changes to programs to match new guidance Many resources and policies have yet to be released from HUD New ESG Frequently Asked Questions (FAQs) are being answered daily FAQs can be searched here:

What to have in participant’s file HUD regulations specify that certain documentation be kept in a program participant’s file. These are: Verification homeless or at-risk of homelessness status Services and types of assistance provided including o Payments of deposits – utility or rental o Rental Assistance o Utility assistance  Including how assistance amounts were calculated and the duration of assistance Copy of leases-if any type of prevention or rehousing funding was used Copy of rental agreement between owner and agency

What to have in a participant’s file Documentation of payments made on behalf of participant and supporting documentation (cancelled checks, assistance forms) including dates of occupancy for rentals Termination letter OEO requires these additional items for all participant’s files: Release of Information HMIS Consent form Verification of U.S. Citizenship or lawful residency – gov’t issued photo I.D. Verification of household receiving the pamphlet Protect Your Family from Lead in Your Home

What to have in a participant’s file Verification of referral and/or other connection to mainstream resources Denial letter – with reason for denial Depending on assistance provided files must contain program specific verifications. Please refer to the ESG Program Checklist provided by OEO.

What to have in participant’s file Ineligible applicants If an applicant is deemed ineligible the case file must be kept and must include documentation of ineligibility The applicant must be provided with a written explanation of their ineligibility This information does not have to be entered into HMIS but you MAY enter into HMIS if you wish.

What to have in a participant’s file Termination Participants can be terminated from the program but each agency must have a written termination policy (see Written Policies section of presentation) Participant must be provided written termination notice The written termination must be in participant’s file Assistance may be resumed to a family or individual whose assistance has been terminated

Questions?

Documentation HUD’s preferred order of documenting Homeless or At- Risk Status 1.Third Party Written, including already available documents Oral 2.Intake Staff Observations 3.Self-Certification

Documentation Tips for Documentation Adopt checklists that reflect preferred order Incorporate guidance & examples on exceptions to preferred order Have staff check for existing documentation first –E.g., HMIS records or discharge paperwork Create forms for tracking & documenting due diligence

Documentation – 3 rd party written Written Letters/Referrals Official communication (issued on agency stationary or program template) Signed and dated by appropriate third party representative Additional standards depend on criteria/condition of the Homeless Definition Category being used

Documentation- 3 rd party oral Recorded Oral Statements By intake staff Of 3rd party providing verification Signed and dated by intake staff as true and complete ** Recommend standardized form for program –Create clearly labeled sections for including relevant details and certifications

Documentation-Staff observations Recorded Intake Staff Observations Intake staff notes on their observations and assessments Signed and dated by intake staff as true and complete ** Recommend standardized form for program –Create clearly labeled sections for including relevant details and certifications

Documentation –Self-Certification Individual/Head of Household Statement Written statements certified (signed and dated) as true and complete Regulations specify when oral statements can be used If self-certification must be verified: Confirmation that certification was verified OR Due diligence documentation ** Recommend standardized form for program

Documentation-Due Diligence Recorded Intake Staff Efforts Describe efforts to obtain third party documentation May include phone logs, correspondence, copies of certified letters etc. Outcome of effort, including obstacles Signed and dated by intake staff as true and complete ** Recommend standardized form

Questions?

Prevention and ReHousing Participants receiving Homelessness Prevention or Rapid ReHousing assistance must meet with a case manager (except where prevented by the Violence Against Women Act or Family Violence and Prevention Services Act) not less than one time per month Participants receiving Homelessness Prevention or Rapid ReHousing assistance must have a housing plan to assist the participant to retain permanent housing after ESG assistance ends.

Prevention and ReHousing Participants receiving Prevention funds must be below 30% AMI at initial evaluation Participants receiving Rapid ReHousing do not have to be below 30% AMI at initial evaluation Prevention participants must be re-evaluated every 3 months and must be below 30% AMI Rapid ReHousing participants must be re-evaluated once per year At one year re-evaluation RRH participants must meet the 30% AMI requirement

Prevention and ReHousing Units assisted with any type of HP or RRH must meet minimum habitability standards Copy of the habitability verification must be kept in participant’s file

Prevention and ReHousing Participants assisted with Prevention funding must meet the definition of At-Risk of Homelessness OR Paragraph 2, 3, or 4 of HUD’s updated Definition of Homelessness Participants assisted with Rapid ReHousing funding must meet the criteria in paragraph 1 of HUD’s updated Definition of Homelessness OR Meet the criteria from both paragraphs 4 (DV) AND 1

Prevention and ReHousing Leases required for all assistance except rent arrearages Must be legally binding and written Leases must be signed by all parties Must be between property owner and program participant If only providing rent arrearages then oral verification from owner is acceptable if sufficiently documented by owner’s financial records, rent ledgers, or canceled checks – in many instances it would be easier to get a copy of the lease

Prevention and ReHousing Rental Assistance Agreements Required for all assistance of HP and RRH Must be written and between the agency and property owner Rental Agreement must be canceled if: Tenant moves out of unit The lease is terminated and not renewed The participant becomes ineligible

Prevention and ReHousing Rental Assistance Agreements Must contain: o Terms for rental assistance o Provision that during the term of the agreement the owner must give the agency a copy of any eviction notice or complaint against the tenant used to begin eviction proceedings o The same payment due date, grace period, and late payment penalty as the program participant’s lease  Late fees incurred by the agency must be paid with non-ESG funds

Questions?

Prevention and ReHousing Utility Assistance Utility = Gas, Electric, Water, and Sewer Assistance can be for up to 24 months per participant per service Including 6 months of arrearages per service Utility must be in the name of the participant or household member Participant must have proof of past responsibility paying the bill Partial payment = 1 month of assistance

Prevention and ReHousing Utility continued Must have in file: Lease Rental Agreement Copy of bill or termination notice Copy of payments to utility provider by agency Explanation of how utility assistance prevented homelessness

Prevention and ReHousing Moving Costs include Truck rental or moving company Storage fees for up to 3 months but no storage arrears Storage fees must be accrued after the date the participant begins receiving assistance but before they move into permanent housing

Prevention and ReHousing Program Participant changes in income or household If you require a participant to notify you of changes to their income or household composition either Include this information on application they then sign OR Have a written policy the participant is given and keep a signed verification they have received the policy When notified of a change the participant must be re- evaluated for eligibility and amount and types of assistance needed

Prevention and ReHousing Agencies must ensure all participants are assisted in obtaining mainstream services and benefits such as Permanent housing Medical health treatment Mental health treatment Counseling Supervision Other services essential for achieving independent living

Prevention and ReHousing As well as these Federal, State, and Local assistance Medicaid Supplemental Nutrition Assistance Program Women, Infants and Children (WIC) Unemployment Insurance Programs – Federal or State Social Security Disability Insurance (SSDI) Supplemental Security Income (SSI) Child and Adult Care Food Program

Questions?

Lead Based Paint All ESG funding is subject to the Lead Based Paint Poisoning Prevention Act of 1973 and its regulations found in 24 CFR 35, Parts A,B,H,J,K,M, and R HPRP was subject to 24 CFR 35, Parts A,B,M, and R New ESG adds parts H, J, and K H is for Project Based Rental Assistance J is for Rehabilitation K is for Operations and Support Services for ESG Shelters For HP & RRH providers the regulations are the same as HPRP

Lead Based Paint Part A says each participant must be given a lead warning statement from the 1978 law that says any property built before 1978 could expose people to lead-based paint and that it places pregnant women and young children at risk OEO has chosen the pamphlet Protect Your Family from Lead in Your Home as it is available as a download The lead-based paint inspections only need to be done if there is a pregnant woman or a child under the age of 6 in the household

Required Policies & Procedures for HP & RRH The following policies must be developed by the sub- grantees and/or project sponsors: Evaluating Eligibility for Assistance (FedReg page 75985) Coordination among Service Providers (FedReg page 75985) Targeting Assistance (FedReg page 75985) Determining participant’s share of costs (FedReg page 75985) Determining length of assistance (FedReg page 75985)

Required Policies & Procedures for HP & RRH Determining type, amount, and duration of housing stabilization and/or relocation services (FedReg page 75985) Conflict of Interest (FedReg page 75987) Ensuring the confidentiality of all Personally Identifying Information (FedReg page 75962) Termination of Assistance (FedReg page 75986) Please see the Federal Regulations for more information

Coordinated Assessment Once the CoCs develop their coordinated assessment systems all ESG-funded projects must use their CoCs system Victim Service Providers are not required to take part in Coordinated Assessment When this takes place ESG-funded sites must keep documentation evidencing the use of, and written intake procedures for, the coordinated assessment There are quite a few things that have to happen before this becomes a reality Each site is urged to work with their CoC to help develop the assessment

Coordinated Assessment In keeping with Coordinated Assessment all ESG-funded sites must: Use their CoCs HMIS Take part in the annual Point In Time count

Reimbursement Requests What to include with invoice & monthly request forms Program participant specific service form/financial assistance form Supporting documentation for each expense: Copy of utility bill Utility shut-off notice Eviction notice Documentation verifying security deposit fees Copy of canceled checks or other verification that expense has been paid Time sheets and time allocation for staffing costs Invoices & receipts for other purchases – computers, supplies, etc.

Record Retention All records must be kept for 5 years after the expenditure of all funds Records must be accessible and open to inspection at any time by OEO, the State Auditor, HUD, or HUD’s representatives

Questions? Question to each of you What kind of additional training is needed?