Environmental Review Process for Responsible Entities 24 CFR Part 58 NEIGHBORHOOD STABILIZATION PROGRAM
Why? Project is Federally Funded In whole, or In Part Requires Compliance with 24 CFR Part 58
National Environmental Policy Act 1969 NEPA: Federal Environmental Policy Federal Law Protect, Restore and Enhance the Human Environment
NEPA Shared Responsibility : The President The Federal Agencies The Courts
NEPA Environmental Study Agency Comments Public Document Scientific Analysis Relevant Issues
Established the CEQ Executive Office of the President CEQ Regs 42 CFR 1500 Agency Regs Consistent w/NEPA Oversees Federal Agencies ERs Cooperating Agreements NEPA
24 CFR Part 58 Procedure for REs 24 CFR Part 51 Hazards 24 CFR Part 55 Floodplains 24 CFR Part 50 HUD Procedure HUD Regulations
Laws and Authorities 58.5 Historic Preservation
Historic Preservation: Neighborhood Stabilization Program (NSP)
National Historic Preservation Act (16 U.S.C. 470 et. seq.) GOALS: Establish broad agency responsibilities to protect & preserve historic properties (Section 110) Require agencies to consider effects of their projects on historic properties (Section 106)
What’s a historic property? Buildings, objects, districts, sites, or structures usually 50+ years old; AND Listed on or eligible for listing on the National Register of Historic Places
Section 106 of NHPA REQUIREMENTS: Take into account the effects of your NSP project on historic properties Afford the Advisory Council on Historic Preservation a reasonable opportunity to comment
The Regulation 36 CFR Part 800, “Protection of Historic Properties” Establishes a 4-step compliance process Mandates consultation, not preservation Agency is the decision-maker
What triggers 106? Federal funding – use of NSP funds Project is defined as an “undertaking” Project has potential to cause effects to historic properties
Is your NSP project exempt? Refer to §58.34 and § 58.35(b) to see if your project is exempt or categorically excluded not subject to… If so, then under 106, you may make the unilateral decision that the project has “no potential to cause effects” Does an existing Programmatic Agreement exempt your activity?
Key Points Important to comply Start early; it takes time to complete Can hold up your project; prevent ROF Key partner: State Historic Preservation Officer Rely on existing tools Historic Property surveys Programmatic Agreement for CDBG may be used for compliance
HUD Tools Available HUD Historic Preservation website: review/historic.cfm CDBG Pamphlet, “Preserving America” Webcast on Section 106 Basics Tribal Directory Assessment Tool Section 106 NSP “Toolkit” Helpful tips and guidance Sample correspondence & Programmatic Agreement
Laws and Authorities 58.5 Historic Preservation Floodplain & Wetlands
Laws and Authorities 58.5 Historic Preservation Floodplain & Wetlands Coastal Zone
Laws and Authorities 58.5 Historic Preservation Floodplain & Wetlands Coastal Zone Aquifers
Laws and Authorities 58.5 Historic Preservation Floodplain & Wetlands Coastal Zone Aquifers Endangered Species
Laws and Authorities 58.5 Historic Preservation Floodplain & Wetlands Coastal Zone Aquifers Endangered Species Rivers
Laws and Authorities 58.5 Historic Preservation Floodplain & Wetlands Coastal Zone Aquifers Endangered Species Rivers Air
Laws and Authorities 58.5 Historic Preservation Floodplain & Wetlands Coastal Zone Aquifers Endangered Species Rivers Air Farmlands
Laws and Authorities 58.5 Historic Preservation Floodplain & Wetlands Coastal Zone Aquifers Endangered Species Rivers Air Farmlands HUD Env. Standards
Laws and Authorities 58.5 Historic Preservation Floodplain & Wetlands Coastal Zone Aquifers Endangered Species Rivers Air Farmlands HUD Env. Standards Environmental Justice
Laws and Authorities 58.6 OTHER Clear Zone Flood Insurance Coastal Barrier
Who’s Responsible? 58.4 NSP to States Grants to Local Government LG Responsible RROFs to State Grants to Others State Responsible RROF to HUD local CPD
Who’s Responsible? Grants to a Unit of Local Government Must assume Part 58 for: Formula Grants Neighborhood Stabilization Grant is a formula grant RROF to HUD or the State To the entity who provides the funding to the local government
Steps Define the project Aggregate activities Study Alternatives Determine Level of Review Conduct Review Publish or Post When required Request Release of Funds (RROF) Receive Authority To Use Grant Funds Commit Funds and Implement Project Monitor Mitigation
Level of Review Full AssessmentFull Assessment Categorically Excluded Categorically Excluded Categorically Excluded NOT Subject to 58.5 Categorically Excluded NOT Subject to 58.5 Exempt Exempt
Exempt Activities 24 CFR Part 58.34(a) Environmental, planning & design costs Information & financial services Administrative/management activities Public services (no physical impact) Inspections Purchase of tools/insurance Technical assistance & training Temporary assist. for imminent threats Payment of principal and interest
Categorically Excluded Activities not subject to 58.5 Tenant-based Rental assistance Supportive Services Operating costs (utilities, supplies) ED costs (non-construction) Pre-development costs Supplemental Assistance (NEW to Regs)
Categorically Excluded subject to CFR Part 58.35(a) Public Facilities < 20% increase Projects for accessibility and mobility Rehab of SF no increase in FP or WL Minor Rehab of Multi-family (no change in use < 20% change in density) Rehab of Nonresidential (no change in use < 20% change in density) Acquisition/Disposition no change in use – land banking
Environmental Assessment 24 CFR Part Projects that are not Categorically Excluded or Exempt Require a Full Assessment
Environmental Assessment Is the NEPA portion of the review: Designed to determine if a EIS is required Requires alternatives Requires early consultation Broad Interdisciplinary study
Environmental Impact Statement “EIS” 24 CFR Part 37 Completed for: Controversial Projects Findings of Significant Impacts (FOSI) Large projects (2,500 or more units) Unless regulations are the only reason
Public Notification EA: Combined Notice (FONSI and NOI) CE that “trigger” compliance: NOI/RROF only CE No Compliance Triggered None CE Not Subject to 58.5 : None Exempt: None
Public Comment Periods 24 CFR part NOI/FONSI - 15 days from Publication 18 days from Posting NOI - 7 days from Publication 10 days from Posting RE must consider comments prior to submitting its RROF to HUD/State HUD/State Comment Period 15 days July 28, 2004 Certifying Official
Funds are committed when: Signature of a legally binding, irrevocable, contract is signed Commitment of Funds 24 CFR Part 58.22
Notice to third Party 24 CFR Part (a)and(c) Upon receipt of the Application the State or local government must: notify applicants in writing that they may take no choice limiting actions prior to receiving HUD Commitment of Funds
Options to purchase property are allowed prior to receiving ATUGF if: Cost is nominal Site can be rejected based on environmental finding Options 24 CFR Part (d)
Implement the Preferred Alternative