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. Administrative Plan 7/1/2025 <br /> <br />Page 3-26 <br />3-III.D. OTHER PERMITTED REASONS FOR DENIAL OF ASSISTANCE <br />HUD permits, but does not require, the PHA to deny assistance for the reasons discussed in <br />this section. <br />Criminal Activity [24 CFR 982.553] <br />HUD permits, but does not require, the PHA to deny assistance if the PHA determines that any <br />household member is currently engaged in, or has engaged in during a reasonable time before the <br />family would receive assistance, certain types of criminal activity. <br />SAHA Policy <br />SAHA will not implement any additional barrier that is not a statutorily mandated <br />prohibition which would limit a vulnerable population from accessing the program. This <br />policy is adopted in accordance with the Reentry Letter from Secretary Donovan to PHAs <br />(June 17th, 2011), HUD’s Office of General Counsel Memo (April 4th, 2016), PIH <br />Notice 2013-15, PIH Notice 2015-19, Memo from Secretary Fudge to PHAs (April 12th, <br />2022), HUD’s goal to “help ex-offenders gain access to one of the most fundamental <br />building blocks of a stable life – a place to live,” and California Assembly Bill 1814 (AB <br />1814) (Gov. Code, §53165.1) Prohibition on Penalties Against Tenants and Landlords for <br />Law Enforcement Contact or Emergency Services. <br />EXHIBIT 1