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• Projects with more than 11 (11) HOME Assisted or 8 Project -Based Voucher units are subject to Davis -Bacon <br />wage requirements. <br />• HUD regulations prohibit the use of federal funds to pay relocation costs for tenants without a legal right to <br />reside in the United States. State law requires that they be paid for those costs. Consequently the City will <br />require that they be paid out of a nonfederal funding source. <br />• For acquisition /rehabilitation projects the City will require that the developer hire a professional relocation <br />firm to develop and implement a relocation plan. The selected firm must be acceptable to the City. <br />• Unless it will be rent and income restricted, HOME funds cannot be used to pay for the development of a <br />resident manager's unit. <br />• Under the newly revised HOME Program final rule, the City may not enter into a written agreement that <br />commits HOME funds until all other required funding has been secured by means of a firm commitment, a <br />budget and production schedule has been established, and underwriting completed. In order to facilitate <br />this process, the City will require the selected developer to provide evidence of firm commitment for any <br />additional funds required by the project within 30 days of the selection of their proposal. If the selected <br />developer cannot provide the financing commitments, their proposal will be denied. <br />The City must commit these HOME funds by July 31, 2016. As a consequence it is imperative that proposed <br />projects be ready to move forward and additional required funding be readily available. Proposed <br />development schedules must reflect this deadline. <br />Under the newly revised HOME Program final rule, nonprofits wishing to be certified as CHDOs must have <br />paid staff whose experience qualifies them to undertake CHDO activities. To act as a "developer," a CHDO <br />must be in sole charge of all aspects of the development process, including design, financing and <br />construction. CHDO rental projects "developed" by a CHDO must be owned by the CHDO. Two other CHDO <br />roles and their requirements ( "owner" and "sponsor ") are described in Section 92.300 of the revised rule <br />which is available on HUD's website. Nonprofits seeking HOME funding as CHDOs must identify which of <br />these three roles they will play, and how they meet HUD's requirements. <br />• The newly revised HOME Program final rule includes several mandated progress - related deadlines that will <br />be incorporated into the developer's loan agreement, and that must be incorporated into the project's <br />proposed timeline: <br />o Construction must be underway within a year of the commitment of HOME funds <br />HOME assisted rental units must be occupied by income - eligible tenants within 18 months of project <br />completion. <br />o HOME projects must be completed within four years of the commitment of HOME funds <br />City of Santa Ana Community Development Agency <br />Request for Proposals for Affordable Housing Development <br />1k 15 <br />