Recommendations for the Implementation of the
2008 Neighborhood Stabilization Program (NSP)
Presented to: Miami Dade County, Miami, North Miami, Hialeah, North Miami Gardens,
Miami Gardens, and Homestead (The “Grantees”) by the South Florida Community Development Coalition, Inc., October 16, 2008
- Property
Acquisition.
Grantees should consider their administrative capacity and ability to
use NSP funds within the statutory deadline. For this reason
they
should make the funds available to non-profit and for-profit developers
for the acquisition and redevelopment of properties. This
mechanism will provide a more streamlined and efficient process than
then the Grantees themselves directly acquiring properties.
- Complying
with the Short Deadlines Imposed by the Federal Regulations:
Grantees should utilize their existing RFP and RFA processes which they
should modify to include simultaneous approval of both the developer
and the amount and use of the funds. Doing that will reduce
the
time from the initial application to decision.
- Selection of
Developers:
Approval of developer entities to acquire property should include such
considerations as ability to proceed, capacity, experience in working
with these types of properties and purchasers, leveraging, and a
demonstration by the developer of an appropriate timeline for
delivery.
- Compliance
with NSP Affordability Restrictions:
The easiest way for Grantees to comply with the NSP regulations would
be to adopt the affordability restrictions and guidelines set forth by
the federal Community Development Block Grant (CDBG) and federal HOME
Programs where applicable (a method authorized in the NSP
regulations). In no event should the affordability
restrictions
be more restrictive than what is provided by these Federal
Regulations. The primary purpose of the Housing and Economic
Recovery Act (HERA) is neighborhood stabilization. Therefore,
properties targeted by NSP funds should not be encumbered by excessive
restrictions which may ultimately diminish the overall stability and
value of the neighborhood.
- Rental
Properties:
The NSP Regulations mandate that 25% of the funds benefit individuals
and families whose income does not exceed 50% of AMI. To meet
this requirement, the Grantees should allocate 25% of the funds for
developers that want to acquire and rehabilitate rental properties.
- Enhance
Homebuyer Education Component:
In accordance with the NSP Regulations up to 10% of an NSP grant
provided to a jurisdiction and up to 10% of program income earned may
be used for general administrative and planning activities as defined
at 24 CFR 570.205 and 206. The Coalition recommends that some
portion of this 10% amount be used to assist qualified approved
homebuyer counseling agencies. Such counseling is required by
the
NSP regulations. Doing this will mitigate the potential for homebuyer
failure and will also reduce the potential for foreclosures.
The
South Florida Community Development Coalition and its members are
committed to creating and strengthening our community’s vision of how
we can make our neighborhoods more stable, sustainable, competitive,
and integrated. Our organization is intimately familiar with
the
current needs of our residents. We are here to assist our
local
governmental entities with this new challenge of creating and
implementing policies and procedures in utilizing the NSP funds to
increase access to affordable housing while adhering to the federal
regulations and statutory timelines.