HUD recently issued guidance designed to offer applicants for housing the opportunity to give supplemental information about individuals or organizations that could be of help in resolving any issues that might arise during their tenancy or provide any special care or needed services. Such individuals or organizations could be family members or friends, or any social, health, or advocacy group.
HUD recently issued guidance designed to offer applicants for housing the opportunity to give supplemental information about individuals or organizations that could be of help in resolving any issues that might arise during their tenancy or provide any special care or needed services. Such individuals or organizations could be family members or friends, or any social, health, or advocacy group.
The guidance, issued in the form of Housing Notice H2009-13 and dated Sept. 15, 2009, is a directive for all site owners, management agents, and PHAs. The Notice was issued to guide them on implementing the requirements of Section 644 of the Housing and Community Development Act of 1992. Accompanying the Notice is Form HUD-92006, Supplement to Application for Federally Assisted Housing, which must be offered to the applicant as part of the owner's and HUD's standard application.
Form 92006 is to be used with applications for the following assisted housing programs:
As mandated by Section 644, HUD requires housing providers participating in federally assisted housing programs to gather information that might support the prospective resident, if and only if the applicant wishes to provide such information. The housing provider may not require the applicant to provide such information.
The objective of providing such information in the application is simply to facilitate contact by the housing provider, if the applicant does become a resident. The housing provider must maintain any information provided on the supplemental application as confidential information.
EDITOR'S NOTE: For details about the requirements of Section 644, see the Jan. 22, 2009, Federal Register at: http://edocket.access.gpo.gov/2009/pdf/E9-1165.pdf. HUD will be issuing a conforming rule amending the regulations to reflect these requirements.
Owners, managers, and PHAs must implement the requirements of Section 644 and begin using Form HUD-92006 by no later than 90 days from the issue date of the Notice—that is, Dec. 15, 2009.
To meet the requirements you must:
If the applicant chooses to include information about more than one contact person or organization, the applicant must make clear to you the reason each person or organization may be contacted. You should accommodate the applicant by allowing him to complete a Form 92006 for each contact, indicating the reason you may contact the individual or organization. For example, the applicant may choose to have a relative as a contact for emergency purposes and an advocacy organization for assistance with tenancy issues.
Although it is not required, you should give current residents who did not have the opportunity to provide contact information at the time of application and admission the chance to do so. The ideal time for this is at their next annual reexamination/recertification.
Here is some guidance from HUD for working with current residents:
You may contact the individuals or organizations provided on Form 92006 by your residents or applicants (when they become residents) only for the use or uses they indicated. This contact information is intended to help you deliver any services or special care to the resident and assist in any tenancy issues arising during the resident's tenancy.
You are required to retain the Form 92006 with the applicant's application. When the applicant becomes a resident, you must retain the information for as long as the resident remains a resident. You should follow program requirements for retaining resident files after the end of program participation or after move-out. For example, multifamily owners and managers are required to retain resident file information for three years after the resident's tenancy ends.
Section 644 requires that you keep the contact information confidential and release the information for the stated statutory purpose only: To assist you in providing services or special care for such residents and in resolving issues that may arise during the residents' tenancy.
A copy of Form HUD-92006, Supplement to Application for Federally Assisted Housing, accompanies this article. (Note that it has been reset to fit the size of the newsletter page.) If you have additional questions about the requirements and implementation of Section 644 of the Housing and Community Development Act of 1992 and the use of the form, contact your local HUD Field Office.
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