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FEMA Individual Assistance Program Policy Guide
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Smith Onted Director Individual Assistance Division SUBJECT: Policy Changes to the Individuals and Households Program resulting from the Disaster Recovery Reform Act of 2018, Section 1212 Section 1212 of the Disaster Recovery Reform Act of 2018 (DRRA) authorizes changes to the provision of Individuals and Households Program (IHP)Assistance. These changes are retroactive to disasters declared on or after August 1, 2017. Specifically, DRRA directs FEMA to: • Remove financial assistance maximum award limits for temporary housing assistance. • Remove financial assistance maximum award limits for accessibility-related real and personal property items for applicants with disabilities or other access and functional needs. • Establish a separate financial assistance maximum award limit for Home Repair and Replacement Assistance. • Establish a separate financial assistance maximum award limit for Other Needs Assistance. FEMA released the Individual Assistance Program and Policy Guide (IAPPG)on March 5, 2019. The guide serves as the singular policy reference for the delivery of Individual Assistance, including IHP. I am authorizing policy changes to the IAPPG as outlined below due to the requirements of the DRRA, Section 1212. The changes are effective immediately and will be incorporated into a subsequent publication of the IAPPG. Temporary Housing Assistance Financial assistance for temporary housing expenses is not limited to a maximum award amount. This includes Lodging Expense Reimbursement(LER), Rental Assistance, and Continued Rental Assistance. • FEMA will consider limited extensions to the LER eligibility period upon a request from the state, territory, or tribe that establishes that local temporary housing resources are unavailable or infeasible. • FEMA may provide Rental Assistance, including initial and continued assistance awards,up to the 18-month period of assistance, plus one additional month when utilized for a security deposit. If the 18-month financial period of assistance is extended,the number of eligible months of Rental Assistance will also be extended. wwwfema.gov 1 Accessibility-Related Losses Disaster-caused losses to accessibility-related real and personal property for applicants with a disability or other access and functional need are not subject to a financial assistance maximum award limitation. • The U.S. Small Business Administration disaster loan referral limitations still apply. • This applies to accessibility items currently awarded under Home Repair Assistance and Personal Property. Financial Housing Assistance Maximum Financial assistance for Home Repair and Replacement Assistance for owner-occupied homes is limited to a maximum award amount, adjusted each fiscal year based on the Department of Labor Consumer Price Index for All Urban Consumers (CPI). Financial Other Needs Assistance Maximum Financial assistance for Other Needs Assistance Personal Property,Transportation, Moving and Storage, Medical and Dental, Funeral, Child Care, and Miscellaneous Items is limited to a maximum award amount, adjusted each fiscal year based on the Department of Labor CPI. Below is a chart that depicts these specific changes by type of assistance. IHP Assistance Maximums Type of Assistance Maximum Financial Housing Home Repair Assistance Adjusted annually by CPI Assistance Maximum Home Replacement Assistance Personal Property Assistance Transportation Assistance Moving and Storage Assistance Medical/Dental Assistance Financial Other Needs Funeral Assistance Assistance Maximum Child Care Assistance Adjusted annually by CPI Assistance for Miscellaneous Items Critical Needs Assistance Clean and Removal Assistance Group Flood Insurance Policy Lodging Expense Reimbursement Rental Assistance Continued Rental Assistance Award amount based on No Maximum Applicable Home Repair Assistance receipts,Fair Market Rent accessibility items rates, or line item amounts established by FEMA Personal Property accessibility items IAPPG policy language not specifically referenced in this memorandum remains in effect unless otherwise directed. Should you have any questions or need additional information,please contact Chris Smith, Individual Assistance Division Director, at christopher.b.smith@fema.dhs.gov. cc: Keith Turi,Assistant Administrator, Recovery Directorate Regional Recovery Division Directors,Regions I -X 2 Individual Assistance Branch Chiefs, Regions I -X Monty LeMaire, Chief, Individuals and Households Program Service Delivery Branch 3 Individual Assistance Program Fat ,, and Policy Guide (IAPPG) FEMA „„.„- FREQUENTLY ASKED QUESTIONS What happened after the IAPPG comment period? Comments were adjudicated, finalized, and FEMA is notifying stakeholders about the release of the final document. When will the final IAPPG be published? The final IAPPG will be published on March 1, 2019. How often will the IAPPG be updated? FEMA will conduct a comprehensive review of the guidance no less than every three years. If FEMA determines it necessary to publish new or updated policy language before the next scheduled update, FEMA will update the electronic version of this document and issue a memorandum describing the additions or updates. What is difference between the IAPPG and the IPHUG? IAPPG includes clarifications, additions, and updates to the IHPUG, along with additional stand- alone IA policies. Some information users will find in the IAPPG include: • Updates and clarification of IHP eligibility requirements • Delegation of authorities for certain decisional program extensions • Clarifies specific application processes and program requirements • Establishes guidance, and updates eligibility criteria for temporary housing and rental assistance options What is included in the IAPPG? Below is a table of contents and brief overview for each chapter of the IAPPG. Chapter 1: Introduction • This chapter describes the presidential declaration process, introduces the types of assistance available under FEMA's Individual Assistance Programs, describes program delivery considerations, and explains the federal cost share. Chapter 2: Mass Care/Emergency Assistance • This chapter discusses the role of Mass Care/Emergency Assistance, including its primary activities, Transitional Sheltering Assistance,the Rapid Temporary Repair program, and the National Mass Care Exercise. Chapter 3: Individuals and Households Program (IHP) • This chapter provides an overview of the Individuals and Households Program, including conditions of eligibility, for each type of IHP Assistance available under the Housing Assistance and Other Needs Assistance provisions of IHP, including financial and direct assistance.This chapter also addresses the recovery of IHP Assistance that was improperly awarded or obtained through fraudulent means. Chapter 4: Disaster Case Management • This chapter provides an overview of the Disaster Case Management federal award program, including conditions of eligibility, pre-and post-award requirements, and closeout. Chapter 5: Crisis Counseling Assistance and Training Program(CCP) Guidance • This chapter provides an overview of the Crisis Counseling Assistance and Training Program, including both the Immediate Service Program (ISP) and Regular Service Program(RSP). Chapter 6: Disaster Legal Services • This chapter discusses the Disaster Legal Services federal award program, including the period of assistance,partner organizations, conditions of eligibility, and delivery of services. Chapter 7: Disaster Unemployment Assistance • This chapter discusses the Disaster Unemployment Assistance federal award program, which is administered by the U.S. Department of Labor with funding from FEMA. Chapter 8: Voluntary Agency Coordination • This chapter discusses the role of the Voluntary Agency Coordination Section and the responsibilities of FEMA's Voluntary Agency Liaisons in both declared and non- declared disasters. Individual Assistance Program and Policy Guide (IAPPG) Summary of Changes Individuals and Households Program (IHP): • Delegation of Authority: o The IA Division Director must approve all waivers to established policies; and o Operational procedures for oversight and parameters for delegated authorities (e.g., roles and responsibilities between Headquarters, Regions, and Field leadership) are delineated. • Conditions of eligibility: o Eligibility is clarified for applicants who reside in Coastal Barrier Resources System Areas, Otherwise Protected Areas, or dwellings on non-permanent foundations in Special Flood Hazard Areas; incarcerated applicants; pre-disaster homeless applicants; residents of non-traditional housing; roommates and boarders; and applicants assisted by the U.S. Department of Housing and Urban Development (HUD) pre-disaster. • Housing Assistance (HA)—Financial: o Eligibility for Home Repair Assistance for improvements and upgrades, and for privately-owned houseboats and docks has been clarified; and o Language has been added to clarify that landlords are not eligible for IHP Home Repair and Replacement Assistance. • Housing Assistance (HA)—Direct: o Multi-Family Lease and Repair has been updated to include accessibility improvements to serve a broader range of applicants; and o Recreational Vehicles (RVs) and Direct Lease have been established as new Direct Temporary Housing Assistance options. • Other Needs Assistance: o SBA-Dependent ONA: Reimbursement at actual cost for ADA-compliant personal property is allowed. o Non-SBA-Dependent ONA: FEMA can award Funeral Assistance for deaths indirectly attributed to the disaster in accordance with October 2017 CDC guidelines, and Clean and Removal Assistance is established for flood-affected habitable homes. • A recoupment minimum of$250.00 has been established. • New Policy for Transportation Assistance under Section 425 of the Stafford Act has been established. Mass Care/Emergency Assistance (MC/EA): • Transitional Sheltering Assistance (TSA): o TSA policy has been removed from the document; specific policy will be issued by FEMA MC/EA for each disaster in which TSA is requested. Voluntary Agency Coordination (VAC): • No significant changes have been made. Community Services: • Disaster Case Management (DCM): o Non-policy content (tools,job aids, etc.) will be hosted in toolkits accessible via the FEMA.gov site; o The application period has been extended to 90 days from the date of major disaster declaration; and o Non-federal entities can be reimbursed for services starting the date of declaration, if approved. • Crisis Counseling Assistance and Training Program (CCP): o No significant changes have been made. • Disaster Legal Services (DLS): o No significant changes have been made. • Disaster Unemployment Assistance (DUA): o No significant changes have been made. SEQUENCE OF DELIVERY Individual Assistance oca c e ,mtn.`aldl Emergency Voluntary Agencies Phase ,_ F; Shelter Clothing, Medical • 1 Relief Insurance (Such as Homeowners,NFIP etc.) Phase FEMA Registration Call to Register: 1-800-621-FEMA(3362)or TTY 1-800-462-7585 or online at: www.fema.gov or The FEMA app,available in the Apple App Store or Google Play FEMA Housing Assistance (Not SBA Dependent) (An element of the Individuals and Household Program(IHP)) Assistance to ensure housing in a safe,secure and functional environment 1.Temporary Housing 2.Home Repairs or Replacement Financial Assistance Financial Assistance -Rental -Lodging Expense Reimbursement -Direct Assistance -FEMA-provided housing unit Small Business Administration (SBA) Disaster Loans Other Government Disaster Homeowners Homeowners and Renters Businesses Programs Up to$200,000 Up to$40,000 Up to$1,500,000 Disaster Unemployment Assistance (for home repairs (to replace personal property) Crisis Counseling or replacement) Legal Assistance (Applicants must complete the SBA loan application process and be turned IRS Assistance for casualty loss down in order to receive assistance from ONA for personal property, Veterans Assistance vehicle or moving and storage assistance) HUD Housing USDA Rural Housing SBA USDA D-SNAP Assistance SBALoan Denial/Referral Failedlincome Test *IHP-Other Needs Assistance(ONA)(SBA *Other Needs Assistance(ONA)(Non-SBA Dependent—must apply to SBA first)Personal dependent,does not require SBA application or Property denial) Transportation(vehicle) Funeral Dental Moving and Storage Medical Other Expenses Group Flood Policy Transportation(public transportation) Maximum assistance for combined total of Housing and Other Needs assistance is $33,300 Long Term Recovery *FY 2017 Long Term Recovery Groups Voluntary Agencies Faith-based Organizations ong Term Recovery Committees This page is intentionally blank. TABLE OF CONTENTS TABLE OF CONTENTS i TABLE OF FIGURES vii Foreword 1 Chapter 1: Introduction 3 I. Presidential Declarations 3 A. Types of Assistance 3 B. Federal Cost Share 4 C. Type of Incident 4 D. Incident Period 4 E. Designated Areas 5 F. FEMA-State/Territory/Tribal Government Agreement 5 II. Individual Assistance Programs Overview 6 A. Chapter 2: Mass Care and Emergency Assistance 6 B. Chapter 3: Individuals and Households Program Assistance 6 C. Chapter 4: Disaster Case Management 7 D. Chapter 5: Crisis Counseling Assistance and Training Program 8 E. Chapter 6: Disaster Legal Services 8 F. Chapter 7:Disaster Unemployment Assistance 8 G. Chapter 8: Voluntary Agency Coordination 9 III. Sequence of Delivery 10 IV. Federal Requirements for IA Programs 12 A. Reasonable Accommodations 12 B. Privacy Act 12 C. Rehabilitation Act 12 D. Program Delivery Considerations 13 Chapter 2: Mass Care/Emergency Assistance 15 I. Overview 15 A. Period of Assistance 15 B. Types of Assistance 16 C. General Eligibility Requirements 16 D. Delivering Mass Care and Emergency Assistance MC/EA 17 II. Sheltering Support 18 A. Description of Assistance 18 B. Partner Organizations 18 C. Triggers for Implementation 18 D. Delivery of Assistance 19 III. Feeding Support 22 A. Description of Assistance 22 B. Partner Organizations 22 C. Triggers for Implementation 22 D. Delivery of Assistance 22 IV. Distribution of Emergency Supplies Support 25 A. Description of Assistance 25 B. Partner Organizations 25 C. Triggers for Implementation 26 D. Delivery of Assistance 26 V. Disability,Access, and Functional Needs Support 28 A. Description of Assistance 28 B. Partner Organizations 28 C. Triggers for Implementation 28 D. Delivery of Assistance 28 E. Personal Assistance Services 29 VI. Reunification Services 31 A. Description of Assistance 31 B. Partner Organizations 31 C. Triggers for Implementation 31 D. Delivery of Assistance 32 E. National Emergency Child Locator Center 33 VII. Household Pets, Service Animals,and Assistance Animals 34 A. Description of Assistance 34 B. Partner Organizations 34 C. Triggers for Implementation 34 D. Delivery of Assistance 34 VIII.Mass Evacuee Support 37 A. Description of Assistance 37 B. Partner Organizations 37 C. Triggers for Implementation 37 D. Delivery of Assistance 37 E. National Mass Evacuation Tracking System 38 IX. Transitional Sheltering Assistance 40 ii A. Description of Assistance 40 X. Rapid Temporary Repair(Operation Blue Roof)Program 41 A. Description of Assistance 41 B. Partner Organizations 41 C. Eligibility Considerations 41 D. Delivery of Assistance 41 XI. National Mass Care Exercise 42 A. Description of Exercise 42 B. Application Process 42 C. Implementation of Exercise 42 Chapter 3: Individuals and Households Program 43 I. Individuals and Households Program Overview 43 A. Period of IHP Assistance 43 B. Amount of IHP Assistance 43 C. Types of IHP Assistance 44 II. Individuals and Households Program Eligibility 47 A. General IHP Eligibility 47 B. Additional Eligibility Considerations 56 C. Appeal Process 65 III. Delivering Individuals and Households Program Assistance 68 A. Applying for FEMA IHP Assistance 68 B. Verifying Losses 71 C. Applicant Communication 74 IV. Housing Assistance(Financial) 78 A. Lodging Expense Reimbursement 78 B. Rental Assistance 80 C. Continued Rental Assistance 81 D. Rental Assistance Rate Increase 85 E. Home Repair Assistance 86 F. Privately-Owned Access Routes 88 G. Replacement Assistance 91 V. Housing Assistance(Direct) 93 A. Direct Housing Assistance Request and Approval 93 B. Direct Temporary Housing Assistance Conditions of Eligibility 96 C. Direct Temporary Housing Assistance Terms and Conditions 98 D. Multi-Family Lease and Repair 107 iii E. Transportable Temporary Housing Units and Site Types 112 F. Disposing of TTHUs through Sales to Occupants and Donations 118 G. Direct Lease 124 H. Permanent Housing Construction 127 VI. Other Needs Assistance 133 A. ONA Options and Cost Shares 133 B. Non-Small Business Administration-Dependent 137 C. SBA-Dependent 152 VII. Recovery of Program Funds 164 A. Reasons for Recovery of Funds 166 B. Identifying and Verifying Potential Debts 166 C. Notice of Potential Debt and Appeal Process 167 D. Debt Compromise, Suspension,or Termination 168 E. Transfer of Debt to Treasury 169 F. Statute of Limitations 170 Chapter 4: Disaster Case Management 172 I. Overview 172 A. Overview of Services to Survivors 172 B. Program Types 173 C. Waivers to Existing Program Policy 174 D. Authorities 174 II. Immediate Disaster Case Management 175 A. IDCM Period of Assistance 175 B. Transition to Non-Federal Entity DCM Federal Award Program 175 C. Federal and Congressional Review Process 176 III. Disaster Case Management Program 177 A. Period of Assistance 177 B. General Conditions of Eligibility for a DCM Federal award 177 C. DCM Award Roles and Responsibilities 178 D. Pre-Award Requirements for DCM 179 E. Notice of Award(NOA) 184 F. Post-Award Requirements for DCM 184 Chapter 5: Crisis Counseling Assistance and Training Program 190 I. Overview 190 A. Overview of Services to Survivors 190 B. Crisis Counseling vs. Traditional Mental Health Treatment 191 iv C. Services Funded Through the CCP 192 D. General Conditions of Eligibility for a Federal CCP Award 193 E. Waivers to Existing Policy 194 F. Authorities 194 G. Partner Organizations 194 H. Types of Assistance 194 II. Immediate Services Program 195 A. Period of Assistance for ISP 195 B. Pre-Award Assessment and Application 195 C. Approval Process for ISP 200 D. Notice of Award(NOA) for ISP 201 E. Post-Award Requirements 201 F. Closeout and Records Retention 202 III. Regular Services Program 204 A. Period of Assistance for RSP 204 B. Pre-Award Assessment and Application 204 C. Approval Process for RSP 208 D. Notice of Award(NOA)for RSP 209 E. Post-Award Requirements 209 F. Closeout and Records Retention 212 IV. Considerations for Implementation of ISP and RSP 213 A. Main Components of a Program Management Plan 213 B. Staffing of the CCP 213 C. Data Collection,Evaluation,and Reporting 214 D. Quality Assurance 215 E. General Provisions 215 F. Modifications to Budget and Program Plans 216 G. Appeals 217 H. Procurement Requirements under a Federal Award 217 Chapter 6: Disaster Legal Services 218 I. Overview 218 A. Period of Assistance 218 B. Types of Assistance 218 C. Authorities 219 D. Partner Organizations 219 E. Conditions of Eligibility 219 v II. Delivery of Services 220 A. Program Approval Process 220 Chapter 7: Disaster Unemployment Assistance 222 I. Overview 222 A. Period of Assistance 222 B. Types of Assistance 222 C. Application Process 223 D. Conditions of Eligibility 224 II. Delivery of Services 225 Chapter 8: Voluntary Agency Coordination 226 I. Overview 226 A. Voluntary Agency Coordination 226 II. Responsibilities of FEMA Voluntary Agency Liaisons 227 A. National Response Coordination Center 227 B. Non-Declared Disasters 227 C. Emergency Declarations and Public Assistance 227 D. Donations and Volunteer Management 228 Appendix A: Transportation Assistance 230 Appendix B: Individual Assistance Program and Assistance Approvals 232 Appendix C: Individual Assistance Policy Supersession 236 Appendix D: Legal Considerations for Recipients of Federal Financial Assistance 238 Appendix E: DCM-Allowable and Unallowable Costs 240 Appendix F: CCP—Allowable and Unallowable Costs 243 Appendix G: Definitions 251 Appendix H: Abbreviations and Acronyms 255 Endnotes 263 vi TABLE OF FIGURES Figure 1: Disaster Assistance Sequence of Delivery 10 Figure 2:Timeline of Individual Assistance Programs 11 Figure 3:Housing Assistance 45 Figure 4:U.S. Citizenship and Resident Alien 48 Figure 5:Acceptable Documentation to Verify Identity 50 Figure 6: Insurance Eligibility 51 Figure 7: Housing Assistance Documentation to Verify Occupancy 53 Figure 8: Documentation to Verify Ownership 55 Figure 9: Condo and Co-op Assistance 57 Figure 10: Assistance for Roommates and Boarders 58 Figure 11: Assistance for Residents of Non-Traditional Housing 62 Figure 12: Flood Insurance Requirements for Homeowners and Renters 64 Figure 13: Sample Appeal Letter 67 Figure 14: Registration Period 69 Figure 15: Privacy Act Statement and Declaration of Eligibility 71 Figure 16: FEMA Rental Assistance Overview 81 Figure 17: Excerpt of Form 010-0-12 Application for Continued Temporary Housing Assistance 83 Figure 18: Continued Rental Assistance Documentation 84 Figure 19: FMR Calculator 86 Figure 20: General Sequence of FEMA Direct Housing Assistance Options 96 Figure 21: FEMA Notification of Occupant Violations 104 Figure 22: Example of a Penalty Fee 106 Figure 23: Conditions for PHC Repair or New Construction 129 Figure 24: SBA Disaster Loan application process 133 Figure 25: Other Needs Assistance,Non-SBA-Dependent and SBA-Dependent 134 Figure 26: Excerpt of FEMA Form 010-0-11,ONA Administrative Option Selection 134 Figure 27: ONA Administrative Option Responsibility 136 Figure 28: Example—Comparison of Pre-and Post-Disaster Child Care Costs 144 Figure 29: Child Care Assistance Documentation 146 Figure 30:FEMA Deliberative Process for Identifying and Validating Debt Payments 165 Figure 31:DCM Services Provided to Individuals 173 vii Figure 32: Fiscal and Program Officer Responsibilities 178 Figure 33:DCM Application Required Information and Documents 181 Figure 34: 2 C.F.R. Part 200 Compliance 189 Figure 35: Characteristics of CCP 191 Figure 36: Mental Health vs Crisis Counseling Services 192 Figure 37: Services Funded through the CCP 192 Figure 38: ISP Application Required Information and Documents 196 Figure 39: RSP Application Required Information and Documents 206 Figure 40: VAL Coordination during Non-Declared Emergencies and PA-Only Declarations 228 Figure 41: Delegation of IA Authorities 232 Figure 42: Individual Assistance Policy Supersession 236 Figure 43: Disaster Case Management(DCM)—Allowable and Unallowable Costs 240 Figure 44: CCP—Allowable and Unallowable Costs 243 viii Foreword Foreword On behalf of the Federal Emergency Management Agency(FEMA), I am pleased to present the Individual Assistance Program and Policy Guide (IAPPG). The IAPPG consolidates information on Individual Assistance (IA)programs offered by FEMA to a state, territorial,tribal, or local government jurisdiction affected by a disaster. The IAPPG will: • Supersede all stand-alone Individual Assistance policies and program guides currently located in FEMA documents and standard operating procedures (SOPs), including the 2016 Individuals and Households Program Unified Guidance (IHPUG); • Provide a comprehensive guide to programs and activities available to the state, territory, tribe, or local government following a disaster; and • Increase consistency in implementation, collaboration in planning, and the sharing of knowledge between states,territories, tribes, local governments, FEMA and other Federal and non-Federal entities who assist disaster survivors. The IAPPG will not replace the existing National Emergency Management Information System (NEMIS)business rules or internal technical manuals, as these describe FEMA's internal processes and business rules for FEMA staff. FEMA has archived the policy,program guide, and activity documents listed in Appendix C. These policy and guidance documents remain in effect for incidents declared prior to March 1, 2019. The policies reflected in this guide are effective for incidents declared on or after March 1, 2019. Any waivers to policy contained in this document must be submitted, with justification, to the IA Division Director for consideration and approval. FEMA will conduct a comprehensive review no less than every three years. If FEMA determines it necessary to publish new or updated policy language before the next scheduled update, FEMA will update the electronic version of this document, issue a memorandum describing the additions or updates, and post both documents at www.fema.gov. v7 ), Keith Turi Assistant Administrator, Recovery 1 Chapter 1: Introduction This page is intentionally left blank. 2 Chapter 1: Introduction Chapter 1 : Introduction The Individual Assistance Program and Policy Guide (IAPPG) consolidates information on all of FEMA's Individual Assistance (IA)programs and activities and provides a comprehensive policy resource for state,' territorial,tribal,2 and local3 (SLTT) governments, non-governmental partners, and entities that participate in or support the recovery of disaster survivors. The Robert T. Stafford Disaster Relief and Emergency Assistance Act, as amended(Stafford Act), Public Law 93-288,42 U.S.C. § 5121 et. Seq.,4 authorizes the President to provide Federal assistance when the magnitude of an incident or threat of an incident excetheR affected SLTT government's capability to respond or recover. I. Presidential Declarations When a state, territorial, or tribal government determines an incident has exceeded their capability to respond,the Governor or Tribal Chief Executives may request a declaration from the President through FEMA. They must request the declaration within 30 days of the incident. FEMA may extend the deadline if the Governor or Tribal Chief Executive submits a written time extension request within 30 days of the incident stipulating the reason for the delay.6 For FEMA to provide assistance, the President must declare that an emergency or major disaster exists. A declaration establishes the following: • Types of assistance • • Federal cost share \, Images of flood • Type of incident damaged homes. • Incident period • Designated areas ' p!'.. AA� A. Types of Assistance �` eds .„+. The declaration designates the types of ' 4- • Federal programs and assistance - -- available. Assistance varies,but may be available to SLTT governments, certain types of Private Non-Profit(PNP) organizations and Faith Based Organizations, or to individuals and households. Through the Individual Assistance (IA)programs, FEMA provides direct assistance to individuals and households, as well as SLTT government to support individual survivors. Through the Public Assistance(PA)program, FEMA provides grants to SLTT governments and certain PNP organizations to assist them with disaster response and recovery, including debris removal, emergency protective measures, and permanent restoration of facilities. For more 3 Chapter 1: Introduction information, see the Public Assistance Program and Policy Guide (PAPPG), FP 104-009-2, January 2018. B. Federal Cost Share ; ito 1 The assistance FEMA provides through its PA program and _ i some types of IA are subject to a cost share. For IA, FEMA ' . ;, i !. provides 100%of Federal Individuals and Households "` "" _ Program(IHP)Housing Assistance, Disaster Case Management(DCM), Disaster Unemployment Assistance (DUA), Disaster Legal Services (DLS), and Crisis Counseling and Training Program(CCP) costs. However, IHP Other Needs Assistance (ONA), and Transitional --;." -' ', Sheltering Assistance (TSA)are subject to a cost share a - between FEMA and the state, territorial, or tribal $' government. FEMA covers 75% of eligible ONA and TSA � -4,f , costs, and the state, territorial, or tribal government is responsible for the remaining 25%.8 Above:A disaster-destroyed home. C. Type of Incident Below: Volunteers repair a home. The declaration designates the type of incident (e.g.,hurricane,tsunami, earthquake, etc.). For Emergency Declarations, an incident is any instance the President determines warrants supplemental emergency assistance to the state,territorial, or tribal government to save lives and protect property,public health, and safety, or to lessen or avert the threat of a catastrophe. For Major Disaster Declarations, an incident is any natural catastrophe (including but not limited to earthquake, hurricane, flood, volcanic eruption, severe winter weather, storm surge,tsunami, wildfires, landslide, mudslide, extreme winter weather, snowstorm,high winds, ice storm, straight line winds, drought) or man-made hazards (including fire, explosion,technological failure), regardless of cause,that produces damage of sufficient severity and magnitude in the President's determination to warrant supplemental assistance to a state,territorial, or tribal government.9 Major Disaster Declarations may include a combination of incident types, including man-made and natural. D. Incident Period The incident period is established by FEMA in the FEMA-State/Territory/Tribal Government Agreement and published in the Federal Register.10 The incident period is the span of time during which the Presidentially-declared incident occurs. This period varies in length depending on the incident. 4 Chapter 1: Introduction E. Designated Areas The declaration designates which counties,parishes,tribal lands, municipalities, villages, or districts" are eligible to receive Federal assistance. The Governor, Governor's Authorized Representative (GAR), or Tribal Chief Executive may request the designation of additional areas within 30 days of the declaration or the end of the incident period,whichever is later. F. FEMA-State/Territory/Tribal Government Agreement After every declaration, FEMA and the state,territorial, or tribal government enter into an agreement documenting the understanding, commitments, and conditions under which FEMA will provide assistance (FEMA-State/Territory/Tribal Government Agreement).12 FEMA and the Governor or Tribal Chief Executive must sign this agreement before FEMA provides assistance. If necessary, because of extreme circumstances, FEMA may authorize essential emergency services or assistance while the agreement is in the signature process. 5 Chapter 1: Introduction II. Individual Assistance Programs Overview A. Chapter 2: Mass Care and Emergency Assistance 1. Overview Mass Care and Emergency Assistance(MC/EA) is the provision of life-sustaining services to disaster survivors as defined in the National Response Framework. MC/EA services are provided immediately before a potential incident, during the immediate response to an incident, and during the beginning of the post-disaster recovery effort. To provide more effective coordination, MC/EA will deploy staff and resources to the National Response Coordination Center(NRCC), Regional Response Coordination Center(RRCC), FEMA Joint Field Office(JFO), and/or SLTT Emergency Operations Centers (EOC). In the event of a Presidentially-declared disaster, all impacted survivors are eligible to receive MC/EA services. 2. Types of Services and Delivery MC/EA is composed of seven services known as activities. Activities include: sheltering; feeding; distribution of emergency supplies; support for individuals with disabilities and others with access and functional needs; reunification services for adults and children; support for household pets, service animals, and assistance animals; and mass evacuee support. In addition to the seven aforementioned activities, MC/EA also supports the National Mass Care Exercise (NMCE) training program and offers partnerships through the Blue Roof Program and Transitional Sheltering Assistance (TSA). MC/EA supports the whole community approach to emergency management. By engaging state and National Voluntary Organizations Active in Disaster(VOAD) and other various entities involved in delivering post-disaster aid,MC/EA increases capacity to meet the life-sustaining needs of survivors in catastrophic disasters. MC/EA coordinates the delivery of assistance for both pre-disaster preparedness and post-disaster emergency support to individuals. Pre-disaster technical assistance is provided to organizations critical in supporting mass care, including: FEMA's Response, Recovery, and Logistic Management Directorates; the National Preparedness Directorate; SLTT governments,FEMA Regions, and Federal agencies. B. Chapter 3: Individuals and Households Program Assistance 1. Overview IHP Assistance provides financial assistance and direct services to eligible individuals and households who have uninsured or underinsured necessary expenses and serious needs. IHP Assistance is not a substitute for insurance and cannot compensate for all losses caused by a disaster; it is intended to meet basic needs and supplement disaster recovery efforts. IHP Assistance is not considered income or a resource when determining eligibility for welfare, income assistance, or income-tested benefit programs that the Federal government funds, such as 6 Chapter 1: Introduction Social Security benefits or disability income. IHP Assistance is also exempt from garnishment or seizure,but this exception does not apply to assistance recovered by FEMA after being received in error or fraud. 2. Types of Services and Delivery IHP Assistance is comprised of two provisions, Housing Assistance and Other Needs Assistance (ONA). Housing Assistance may be provided in the form of financial assistance(funds provided to an applicant) or direct assistance (housing provided to the applicant by FEMA). Examples of financial assistance include Lodging Expense Reimbursement(LER), Rental Assistance, Home Repair Assistance, and Replacement Assistance. Examples of direct assistance include Multi- Family Lease and Repair(MLR), Transportable Temporary Housing Units (TTHUs), such as Recreational Vehicles (RVs) or Manufactured Housing Units (MHUs), Direct Lease, and Permanent Housing Construction(PHC). 'YIP 'MIs Some types of ONA may only be provided if an applicant does not qualify for a disaster - r loan from the U.S. Small Business Administration(SBA); these are known as SBA-dependent types of ONA and include wow Personal Property, Moving and Storage, Transportation Assistance, and Group Flood F D - Insurance Policy(GFIP). Non-SBA- dependent ONA includes Funeral Assistance, Medical and Dental Assistance, Child Care FEMA disaster assistance staff provide applicants Assistance,Assistance for Miscellaneous information on FEMA disaster assistance programs, Items, Critical Needs Assistance, and Clean such as Other Needs Assistance(ONA)for eligible and Removal Assistance. disaster-caused expenses. IHP Assistance is limited to 18 months following the date of the Presidential disaster declaration; however, FEMA may extend the period of assistance due to extraordinary circumstances. C. Chapter 4: Disaster Case Management 1. Overview DCM is a time-limited process that promotes partnership between a case manager and a disaster survivor in order to assess and address a survivor's verified disaster-caused unmet needs through a disaster recovery plan. This disaster recovery plan includes resources, decision-making priorities,providing guidance, and tools to assist disaster survivors. 2. Types of Services and Delivery FEMA is authorized to provide case management services,to include financial assistance,to SLTT government agencies, or qualified private organizations (non-Federal entities), so that they may provide case management services to survivors in order to identify and address disaster- caused unmet needs. 7 Chapter 1: Introduction D. Chapter 5: Crisis Counseling Assistance and Training Program 1. Overview CCP provides supplemental funding to eligible SLTT governments and non-governmental organizations to assist disaster-impacted individuals and communities in recovering from the major disasters through the provision of community-based outreach and psycho-educational services. The goal is to aid survivors in recovering from the adverse reactions to disasters and to begin to rebuild their lives. 2. Types of Service and Delivery CCP services include funding for supportive crisis counseling,psycho-education, development of coping skills, and linkage to appropriate resources. CCP services are separated into two categories: primary and secondary. Primary services are high-intensity and include such needs as crisis counseling,public education, and community support. Secondary services are those that have a broader scope and are less intense. These include the development and distribution of educational material as well as media and public service announcements. CCP services are available through the Immediate Services Program(ISP) and the Regular Services Program (RSP). ISP provides funding for up to 60 days following a major disaster declaration with IA. RSP provides longer-term funding for up to nine months from the notice of award. E. Chapter 6: Disaster Legal Services 1. Overview DLS provides legal aid to survivors affected by a Presidentially-declared major disaster through an agreement with the Young Lawyers Division(YLD) of the American Bar Association. DLS is put into effect during Presidentially-declared disasters and is available to survivors who qualify as low-income. 2. Types of Services and Delivery DLS is limited to cases that would not normally incur legal fees. Typically,the types of legal assistance offered include help with insurance claims (e.g. health,property, or life),recovery or reproduction of legal documents lost in the disaster,help with home repairs and disputes with contractors and/or landlords,the preparation of powers of attorney and guardianship materials, and FEMA appeals. F. Chapter 7: Disaster Unemployment Assistance 1. Overview DUA provides unemployment benefits and re-employment assistance services to survivors affected by a Presidentially-declared major disaster. These services are under the responsibility of the U.S. Department of Labor and administered by the SLTT government emergency 8 Chapter 1: Introduction management officials of the affected area(s). DUA is only available to those survivors who are not eligible for regular state unemployment insurance(UI). 2. Types of Services and Delivery State law determines the amount of financial assistance a survivor may receive, so the amount of services varies state-to-state and disaster-to-disaster. DUA is a finite assistance tool: benefits are usually paid for up to 26 weeks post the disaster declaration. The continuation of assistance is dependent upon the survivors' period of unemployment as a direct result of the disaster. G. Chapter 8: Voluntary Agency Coordination 1. Overview Voluntary agencies are among the first to provide survivor support services post-disaster and continue throughout the recovery period. They complement Federally-provided assistance and may support gaps in coverage. FEMA's Voluntary Agency Coordination is staffed by personnel known as Voluntary Agency Liaisons (VALs). VALs establish and maintain relationships among voluntary agencies active in response and recovery, coordinate with the VOAD,provide guidance on donations management, and support NGOs that provide volunteers to affected jurisdictions. 2. Types of Services and Delivery The VAL's role is a critical component in all types of disasters—IA disaster declarations, PA- only disaster declarations, and non-Federally declared disasters—since voluntary agencies are so often both the first and the last to provide assistance to survivors. VALs support communities in conducting unmet needs assessments and organizing early coordination efforts, as well as developing and guiding local long-term recovery groups created to assist individuals and families with the recovery process. 9 Chapter 1: Introduction III. Sequence of Delivery The sequence of delivery establishes the order in which disaster relief agencies and organizations provide assistance to disaster survivors.13 This is intended to prevent duplication of benefits, maximize available resources, and coordinate efforts to help disaster survivors navigate the recovery process.Figure 1 shows the sequence of delivery of assistance after a disaster. Figure 1: Disaster Assistance Sequence of Delivery \oluntaty Agencies and Mass Care Insurance EmergencyFood,Shelter.Clothing.Medical Needs Homeowner.Reuter.Flood,etc. Federal assistance may be available for uninsured or underinsured needs, or when insurance benefits are significantly delayed.* FEMA Housing Assistance Financial:Lodging Expense Reimbursement(LER).Rental,Repair.and Replacement Assistance Direct:Multi-Family Lease and Repair(MLR),Transportable Temporary Housing 1.-nit(TTHU), Direct Lease,Permanent Housing Construction(PHC) 4011110101.6** FE\IA/Statefferritorv/Tribal Government ONA Non-SBA-Dependent Items t(Funeral.Medical.Dental.Child Care.Critical Needs Assistance,Clean and Removal,Other) SBA Income Evaluation(Repayment Capability) To determine if the applicant can qualify for low-interest SBA loan. The applicant must complete the SBA loan application and be denied for a loan to be eligible for further FEMA assistance. 4411111111.11111111.111111111111111111* SBA Referral FEMA/StateONA For SBA-Depeudenlitems and those applicants SBA-Dependent Items who qualify for a low-interest loan. For those applicants who do not qualify for an SBA loan. Real Property(owners)loans up to S200.000. Personal Property(owners&renters)loans up to S40,000. Personal Property Transportation Moving and Storage Group Flood Insurance Policy Unmet Needs—Voluntary Agencies FE]L4 will coordinate with ss-hole community partners to address remaining unmet needs once an applicant has receis-ed all federal assistance for which they are eligible. ,.:Jr...�ss�Cc:?.'�`T' t„"°i.k.��s _�.4 .:�+� ..:.� nat.���ts�T",��..-^�i'-=mow, e!^�;^: m'�a, "...:;:•.:.: *Eligibility for Federal assistance is based on each applicant's individual circumstances as they relate to each program's conditions of eligibility. Not all applicants will be eligible for all forms of Federal assistance. 10 Chapter 1: Introduction See Figure 2 for a comprehensive visualization of the timeline of IA programs. Figure 2: Timeline of Individual Assistance Programs Mass Care and Emergency Crisis Counseling Assistance Assistance(MC/EA) and Training Program(CCP) © The seven MC/EA activities ©Inunediate,Service Program begin immediately iately beirore or (ISP}Appl cation deadline, immediately after a disaster r 14"days from the date of incident. t le nab.r isaster ri, eclaration with IA. © temporary Blue Roof Program provides 1 w a free temporaroom prom = ©ISP services last up to 60 IISACE toprovides bons e days from the date of the short-term feller untiltie 1 `n maor disaster declaration homeowner can make ?: withIA. permanent repairs. Presidential Disaster © Regular Seiviee Program © Transitional Sheltering (RSP)application is due no Assistance.may be auhorized Declaration later than 60 days after the Fie Assistant Administrator - date ot declaration. for Recovery a to 180 ays from the date or 2 3 1 1RSP services last up to 9 Declaration. A 0 months from the date of the 1 notice of award. , A F::, } Disaster Legal Services y (DLS) ©DLSmay be available to Individuals and Households survivors after a major 2 =. disaster declaration with Program(IHP) IA. © Initial Registration for IffP Assistance starts on the date Disaster Unemployment dIndividual ssiatan a as esignated for the neciaration 2 "Q 0 Assistance(DUA) and runs for 60 days. r o ©Applications for DUA begin 0 The Regional Adniinistrator after a disaster declaration gand close30 days from the (RA)may extend the initial -� ate or the public • registration penod. •• _ announcement of DUA © FEMA will accept lat 3 5 availability. registrations Ior HP for an ©A li ants ttnave 21 ca eudar additional 60 days after tie, o cl �from the tune a c�1m initial registration period with e is fited to provide proof of extenuating circumstances. 3 i employment. 0 IHP Assistance lasts for a of upto 18 months. 0 UA benefits may be paid period 4 or no longer than 26 weeks eeuunmg tilenist we 0 owing a major disaster declaration with IA. 0 0 4 Voluntary Agency g Coordination Disaster Case Management (DCM) f ©Voluntary Agencies are the first support se ices o pplication deadline no i jmie rat iv be ore or later than 9,0 days atter the continuethroughouttthre and IA declaration. relsponse and recovery DCM funding ma continue 2 • p eases. for up to 24 months from the ©Voluntary Agencies provide date of the majordisaster support after Federal and declaration. Stafe services have ended. 11 Chapter 1: Introduction IV. Federal Requirements for IA Programs A. Reasonable Accommodations Reasonable Accommodations FEMA makes reasonable accommodations Applicants may request reasonable to policies,practices, and procedures to accommodations to access FEMA programs and ensure physical,programmatic, and services at any time, including during effective communication access to FEMA registration, inspection,community meetings, disaster assistance. This may include using briefings,or any other event when FEMA is technologies and services to ensure present. effective communication with applicants _„ with limited English proficiency(LEP), applicants with disabilities, and others with access and functional needs. For additional information, see Chapter 1, IV. D. later in this chapter. B. Privacy Act Determining eligibility for FEMA assistance requires applicants to provide t personal information, such as a Social Privacy Act Security Number(SSN), home address, and The Privacy Act of 1974 protects the household income. applicant's rights as to how FEMA uses and shares personal information.The Stafford Act The Privacy Act of 1974 regulates how and other authorities allow FEMA to collect this FEMA collects,uses, and discloses an information to determine eligibility and applicant's personal information in order to administer FEMA disaster assistance as a result protect the privacy of the applicant. For of an Emergency or a Presidentially-declared example, FEMA employees and contractors disaster.Information shared with other agencies will always verify an applicant's identity will not be used for any purpose other than before discussing eligibility or potential assisting the applicant's recovery,preventing duplication of benefits, or informing other assistance. disaster recovery programs. C. Rehabilitation Act FEMA may share the applicant's information outside of FEMA with entities such as states, The Rehabilitation Act of 1973, as territorial,tribal,and local governments, amended, applies to all FEMA-conducted voluntary organizations,and other organizations and assisted activities and requires in accordance with published routine uses compliance with physical,program, and identified in DHS/FEMA-008 Disaster effective communication access throughout Recovery .Asistance Files System of Records all aspects of FEMA assistance. Notice.FEMA shares this information to enable the applicant to receive additional disaster assistance,prevent a duplication of benefits,and prevent future disaster losses. 12 Chapter 1: Introduction All FEMA staff and contractors will present an identification badge to ensure applicants know they are providing private information to a trusted FEMA representative. The Rehabilitation Act of 1973 protects the civil rights of persons with disabilities. It prohibits discrimination on the basis of disability by the Federal government, Federal contractors, and by recipients of Federal financial assistance. Any recipient or sub-recipient of Federal funds is required to make their programs accessible to individuals with disabilities. The Act's protections apply to all programs and businesses that receive any Federal funds. This applies to all elements of physical/architectural,programmatic and effective communication accessibility in all services and activities conducted by or funded by the Federal government, including all elements of Individual Assistance. Given the magnitude of a catastrophic incident,waivers, ProdarMak exceptions, and exemptions to policy,regulations, and laws may s«+s.� " for ceool< *Mk Oknabiald. be available in order to save and sustain life and to protect '"°`°°""'""' property and the environment. However, any such waivers, exceptions, and exemptions must be consistent with laws that preserve human and civil rights and mil protect individuals with disabilities and others with access and functional needs. D. Program Delivery Considerations FEMA pamphlets designed for disaster survivors with FEMA is committed to providing equal access to all applicants. disabilities and others with This section outlines program delivery considerations for access and functional needs. applicants with disabilities and/or others with access and functional needs,those with LEP,those residing in insular areas, and tribal governments. 1. Applicants with Disabilities and Others with Access and Functional Needs FEMA makes reasonable accommodations to policies,practices, and procedures to ensure physical, programmatic, and effective communication access to FEMA disaster assistance. This may include using technologies and services to ensure effective communication with applicants with LEP, applicants with disabilities, and other individuals with access and functional needs. Disaster survivors may request and receive reasonable accommodations to access FEMA programs and services at any time, including during registration, inspection, community' meetings,briefings, or any event where FEMA is present. To request a reasonable accommodation, applicants can 1) call 800-462-7585 for Text Telephone (TTY) or 800-621-3362 for 711 or Video Relay Service(VRS); or 2) speak with a FEMA team member at a Disaster Recovery Center(DRC), or 3) a Disaster Survivor Assistance team member, or 4) submit a written request through the Disaster Assistance webform. 13 Chapter 1: Introduction Effective communications access is available for applicants with a disability or who have an access or functional need. Applicants should call 800-621-3362 or 800-462-7585 for TTY. Effective communications access is available where FEMA programs and services are provided including registration, inspection, community meetings,briefings, or any event where FEMA is present. Effective communications access may include,but is not limited to: o American Sign language (ASL) interpreter o Foreign language interpreter o Video Relay Interpreting (VRI) o Assistive listening devices o Braille/Large Print o Reading Assistance Services • Access to DRCs that comply with the Americans with Disabilities Act (ADA) and Section 504 of the Rehabilitation Act,which include: wheelchair accessibility into the facility, accessible restrooms, and accessible paths of travel from the parking lot and throughout the facility, as well as multi-lingual signage and technology to address a variety of access and functional needs. • ASL interpreters and/or Communication Access Real-time Translation(CART) at DRCs and public/community outreach events and field staff equipped with tablet computers that can access VRI for applicants who use ASL. • Assistance and program modification for applicants who are having difficulty understanding the registration process, denial letters, or the appeal process. 2. Applicants with Limited English Proficiency FEMA ensures all applicants receive critical, accessible, and understandable disaster assistance communications, regardless of language proficiency. To best assist these applicants, FEMA provides all of the following: • Disaster information in languages identified through demographic analysis of the impacted area; • Translation and interpretation services available in 250 languages to assist non-English- speaking disaster survivors; • Staff to identify language needs and connect disaster survivors to applicable translation services; • VRI for ASL or on-site translation at DRCs; • Appropriate referrals for applicants with disabilities and others with access and functional needs who also have LEP; and • Spanish language instructions through https://www.disasterassistance.gov/es where individuals can register for assistance. 14 Chapter 2: Mass Care/Emergency Assistance Chapter 2: Mass Care/Emergency Assistance Overview FEMA Mass Care/Emergency Assistance(MC/EA)provides coordination and support to state, territorial, tribal and local(SLTT) governments and/or jurisdictions for the provision and/or direct delivery of life-sustaining services to disaster survivors as defined in the National Response Framework,Emergency Support Function#6 (ESF#6).14 The National Mass Care Strategy—the strategy which underlies capacity development for and deployment of MC/EA services—was developed in partnership with the American Red Cross and other mass care practitioners, and serves as a Federal guide for the provision of national mass care capability. FEMA is committed to supporting the further development and implementation of the strategy f and its goals by: '�!`(41' INN ` • V 11 " 1.• Providing technical assistance such as Ai i planning support, subject matter , r. expertise, etc.; . MS N,r A • Financing invitational travel and supporting National Mass Care Exercises; FEMA Mass Care Specialist and Southern Baptist Disaster Relief nurse place donated respirators in a • Hosting webinars; storage unit in Moore,Oklahoma following tornados. • Co-branding guidance documents and tools; and • Serving as the convener and facilitating the engagement of the public and private sector in the creation of multi-agency guidance and templates. In support of its mission, MC/EA will deploy staff and resources to the National Response Coordination Center(NRCC), Regional Response Coordination Center(RRCC),FEMA Joint Field Office(JFO), SLTT government Emergency Operations Center(EOC), and/or other field assignment settings. During Presidentially-declared disasters, most MC/EA services are funded under the Stafford Act Section 40315 (commonly referred to as Category B: Emergency Protective Measures) subject to the applicable cost share. Section 403 assistance for MC/EA services may be provided via Direct Federal Assistance (DFA). A. Period of Assistance MC/EA services may be provided before a potential incident, during the immediate response to an incident, and during the recovery phase after a disaster or incident. 15 Chapter 2: Mass Care/Emergency Assistance B. Types of Assistance FEMA MC/EA is responsible for the coordination of seven activities or services detailed under the MC/EA functions of ESF#6 and has a unique partnership with the American Red Cross as the co-lead agency for the Mass Care component of ESF#6. The seven activities included are: • Sheltering(congregate and non-congregate); • Feeding; • Distribution of emergency supplies (including but not limited to, medications, baby diapers and formula, clothing from donation management, Commonly Used Shelter Items (CUSI),mobile feeding, meal preparation kits, and other commodities); • Support to individuals with disabilities and others with access and functional needs; • Reunification services for adults and children; • Support to household pets, service animals, and assistance animals; and • Mass evacuee support. In addition to these seven activities, FEMA MC/EA supports training and exercises, like the National Mass Care Exercise (NMCE), and also provides partnered assistance through: • Transitional Sheltering Assistance • (TSA) (See Chapter 2, IX.) -`; • Blue Roof program (United States „0' Army Corps of Engineers +► jUSACE]) (See Chapter 2, X.) C. General Eligibility Requirements • All survivors impacted by a disaster are eligible to receive MC/EA services. There s�• "`' J ' is no application process for MC/EA -_- x AP services as these are most often life US Army Corps of Engineers'Blue Roof Program helps to sustaining. These programs will be prevent further damage to structures as a result of Hurricane delivered directly to disaster survivors and Katrina in Biloxi,Mississippi. impacted communities typically through SLTT partners and non-profits with technical assistance and resource support from FEMA. Two notable exceptions to this general rule are the TSA(See Chapter 2, IX) and the Blue Roof Program (See Chapter 2, X), which do have specific eligibility criteria. 16 Chapter 2: Mass Care/Emergency Assistance D. Delivering Mass Care and Emergency Assistance MC/EA FEMA MC/EA coordinates and supports assistance for both pre-disaster preparedness and post- disaster emergency support to individuals through other FEMA divisions, Federal agencies, partner SLTT governments, and non-government organizations (NGOs). Pre-disaster technical assistance is provided to: • FEMA's Response, Recovery, and Logistics Management Directorates in the development of National and Regional response and recovery operational plans, catastrophic plans, and other critical operational planning documents and activities; • The National Preparedness Directorate in the development and implementation of FEMA doctrine, Planning Guidance,the Resource Typing initiative, the National Exercise Program, and the National Preparedness Report as well as fulfillment of Presidential Policy Directive 8 (PPD-8)requirements; and • SLTT governments, FEMA Regions, and other Federal agencies including, but not limited to USACE, Corporation for National and Community Service (CNCS), General Services Administration(GSA), the Department of Health and Human Services (HHS), the United States Department of Agriculture (USDA),the United States Department of Veterans Affairs (VA), and the Department of Defense(DOD). FEMA is committed to the whole community approach to emergency management and works through the FEMA Regions to engage SLTT community experts to identify capabilities, capacities, anticipated shortfalls, and gaps. FEMA MC/EA works with government agencies and voluntary, community, and faith-based organizations to secure the development of multi-agency guidance,planning templates, training and other resources through pre-scripted mission assignments (PSMAs), interagency agreements (IAAs), and memoranda of agreement(MOAs) to expedite the ability to meet anticipated needs. Resources and services provided via PSMA, IAA, and MOA include but are not limited to, staffing for NRCC/RRCC/State EOC, Blue Roof program mission for USACE, shelter support, AmeriCorps assistance from CNCS, Retired and Senior Volunteer Program (RSVP)under CNCS, activation of National Disaster Medical System (NDMS), etc. 17 Chapter 2:Mass Care/Emergency Assistance II. Sheltering Support A. Description of Assistance FEMA MC/EA deploys equipment, materials, supplies, and personnel to support disaster- affected jurisdictions in providing life-sustaining services in congregate and non-congregate facilities that provide a secure and sanitary environment for displaced survivors. This support includes providing a safr. 1 !ary, and secure place for evacuees and disaster survivors to stay while displaced from their homes and requires the cooperation and coordination of multiple agencies and organizations. MC/EA also coordinates support to survivors sheltering in place, including people with disabilities and others with access and functional needs, dietary restrictions, household pets, service animals, and assistance animals, and those in ESF#8 medical shelters. Every effort should be made to accommodate those with disabilities and others with access and functional needs in general population shelters. If requested, MC/EA can assist with durable medical equipment, consumable medical supplies,personal assistive services, etc. to provide a basic level of care in congregate shelters and thus ensure that only survivors with acute medical needs be referred to ESF#8 Medical Shelters. FEMA can provide needed resources through in- house capabilities,mission assignments, and/or contract capabilities. During Presidentially-declared disasters, most MC/EA services are direct Federal assistance (DFA),which is funded under the Stafford Act Section 403 (a)(3)(B) (commonly referred to as a Category B) of a Major Disaster or Emergency Declaration, and the Federal share of assistance shall be not less than 75%of eligible cost. Some examples include non-congregate sheltering through TSA, feeding through Individual Assistance-Support Contracts(IASC) and reunification services under the National Center for Missing and Exploited Children.16 B. Partner Organizations MC/EA works with multiple partners in sheltering support efforts including: the American Red Cross,the CNCS, Adventist Community Services (ACS), the Salvation Army, the North American Mission Board(NAMB),National Animal Rescue and Sheltering Coalition(NARSC), National Coalition for the Homeless, Southern Baptist Disaster Relief(SBDR), Feeding America, other National Voluntary Organizations Active in Disaster(VOAD) and many others. C. Triggers for Implementation In the event of a natural or manmade disaster, sheltering support services are triggered by an Emergency Declaration or a Presidential Disaster Declaration authorizing Public Assistance (Category B). There is no individual application process required for survivors as this support is provided in conjunction with the SLTT governments and in accordance with their request. 18 Chapter 2: Mass Care/Emergency Assistance D. Delivery of Assistance Pre-disaster responsibilities include preparedness activities and other forms of technical assistance that do not require Category B funding such as: ++, — :=-►_, • Providing technical assistance for the development of multi-agency sheltering templates; Federal, state, tribal, and territorial plans; training materials; exercises; and other tools to FEMA coordinates with partners,like the American Red strengthen and enhance the nation's Cross,to provide temporary sheltering support for disaster capacity to support sheltering evacuees. activities; • Analyzing and incorporating best practices and lessons learned into preparedness activities; • Developing contracts, PSMAs, agreements, and other mechanisms to provide resources, programs, and services for sheltering during disaster response activities; • Expanding national capabilities beyond the traditional MC/EA shelter providers to meet Federal Interagency Operational Planning(FIOP) - Response metrics; • Providing technical assistance for the establishment of state/tribal/territorial sheltering task forces; • Providing training to whole community shelter providers; • Providing technical assistance for implementation of FEMA data systems, including the National Shelter System, which supports states with MC/EA planning, data analysis, and mapping and reporting; and • Providing subject matter expertise to internal partners, including, Response,Recovery, Logistics and National Preparedness Directorates, PA, Office of Disability Integration and Coordination,and the National Processing Service Center. Once a disaster has been declared, FEMA MC/EA provides post-disaster support, such as: • Coordinating with other Federal agencies; declared states,territories, and tribes;NGOs; and other partners to analyze and validate the need for human and material resources, programs, and services for sheltering; • Providing subject matter expertise/technical assistance in the NRCC, RRCC,FEMA JFO, Initial Operating Facility(IOF), State EOC, and/or other field settings; 19 Chapter 2: Mass Care/Emergency Assistance • Assisting the state in the implementation of a coordinated and integrated sheltering mission that meets the disaster-caused needs of evacuees and survivors; • Providing resource support through FEMA logistics, including equipment, material, supplies, facilities, shelf-stable meals,water, cots,blankets, and Tools and Resources personnel, to support state sheltering operations through • CUSI: Includes DME items, consumable medical mission assignments, contracts, supplies(CMS)items,hygiene kits,and other and other mechanisms; relevant information resources available on the National Mass Care Strategy Website • Monitoring activity, analyzing data,validating information, • Multi-Agency Distribution of Emergency Supplies and reporting on sheltering Plan Template activities; • Federal, SLTT government software systems(e.g., • Identifying resource WebEOC) requirements, shortfalls, and limiting factors; providing information to FEMA, other Federal agencies, SLTT governments,NGOs, and private sector partners; • Providing tools and resources to assist the SLTT government in the implementation of integrated strategies and processes for coordinated sheltering operations; • Monitoring, analyzing, validating, and supporting state requirements, as requested, in order to provide a safe, sanitary, and secure environment for shelter residents; • Facilitating the fulfillment of requests by ensuring that the sequence for obtaining resources is followed; • Providing evacuee and survivor support to SLTT governments through the activation of pre-negotiated blanket purchase agreements (BPAs) and indefinite delivery indefinite quantity(IDIQ) contracts for food and food supplies, durable medical equipment(DME), consumable medical supplies, commonly used shelter items, and other needed commodities; • Supporting SLTT governments during a disaster when sheltering operations needs exceed SLTT government capabilities as outlined in the National Response Framework ESF #6 Annex; • Providing the necessary tools and resources to develop an integrated strategy and process for implementing coordinated sheltering operations by the FEMA JFO and the State Coordinator for carrying out mass care activities, limiting duplication of efforts, and maximizing resources within any state, territorial, or tribal government that have requested Federal assistance; 20 Chapter 2: Mass Care/Emergency Assistance • Facilitating FEMA staff's access to congregate care facilities to assist in the registration of disaster survivors for Federal disaster assistance; • Providing staff support to state for Sheltering Task Force, Multi-agency Sheltering Task Force (MASTF) or other teams, which advise and assist shelter managers with shortfalls and other concerns that may fall outside their area of expertise (e.g., functional needs support and Americans with Disabilities Act [ADA] compliance). See nationalmasscarestrategy.org for more information; • Providing technical assistance for the ESF#6 Support System, which can support the state with congregate care planning, data analysis, mapping, and reporting; • Providing support for the collection of shelter information, including data entry(upon request); • Issuing mission assignments to other Federal agencies, including but not limited to: CNCS to provide AmeriCorps, Senior Corps, Learn and Serve, and/or Volunteers in Service to America(VISTA)volunteers to augment congregate care points of distribution and other operational staffing requirements; HHS for shelter assessment team staff support; USDA for subject matter expertise and technical assistance on household pets, service animals, and assistance animal support activities; and USACE for human and material resources, such as facility inspection teams; • Invitational Travel may provide NGOs and other partners with travel funds to support the ESF#6 functions with essential technical assistance. FEMA can request agencies and individuals to support the mission of MC/EA and augment the leadership team with agency expertise; and • Activating IASC, which can provide a full range of congregate care management and support resources. As IASC services are subject to state cost-share, activation of the IASC is generally considered the last option. 21 Chapter 2:Mass Care/Emergency Assistance III. Feeding Support A. Description of Assistance FEMA MC/EA Section deploys equipment,materials, supplies, and personnel to support SLTT governmental feeding services to evacuees, disaster survivors and their household pets and service and assistance animals, and, in some cases, emergency workers. FEMA and Red Cross (ESF#6 Mass Care Federal CO-Leads) coordinate feeding activities with other Federal agencies, NGOs, and private sector agencies and organizations.17 MC/EA provides resources and technical assistance to SLTT governments before, during, and after a disaster to meet the feeding needs of evacuees. A component of feeding also includes meeting the basic needs of infants,toddlers, children, and people with dietary restrictions and/or culturally appropriate dietary needs. B. Partner Organizations Tools and Resources MC/EA works with multiple partners • Feeding Support Task Force and Feeding in feeding support efforts, including Assessment Team but not limited to: CNCS, USDA, • FEMA Emergency Support Function(ESF)#6 DOD,USACE,American Red Cross, Support Systems(ESF6-SS),which tracks and the National VOAD and its member supports Geographic Information System organizations, e.g., Feeding America, (GIS)mapping of shelter locations,and other I the Salvation Army, SBDR, and Federal systems that support feeding activities GreaterGood.org/RescueBank. • FEMA MC/EA Resource Management Tool 1 C. Triggers for Implementation • National Mass Care Strategy Multi-Agency Feeding Plan Template In the event of a natural or manmade disaster, feeding support services are triggered by an Emergency Declaration or a Major Disaster Declaration for PA(Category B). There is no individual application process required for survivors as this support is provided in conjunction with the SLTT governments and in accordance with their request. However, a Major Disaster Declaration for Individual Assistance is required for the Disaster Supplemental Nutrition Assistance Program(D-SNAP), a program which can be authorized by the USDA upon state request. D. Delivery of Assistance FEMA MC/EA provides support to both pre-disaster and post-disaster feeding activities. Pre- disaster responsibilities include: • Providing technical assistance for the development of multi-agency feeding templates, Federal, SLTT government plans, training materials, exercises, and other tools to strengthen and enhance the nation's capacity to support feeding activities; 22 Chapter 2: Mass Care/Emergency Assistance • Analyzing and incorporating best practices and lessons learned into preparedness activities; • Developing contracts, PSMAs, agreements, and other mechanisms to provide resources, programs, and services for feeding during disaster response activities; • Expanding national capabilities beyond the traditional MC/EA service providers to meet Federal Interagency Operational Planning-Response metrics; • Providing technical assistance for the establishment of SLTT government feeding task forces; • Providing subject matter expertise to internal partners, including Response, Recovery, Logistics and National Preparedness Directorates, PA, Office of Disability Integration and Coordination, and the National Processing Service Center; and • Providing technical assistance and subject matter expertise to government agencies, NGOs, and the private sector to expand national feeding capability. Whole Community Whole Community is an approach to emergency management that reinforces the fact that FEMA is only one part of our nation's emergency management team;that we must leverage all of the resources of our collective team in preparing for,protecting against,responding to,recovering from,and mitigating all hazards; and that collectively we must meet the needs of the entire community in each of these areas. This larger collective emergency management team includes not only FEMA and its partners at the Federal level,but also SLTT government partners;non-governmental organizations like faith-based and non-profit groups and private sector industry; and individuals,families,and communities,who continue to be the nation's most important assets as first responders during a disaster. Both the composition of the community and the individual needs of community members,regardless of age, economics,or accessibility requirements,must be accounted for when planning and implementing disaster strategies. Once a disaster has been declared, FEMA MC/EA provides post-disaster support, such as: • Coordinating with other Federal agencies, the affected states, territorial and/or tribal governments,NGOs, and other partners to analyze and validate the need for human and material resources,programs, and services for feeding; • Providing subject matter expertise/technical assistance in the NRCC, RRCC, FEMA JFO, IOF, State EOC, and/or other field settings; • Assisting the SLTT government in the implementation of a coordinated and integrated feeding mission that meets the disaster-caused needs of evacuees and survivors; 23 Chapter 2:Mass Care/Emergency Assistance • Providing resource support, including equipment, material, supplies, facilities, and personnel,to support SLTT government jurisdictions and their partners with feeding operations through mission assignments, contracts, and other mechanisms; • Coordinating with FEMA Logistics to acquire, store,transport and/or distribute resources to support feeding operations; • Providing tools and resources to assist the SLTT government jurisdictions and their partners with the implementation of integrated strategies and processes for coordinated feeding operations; and • Monitoring activity, analyzing data, validating information, and reporting on feeding activities; identifying resource requirements, shortfalls, and limiting factors;providing information to FEMA, other Federal agencies, SLTT governments,NGOs, and private sector partners. 24 Chapter 2:Mass Care/Emergency Assistance IV. Distribution of Emergency Supplies Support A. Description of Assistance Upon request from a SLTT government, FEMA MC/EA staff work in close coordination with Donations and Volunteer Managers at the Federal and SLTT government level to ensure emergency supplies needed are coordinated with ESF#6 Donations and Volunteer Management efforts. Such support may include: technical assistance, and if required,resource support through internal logistics and contracted capabilities. Distribution of emergency supplies is the targeted acquisition, storage, delivery, and provision of life-sustaining resources, hygiene items, and clean-up items to meet the immediate,basic needs of evacuees and disaster survivors, and their household pets, service and assistance animals. Additional support can include transportation, warehousing, equipment,technical assistance, staff and other mission-critical services.18 There are four categories of emergency supplies: • Life-sustaining, such as food,water, non- prescription medicine, cooking kits, and 1 It 4 "� ' supplies for household pets, service animals, and assistance animals. • Comfort, such as hygiene kits (including supplies like toothpaste,towels, washcloths, soaps and toothbrushes), sleeping bags,tents, cots, and blankets. • Clean-up, such as shovels,rakes,bleach, Evacuee gathers food and necessities at the gloves, cleaning detergents,buckets, Chalmette Recovery Center following devastating Hurricane Katrina. mops,trash bags, chlorine bleach, garden hose/nozzle, and hand sanitizer. • Other essential supplies, such as first aid kits and other items unique to specific disaster. B. Partner Organizations MC/EA works with multiple partners in the distribution of emergency supplies, including: other Federal agencies, the American Red Cross,the National VOAD and its member organizations such as: Adventist Community Services, The Salvation Army, American Logistics Aid Network (ALAN), Donations and Volunteer Managers at the State and Local Level, State Voluntary Agency Liaisons (VALs), and the private sector. 25 Chapter 2:Mass Care/Emergency Assistance C. Triggers for Implementation In the event of a natural or manmade disaster,the distribution of emergency supplies is triggered by an Emergency Declaration or a Presidential Disaster Declaration for PA (Category B). There is no individual application process required for survivors as this support is provided in conjunction with the SLTT government and in accordance with their request. (11) Tools and Resources • CUSI includes DME items,consumable medical supplies(CMS)items,hygiene kits,and other relevant information resources,available on the National Mass Care Strategy website. • FEMA ESF#6 Support System,which can track and map distribution site locations. • FEMA MC/EA Resource Support tool,which enables users to develop estimates for MC/EA requirements based on multiple variables, quantify available resources that meet requirements, and identify shortfalls. • ESF#6 Support Contract,which provides for facilities,equipment, supplies,and personnel. • Corporation for National and Community Service,which can provide personnel. • National Voluntary Organizations Active in Disaster,which provides facilities, equipment, supplies, and personnel. See the Multi-Agency Distribution of Emergency Supplies Plan Template for a list of National VOAD organizations involved in the distribution of emergency supplies. D. Delivery of Assistance FEMA MC/EA provides support to both pre-disaster and post-disaster emergency supplies distribution efforts. Pre-disaster responsibilities include: • Providing technical assistance in the development and maintenance of: a multi-agency distribution of emergency supplies planning template; Federal and SLTT government plans; training materials; and other tools that strengthen and enhance the nation's capacity to coordinate and distribute emergency supplies; • Incorporating best practices and lessons learned for the distribution of emergency supplies; • Developing contracts, PSMAs,MOAs, and Memoranda of Understanding(MOUs), and other mechanisms to acquire, store, and distribute emergency supplies during a disaster response; • Coordinating with outside partners, including other Federal agencies; SLTT government entities; NGOs; and public and private sectors to develop and maintain integrated processes and mechanisms to increase SLTT government distribution of emergency supplies resource capabilities; and 26 Chapter 2:Mass Care/Emergency Assistance • Providing subject matter expertise to internal FEMA partners, including the Response, Recovery, Logistics and National Preparedness Directorates, PA,the Office of Disability Integration and Coordination, and the Recovery Service Centers. Once a disaster has been declared, MC/EA coordinates with state government and NGO partners to analyze anticipated resource shortfalls to provide commodities to impacted areas. As a last resort, MC/EA has the capability to utilize Acquisitions and Contract Management to process contracts to support resource shortfalls. NGOs provide support, which includes: • Coordinating with internal and external partners, monitoring activity, analyzing data and validating information on and provide support to the states for services and human and material resources; • Providing subject matter expertise/technical assistance in the NRCC, RRCC, FEMA JFO, IOF, State EOC, and/or other field settings; • Assisting jurisdictions in the implementation of a coordinated and integrated whole community distribution system that meets the disaster-caused needs of evacuees and survivors; • Providing resource support, including equipment, material, supplies, facilities, and personnel,to support the state's distribution operation through mission assignments, contracts, and other means; • Monitoring activity, analyzing data, and validating information on and requests for resource support; • Identifying resource requirements, shortfalls, and limiting factors; and • Communicating information to partners. 27 Chapter 2: Mass Care/Emergency Assistance V. Disability, Access, and Functional Needs Support A. Description of Assistance FEMA MC/EA coordinates with and supports SLTT governments in the provision of services and resources to people with disabilities and others with access and functional needs. The MC/EA Section ensures that the needs of evacuees and disaster survivors with functional needs in congregate and non-congregate facilities, including general population shelters, embarkation and disembarkation sites, reception centers, and other settings, are met through the coordination, procurement, transportation, and provision of resources. These services should be integrated into all MC/EA activities.19 B. Partner Organizations MC/EA works with multiple partners in efforts supporting individuals with disabilities and others with access and functional needs, including,but not limited to: the HHS Preparedness and Response (Personnel/Disaster Medical Assistance Teams/Emergency Prescription Assistance Program),VA,the American Red Cross,the National Council on Independent Living(NCIL), the National Disability Rights Network(NDRN), Pass It On Center, Friends of Disabled Adults and Children(FODAC), Partnership of Inclusive Disaster Strategies and Portlight Inclusive Disaster Strategies,The Salvation Army, DOD, and others. C. Triggers for Implementation In the event of a natural or manmade disaster, disability and access and functional needs support is triggered by an Emergency Declaration or a Presidential Disaster Declaration for PA (Category B). D. Delivery of Assistance FEMA MC/EA provides support to individuals with disabilities and others with access and functional needs in both the pre-disaster and post-disaster phases. Pre-disaster responsibilities include: • Developing plans,templates, guidance, training courses, and tools for MC/EA providers at the SLTT government and NGO levels to ensure access and functional needs support services are integrated into operational plans; • Developing contracting requirements, pre-scripted mission assignments, interagency agreements, and other mechanisms to provide resources and services to people with disabilities and others with access and functional needs during disaster response activities; and • Coordinating with the FEMA Office of Disability Integration and Coordination, the American Red Cross, the HHS, and other agencies and organizations to identify and develop strategies and processes to expand support to people with disabilities and others with access and functional needs. 28 Chapter 2:Mass Care/Emergency Assistance Once a disaster has been declared, FEMA MC/EA provides post-disaster support, such as: • Coordinating with Federal agencies,NGOs, and other partners to support the state in monitoring, analyzing, and validating the need for human and material resources, programs, and services; • Acquiring and deploying DME, consumable medical supplies, assistive technology, accessible hygienic stations, portable ramps, enhanced cots, and bariatric equipment and provide assessable community support(i.e., American Sign Language [ASL] interpreters, Text Telephone [TTY], and Section 508 compliant communication); • Activating contracts for Personal Assistance Services(PAS) and/or to retrofit facilities to meet ADA and other accessibility requirements; • Coordinating with other Federal agencies and non-governmental veterinary and animal welfare organizations to support life-sustaining resources for service and assistance animals, including food, hydration, and veterinary medical care and treatment; • Providing subject matter expertise/technical assistance in the NRCC, RRCC, FEMA JFO, IOF, State EOC, and/or other field settings; and • Providing subject matter expertise to the Functional Needs Support Task Force, which is responsible for identifying resources for survivors to maintain independence in congregate and non-congregate settings. E. Personal Assistance Services Personal Assistance FEMA MC/EA,upon request from the state, Services(PAS) territorial, or tribal government, contracts with PAS PAS augment disaster-affected providers to augment the ability of SLTT jurisdictions in their ability to support governments to support individuals with disabilities disaster survivors with disabilities and and others with access and functional needs in others with access and functional needs maintaining their health, safety, and independence in to maintain their health,safety, and congregate and non-congregate shelter facilities, in independence. the most integrated setting, as required to meet the �— — ------�#" needs of the individual as required under the Americans with Disabilities Act and the Olmstead Supreme Court decision, during an incident that receives a Presidential Declaration. PAS may be required to support people whose usual means of assistance are not available due to circumstances associated with a disaster. PAS workers are sometimes referred to as home health aides, Certified Nursing Assistants, or caregivers. The services are defined as formal and informal services provided by paid personal attendants, friends, family members, and/or volunteers that enable individuals with disabilities and others with access and functional needs to maintain their routine level of independence while in an emergency shelter. FEMA may provide PAS support to meet assistance with the activities of daily living and other identified care requirements upon request of the impacted SLTT government jurisdiction. 29 Chapter 2: Mass Care/Emergency Assistance FEMA MC/EA provides subject matter expertise to internal and external partners, including the Office of Response and Recovery, Office of Disability Integration and Coordination,American Red Cross, FEMA Regions, and other agencies. They coordinate with FEMA acquisitions, and Contract Management Section to develop,maintain,manage, and implement contracts. They also maintain a list of Frequently Asked Questions (FAQ)to ensure the SLTT government and NGOs have access to current information regarding PAS program requirements. Tools and Resources Once a disaster has been declared, FEMA • FEMA: Guidance on Planning for the MC/EA coordinates with other Federal Integration of Functional Needs agencies,the Office of Disability Integration Support Services in General # and Coordination, FEMA Logistics,NGOs, Population Shelters and other partners to monitor activity, analyze data, validate information and provide support to the states on the need for PAS. This includes potentially deploying subject matter expertise and technical assistance in the NRCC, RRCC, FEMA JFO, SLTT government EOCs, and other field offices in order to acquire, deploy, and provide PAS as requested by the SLTT government. In order to provide monitoring, analysis, and validation support to state on Functional Needs Support activities, FEMA MC/EA identifies resource requirements, shortfalls, and limiting factors, and exchange information with FEMA, other Federal agencies, SLTT governments, and NGO and Private Sector agencies and organizations. FEMA MC/EA also participates in the task forces and work groups staffed by individuals from multiple agencies and organizations and created to identify shortfalls and provide support needed to maintain independence during congregate care. 30 Chapter 2: Mass Care/Emergency Assistance VI. Reunification Services A. Description of Assistance Reunification Services is one of the MC/EA activities where FEMA has a statutorily mandated role in providing services directly to disaster survivors to facilitate the reunification of unaccompanied minors with their custodial parents/legal guardians, as well as the voluntary reunification of adults with their families, during declared emergencies or major disasters.20 FEMA works to coordinate this statutory requirement directly with the impacted SLTT jurisdiction(s), and collaborates with whole community partners to develop procedures, identify best practices, and provide resources to strengthen reunification services. MC/EA facilitates partner agreements and identifies and develops new resources and tools, including training and exercises, in support of SLTT governmental reunification planning and operations. FEMA also coordinates deployment of national reunification resources—both human and material—to support state-led reunification task forces as well as field operations.21 B. Partner Organizations MC/EA works with multiple partners in reunification efforts, including: the National Center for Missing and Exploited Children, the CNCS,the Department of Justice (DOJ), HHS, and the American Red Cross. Tools and Resources • Multi-Agency Reunification Services Plan Template • Post Disaster Reunification of Children-A Nationwide Approach • National Center for Missing and Exploited Children • Unaccompanied Minors Registry • American Red Cross Safe and Well • WebEOC C. Triggers for Implementation In the event of a natural or manmade disaster, reunification services are triggered by an Emergency Declaration or a Presidential Disaster Declaration for PA(Category B). Once an event is declared as an emergency or major disaster, and emergency protective measures (such as Reunification) are being performed, an individual only has to be affected by the declared incident to qualify for Reunification Assistance; there is no additional application process required for the individual or household. 31 Chapter 2: Mass Care/Emergency Assistance D. Delivery of Assistance FEMA MC/EA provides support to both pre-disaster and post-disaster reunification activities. Pre-disaster responsibilities include: • Providing technical assistance for the development of Federal and state reunification plans,training materials, exercises, and other tools to strengthen and enhance the nation's capacity to support reunification activities; • Analyzing and incorporating best practices and lessons learned into preparedness activities; • Developing contracts,pre-scripted mission assignments, agreements, and other mechanisms to provide resources,programs, and services for reunification during disaster response activities for FEMA to meet our statutory obligations; • Providing technical assistance for the establishment of state reunification task forces; • Providing subject matter expertise to internal partners, including Response, Recovery, Logistics and National Preparedness Directorates; PA; Office of Disability Integration and Coordination; External Affairs; Office of the Senior Law Enforcement Advisor; and the Recovery Service Centers (formerly National Processing Service Centers); • Providing technical assistance and subject matter expertise to and coordinating planning efforts with government agencies,NGOs, and the private sector to expand national reunification capability; • Identifying communication mechanisms, which include but are not limited to, new reunification systems, current and emerging social media tools and communication technologies, and private/public communications equipment; • Developing agreements and procedures to utilize or coordinate the use of these communication mechanisms; and • Incorporating these resources into plans and procedures in order to provide access for disaster survivors to a wide range of communications methods in a timely manner. Once a disaster has been declared, FEMA MC/EA provides post-disaster support such as: • Coordinating with other Federal agencies; declared states,territories, and tribes; NGOs; and other partners to monitor, analyze,validate, and provide human and material resource support,programs, and services for reunification; • Providing subject matter expertise/technical assistance in the NRCC,RRCC, FEMA JFO, IOF, State EOC, and/or other field settings; • Providing staff and resources to support field operations, state-led reunification task forces, and related task forces, such as a Children and Youth Task Force; 32 Chapter 2: Mass Care/Emergency Assistance • Assisting the state in the implementation of coordinated and integrated reunification services system for evacuees and survivors; • Providing resources, including equipment,material, supplies, facilities, and personnel,to support state operations through mission assignments, contracts, and other mechanisms; • Providing tools and resources to assist the state in the implementation of integrated strategies and processes for coordinated reunification operations; • Monitoring activity, analyzing data, and validating information on reunification activities; • Identifying resource requirements, shortfalls, and limiting factors; • Coordinating public messaging with reunification partners and FEMA External Affairs; • Activating resources of the National Center for Missing and Exploited Children,via the current procurement process,to stand up the National Emergency Child Locator Center (NECLC) and deploy Team Adam(a staff resource to assist with identification and reunification of children)upon request from the declared state; and • Providing support to law enforcement missing persons operations and agencies tasked with child reunification during response and transition to recovery as needed and requested. E. National Emergency Child Locator Center National Emergency Child Locator Center(NECLC) FEMA also utilizes NECLC,which is operated out of the National Center for Phone: 800-843-5678 Missing and Exploited Children. In Website: http://www.missingkids.com/home collaboration with National Center for Missing and Exploited Children, FEMA supports SLTT governments and law enforcement agencies in the tracking, locating, and reunification of children who have become separated from their parents or guardians as a result of a Presidentially-declared disaster. 33 Chapter 2: Mass Care/Emergency Assistance VII. Household Pets, Service Animals, and Assistance Animals A. Description of Assistance FEMA MC/EA, in consultation with FEMA Regions and SLTT government jurisdictions provides coordination and support for the rescue,transportation, shelter, reunification, essential needs, and care of household pets, service animals, and assistance animals (HPSA) during preparedness and response and recovery operations to ensure their safety and well-being of owners and their household pets, service animals, and assistance animals. Upon request from the SLTT government jurisdictions, FEMA MC/EA supports HPSA activities with the provision of technical assistance and resource support through Federal, SLTT government,NGO, and private sector partners.22 FEMA's engagement on HPSA issues falls under the relevant statutory requirements of the Robert T. Stafford Disaster Relief and Recovery Act and under other statutory and/or regulatory requirements related to service and assistance animals (e.g., the Americans with Disabilities Act, Fair Housing Act). B. Partner Organizations MC/EA works with multiple partners in HPSA support efforts, including: DOD, USDA, and HHS Assistant Secretary for Preparedness and Response(ASPR)National Veterinary Response Teams; the American Red Cross,the National Alliance of State Animal and Agricultural Emergency Programs (NASAAEP),the NARSC, GreaterGood.org, and National VOAD. C. Triggers for Implementation In the event of a natural or manmade disaster, HPSA eigr. rLr� Ek{^➢�� support services are triggered by an Emergency ti \‘‘'Declaration or a Presidential Disaster Declaration for 1, PA(Category B). There is no individual application process required for survivors as this support is provided in conjunction with the SLTT governments and in accordance with their request. Flood survivor holds his cat inside of his gutted D. Delivery of Assistance residence in Denham Springs;the home was FEMA MC/EA provides support for household pets, damaged by severe flooding in Louisiana during 2016. service animals, and assistance animals in both the pre- disaster and response phases. Pre-disaster responsibilities include: • Providing technical assistance for the development of multi-agency HPSA templates, Federal (response and recovery), and SLTT government emergency operations plans (EOPs),training materials, and other tools to strengthen and enhance the nation's capacity to support HPSA disaster activities; • Analyzing and incorporating best practices and lessons learned into preparedness activities; 34 Chapter 2:Mass Care/Emergency Assistance • Developing methods of procurement,pre-scripted mission assignments, other agreements and mechanisms to provide resources, coordinating, and supporting programs and services for owners and their HPSA during disaster response activities; • Coordinating with government agencies,NGOs, and the private sector to develop integrated processes and mechanisms to augment national, regional, state, and local HPSA capabilities; and • Providing subject matter expertise to internal FEMA partners, including Response, Recovery, Logistics and National Preparedness Directorates, PA, Office of Disability Integration and Coordination, and Office of External Affairs. Once a disaster has been declared, FEMA MC/EA provides post-disaster support, such as: • Coordinating with other Federal agencies, declared states (related to Stafford Act authorities), FEMA Logistics,NGOs and other partners to analyze and validate the need for support with human and material resources,programs, and services; • Providing subject matter expertise/technical assistance in the NRCC, RRCC, FEMA JFO, IOF, State EOC, and/or other field settings; • Assisting the state,territory, or tribe in the implementation of coordinated and integrated HPSA response and recovery activities that meet the disaster-caused needs of evacuees, survivors, and their HPSA; • Providing resource support, including equipment, materials, supplies, facilities, veterinary services, specialized transportation, and personnel, to support the rescue, transportation, sheltering, and care of HPSA through mission assignments, contracts, and other mechanisms; • Collecting, analyzing, validating, and reporting information on HPSA activities; identifying resource requirements, shortfalls, and limiting factors; providing information to FEMA, other Federal agencies, SLTT governments,NGOs, and private sector partners; and Tools and Resources • Public Assistance Program and Policy Guide(PAPPG) • Multi-agency coordination support and/or multi-agency support task force, and Federal and state software systems that support HPSA activities • FEMA National Mass Evacuation Tracking System(NM ETS) • FEMA ESF#6 Support System,which manages data and supports GIS products related to emergency household pet shelter locations • FEMA MC/EA Resource Management Tool 35 Chapter 2:Mass Care/Emergency Assistance • Coordinating with other Federal agencies and NGOs at the NRCC/RRCC/EOC/IOF on transportation coordination issues, logistics, response, and evacuation issues to: o Encourage the inclusion of HPSA food and supplies,mobile feeding, and distribution operations. o Encourage the inclusion of HPSA included in the reunification plans and activities. o Monitor information on the status of HPSA sheltering activities to update situational awareness. 36 Chapter 2: Mass Care/Emergency Assistance VIII. Mass Evacuee Support A. Description of Assistance FEMA MC/EA may support disaster-affected and host-state governments by providing life- sustaining services and resources to disaster survivors/evacuees and their household pets, service animals, and assistance animals during mass evacuation incidents. MC/EA provides pre-incident support in the form of technical assistance, coordination and communication, and identified resources. At the time of an incident response, FEMA MC/EA staff will work in collaboration with the declared state(s) to determine if Mass Evacuee Support is required or if it will conduct such activities at the direction of the President.23 B. Partner Organizations MC/EA works with multiple partners in mass evacuee support efforts, including but not limited to: the American Red Cross; the National VOAD; USDA; and DOD. C. Triggers for Implementation In the event of a natural or manmade disaster, mass evacuee support services are triggered by an Emergency Declaration or Major Disaster Declaration for PA(Category B), and a request from the SLTT government. There is no individual application process required for survivors as this support is provided in conjunction with the SLTT government and in accordance with their request. D. Delivery of Assistance FEMA MC/EA provides support to both pre-disaster and post-disaster mass evacuee efforts. Pre- disaster responsibilities include: • Providing technical assistance for the development of multi-agency mass evacuee support templates; Federal, SLTT government plans; training materials; and other tools to strengthen and enhance the nation's capacity to support transportation-assisted evacuees; • Analyzing and incorporating best practices and lessons learned into preparedness activities for evacuee support; • Developing contracts,pre-scripted mission assignments, agreements, and other mechanisms to provide resources,programs, and services to support mass evacuees; • Coordinating with government agencies,NGOs, and the private sector to develop integrated processes and mechanisms to augment national,regional, SLTT government capabilities for mass evacuee support; • Supporting implementation of Host State Agreements (a state agrees to provide evacuation and/or sheltering support to individuals from the Presidentially-declared impact state); • Developing and maintaining the National Mass Evacuation Tracking System(NMETS) - a tracking tool; 37 Chapter 2:Mass Care/Emergency Assistance • Providing training and facilitating exercises with other Federal, SLTT governments and NGO partners; and • Providing subject matter expertise to internal partners, including, Response, Recovery, Logistics and National Preparedness Directorates, PA, Office of Disability Integration and Coordination, and the National Processing Service Center. Once a disaster has been declared,FEMA MC/EA provides post-disaster support, such as: • Coordinating with other Federal agencies, declared and host SLTT governments, FEMA Logistics,NGOs, and other partners to monitor, analyze,validate the need for, and provide support to SLTT governments for human and material resources,programs, and services; • Providing subject matter expertise/technical assistance in the NRCC, RRCC, FEMA JFO, IOF, State EOC, and/or other field settings; • Providing resources, including equipment, material, supplies, facilities, and personnel,to support mass evacuees through mission assignments, contracts, and other mechanisms; • Deploying NMETS software, equipment, and personnel to support the tracking of evacuees utilizing government-assisted transportation and facilitate data coordination/exchange among declared and host states; and • Identifying resource requirements, shortfalls, and limiting factors, and providing information to FEMA, other Federal agencies, SLTT governments,NGOs, and private sector partners. E. National Mass Evacuation Tracking System The NMETS is an evacuation tracking tool designed to support SLTT governments in conducting government-assisted evacuations under emergency assistance activities as defined in the National Response Framework for ESF#6. NMETS has the ability to track the movement of evacuees,their household pets, service animals, and assistance animals, luggage, DME, and essential belongings.NMETS is triggered by a request from a SLTT government. Data captured in NMETS belongs to and is the responsibility of the state utilizing NMETS. FEMA MC/EA provides pre-disaster preparedness training and facilitate exercises with other Federal, SLTT government, and NGO partners, as well as continuous improvement and maintenance of NMETS. They also provide technical assistance to states in developing evacuee support plans that address Critical Transportation Needs (CTN)populations including individuals with disabilities and individuals with access and functional needs. FEMA MC/EA assists states in identifying preferred tracking methodologies and incorporating NMETS into their operational plans. Implementation of the NMETS program software, including the licensing agreement, is free of charge; however, any equipment or maintenance costs are the responsibility of the State. 38 Chapter 2:Mass Care/Emergency Assistance After a disaster, FEMA MC/EA may deploy NMETS, along with support personnel, to states for tracking the movement of transportation-assisted evacuees, their household pets, luggage, and medical equipment during evacuations. FEMA may provide technical support and just-in-time training to host states on the use of NMETS. MC/EA provides assistance in linking information on unaccompanied minors to the Unaccompanied Minor Registry(UMR)hosted by the National Center for Missing and Exploited Children, and initiates activation of reunification systems including the UMR, as requested by affected and host states. FEMA coordinates with government agencies to ensure adequate human and material resources to support evacuation tracking teams and advises host states of their responsibility to determine how personal identification information is to be managed and protected. NMETS includes two distinct evacuation support tools that can operate independently or be used in combination to support multi-state, state-managed, or local-level evacuation operations: • Paper-Based • Advanced Technology(AT) During registration,barcode wristbands are given to evacuees and their possessions. The wristband numbers are used to link all household members and their possessions electronically in the system. The wristbands,which contain a unique evacuee identifying number, are scanned at each site to record the evacuee's location and departure/arrival times. This information may be used to create transportation manifests, determine sheltering requirements, and inform operational decision making regarding the allocation of emergency resources. 39 Chapter 2: Mass Care/Emergency Assistance IX. Transitional Sheltering Assistance'4 A. Description of Assistance25 The guidelines for TSA are currently under review in order to incorporate changes resulting from the 2017 Hurricane Season. Due to the publication date of the IAPPG, the updated guidelines could not be included. The new guidelines will be published as soon as they are available. At this time,the operation of TSA will be determined on a disaster-specific basis. TSA is a short-term non-congregate sheltering form of assistance for displaced disaster survivors taking refuge in emergency shelter locations other than their pre-disaster primary residence. The intent of TSA is to provide temporary sheltering for survivors as they transition from emergency shelters to temporary or permanent housing solutions. FEMA may provide TSA at the request of a declared state,territorial, or tribal government. When activated, TSA authorizes assistance under Sections 403 or 502 of the Stafford Act, as amended, and is implemented under Section 408.26 TSA does not count toward the Individuals and Households Program (IHP) financial assistance maximum award. TSA is funded under Section 403 of the Stafford Act and is subject to PA regulations on cost-share. For more information on PA, see Public Assistance Program and Guide, FP 104-009-2. Additional program guidance and implementation information and tools will be made available to the non-Federal entity by FEMA MC/EA through Disaster Specific Guidance (DSG). 40 Chapter 2:Mass Care/Emergency Assistance X. Rapid Temporary Repair (Operation Blue Root) Program A. Description of Assistance The Operation Blue Roof Program provides a free temporary roof for residential structures, schools, daycares, and some publicly-owned facilities. These temporary roofs provide short-term relief until the owner can make permanent repairs. They also prevent additional damage from occurring to the building and its contents. Plastic covering and tarps are temporary fixes designed to provide protection from the elements until the homeowner can make permanent repairs with a qualified professional. The authority governing the Rapid Temporary Repair program are the Robert T. Stafford Disaster Relief and Emergency Act(Section 403). B. Partner Organizations USACE staffs and operates Right of Entry(ROE) centers for disaster-affected counties. C. Eligibility Considerations Tools and Resources In order for a structure to qualify for Blue ROE centers for affected counties are Roof services, damage to the roof must be staffed by Corps of Engineers employees. less than 50%, and the area to be covered To contact the nearest center,call toll-free 1-888- must be structurally sound for a crew to 766-3258. work on. Additionally, homeowners must complete a ROE form to allow government and contractor employees on their property. USACE covers roofs in the hardest hit counties first. USACE will respond to every person who has completed a ROE as rapidly as possible. In some instances,there may be a slowdown in installing plastic sheeting because of a national shortage. D. Delivery of Assistance Once eligibility is determined,homeowners must complete a ROE form to enable services. USACE carries out Operation Blue Roof,with the hardest hit counties in the disaster-affected jurisdiction as a priority. Homeowners can also cover their roofs with free tarps provided by FEMA and issued through their local governments. Survivors should connect with local officials and/or monitor social media for updates on where to pick up these tarps. 41 Chapter 2: Mass Care/Emergency Assistance XI. National Mass Care Exercise A. Description of Exercise The NMCE contributes to the development of a state, territorial, or tribal government's mass care capacity and capabilities through partnership, coordination, and collaboration and can serve to validate a state's mass care services delivery or support plan. The NMCE is not a"one size fits all"model, and should be adapted to suit the needs of the host state. This may include incorporating mass care as a main focus of a larger, existing state exercise, or by developing a standalone mass care exercise. The exercises are valuable for enhancing the nation's Mass Care Services core capability by utilizing a Whole Community approach to ensure that the needs of disaster survivors are met, and contributing lessons learned and best practices. B. Application Process Tools and Resources States, territories, and tribes interested in applying to host the National Mass Care Exercise are encouraged to contact their • National Mass Care Strategy FEMA Regional MC/EA Point of Contact for o Mass Care Multi-Agency Planning detailed information. Host entities are Templates selected in the last quarter of the calendar o Applicant/Host Toolkit year and typically conduct the exercise two to three years after selection. • After Action Reports of Past Exercises C. Implementation of Exercise • FEMA Regional Mass Care/Emergency Assistance Points of Contact(POCs) FEMA Headquarters MC/EA will be • FEMA Regional Exercise Officers designated as the lead to coordinate or directly provide additional support to the • National Preparedness Goal (NPG) FEMA Region, as requested. The MC/EA Headquarters Lead is responsible for not only supporting the Region/Host State but also in ensuring that national MC/EA concepts and capabilities are continuously being tested and that national best practices are captured and updated. The Headquarters MC/EA lead can also provide access to past exercise expertise and tools. The FEMA MC/EA Section may also provide additional support through the sponsorship of invitational travel for a limited number of additional State Mass Care Coordinators from across the country, generally including the State Mass Care Coordinator for the following year's NMCE. 42 Chapter 3: Individuals and Households Program Chapter 3: Individuals and Households Program I. Individuals and Households Program Overview Individuals and Households Program(IHP)Assistance provides financial assistance and direct services to eligible individuals and households who have uninsured or underinsured necessary expenses and serious needs. IHP Assistance is not a substitute for insurance and cannot compensate for all losses caused by a disaster; it is intended to meet basic needs and supplement disaster recovery efforts. IHP Assistance is not considered income27 or a resource when determining eligibility for � R welfare, income assistance, or income-tested benefit programs that the Federal government ;y} • funds, such as Social Security benefits or disability income.28 IHP Assistance is also exempt from garnishment or seizure,but this exception does not apply to FEMA recovering AmeriCorps members work to repair homes assistance received in error or fraud.29 damaged by Hurricane Maria in Humacao, Puerto Rico. A. Period of IHP Assistance IHP Assistance is limited to 18 months following the date of the disaster declaration.30 The period of assistance begins at the date of the Presidential declaration and not the date on which the disaster is designated for Individual Assistance (IA).31 The President may extend the period of assistance due to extraordinary circumstances if an extension would be in the public interest. Through the delegation of authority, the Assistant Administrator(AA) for Recovery may, at the request of a state, territorial, and tribal government, extend the period of assistance.32 Should extraordinary circumstances exist,the AA for Recovery may extend the period of assistance for IHP Direct Temporary Housing Assistance (See Chapter 3. V.C.4) or IHP Financial Assistance. B. Amount of IHP Assistance The amount of financial assistance an individual or household may receive under IHP is limited. Although minimal damage may cause some inconvenience, it is expected that individuals or households will address those losses without Federal assistance. Therefore, FEMA will only provide assistance when the total initial IHP award amount is $50 or more.33 There is no minimum amount for subsequent awards. The IHP financial assistance maximum award provided to eligible individuals or households under a single disaster is adjusted each fiscal year based on the Department of Labor Consumer Price Index.34 Eligible individuals or households receiving IHP Assistance may not necessarily be awarded the maximum amount of financial assistance for their disaster-caused losses. 43 Chapter 3: Individuals and Households Program Other Federal programs and voluntary organizations may provide additional financial assistance. FEMA informs the public of changes to the IHP financial assistance maximum award each year by publishing a notice in the Federal Register. C. Types of IHP Assistance IHP Assistance Scenario An applicant's FEMA inspection There are two categories of IHP Assistance: recorded$900 in real property damage and $25 in personal property damage. The • Housing Assistance applicant's insurance settlement totaled$875 • Other Needs Assistance (ONA) for real property,which left an unmet need of $25 in real property and$25 in personal 1. Housing Assistance property. In this scenario,the applicant is eligible for the total IHP award of$50,which Individuals and households may receive more is a combined total of Repair Assistance and than one type of Housing Assistance, including Personal Property Assistance. a combination of financial assistance and direct ,•_.,.„. services.35 FEMA determines the appropriate types of Housing Assistance for which an individual or household may be eligible based on disaster-caused loss, access to life-sustaining services, cost-effectiveness, and other factors.36 FEMA provides financial Housing Assistance through funds paid directly to eligible individuals and households. Financial Housing Assistance may include the following types of assistance: • Lodging Expense Reimbursement(LER): Financial assistance to reimburse for hotels, motels, or other short-term lodging while an applicant is displaced from his or her primary residence. • Rental Assistance: Financial assistance to rent alternate housing37 accommodations while an applicant is displaced from his or her primary residence.38 • Repair: Financial assistance to repair an in owner-occupied primary residence, Primary Residence utilities, and residential infrastructure, Primary residence refers to: including privately-owned access routes (i.e., driveways, roads, or bridges)to a 1. The home where the applicant normally safe and sanitary living or functioning lives during the major portion of the calendar year,or condition.39 2. The home that is required because of • Replacement: Financial assistance to proximity to employment,including help replace an owner-occupied primary agricultural activities that provide 50% residence when the residence is of the household's income. destroyed.° FEMA may provide Direct Housing Assistance41 when applicants are unable to use Rental Assistance due to a lack of available housing resources. Direct Housing Assistance is not counted toward the IHP financial assistance maximum award amount and may include: 44 Chapter 3: Individuals and Households Program • Multi-Family Lease and Repair(MLR): This program allows FEMA to enter into lease agreements with owners of multi-family rental property located in disaster areas and make repairs or improvements to provide temporary housing to applicants.42 • Transportable Temporary Housing Units (TTHUs): A readily fabricated dwelling (i.e., a Recreational Vehicle [RV] or a Manufactured Housing Unit [MHU]),purchased or leased by FEMA and provided to eligible applicants for use as temporary housing for a limited period of time. • Direct Lease: Existing ready-for-occupancy residential property leased and, if necessary, modified or improved to provide a reasonable accommodation for an eligible applicant with a disability and others with access and functional needs for use as temporary housing for eligible applicants. • Permanent Housing Construction (PHC): Home repair and/or construction services provided in insular areas outside the continental U.S. and in other locations where no alternative housing resources are available; and where types of housing assistance FEMA normally provides, such as Rental Assistance or other forms of direct assistance, are unavailable, infeasible, or not cost-effective.43 Figure 3: Housing Assistance • Lodging Expense Reimbursement • Rental Assistance Financial Assistance • Repair Assistance • Replacement Assistance • Multi-Family Lease and Repair • Transportable Temporary Housing Units Direct Assistance • Direct Lease • Permanent Housing Construction 2. Other Needs Assistance Applicants may receive financial assistance for other disaster-caused expenses and serious needs.44 The types of ONA are divided into two categories that are either dependent or non- dependent on the applicant's ability to secure a U.S. Small Business Administration(SBA) disaster loan. The SBA may provide low-interest, long-term loans to help applicants with transportation losses, moving and storage expenses, as well as repair/replacement funds for real and personal property damage caused by the disaster. 45 Chapter 3: Individuals and Households Program Only applicants who do not qualify for a loan from the SBA may be eligible for assistance for the SBA-dependent category. SBA- dependent ONA includes Personal Property, Moving and Storage, and Transportation Assistance. Non-SBA-dependent types of ONA may be awarded regardless of the applicant's SBA status and may include , Funeral, Medical, Dental, Child Care, and assistance for miscellaneous items such as chainsaws or dehumidifiers purchased or rented after the disaster. FEMA and SBA conduct inspections along the Yukon River for applicants residing in fishing camps who were affected by severe flooding in Fort Yukon,Alaska. 46 Chapter 3: Individuals and Households Program II. Individuals and Households Program Eligibility While each type of IHP Assistance has specific conditions of eligibility and documentation requirements, this chapter describes the basic conditions of eligibility that apply to all FEMA IHP Assistance. Specific situations and living arrangements that require clarification are also addressed. This chapter also provides information on the appeal process for applicants who disagree with FEMA's eligibility determination. A. General IHP Eligibility These general conditions must be met for an applicant to be eligible to receive IHP Assistance: • The applicant must be a U.S. citizen, non-citizen national, or qualified alien. • FEMA must be able to verify the applicant's identity.45 • The applicant's insurance, or other forms of disaster assistance received, cannot meet their disaster-caused needs.46 • The applicant's necessary expenses and serious needs are directly caused by a declared disaster.47 The process FEMA uses to verify that necessary expenses and serious needs are directly caused by a declared disaster is described in Chapter 3, III. In order to receive some forms of Housing Assistance and ONA, applicants must satisfy the additional conditions of eligibility listed below: • Occupancy • Ownership 1. U.S. Citizenship Only U.S. citizens, non-citizen nationals, or qualified aliens may be eligible for IHP Assistance. During the disaster assistance registration process or on a I —;? P (FEMA Form 009-0-3).applicants self-certify their citizenship status and declare,under penalty of perjury, that they are one of the following statuses indicated in Figure 4. 47 Chapter 3: Individuals and Households Program Figure 4: U.S.Citizenship and Resident Aliens Status Definitions A person born in one of the 50 United States,the District of Columbia, U.S. Citizen Puerto Rico,Guam,the U.S.Virgin Islands,or the Northern Mariana Islands; a person born outside of the U.S. to at least one U.S.parent; or naturalized citizen. A person born in an outlying possession of the U.S. (e.g.,American Samoa or Swain's Island)on or after the date the U.S. acquired the Non-Citizen National possession,or a person whose parents are U.S. non-citizen nationals. All U.S. citizens are U.S. nationals; however,not every U.S. national is a U.S. citizen. • Legal permanent resident("green card"holder) • An asylee,refugee,or an alien whose deportation is being withheld • Alien paroled into the U.S. for at least one year • Alien granted conditional entry(per law in effect prior to April 1, Qualified Alien 1980) • Cuban/Haitian entrant • Aliens in the U.S. who have been abused, subject to battery or extreme cruelty by a spouse or other family/household member, or have been a victim of a severe form of human trafficking • Aliens whose children have been abused and alien children whose parent has been abused who fit certain criteria If an applicant does not meet these criteria identified in Figure 4, the household may still apply for and be considered for IHP Assistance if: • Another adult household member meets the eligibility criteria and certifies their citizenship status during the registration process or signs the Declaration and Release form; or • The parent or guardian of a minor child who is a U.S. citizen,non-citizen national, or a qualified alien applies for assistance on behalf of the child, as long as they live in the same household. The parent or legal guardian must register as the co-applicant. There are several categories of aliens lawfully present in the U.S. who are not eligible for IHP Assistance. 48 Chapter 3: Individuals and Households Program These include,but are not limited to: Welfare Reform Act • Temporary tourist visa holders Title IV of the Personal • Foreign students Responsibility and Work Opportunity Reconciliation Act of 1996,commonly known • Temporary work visa holders as the Welfare Reform Act,provides that • Habitual residents such as citizens of the aliens who are not qualified aliens are not Federated States of Micronesia and the eligible for Federal public benefits. Republic of the Marshall Islands Federal public benefits include any retirement, welfare,health disability,public or assisted Regardless of citizenship status, disaster housing,post-secondary education,food survivors may be eligible for the following assistance,unemployment benefits,or any programs: similar benefits for which payments or assistance are provided to an individual, • Chapter 2: Emergency Assistance household,or family eligibility unit by an (search and rescue,medical care, shelter, agency of the U.S. or by appropriated funds of food, and water, and reducing threats to the U.S. life,property, and public health or safety) • Chapter 5: Crisis Counseling Assistance and Training Program (CCP) • Chapter 4: Disaster Case Management(DCM) • Chapter 6: Disaster Legal Services (DLS) • Disaster Food Stamps (Disaster Supplemental Nutrition Assistance Program, or D- SNAP),which is administered by the U.S. Department of Agriculture; the state, territorial, or tribal government can request the Federal government to initiate D-SNAP only after a Presidential declaration approving Individual Assistance 2. Identity Verification FEMA must be able to verify an applicant's identity with a valid Social Security Number(SSN) before considering their eligibility for disaster assistance. By verifying identity, FEMA prevents fraud and ensures applicants receive the disaster assistance intended for them.48 FEMA typically verifies an applicant's identity at the time of registration: • Through an automated public records search; and • Through a series of questions associated with the applicant's credit file or public records. When FEMA is unable to verify an applicant's identity through the automated public records search or the applicant answers the questions incorrectly, applicants may be asked to submit a copy of one of the documents described in Figure 5: 49 Chapter 3: Individuals and Households Program Figure 5:Acceptable Documentation to Verify Identity • Documentation from the Social Security Administration(SSA), or other Federal entity,containing full or last four digits of SSN • Social Security card if accompanied by Federal or state-issued identification • Employer's payroll document containing full or last four digits of the SSN • Military identification • Proof of name change: o Name change court order o Marriage,civil union,or domestic partnership certificate Documentation to verify name/SSN: o Divorce or annulment decree o Certificate of citizenship or naturalization o U.S. Tribal government document o U.S. amended/corrected birth certificate o If the applicant still fails identity verification using their previous name,the applicant will be required to submit one of the other forms of acceptable identity verification • U.S.passport • On a case-by-case basis,FEMA may allow applicants residing in U.S. territories to submit specific identity verification documents, such as voter registration cards,etc. • Any of the documents listed above,if in the child's name Documentation-applying for assistance on behalf of a minor • Child's birth certificate and a copy of the child's Social Security child: card or documentation from the SSA,or other Federal entity, containing the full or last four digits of the child's SSN Applicants that do not successfully respond to the series of questions will not be eligible for expedited forms of assistance prior to receiving an inspection. FEMA does not accept the following documents as proof of an applicant's identity: • Internal Revenue Service forms (IRS) • Notarized statements or affidavits from applicants or any third parties • Applications for a marriage license or assistance from a Federal entity 3. Insurance FEMA provides IHP Assistance to applicants for their uninsured or underinsured disaster-caused expenses and serious needs. 50 Chapter 3: Individuals and Households Program Applicants are required to inform FEMA of all insurance(flood, homeowners,vehicle,mobile l 1�1( Insurance Deductible . home, medical,burial, etc.) coverage that may In an insurance policy,the be available to them to meet their disaster- deductible is the amount that the caused needs. policyholder agreed to pay out of pocket Insured applicants must provide documentation before an insurance company pays any benefits.This amount is subtracted from the that identifies their insurance settlements or total amount paid by the insurance company. benefits before FEMA will consider their Insurance premiums are typically more eligibility for categories of assistance that may affordable when they involve higher be covered by private insurance. deductibles. Figure 6: Insurance Eligibility Maximum IHP Assistance: S32.000 When the net settlement amount is FEMA Verified Loss(FVL): 532.000 equal to or exceeds the loss amount verified by FEMA or the Gross Settlement: S50.000 amount of IHP Assistance Deductible: - 5,000 available to meet that need.FEMA Net Settlement: $45,000 determines the applicant's need Example 1 has been met by insurance and FEMA Review will not provide assistance for that FVL $32.000 need. Net Settlement - 45,000 Not HIP Eligible Maximum IHP Assistance: S32.000 When the net settlement amount FEMA Verified Loss(FVL):530.000 from insurance is less than the loss Gross Settlement: $25.000 amount verified by FEMA the Deductible: 5,000 applicant may receive the difference Example 2 Net Settlement: 520.000 up to the maximum amount of L available for that type of FEJLA Review IHP Assistance to meet that need. $30.000 Net giblesettI tueut - 20,000 EligiblelHPAssistance = SI0,000 r ----- Maximum IHP Assistance: $32.000 When the insured disaster-caused FEMA Verified Loss(FVL): S2.500 damage is less than the deductible. Insurance Verified Loss: $3,000 FEMA may provide assistance to Deductible: - 5,000 help meet an applicant's needs. Example 3 Net Settlement: $0.00 Damages must affect the habitability of the primary residence FEMA Review to be eligible for IHP Assistance. FVL $2,500 Net Settlement - 0.00 Eligible IHP Assistance = S2,500 51 Chapter 3: Individuals and Households Program After an applicant submits their insurance settlement information, FEMA compares the net settlement amount received for each loss to the maximum amount of assistance available for that type of IHP Assistance. FEMA only considers insurance coverage which includes the peril(s) (e.g., flood, wind, wind- driven rain, tornado, fire, etc.) listed as a cause of damage identified for the disaster when determining eligibility for assistance. For example, an applicant is not required to submit flood insurance documents for a wind-only disaster. When applicants are impacted by multiple perils, FEMA compares insurance benefits and verified loss amount separately for each peril. Exceptions: r. �#' • Uninsurable Items: Insured applicants may receive assistance for items not typically covered by homeowners or flood insurance, t'4 such as wells, septic systems, access roads, - ` - etc.,regardless of the type of disaster-caused damage or the applicant's insurance "• �t coverage. • Delayed Settlement: While FEMA cannot A FEMA inspector verifies wildfire damage at provide assistance for disaster-caused needs a severely impacted home site in Texas. covered by insurance benefits,FEMA may provide assistance to help meet an applicant's immediate needs when their insurance benefits are delayed.49 Two important conditions for receiving this FEMA assistance are: o Applicants who demonstrate their insurance settlement has been significantly delayed(30 days or more from the date a claim was filed)through no fault of their own, may be considered for initial Rental Assistance.5° FEMA- o Applicants accepting assistance in advance Verified Loss(FVL) of receiving their insurance settlement The total dollar amount must agree to repay FEMA upon receiving for IHP-eligible real or personal their insurance benefit. property items of average quality, size,and capacity, as verified by 4. Occupancy FEMA. Applicants (both owners and renters)must be able to prove they occupied the disaster-damaged primary residence before receiving Housing Assistance and some types of ONA(i.e., Personal Property Assistance and Moving and Storage Assistance). Certain types of ONA do not require verification of occupancy of a primary residence; these include Transportation,Funeral, Medical, Dental, Child Care, and Critical Needs Assistance (CNA). All household members at the time of the disaster are considered occupants. Occupant means a resident of the housing unit.51 FEMA verifies occupancy at the time of registration and may also 52 Chapter 3: Individuals and Households Program complete and update verification at the time of inspection. In locations where automated verification of public records is limited,FEMA partners with applicable authorities from the state,territorial,tribal, or local (SLTT) government to verify occupancy. • Documentation: When FEMA is unable to verify an applicant's occupancy of their disaster-damaged primary residence,the applicant may provide FEMA with any of the documents listed below for verification. FEMA can request additional documents to prove occupancy in cases where the name reflected on utility bills and the name of the primary occupant conflict. Figure 7: Documentation to Verify Occupancy Document and Description Acceptable Document Dates Utility Bills: Electric,gas, oil,trash,water/sewer bills Utility bills must be dated within 3 that reflect the name of the applicant or co-applicant and the residence address. months prior to the incident period. Merchant's Statement: Bank or credit card statement, Merchant statements must be dated phone bill, cable/satellite bill,etc.that reflect the name of within 3 months prior to the incident the applicant or co-applicant and the disaster-damaged residence. period. Employer's Statement: Pay stubs and similar documents Employer's statements must be dated that reflect the name of the applicant or co-applicant and within 3 months prior to the incident the disaster-damaged residence. period. Lease/Housing Agreement: Copy of a written lease, housing agreement,or landlord's written statement that includes the name of the applicant or co-applicant,the These documents must be current landlord contact information,the basic terms of tenancy including the location of the unit,amount of rent, and (not expired)at the time of the duration of the lease confirming that the applicant lived disaster. there at the time of the disaster; and signatures from both the landlord and applicant/co-applicant. Rent Receipts: Copy of a rent receipt or bank statement (with image of the cancelled check)that reflects the name Rent receipts must be dated within 3 of the applicant or co-applicant,the landlord contact information,the location of the pre-disaster unit,the months prior to the incident period. amount of rent,and the landlord's signature. Public Official's Statement: Public official's (e.g. Police Chief Mayor, Postmaster, etc.)written statement that Public official's statements must be includes the name of the applicant or co-applicant,the dated within the 18-month period of residence address,the period of occupation,and the name assistance or extended period of and telephone number of the individual providing the assistance. verification. Driver's license, state-issued ID card,voter registration These documents must be current card that reflect the name of the applicant or co-applicant (not expired)at the time of the and the disaster-damaged residence. disaster. 53 Chapter 3: Individuals and Households Program Document Exceptions: • Proof of Occupancy: If the listed documentation is unavailable, FEMA may accept a written self-declarative statement as a last resort, only from the applicants living in insular areas, islands, and tribal lands. The statement must also include how long the applicant lived in the disaster-damaged residence prior to the Presidential Disaster Declaration, an explanation of the circumstances that prevent standard occupancy verification, and the applicant's signature. • Intent to Occupy Statement: Applicants not occupying the residence at the time of the disaster may still receive consideration for IHP Assistance if they submit a written statement along with supporting verifiable documentation, such as a utility deposit or a pre-dated lease that contains the applicant/co-applicant's name and the residence address. Supporting documentation must be dated on or before the first day of the incident period. o Example 1: An applicant who recently purchased a home that was destroyed while the applicant was in the process of moving in may be eligible based on intent to occupy. Such applicants not occupying the residence at the time of the disaster may still be eligible if they submit documentation showing their intent to occupy the home as their primary residence. o Example 2: In addition to meeting general eligibility criteria(see Chapter 3. II.), incarcerated applicants must submit documentation verifying they will be released prior to the end of the assistance period, such as official documentation from the correctional facility or detention center, or information(e.g.,name of incarcerated individual, city and state of the facility, etc.)necessary to complete an online search of the facility's online database to determine the release date, if available. o If incarcerated applicants are not released prior to the inspection and cannot be present for an inspection, they must designate a third party 18-years or older to meet with the inspector on their behalf. • Student Occupancy: Applicants who lived in housing provided by an educational facility(e.g., college dormitory) may be eligible for IHP Assistance if the student housing was their primary residence. For additional information on student eligibility for disaster assistance, see Chapter 3. I1.B. S. Ownership FEMA verifies ownership through inspection, automated public records search, or submitted documents, including documents from the state, territorial, or tribal government. When an applicant's ownership of their pre-disaster primary residence has been verified,they may be considered for Repair, Replacement, or PHC Assistance. 54 Chapter 3: Individuals and Households Program FEMA defines an owner-occupied residence52 as one where the applicant: • Is the legal owner who permanently resides at the disaster-damaged residence; or • Does not hold a formal title to the residence and pays no rent, but is responsible for the payment of taxes or maintenance of the residence; or • Has lifetime occupancy rights with formal title vested in another(see Figure 8 for required documentation). • Ownership Documentation: When FEMA is unable to verify an applicant's ownership of their primary residence during inspection or through an automated public records search, the applicant may provide FEMA with documentation to prove ownership. There are various documents that may be used to prove ownership and are outlined below. Figure 8: Documentation to Verify Ownership Document and Description Acceptable Document Date Deed or Official Record: Original deed or deed of Deed must be current/effective during the disaster trust to the property. incident period. The most recent mortgage statements available Mortgage Documentation: Mortgage statement or should be submitted(within three months of the escrow analysis. disaster incident period)and escrow documents should be from the last quarter. Real property* insurance document,bill or Within three months of the disaster incident payment record, structural insurance documentation. period. *Buildings or other structures permanently attached to land as well as the land itself. This includes items that are structural components of the buildings or structures. Property tax receipt or property tax bill Manufactured home certificate of title Real Estate Provision Contract for Deed Land Installment Contract Current and/or effective during ----—— the disaster incident period. Quitclaim Deed Bill of Sale or Bond for Title Will naming the applicant heir to the property and a death certificate 55 Chapter 3: Individuals and Households Program The document provided must reflect: • The name of the applicant or co-applicant registering for assistance; if a minor child is registering for assistance, the document must be in the adult co-applicant's name; • The address of the disaster-damaged primary residence; and • A date prior to the disaster incident period. Document Exceptions: If the listed documentation is unavailable, FEMA may accept a written self-declarative statement as a last resort, only from applicants living in insular areas, islands, and tribal lands. The statement must include how long the applicant lived in the disaster- damaged primary residence prior to the Presidential Disaster Declaration, an explanation of the circumstances that prevent standard ownership verification, and the applicant's signature. However, FEMA will not accept a declarative statement of ownership for pre-disaster squatters. B. Additional Eligibility Considerations Although general eligibility considerations apply to all IHP applicants, certain situations and living arrangements require additional clarification. 1. Condominiums and Cooperatives Condominium vs. Cooperative FEMA may provide Housing A condominium residence generally is a Assistance and ONA to condominium type of housing where each resident owns their (condo)owner-occupants and individual unit in a multi-unit building and shares the cooperative (co-op) owner-occupants costs of maintaining the structural elements and for eligible disaster-caused damage common areas(i.e.,roof,hallway,HVAC,walkways). they are responsible for within their A cooperative residence generally is a type of unit. housing where residents are shareholders of a The owner of a condo or co-op unit is corporation that owns the building and/or property generally responsible for the fixtures, where they reside. The share entitles each resident installations, and additions within the exclusive use of the unit they live in. interior surfaces of the unit's perimeter , walls, floors, and ceilings. This includes interior partitions,plumbing, appliances, and the exterior heating and cooling units from the point of supply into the unit. FEMA generally does not provide assistance for disaster-caused damage to structural elements (e.g.,roof, exterior walls, chimneys, and shared foundation) and common areas shared by all residents such as recreational facilities, outdoor space,parking, landscaping, fences, laundry rooms, and all other jointly-used space. The condo or co-op association's master insurance policy generally covers damage to common areas and structural elements of the building that are shared by all residents. If the condo or co- op association does not hold an insurance policy for a particular peril and the association is 56 Chapter 3: Individuals and Households Program responsible for the item, FEMA will not assist with the expenses related to any damage or the assessment fees resulting from the disaster due to the item being a shared common area expense. Figure 9: Condo and Co-op Assistance Building Portion Responsible Party Insurance Policy Type Eligible for IHP Condo or co-op unit, Unit owner Unit owner's policy Yes,if uninsured or walls in underinsured losses No,unless applicant Condo or co-op Common areas shared Condo or co-opassociation's master submits documentation by all residents association policy indicating individual responsibility Individual condo or co-op owners who claim responsibility for damaged items in common areas need to submit verifiable documentation to FEMA indicating individual responsibility, including the master policy or bylaws, in order to be considered for assistance. 2. Separated Households FEMA may provide Rental Assistance and/or LER to members of a family or household who were separated during a disaster through no fault of their own, such as those who were evacuated to different locations. Once the separated household members reunite, any eligible Continued Rental Assistance(see Chapter 3, 1V.C.) will continue under the head of household's application, up to the IHP financial assistance maximum award, to ensure no duplication of benefits (DOB). Rental Assistance provided to the previously separated household members will cease to ensure no DOB. Each application's total number of months and total amount of Rental Assistance and LER awarded is compared to the 18-month assistance period and IHP financial assistance maximum award separately. Generally, FEMA provides all eligible IHP awards under only the head of household's application to assist all members of the pre-disaster household. Only the head of household will be eligible for additional categories of IHP Assistance. Housing Unit 3. Roommates and Boarders Housing unit is defined as a house, apartment,manufactured home,recreational FEMA defines roommates as household vehicle,readily-fabricated dwelling, members with an independent financial houseboat,or any other distinctly-separated responsibility for the housing unit that are not living space. A living space may qualify as a dependents of each other and are not married, housing unit if it includes facilities for such as renters whose names are on a lease. cooking,eating, and sanitation. It must be directly accessible from an outer door or FEMA considers boarders as individuals or through an interior door in a shared hallway families in a private commercial relationship rather than by walking through another with the landlord. Boarders may reside in a household's living space. housing unit with the landlord/head of 57 Chapter 3: Individuals and Households Program household or in a separate housing unit within the structure. FEMA defines a commercial relationship as a formal agreement to rent a portion of a residence from the owner. Figure 10: Assistance for Roommates and Boarders Type of Assistance Eligible Party Limitations Combined applications for same Personal Property Each roommate and boarder with housing unit cannot exceed a specific individually-owned items line item maximum quantity limit Medical Dental Funeral Each roommate and boarder Standard criteria Child Care Transportation First roommate who applies, unless roommates are unable to relocate together due to extenuating circumstances Boarders residing in the same housing unit as the landlord/head FEMA expects all household members Rental Assistance of household,if unable to relocate residing in the same housing unit to together due to extenuating circumstances relocate together Boarders residing in a separate housing unit within the structure may be eligible for Rental Assistance separate from the landlord Roommates and boarders must be able to demonstrate a formal agreement or financial responsibility to the household. A pre-disaster financial responsibility or formal agreement can be supported by one of the following: • Pre-disaster rent receipts, cancelled checks, or money orders for the disaster-damaged primary residence; • Pre-disaster lease, landlord's written or verbal statement, or rental agreement for the disaster-damaged primary residence; or • Pre-disaster major utility bills (water, electricity, or gas) in the roommate's or boarder's name for service at the disaster-damaged primary residence. Roommates and boarders may be eligible for individually-owned ONA personal property items, and will be considered under separate applications, but all the applications combined cannot exceed what FEMA identifies as the maximum quantity limit for a specific personal property line item for a housing unit. FEMA awards assistance to the landlord/head of household or the first 58 Chapter 3: Individuals and Households Program roommate that applies. Subsequent applicants designated as roommates or boarders will only receive payment for non-duplicative personal property items; however, this limitation excludes boarders residing in a separate housing unit. Designation as a roommate or boarder does not impact an applicant's eligibility for Medical, Dental, Funeral, Child Care, or Transportation Assistance under ONA. Generally, FEMA awards Rental Assistance under one household member application for the housing unit,with the expectation that the household will relocate together. In some instances, Rental Assistance may be provided to individual roommates or boarders when they are unable to relocate with the household due to extenuating circumstances. However, in order for FEMA to process Rental Assistance, the individual roommate or boarder must submit a written statement explaining the extenuating circumstances that prevented the household from relocating together along with supporting documentation, if applicable. 4. Military Personnel FEMA may provide assistance to eligible Military Personnel active duty military and civilian military The Military Personnel and Civilian employees if the assistance is not duplicated Employees'Claim Act provides assistance to from available assistance from the military active duty military personnel and military such as the Military Personnel and Civilian civilian employees in military housing for Employees' Claim Act. personal property(including vehicles)as a result of disaster-caused damage or loss. FEMA does not automatically provide Rental The Safe Haven Allowance from the Assistance for applicants who live in military- Department of Defense(DOD),assists provided housing that received disaster-caused military personnel and their families with damage. However, applicants living in military disaster-caused housing costs. housing may receive FEMA Rental Assistance --------- if ...— if they provide documentation showing they are not receiving housing assistance from another source. Active duty military and civilian military employees who live in privately-owned housing may be eligible for all categories of assistance. Active duty military personnel stationed outside of the country can authorize a third party to be present for inspection of their primary residence within the declared area. All military personnel/civilian military employees, regardless of residence type or military status,may be eligible for ONA if the items are not covered by the Military Personnel and Civil Employees'Claim Act. S. Students III Students FEMA may provide assistance to students who E Eligible student applicants may have disaster-caused damage or losses. receive Medical,Dental,Funeral,Moving and Students living in housing provided by an Storage,Transportation,Assistance for Miscellaneous Items,and Child Care educational facility may be eligible for Assistance under ONA regardless of their Housing Assistance. FEMA determines residence type or dependent status. eligibility for Rental Assistance based on 59 Chapter 3: Individuals and Households Program whether the student applicant is"dependent"or"independent"and whether the housing is their primary residence. Independent students living in college dormitories may be eligible for Rental Assistance; dependent students are not eligible for Rental Assistance. Personal Property Assistance is available for uninsured damaged items regardless of the student's residence type or dependent status. Personal Property Assistance is limited to student- owned items recorded during FEMA inspection. This'excludes items provided by the institution or covered by an insurance policy. CI) Independent The term"Independent"refers to students who are financially independent from parent(s)or guardian(s)and: • Do not have a primary residence elsewhere and are responsible for their own living expenses; • Are at least age 24 by December 315`of the award year; • Were married prior to the disaster; • Are in a masters or doctorate program; • Have legal dependents; • Are an orphan or ward of the court; • Are on active military duty or are a military veteran; or • Have documented determination of independent status by a financial aid administrator. 6. Pre-Disaster U.S. Department of Housing and Urban Development(HUD)Applicants FEMA works closely with HUD to ensure applicants who were pre-disaster recipients of HUD assistance receive the appropriate form of FEMA Temporary Housing Assistance after a disaster. Because FEMA may not duplicate assistance with any other Federal program, insurance, voluntary organization, or other entity, the applicant, FEMA, and HUD must work closely to determine the appropriate responsibility for the applicant's disaster housing needs. FEMA's Joint Field Office(JFO) will work with HUD counterparts at the State and local levels to determine which applicants were assisted by HUD prior to the disaster. Applicants' eligibility for FEMA Temporary Housing Assistance will be based on the availability of HUD assistance for the applicants after the disaster. Once HUD assistance is available and offered to the applicant by HUD,the applicant will no longer be eligible for FEMA Temporary Housing Assistance. At this time, if they refuse to receive HUD assistance, they will no longer be eligible for continued HUD assistance. For limitations and Exclusions see Chapter 3, IV. A. 3. 7. Residents of Assisted Living Facilities Applicants whose primary residence is an assisted living facility may receive assistance for housing,personal property, and other disaster-caused needs not covered by the assisted living facility. Assisted living facilities are usually responsible for relocating their residents to 60 Chapter 3: Individuals and Households Program temporary housing, if necessary, and in many instances,most of the furnishings in the residence belong to the assisted living facility. FEMA provides assistance to applicants living temporarily in a hospice, hospital,nursing home facility, or similar facility at the time of the disaster, and who have a primary residence in the declared area. The applicant must demonstrate their current living situation is temporary,they intend to relocate back to their damaged primary residence, and their housing needs are not being met by the temporary living facility. Applicants living in assisted living facilities may still be eligible for ONA items such as Personal Property and Moving and Storage. 8. Homeless Definition of Homeless FEMA does not provide Housing Assistance (Rental Assistance, Direct Assistance, Home A homeless applicant is an Repair Assistance, or Replacement Assistance)to individual whose pre-disaster living homeless applicants because the need for housing arrangements were transient in nature and void of any form of structural ownership. was not caused by the disaster. Homeless Examples of homeless living situations applicants must verify their pre-disaster living may include rent-free shelters,bridges, arrangements through a credible or official source underpasses,or living on the streets. (e.g., shelter manager,public official,homeless outreach advocate, etc.) at the time of inspection or by submitting documentation demonstrating the applicant lived at that location pre-disaster, such as a signed, written statement from a credible or official source, which includes the applicant's name, location of residence, dates of occupancy pre-disaster,and the source's name, title, and contact information. Pre-disaster homeless applicants who are not able to verify occupancy may be eligible for certain types of ONA that do not require occupancy verification (Transportation, Medical, Dental, Funeral, Child Care, and CNA). 9. Residents of Non-Traditional Housing Definition of Non-Traditional FEMA may provide initial Rental Assistance and Housing ONA to applicants who resided in non-traditional Non-traditional housing is a form forms of housing(i.e.,tents, lean-to structures, etc.) of dwelling void of structural floor,walls, pre-disaster. Non-traditional housing may be more and/or roof.Examples of non-traditional prevalent in certain areas, such as tribal housing structures may include tents,huts, communities, territories, and insular areas. or lean-to structures. Occupancy must be verified by a credible or official source(e.g.,tribal council,public official, homeless outreach advocate, etc.) at the time of inspection. Applicants may also verify occupancy by submitting any document listed in Chapter 3, I I_A.4,or a signed, written statement from a credible or official source,which includes the applicant's name, location of residence, dates of occupancy pre-disaster, and the source's name, title, and contact information. If pre-disaster occupancy cannot be verified, applicants may only be eligible for types of ONA that do not require occupancy verification(Transportation, Medical, Dental, Funeral, Child Care, 61 Chapter 3: Individuals and Households Program and CNA. FEMA does not provide Direct Assistance, Home Repair Assistance, Replacement Assistance, or Continued Rental Assistance to residents of non-traditional housing. Figure 11: Assistance for Residents of Non-Traditional Housing Eligible Party Type of Assistance Limitations • Transportation • Ineligible for all forms of HA Applicants who resided • Medical • Ineligible for forms of ONA that in non-traditional • Dental require successful verification of housing who are unable • Funeral occupancy(Personal Property and to verify occupancy • Child Care • CNA Moving and Storage) Applicants who resided • Ineligible for Continued Rental in non-traditional • Initial Rental Assistance Assistance or Direct Assistance housing(i.e.,tents, etc.) • All types of ONA • Ineligible for Home Repair or who are able to verify occupancy Replacement Assistance 10. Flood Zones and Protected Areas Restrictions and conditions apply to the IHP Assistance FEMA provides in Special Flood Hazard Areas (SFHAs), sanctioned communities, Coastal Barrier Resources System(CBRS)units, and otherwise protected areas (OPAs). National Flood Insurance Reform Act (NFIRA): NFIRA and FEMA regulations require applicants who receive Federal financial assistance to purchase flood insurance for future flood damage to any insurable property for acquisition or construction purposes. This requirement applies only to real and personal property that is, or will be, in a designated SFHA and can be insured under the National Flood Insurance Program(NFIP). For purposes of IHP, Federal financial assistance means assistance in the form of Home Repair, Replacement, PHC, or Personal Property. Therefore, applicants who live in a designated SFHA and receive IHP Assistance for Home Repair, Replacement, PHC, or Personal Property must obtain and maintain flood insurance coverage for at least the amount of disaster assistance they receive from FEMA for NFIP-insurable items real or personal property. Applicants may satisfy the insurance requirement by purchasing private insurance or a policy through the NFIP. Applicants who do not obtain and maintain flood insurance will be ineligible for IHP Assistance for flood-damaged real or personal property in future disasters with flood-related damage. The NFIP was created to reduce the impact of flooding on private and public structures by providing affordable insurance to property owners and by encouraging communities to adopt and enforce floodplain management regulations. Coastal Barrier Resources Act (CBRA): CBRA protects coastal areas from development by limiting Federal financial assistance for development-related activities in designated CBRS areas. CBRS areas are coastal areas that protect valuable habitat for fish and wildlife and are 62 Chapter 3: Individuals and Households Program subject to wave, wind, and tidal forces; these areas are mapped by the U.S. Fish and Wildlife Service. The CBRS contains two types of coastal barrier areas: CBRS Units and OPAs. An eligible applicant whose pre-disaster primary residence is located within a CBRS Unit may not be considered for Home Repair, Replacement, PHC, or SBA-dependent types of ONA. An eligible applicant may be considered for Rental Assistance and non-SBA Dependent ONA, except that financial assistance may not be considered for Assistance for Miscellaneous Items. However, assistance may be awarded for expenses to purchase or rent items required to power life-sustaining medical equipment(e.g., generators; see Chapter 3, V 1.B.4). FEMA may not provide Direct Temporary Housing Assistance in the forms of MLR or TTHUs within a CBRS Unit. However, an applicant may be eligible to receive these forms of assistance provided in locations outside of the CBRS Unit. An eligible applicant whose pre-disaster primary residence is located within an OPA may be considered for all forms of IHP Assistance; however,the residence is also subject to NFIRA requirements for sanctioned communities and SFHAs, if applicable(see Chapter 3, II.B.10). Federal flood insurance through the NFIP is not available in CBRS units or OPAs. Sanctioned Communities: Sanctioned community means a community in which FEMA has identified SFHAs on a Flood Insurance Rate Map (FIRM) and the community has failed to join the NFIP within one year of the FIRM being published. Although a community's participation in the NFIP is voluntary,participation is required for purchase of Federal flood insurance within the community and requires the community to adopt and enforce a flood damage prevention ordinance. A suspended community is a community in which FEMA has identified SFHAs on a FIRM; however, FEMA has suspended the community from the NFIP for failure to enforce a flood damage prevention ordinance in compliance with the NFIP. Applicants who have disaster-caused flood damage to their primary residence in a sanctioned community are not eligible to receive assistance for NFIP-insurable real and personal property items damaged by flooding.53 However,the individual or household may be eligible,54 if the community in which the damaged property is located qualifies for and enters the NFIP during the 6-month period following the declaration. Applicants who fail to obtain and maintain flood insurance, or live in sanctioned communities may be eligible for all of the following, if general IHP conditions of eligibility are met: • Medical, Dental, Funeral,Assistance for Miscellaneous Items, Child Care, Moving and Storage costs over$1,000 (NFIP covers the first $1,000 of moving expenses), Transportation Assistance, and CNA; • Rental Assistance or Direct Temporary Housing Assistance in the form of Multi-Family Lease and Repair, TTHUs, or Direct Lease; • Real and Personal Property items not damaged by flooding; and • Uninsurable damaged items, such as wells and septic systems. 63 Chapter 3: Individuals and Households Program Figure 12: Flood Insurance Requirements for Homeowners and Renters Flood insurance coverage must be maintained at the address for as long as the address exists and for at least the assistance amount awarded for flood-damaged, Owners NFIP-insurable losses.* If the home is sold or otherwise becomes owned by someone else,the requirement to purchase and maintain flood insurance carries over to any subsequent owner. Flood insurance coverage must be maintained on the contents for at least the IHP Assistance amount awarded for flood-damaged,NFIP-insurable personal property losses,as long as the applicant lives at the flood-damaged rental property address. The requirement is lifted once the applicant permanently moves from the rental unit. Renters Subsequent renters will not be required to maintain flood insurance for their personal property unless they previously received IHP Assistance for flood- damaged,NFIP-insurable personal property while residing at the same address. Note: If a pre-disaster renter becomes an owner by purchasing the rental property at which they received IHP Assistance for their flood-damaged,NFIP-insurable personal property losses,but fails to maintain the flood insurance on their personal property,they may receive IHP Assistance for flood-damaged real property losses; however,they will not be eligible for Personal Property Assistance. *44 C.F.R. §206.110(k)(3)(i)(A) Applicants may also receive Mass Care and Emergency Assistance(MC/EA), including congregate sheltering(Chapter 2, 1I.)and Transitional Sheltering Assistance (TSA) (Chapter 2, IX.),Crisis Counseling(Chapter 5), Disaster Unemployment Assistance(DUA) (Chapter 7), Disaster Legal Services (Chapter 6), and Disaster Case Management(Chapter 4). Flood Insurance Requirement for Recreational Vehicles: Recreational Vehicles (RVs)may include motorized vehicles (i.e., Class A, B, or C vehicles, or motorhomes) and travel trailers (e.g., fifth wheel,pop-up camper, etc.). Generally,motorized vehicles are not insurable as property by the NFIP. Applicants whose primary residence is a motorized vehicle are exempt from the requirement to obtain and maintain flood insurance and may be eligible for IHP Assistance, even if they received IHP Assistance for flood-damaged personal property in a previous disaster. RVs without wheels, built on a chassis, and affixed to a permanent foundation(referred to as "travel trailers"),55 are insurable under the NFIP. Applicants located in an SFHA, who previously accepted IHP Assistance for a flooding incident and whose primary residence is a travel trailer,56 are required to obtain and maintain flood insurance for as long as the address exists for at least the amount of flood-damaged IHP Assistance received for real and/or personal property. Applicants with a NFIRA requirement,who fail to affix a travel trailer to a permanent foundation and/or to properly elevate the travel trailer in compliance with the community's floodplain 64 Chapter 3: Individuals and Households Program management requirements, rendering the unit uninsurable under NFIP, will be ineligible to receive any Federal assistance for flood-damaged real or personal property57 in a future disaster.58 30-Day Period for Applicants to Decline Financial Assistance: An applicant has 30 days to decline financial assistance that would trigger the flood insurance obtain and maintain requirement. Applicants who do not wish to obtain and maintain flood insurance must return all disaster assistance they receive for NFIP-insurable real and personal property to FEMA no later than 30 days from the date of the award determination letter from FEMA. C. Appeal Process 1. Timeline for Appeal Applicants must appeal initial eligibility determinations within 60 days of the date on their eligibility notification letter.59 2. Determinations that May be Appealed Applicants may submit a written appeal if they disagree with any FEMA determination. An applicant may appeal: • Initial eligibility determinations for Housing Assistance and ONA, including: o The amount or type of Housing Assistance and ONA an applicant received; o The decision to withdraw an application for FEMA disaster assistance; o The recovery of funds improperly awarded to an applicant(see Chapter 3, VII); or o The denial of a late application request for assistance. • A denial for Continued Rental Assistance. • Direct Housing Assistance determinations, including: o The termination of eligibility to remain in a temporary housing unit; o FEMA's intent to collect rent or the amount of rent collected from occupants of a FEMA-provided temporary housing unit; o A denial of a request to purchase a FEMA-provided MHU; o The sales price of a FEMA-provided MHU the applicant may want to purchase; or • Any Individual Assistance eligibility or participation-related determination, action or inaction. When ONA is administered under the Joint or State Option described in ONA Cost Share and Administration(see Chapter 3, VI.A.2),the applicant must submit their appeal to the state, territorial, or tribal government. FEMA does not accept multiple appeals for the same reason,but may have to request additional information and conduct additional reviews as new information is received. 65 Chapter 3: Individuals and Households Program 3. Requests for Copies of IHP Assistance File Applicants may submit a written request for a copy of FEMA's records related to their application for IHP Assistance. The request must be in writing and specifically state what information the applicant would like to receive (e.g. entire file copy, copy of all correspondence from FEMA, etc.), and who is to receive the requested information(e.g. self, attorney, friend, etc.). If the file copy is to be provided to a third party, the full name and address of the third party must be included in the request. The request must include the following for identity verification purposes: • Applicant's full name • Applicant's FEMA Application Number and Disaster Number • Damaged property address or current mailing address • Applicant's date of birth • Applicant's signature with one of the following: o Notary stamp or seal; or o The statement"I hereby declare under penalty of perjury that the foregoing is true and correct." Written requests can be mailed or faxed using the information below. • Mailing Address: Individuals and Households Program, National Processing Service Center; P.O. Box 10055; Hyattsville, MD 20782-8055 • Fax Number: 1-800-827-8112 If a Disaster Assistance Center account has been created, applicants can also upload documents through the Upload Center in their online account. 4. Appeal Submission The applicant's appeal letter must explain the reason(s) for appeal and must be signed by the applicant or person who the applicant authorizes to act on his/her behalf. The appeal submission should also include the following information: • Applicant's full name • Applicant's FEMA Application Number and Disaster Number • Address of the applicant's pre-disaster primary residence • Applicant's current phone number and address 66 Chapter 3: Individuals and Households Program Figure 13: Sample Appeal Letter Applicant Name Application Number Disaster numher Street Address City,State.Zip Phone number Dear FEMA. On February 17,2016.I received a letter from you stating that I am ineligible for assistance because I have insurance. I would like to appeal your decision,as my insurance company will riot cover the damage. Enclosed please land my insurance denial letter showing that I do nut have insurance coverage fin the damage to illy home and personal property located at 123 Main Street, Everytown,Virginia. Please review the enclosed information and reconsider your decision. Thank you, Applicant [Signature] If someone other than the applicant files the appeal,the applicant must also submit a signed statement giving that person authority to represent the applicant.60 See Written Consent(Chapter 3, II.C.I) for more information. The appeal letter should be accompanied by documentation to support the appeal request, such as repair estimates, contractor estimates, or other supporting documentation. S. Appeal Determination After FEMA receives the appeal, a caseworker with no prior involvement in the case reviews the appeal and file to determine if there is sufficient documentation to change FEMA's determination. If more information is needed in order to make a determination, FEMA takes one or more of the following actions: • Calls the applicant and sends a letter requesting additional information with a deadline of 30 days to submit the additional information • Contacts a third party, such as a contractor, insurance company, or mechanic in order to verify submitted information • Schedules an appeal inspection FEMA notifies applicants in writing about the appeal decision within 90 days of the receipt of the appeal letter.61 FEMA's appeal decision represents the final agency determination and cannot be appealed again.62 67 Chapter 3: Individuals and Households Program III. Delivering Individuals and Households Program Assistance This section discusses the disaster assistance registration process, FEMA's process for verifying disaster-caused losses, and communication with applicants, as well as considerations for successfully providing equal access and delivering IHP Assistance to all disaster survivors without discrimination. An applicant for IHP Assistance will not be denied benefits or Federal financial assistance on the grounds of race, color, religion, nationality, sex, age, disability, English proficiency, or economic status,pursuant to Section 308 of the Stafford Act63 and 44 C.F.R. Part 7. A. Applying for FEMA IHP Assistance After the President declares a major disaster or emergency, FEMA coordinates with the respective state, territorial,or tribal government to determine the area designated for IA, establish a registration period, and provide multiple channels for disaster survivors to apply for IHP Assistance. 1. Application Methods FEMA offers disaster survivors multiple options 0 to apply for IHP Assistance and to receive V/ updates on their application. Information on . or....,..w... resources for non-English speakers can be found in Chapter 1. 4,,..10.,...., a At,t FEMA x�r,,,�., ,. Mow io NM, • Internet or Smartphone Application: .� Disaster survivors may apply for IHP Assistance or check their application ER r status at www.disasterassistance.gov. Disaster survivors may also access FEMA via smartphone by downloading the application from www.fema.gov or through their mobile provider's application store. Access FEMA via smartphone through the • Toll-free Helpline: Disaster survivors may application at www.fema.gov. call FEMA toll-free at 800-621-3362 to register for assistance or check their application status. Disaster survivors who are deaf, hard of hearing, or have a speech disability and use a Text Telephone(TTY)may call 800-462-7585. Disaster survivors who use 711 or VRS (Video Relay Service)may call 800-621-3362. • Disaster Recovery Centers (DRCs): Disaster survivors may apply for assistance in person at DRCs in or near their communities. DRCs are usually opened quickly after a disaster for a limited period of time. They are accessible and equipped to accommodate disaster survivors who need disability-related communication aids. FEMA staff can assist 68 Chapter 3: Individuals and Households Program with completing registrations or checking their application status. FEMA coordinates with the SLTT government to establish DRC locations. • Disaster Survivor Assistance(DSA) Teams: FEMA may send staff into the affected communities to help disaster survivors apply for IHP Assistance. FEMA may also coordinate with the SLTT government to send staff into emergency shelters to assist survivors. FEMA staff are equipped with computers or similar devices to assist survivors with registering for IHP Assistance or provide them referrals to other resources. 2. Registration Period Disaster survivors may apply for assistance after the start of the registration period. The application process begins with disaster survivors completing a registration with FEMA through any of the channels described above. Figure 14: Registration Period -----� 60 Days I--- 60 Days Extension of Date of Registration Presidential Initial Period if Late Declaration Registration Requested and Application Period Approved Period • Initial Period: The standard FEMA registration period is 60 days following the date the President declares a disaster for the designated area. The 60-day registration period starts on the date IA was designated for the declaration.64 • Extensions of the Registration Period: FEMA may extend the registration period Subsequently Declared when the state,territorial, or tribal government Counties or Parishes requests more time to collect registrations For individuals in counties or parishes from the affected population. Examples of subsequently declared for IA after the situations when an extension may be date of declaration,the registration warranted include,but are not limited to, deadline is still 60 days after the date when: of declaration,not 60 days from the day the county or parish was o Necessary to establish the same designated for IA,unless extended. registration deadline for subsequently declared contiguous counties,parishes, or states; o There is a continued high volume of registrations; and/or o There are significant barriers to registration(i.e., long loss of power). 69 Chapter 3: Individuals and Households Program Extensions may be approved as follows: o The RA, or their designee,may extend the initial registration period up to 60 days. o Any subsequent extensions may be approved by the IA Division Director(IADD). • Late Application: After the end of the registration period, FEMA will accept late registrations for an additional 60 days. FEMA will not allow applicants to complete a registration after that 60-day grace period. However, in order for FEMA to process late registrations, disaster survivors must write a letter to FEMA with the details of the extenuating circumstances that prevented them from applying for assistance in a timely manner with accompanying documentation, if applicable.65 3. Information Needed to Complete Application FEMA requires all individuals registering for disaster assistance to self-certify and declare, under penalty of perjury,that they are a U.S. citizen,non-citizen national, a qualified alien, or the parent or guardian of a minor who is a U.S. citizen,non-citizen national, or qualified alien, and acknowledge the terms of the Privacy Act and Declaration of Eligibility Statement(see Figure 15 for an excerpt of the statement). 70 Chapter 3: Individuals and Households Program Figure 15: Privacy Act Statement and Declaration of Eligibility In addition, applicants must also provide all of the following information to complete their application: • Name and SSN of the primary applicant • Name and SSN of secondary/co- applicant (encouraged but not required) • Current and pre-disaster addressLa 1 • Names of all occupants of the pre1)0 - disaster household — • Current contact information , • Types of insurance held by the household A FEMA inspector speaks with resident of a • Household pre-disaster annual gross income home damaged by Hurricane Sandy during an • Losses caused by the disaster on-site inspection in New Jersey. • Banking information for direct deposit of financial assistance, if requested Application Progress Privacy Act Statement and Declaration of Eligibility • OMB No.160002,Exp 11-30-2017 FEMA is required by law to provide you with a copy of the Privacy Act Statement CITIZENSHIP:In order to be eligible to receive FEMA Disaster Assistance.a member of the household must be a citizen,non-citizen national or qualified alien of the United States.Please feel free to consult with an attorney or other immigration expert if you have any questions.By checking the box below,you hereby declare under penalty of perjury,that you are a citizen or non-citizen national of the United States.or a qualified alien of the United States.or a parent or legal custodian of a child who is a minor who resides with you and who is a citizen.naturalized citizen or qualified alien of the United States. AUTHORITY:The Robert T Stafford D saster Relief and Emergency Assistance Act as amended.42 U.S.0 §5121-5207 and Reorganization Plan No 3 of 1978,4 U S C §§2904 and 2906:a == c 236 2(aX27).the Personal Responsibility and Work Opportunity Reconciliation Act of 1996(Pub L 104-193) and Executive Order 13411 DHS as.s ;our SSN pursuant to the Debt Collection Improvement Act of 1996.31 U S.C.§3325(d)and§7701(c)(1). PRINCIPAL PURPOSE(S):This info c -s being collected for the primary purpose of determining eligibility and administrating financial assistance under a Presidentially-declared disaster Ac:'_ , !nformabon may be reviewed within FEMA for quality assurance purposes and used to assess FEMA's customer service to disaster assistance xcp cants. ROUTINE USE(S)The information on this form may be shared outside of FEMA as generally permitted under 5 U S.C.§552a(b)of the Privacy Act of 1974. as amended.This includes sharing this information with State,tribe,local,and voluntary organizations to enable you to receive additional disaster assistance and as necessary and authorized by other routine uses published in DHS/FEMA-008 Disaster Recovery Assistance Files System of Records,78 Fed Reg 25.282(April 30.2013).and upon written request.by agreement,or as required by law DISCLOSURE The disclosure of information on this form is voluntary.however failure to provide the information requested may delay or prevent the individual from receiving disaster assistance" I hereby declare,under penalty of perjury that one of the following is true: •I am a citizen or"on-c tzen national of the United States •I am a qualified al en of tie United States. •I am the parent or guardian of a minor child who resides with me and who is a citizen,non-citizen national or qualified alien of the United States B. Verifying Losses 71 Chapter 3: Individuals and Households Program Once disaster survivors register for assistance, FEMA is required to verify losses to determine their eligibility for IHP Assistance. FEMA uses multiple loss verification methods, including: • Onsite inspection • Geospatial inspection • Documentation FEMA's standard loss verification method for initial eligibility determination is an on-site inspection by a FEMA inspector. FEMA may, at its discretion, determine other methods of verification(i.e., geospatial inspection)that will be used to help verify loss and deliver assistance. FEMA may also review and verify documentation such as medical bills or auto repair receipts for disaster-caused losses that cannot be verified through on-site or geospatial inspections. 1. Onsite Inspection FEMA inspectors typically schedule an on-site inspection with the applicant within two weeks after the applicant has registered for disaster assistance. FEMA inspectors are typically hired contractors,must pass a background check prior to working with FEMA, and are issued a badge identifying them as a FEMA contractor. The FEMA inspector does not determine the applicant's eligibility for disaster assistance. During the inspection,the FEMA inspector assesses damage to the disaster-damaged primary residence and personal property such as furniture, appliances, vehicles, and essential equipment for daily household needs. IHP Assistance may be awarded if, during inspection,the inspector determines the damage was caused by the disaster and affects the functionality of the home. The FEMA inspector may also photograph damage to help document disaster-caused losses that render the applicant's residence uninhabitable,unsafe, or inaccessible; however, FEMA inspectors will not physically inspect areas it is unsafe for them to access. Specifically,the FEMA inspector will: • Verify the applicant's name, address, contact information, and insurance; • Verify the applicant's proof of ownership and occupancy status, if not able to verify through automated public records search; • Collect the applicant's signature on the Declaration and Release form (FEMA Form 009- 0-3) certifying the applicant's citizenship or eligible immigration status, if required for a specific disaster; • Confirm individuals living in the disaster-damaged residence; bedrooms occupied; clothing,medical, dental, transportation, or miscellaneous losses; and items purchased as a result of the disaster(e.g., chainsaw, dehumidifier, etc.); 72 Chapter 3: Individuals and Households Program • Assess the pre-disaster residence's • structure, furniture, and appliances for damage caused by the disaster, as well �► as undamaged items; • Document the pre-disaster residence's square footage, foundation, and structural type (e.g., one or multiple01110 stories). Record the cause of damage, applicable water levels, impacted 4 utilities, and accessibility features; and • Confirm with the applicant all damage A FEMA inspector arrives for an on-site inspection and has been viewed, describe next steps in shakes hands with a tornado survivor in Oklahoma. the FEMA process after the inspection, and advise the applicant to contact FEMA's Helpline(800-621-3362) to request information such as status updates, types and amount of assistance awarded,required documentation, and/or general questions about IHP Assistance. Applicants who cannot meet the inspector on-site may write to FEMA authorizing a third party over the age of 18 (e.g., neighbor, landlord) to attend the inspection on their behalf. Applicants whose pre-disaster residence is inaccessible may meet the FEMA inspector at an alternate location. Applicants with disabilities will be provided qualified sign language interpreters and other accommodations for inspections. Applicants may request accommodations by contacting FEMA's toll-free Helpline,visiting a DRC, or speaking with a DSA Team. Once the inspection is complete,the inspector will submit the inspection record to FEMA, which will consider the information when determining eligibility for IHP Assistance. In some cases, FEMA may conduct another inspection to validate losses if, for example, areas of the residence are initially inaccessible, or in cases where the applicant appeals FEMA eligibility determinations. Inspectors do not perform inspections on residences they have previously evaluated; appeal inspections are conducted by a different inspector to ensure a fair and impartial assessment. 2. Geospatial Inspection FEMA may use geospatial inspections to verify losses. Geospatial inspections can be instrumental in FEMA's ability to quickly determine eligibility for a large number of communities and expedite delivery of initial assistance to eligible applicants. FEMA uses a variety of techniques and technologies to conduct geospatial inspections. This includes using aerial and satellite photography and remote sensing technologies. FEMA's evaluation of pre-disaster data includes information on the area's demographics and population density,property parcels,building and infrastructure types, and pre-disaster images. 3. Documentation of Losses 73 Chapter 3: Individuals and Households Program In some cases, FEMA needs documentation from applicants such as receipts, bills, or estimates to verify losses. Examples include, but are not limited to: • Medical and Dental services,prescriptions, durable medical equipment(DME), assistive technology devices • Child Care services • Moving and Storage services • Transportation On-site inspection by private 4 1, w contractors/technicians providing services ori „ s estimates for appeal items (i.e., well, septic, a. ,�.., furnace,boiler, etc.). For additional information on assistance for these losses and documentation requirements, see FEMA inspectors use an airplane to inspect Chapter 3, VI. homes damaged by flooding in remote Alaskan villages. C. Applicant Communication FEMA communicates with each applicant throughout the IHP process to gather information, inform them of their eligibility for assistance,refer them to other sources of assistance, and guide them on the proper use of IHP funds. 1. Written Consent FEMA generally communicates directly with each applicant to protect their private information. The Privacy Act requires FEMA to obtain written consent from the applicant in order to share their disaster assistance records with a third party. The written consent must: • Be in writing(handwritten or typed) • Include the applicant's identity verification information (full name, current address, date of birth) • Be dated and signed by the applicant • Be notarized or include a statement verifying the information is true under penalty of perjury • Include an individual identifier. Examples are: the FEMA Application Number, current mailing address, current phone number, etc. • Specify what information can be released to the third party(e.g.,the entire case file, the current contact information, the amount of disaster assistance received, etc.) 74 Chapter 3: Individuals and Households Program • Include a third-party designation. The individual must designate the individuals, entities, or organizations to which the disclosure is being consented 2. Letters FEMA also communicates with applicants through electronic notification via email, online through https://www.disasterassistance.gov, or letters sent through the U.S. Postal Service. If the applicant needs letters in an alternative format, or needs assistance understanding the letters,they may contact FEMA's Helpline or visit a DRC. Letters sent by FEMA to an applicant may include: • Eligibility Notifications: This letter informs the applicant of the types of assistance FEMA has determined they are eligible or ineligible to receive, the amounts of assistance FEMA is providing for each eligible need, the reasons an applicant is ineligible for the applicable types of assistance, an explanation of the appeals process, and other key information regarding disaster assistance, including proper use of disaster assistance funds. o Use of Funds: Applicants are advised on appropriate use of disaster assistance funds in their notification letter from FEMA. Applicants should document how they used disaster funds and retain these records (e.g., receipts, invoices) for at least three years to ensure they are prepared if FEMA identifies their case for an audit. o Appeals Process: Applicants who disagree with a FEMA eligibility decision may appeal the decision. FEMA reviews the applicant's written appeal and documentation received from the applicant supporting the appeal. Upon review, FEMA either provides a written decision to the applicant or requests more information from the applicant. If FEMA upholds a decision on an appeal, FEMA's decision is considered final and will generally not be reconsidered. • Request for Information: If FEMA requires more information to process an applicant's request, an applicant may receive a letter requesting additional information. 3. Insular and Remote Areas FEMA has unique considerations for delivering Federal assistance in insular areas (i.e., Guam, the Commonwealth of the Northern Mariana Islands,American Samoa, and the U.S. Virgin Islands) or otherwise remote areas such as the interior of Alaska. In some cases, the lack of building materials and skilled local labor, high transportation costs, and/or subsistence lifestyles require tailoring FEMA program delivery. 75 Chapter 3: Individuals and Households Program FEMA works to immediately identify any potential obstacles to effectively deliver IHP Assistance and determine what guidelines or procedures may need to be modified based on the needs of the impacted area. 111 A FEMA inspector . survivor surveying severe flooding ano Tribal village members gather remote areas of the at a local school to register Alaska. with FEMA. One of many shipping containers that were scattered across Apra Harbor, Guam after Supertyphoon Pongsona. Depending on the situation, FEMA may: • Develop alternate means of identifying properties (e.g.,using Global Positioning System coordinates if the area does not have or use a street naming or numbering system). • Deploy registration and inspection teams to enable FEMA to gather information and verify losses in areas with unique logistical requirements. • Consider additional personal property items necessary for climate-appropriate survival in insular areas, in coordination with the state, territorial, or tribal government. These items may include detached communal cooking facilities, food caches, smoke houses, or steam bath houses. • Manually review applicant cases to determine eligibility instead of using an automated process. A manual determination process can better accommodate unique situations falling outside of standard IHP guidelines (e.g.,verifying property ownership based on local official statements in areas where properties are handed down to families and few written records exist). • Provide FEMA disaster assistance for increased shipping costs of materials to insular areas in order to make repair or replacement feasible. 4. Tribal Governments FEMA recognizes the sovereign rights, authority, and unique status of tribal governments and is committed to working in partnership with tribal governments on a nation-to-nation basis. Federally-recognized tribal governments may choose to request a disaster declaration from the President directly or be considered as part of a state's declaration request. Tribal governments 76 Chapter 3: Individuals and Households Program cannot receive the assistance (FEMA IA, PA, and Hazard Mitigation Grant Program) through both tribal and state declarations for the same incident. Cost share and other regulations apply for tribal governments as they do for state governments. FEMA works closely with the tribal government's assigned representatives to immediately identify issues and potential obstacles, and determine what standard guidelines or procedures may need to be modified based on the needs of the impacted area. Depending on the needs of the tribal government, FEMA may use alternative processes, services, and tools—such as those described above for insular and remote areas—to better serve and ensure expedited access to FEMA programs and assistance. Overall, FEMA assists and coordinates with the tribal governments in accordance with the following principles: • Consult with the tribal governments before taking a proposed FEMA action that would have a substantial direct effect on one or more tribes, the relationship between the Federal government and tribes, or the distribution of power and responsibilities between the Federal government and tribes. • Evaluate the impact of policies,programs, and activities on tribal trust resources and consider the rights and concerns of tribal governments in its decision-making, including impacts on individuals with disabilities and others with access and functional needs. • Assist tribal governments, should they seek assistance, in setting priorities for the interests of their community members as related to FEMA programs. ""'..r'r r Ir., - __ it ,.. - - .,,, ,, , : ...41,40 / ...iib.«. . _..� 1 Members of the Shingle Springs Band of Miwok Indians hosted the California Tribal Historic Preservation Officers State Historic Preservation Summit. 77 Chapter 3: Individuals and Households Program IV. Housing Assistance (Financial) The Housing Assistance provision of the IHP, � . authorized by Section 408(c) of the Stafford Act, provides financial and direct assistance for disaster- caused housing needs not covered by insurance or provided by any other source. Financial Housing Assistance refers to funds provided to eligible applicants for temporary lodging expenses,rental of • temporary housing, or repair or replacement of a damaged primary residence. FEMA Assistance may be provided when the disaster A road is severely damaged by flooding in Manitou Spring, Colorado, 2013. has caused damage that affects the habitability of the home. FEMA defines "habitable"as safe, sanitary, and functional. "Safe"refers to being secure from disaster-caused hazards or threats to occupants; "sanitary"refers to being free of disaster- caused health hazards; and"functional"refers to an item or home capable of being used for its intended purpose. In addition, the applicant must agree to return funds to FEMA when the assistance provided by FEMA duplicates assistance from another source,was provided in error,was spent on expenses inappropriately, or was obtained through fraudulent means. A. Lodging Expense Reimbursement FEMA may provide LER for applicants who incur Lodging Expenses out-of-pocket temporary lodging expenses66 due to Lodging expense means damage that affects the habitability of their primary expenses for reasonable short-term residence as a result of a Presidentially-declared accommodations that individuals or disaster.67 Eligible lodging expenses may include households incur in the immediate the cost of the room and taxes charged by a hotel or aftermath of a disaster. other lodging provider. LER Assistance counts towards the IHP financial assistance maximum award an applicant may receive (see Chapter 3, I). 1. Conditions of Eligibility LER may be awarded from the start date of the incident,up to and not to exceed seven days from the approved date of any initial Rental Assistance (Chapter 3, IV.B.) award,unless FEMA authorizes an extension. In addition to general conditions of eligibility(see Chapter 3, II.), applicants must meet the following conditions in order to receive LER: • FEMA verifies, as a result of the disaster,the pre-disaster residence is: o Uninhabitable, meaning the dwelling is not safe, sanitary,or fit to occupy,68 and requires repairs to make the residence habitable; or 78 Chapter 3: Individuals and Households Program o Inaccessible, meaning the applicant's disaster-damaged primary residence cannot be entered due to access impediments (e.g., fallen trees, downed power lines) or restrictions placed by Federal, SLTT government officials. • The applicant incurred temporary lodging expenses on or after the incident period start date. • The applicant is not covered by insurance(e.g.,ALE, LOU coverage) or has insufficient insurance coverage to meet their temporary lodging needs. • The applicant has not received lodging assistance from any other source (e.g.,voluntary organization, etc.) for the same dates the applicant is requesting LER. 2. Required Documentation To be considered for LER,applicants must submit verifiable lodging receipts or itemized statements, including: • The applicant or co-applicant's name • The name, address, and phone number of the accommodation • Dates of occupancy • The amount of expenses incurred 3. Limitations and Exclusions Acceptable Lodging Receipts FEMA may accept lodging receipts in • LER does not include costs the name of an individual not listed as a associated with: household member if the applicant submits o Phone proof they have reimbursed the third party for o Laundry the charges. o Internet Appropriate documentation may include a copy of the canceled check or receipt for the o Movies reimbursement of the charges made. o Food _..n. o Pet charges • Lodging expenses incurred while residing at the home of family or friends will not be reimbursed. • FEMA will not reimburse lodging expenses for dates an applicant was receiving(see Chapter 2, IX.). • Expenses incurred during mandatory evacuation will not be reimbursed unless an inspection reports the applicant's home as uninhabitable, inaccessible, or affected by an extended disaster-caused utility outage. For applicants affected by inaccessibility or utility outage, LER is limited to the dates their residence was inaccessible or had an extended utility outage. 79 Chapter 3: Individuals and Households Program B. Rental Assistance FEMA may provide financial assistance to pre-disaster homeowners or renters to rent temporary housing when an applicant is displaced from their primary residence as a result of a Presidentially-declared disaster.69 FEMA awards eligible applicants an initial Rental Assistance payment based on the Fair Market Rent(FMR)70 established by HUD for the county,parish, tribal land,municipality, village, or district where the pre-disaster residence is located and the number of bedrooms the household requires.71 Rental Assistance is intended to cover the monthly rent amount and cost of essential utilities (i.e., gas, electric, water, oil,trash, and sewer), excluding telephone, cable, TV, or interne service for the housing unit.72 Rental Assistance may also be used to pay a security deposit in an amount that does not exceed the cost of one month of FMR.73 Rental Assistance counts towards the IHP financial assistance maximum award(see Chapter 3). 1. Conditions of Eligibility In addition to meeting general conditions of eligibility(see Chapter 3, II), applicants must meet the following conditions in order to receive Rental Assistance: • FEMA verifies, as a result of the disaster,the pre-disaster residence is: o Uninhabitable and requires repairs to make the residence habitable; or o Inaccessible and cannot be entered due to access impediments (e.g., fallen trees, downed power lines) or restrictions placed by Federal, SLTT government officials; or o Affected by utility outages that disrupt functionality of the residence; or o Unavailable due to forced relocation, such as the property owner restricting access to the property due to disaster damage or the owner taking possession of the property for their own disaster housing. • Applicant is not insured or has insufficient coverage to meet temporary housing needs (e.g.,Additional Living Expenses [ALE], Loss of Use [LOU] coverage). 11111 Reasonable Commuting Distance • Applicant is willing to relocate while Reasonable commuting distance repairs are being made to their pre- means a distance that does not place undue disaster residence. FEMA will not hardship on an applicant.It also takes into provide Rental Assistance to applicants consideration travel time involved due to road conditions(e.g.,mountainous regions or who need to relocate but refuse to do so. bridges out)and the normal commuting • Applicant does not have access to patterns of the area. adequate rent-free housing, or own a - - --�- secondary or vacation home74 within a reasonable commuting distance, or own an available rental property that meets their temporary housing needs.75 80 Chapter 3: Individuals and Households Program FEMA generally provides only one Rental Assistance award per household to assist all members of the pre-disaster household. FEMA will provide assistance to rent one housing unit per application,unless the size or nature of the applicant's household requires assistance to rent more than one housing unit(see Chapter 3, I1).76 C. Continued Rental Assistance FEMA may provide Continued Rental IIII Permanent Housing Plan Assistance to eligible applicants based on Permanent housing plan means a realistic need, and generally only when adequate, plan that within a reasonable time frame,puts the alternate housing is not available, or when disaster survivor back into permanent housing the applicant's permanent housing plan has that is similar to the pre-disaster housing not been fulfilled through no fault of the situation.A reasonable time frame includes applicant.77 The continued temporary sufficient time for securing funds,locating a housing need must be documented and the permanent dwelling,and moving into the applicant must continue to work toward dwelling. obtaining permanent housing to remain eligible for Continued Rental Assistance. FEMA generally expects that pre-disaster renters will use their initial Rental Assistance to obtain permanent housing,78 and that all recipients of financial assistance will obtain and occupy permanent housing at the earliest possible time. Figure 16: FEMA Rental Assistance Overview FEMA may provide up to Applicants who need Continued Rental FEMA may provide Continued Rental _ 2 months of Initial Rental Assistance Assistance up to the IHY maximum. Assistance for applicants submit paperwork that - -- ^ until the end of the period of assistance, --- onmemmo demonstrates a disaster- limogmoloo or for 18 months phis a security deposit. at FMR related and financial need. whichever comes first. FEM4 Form 010-0-12 Continued Rental Assistance is based on the HUD FMR for the county or parish in which the post-disaster housing unit is located. Award amounts are based on actual rent costs plus a utility allowance determined by HUD, not to exceed the HUD FMR unless a Rental Assistance rate increase has been authorized.79 FEMA may provide Continued Rental Assistance up to the IHP financial assistance maximum award or until the end of the period of assistance, whichever comes first. 1. Conditions of Eligibility Applicants must meet the following conditions to receive Continued Rental Assistance: 81 Chapter 3: Individuals and Households Program • Applicant was awarded initial Rental Assistance. Maximum Rental Assistance • Applicant exhausted previously awarded The maximum amount of Rental Assistance for its intended use. Continued Rental Assistance available • Applicant is unable to return to their pre- under IHP is 18 months of assistance disaster residence because it is uninhabitable, plus the security deposit. inaccessible, or not available due to the disaster. • Applicant does not have the financial ability to obtain housing without assistance.80 • Applicant is not receiving assistance from any other source for temporary housing. 2. Required Documentation Applicants in need of Continued Rental - -- Assistance may request additional assistance. Applicants requesting Continued Rental Assistance must complete FEMA Form 010-0-12, (see Figure 17 for an excerpt of the form) and " return it to FEMA along with supporting 0 documentation.81 • • Homeowners: if the applicant's FEMA- . verified Real Property Loss exceeds the L M amount of initial Rental Assistance awarded,the Application for Continued A FEMA Lead Applicant Service Program Temporary Housing Assistance will Specialist provides service to a flood survivor in Melbourne, FL. automatically be mailed after the initial Rental Assistance award. o If the recorded FEMA-verified Real Property Loss does not exceed the amount of initial Rental Assistance awarded, the applicant must call FEMA's Helpline to request an Application for Continued Temporary Housing Assistance. o Renters: the applicant must call FEMA's Helpline to request an Application for Continued Temporary Housing Assistance. FEMA uses the information collected on Form 010-0-12 to verify an applicant continues to have a disaster-caused need for Continued Rental Assistance and determine how much Rental Assistance the applicant may be eligible to receive. 82 Chapter 3: Individuals and Households Program Figure 17: Excerpt of Form 010-0-12 Application for Continued Temporary Housing Assistance DEPARTMENT OF HOMELAND SECURITY DMB No 1660-0061 Federal Emergency Management Agency Expires July 31,2017 INDIVIDUALS AND HOUSEHOLDS PROGRAM APPLICATION FOR CONTINUED TEMPORARY HOUSING ASSISTANCE Instructions for Completing Your Application for Continued Temporary Housing Assistance • ease read these instructions prior to tilling out your'Application for Continued Temporary Housing Assistance- STEP ONE Fill out the form NOTE After your initial-Application for Continued Temporary Housing ssistence"is approved the'Pre-Disaster or Prior Reported'column on the form will be filled-in for you using the rnformafr •ivided by you in your previously approved request items 1 -6 • itis I through 6 will be filled-in for you,using the information provided by you at registration If the information supplied on the form reit you may move on to Item 7 -Housing Costs"However if the information is incorrect please check the box that is incorrect it provide the updated information ,rent MB4ipg Address is the address you want FEMA to send you disaster assistance information such as letters regarding your pbdrty for continued temporary housing assistance :'rent Phone is the phone number that FEMA can use to contact you about your application for continued temporary housing ,istance and other disaster assistance Item 7 You will need to supply the dollar amount of both pre-disaster and current expenses that are applicable to your household Next to the appropriate"Expense'enter the dollar amount of your bill or payment You must submit a copy of each document to prove the dollar amount included as a"Housing Cost."This would include documents such as your mortgage statement rent receipts and utility bills Shade in the circle next to the"Expense"indicating that you have attached the document to your application You must submit documentation that can be verified otherwise the amount will not be accepted Under'Payment Cycle" shade in the circle indicating how you are billed for the housing expense 7 Housing Costs(See Instructions for Definitions of Expensesi Pie Disaster Std Payment Cycle(How You Are Billed) Expense w Current If Document is Poor Reported Attached I.tOlnmly Quarterly B+-Arcual Annual Other (1) rd) (6) it2r Mortgage 51495 00 S1495 00 • • O 0 Definitions for certain expenses have been provided below. Home insurance means typical homeowners renters flood or earthquake insurance policy or any other type of insurance policy or rider for the dwelling. Housing Cost means the rent andior mortgage payments lincluding principal interest and real estate taxes),real property insurance and utility costs not to include cable television internet and telephone servicel Housing Unrt means a house apartment a manufactured home recreational vehicle or other readily fabricated dwelling A room or group of rooms in an occupied dwelling may qualify as a housing unit A the roomtsi in which the applicant and household live are separate from any other persons in the dwelling/budding and are generally available to be rented by the public item 8 In addition to providing a copy of your written and signed lease,you will have to provide the name and phone number or the landlord The lease must be signed by the applicant or co-applicant and the landlord QUESTIONS OR NEED ASSISTANCE? It you have any questions about compititing completingthus dot..unlent yoni SnOuiit calx the t EMA Disaster Helpline at 1-800.-621-FEMA (heanng'speech impaired only I-800-462.7585i as soon as possible FEMA Form 0100.12 PeXJje'1 of 4 83 Chapter 3: Individuals and Households Program Figure 18 below lists supporting documentation that must be submitted to FEMA, as outlined in the Application for Continued Temporary Housing Assistance.82 Figure 18: Continued Rental Assistance Documentation Type of Documentation Description of Documentation Copy of current lease or • The lease or rental agreement should include location of the unit, rental agreement signed by amount of rent,duration of lease, and number of occupants. the landlord and tenant • Rent receipts showing date,location of rental unit, and time period for which the payment applies. • If separate from the rent,receipts showing payment of essential utilities. Essential utilities are gas, electric,water,oil,trash, and sewer. Proof of prior Rental • If applicable,receipt showing payment of security deposit for up to Assistance provided by FEMA has been used for one month's rent. temporary housing • In instances where rent receipts are not available,the lease or rental agreement may serve as proof of use of prior Rental Assistance. • Hotel/motel receipts showing date, address of hotel/motel,and time period for which payment applies. Only the cost of the room and taxes charged by the hotel will be considered toward acceptable exhaustion of Rental Assistance. • Mortgage statement or lease/rental agreement for the disaster- Proof of pre-disaster damaged primary residence. housing costs, as identified • Real estate tax statement and homeowners or renters' insurance on the Application for Continued Temporary statement,if paid separately from the mortgage. Housing Assistance • Essential utility bill(s)for the disaster-damaged primary residence: gas,electric,oil,trash,water,and sewer. Proof of pre-disaster and Examples include,but are not limited to: current post-disaster • Recent pay stubs. income for all members of • W-2 forms or tax returns from most recent tax year. the household 18 years and • Documentation of self-employment, if applicable. older • Documentation of government assistance, including Social Security. Upon subsequent requests for Continued Rental Assistance, applicants will only be required to submit supporting documentation if the household's income or rent has changed. 3. Limitations and Exclusions • Applicants must request Continued Rental Assistance within the period of assistance. • When an applicant first requests Continued Rental Assistance and submits documentation that does not demonstrate full exhaustion of the initial Rental Assistance award,the first Continued Rental Assistance payment will be reduced by the remaining amount of initial Rental Assistance. 84 Chapter 3: Individuals and Households Program • Applicants residing in non-traditional housing are not eligible for Continued Pre-Disaster HUD Applications Rental Assistance. Prior to reviewing a pre-disaster HUD applicant's file for Continued Rental D. Rental Assistance Rate Increase Assistance,FEMA will coordinate with HUD to determine if the pre-disaster housing unit is FEMA may increase Rental Assistance above available to the applicant.Once the pre-disaster the published HUD FMR rate when elevated housing unit is available,or HUD is able to housing market rates adversely impact provide housing,FEMA will stop providing eligible applicants' ability to obtain rental Continued Rental Assistance. resources. If Rental Assistance increases take -- effect during Continued Rental Assistance payments, FEMA does not retroactively award increased initial Rental Assistance. FEMA evaluates the need for a Rental Assistance rate increase by comparing U.S. Census Bureau American Community Survey statistics on housing inventory and vacancy rates to the best available data on disaster-caused housing impacts in declared disaster areas as well as "host areas. A "host area" is a county,parish,tribal land,municipality, village, or district in a non- declared area that hosts households evacuated from the declared disaster area. The state, territorial, or tribal government may request a Rental Assistance rate increase by submitting other reliable sources of these data elements for FEMA to use. The FEMA FMR Calculator allows FEMA to rapidly evaluate the need for a Rental Assistance increase using the information represented in Figure 19. FEMA will only authorize increased Rental Assistance when the FEMA FMR Calculator demonstrates that the published HUD FMR for the declared disaster area or host area is significantly less than prevailing market rates. The Federal Coordinating Officer(FCO) may approve Rental Assistance rate increases for individual counties or parishes where the FEMA Rental Assistance Rate Calculator"Percent of Published FMR"result is greater than 100%. The increase may not exceed the amount indicated by the Calculator, or 125% of the HUD FMR,whichever is lower. The RA must provide a written notification of the Rental Assistance rate increase to the IADD, including a copy of the Calculator. The AA for Recovery may authorize Rental Assistance rate increases above the 125% of the HUD FMR for individual counties or parishes when the FEMA FMR Calculator's "Percent of Published FMR"result is 125% or greater. Only the AA for Recovery may authorize statewide Rental Assistance rate increases. 85 Chapter 3: Individuals and Households Program Figure 19: FMR Calculator FOR OFFICIAL USE ONLY FEMA RECOVERY POLICY (FMR CALCULATOR) Census Data Source Pre-Disaster Housing Stock for County 27.173'http;rquickfacts census.gov/gfd/index html Homeownership Rate for County 40.60% http.;lquickfacts census.govrgfdhndex.html Total Occupied Housing Units for County` 96,703,http://factfindercensus.gov Total Vacant Housin• Units for Count * 1,409 http nfactffnder.census.gov FEMA Data Housing Units Lost 9.888 FEMA PDA or other reliable source Displaced Households in Need of Housing 7.729%households in calculation area needing housing Post-Disaster Vacanc Rate -73.84% Percent of Published FMR 125% SOURCES FOR FMR CALCULATOR: Census Data Link Section Pre-Disaster Housing Stock Census Quickfacts Housing Housing units Homeownership Rate Census Qwckfacts Housin_gsOwner-occupied housing unit rate Total Occupied Housing Units Census Factfinder ,Subject Tables/Housin Occupancy" Total Vacant Housing Units Census Factfinder Subject Tables/Housing Occupancy* "County data is preferable when available If not. use state data E. Home Repair Assistance FEMA may provide financial assistance to repair an owner-occupied primary residence,utilities, and residential infrastructure, including private access routes damaged as a result of a Presidentially-declared disaster up to the IHP financial assistance maximum award.83 Home Repair Assistance is intended to make the damaged home safe, sanitary, or functional. It is not intended to return the home to its pre-disaster condition. Home Repair Assistance counts towards the IHP financial assistance maximum award an applicant may receive(see Chapter 3. I). FEMA may provide financial assistance for the repair of real property components, including, but not limited to: • Structural components of a home(foundation, exterior walls, roof) • Windows, doors, floors,walls, ceilings, and cabinetry 86 Chapter 3: Individuals and Households Program • Heating, ventilation, and air conditioning system(HVAC) Wells,Furnaces,and Septic Systems • Access and egress, including For wells,furnaces,and septic privately-owned roads,privately- systems,FEMA may provide assistance or reimbursement for the cost of a licensed owned bridges, and privately-owned technician's professional assessment associated docks with the repair or replacement of those • Blocking, leveling, and anchoring of a components. mobile home, and reconnecting or Additionally,when verifiable receipts or resetting its sewer,water, electrical, estimates are submitted on appeal, FEMA may oil, and fuel lines and tanks pay up to the actual cost of the receipt or estimate for wells,furnaces,and septic systems. • Line items to restore a houseboat to a habitable state,not necessarily to return the houseboat to seaworthiness • Utility systems, including electrical, gas,water, oil, and septic/sewage systems • Items or services determined to be eligible hazard mitigation measures that reduce the likelihood of future damage to the residence,utilities, or infrastructure 1. Conditions of Eligibility In addition to meeting general conditions of eligibility(see Chapter 3. I I), the following conditions must be met to receive Home Repair Assistance: • A FEMA inspection determines the repair of the component is necessary to ensure the safety or health of the occupant or to make the component or residence functional. • The real property components were functional immediately before the declared414( Components disaster. Components or residences that • The component was damaged, and the were fully or partially functional damage was caused by the disaster. immediately before the declared disaster, despite their need for maintenance,may • The damage to the component is not be eligible for Home Repair Assistance if covered by insurance. they ceased to function as a result of the disaster. 2. Limitations and Exclusions • Home Repair Assistance is not available for non-traditional forms of housing(e.g., tents, lean-to structures, etc.). • Home Repair Assistance is not available to landlords who do not permanently reside in the damaged dwelling. In addition, any available assistance is limited to the owner- occupied unit and not common areas. 87 Chapter 3: Individuals and Households Program • Applicants whose pre-disaster residence was a houseboat will not be required to obtain and maintain flood insurance for NFIP-insurable items, as these structures are uninsurable under NFIP. • An applicant with insurance for a covered peril will be ineligible for Home Repair Assistance for insured real property components when the applicant fails to file a claim with their insurance company. • Home Repair Assistance for flood-damaged real property in basements is limited to damaged items that result in living conditions affecting the safety, sanitation, and functionality of the home. These include: o Damage to the structural Basement Common Area components (e.g., foundation) of the Recreational and other common home areas of a basement are not considered o Damage to critical utilities that rooms required for the occupation of the support the overall function of the dwelling. home(e.g., furnace, water heater) o Damage to the structure's interior(e.g., doors, floor covering); limited to rooms required for the occupancy of the dwelling(e.g., occupied bedrooms, a bathroom required for the occupied bedroom, a sole kitchen or living room); and no other room in another part of the dwelling meets that need o Damage presenting a hazard(e.g.,wet or moldy drywall, carpet, or cabinets) in non-essential living areas (for removal only) • Home Repair Assistance award amounts are based on repair or replacement of components that are of average quality, size, or capacity. • Home Repair Assistance will not be provided to make improvements to a component's pre-disaster condition unless required by current SLTT government building codes or ordinances, similar products are no longer feasible or available in the marketplace, or for reasonable hazard mitigation measures. F. Privately-Owned Access Routes FEMA may provide financial assistance to repair privately-owned access routes (i.e., driveways, roads, or bridges) damaged as a result of a Presidentially-declared disaster.84 Assistance for privately-owned access routes is intended to restore access to the owner's primary residence. In instances where multiple households share a privately-owned access route, assistance is shared between applicants, requiring additional coordination and documentation between FEMA and the applicants. 88 Chapter 3: Individuals and Households Program 1. Conditions of Eligibility In addition to meeting general conditions of eligibility(see Chapter 3, II.),the following conditions must be met to receive Home Repair Assistance for privately-owned access routes: • A FEMA inspection determines repairs are necessary to provide drivable access to the primary residence. • The applicant is responsible (or shares Privately Owned Access Route responsibility with other homeowners) for maintaining the privately-owned If multiple households use a privately-owned access route,FEMA will access route to their primary residence. make several attempts to encourage all • The privately-owned access route is the households to apply for assistance in order to only access to the applicant's primary meet the needs of all affected households. Additionally, access of emergency vehicles residence or repair or replacement of a should only be considered if access was secondary route is necessary for practical available prior to the disaster. use (e.g., it is impossible to access the residence without a bridge or road) or the safety of the occupants or the residence would be adversely affected because SLTT government emergency equipment could not reach the residence. • Docks only: o A FEMA inspection will be required to determine whether the dock was functional prior to the Presidentially-declared disaster and whether repair is necessary. o The dock must be the applicant's sole means to access the primary residence. o Dock maintenance and repairs must be the applicant's responsibility. • If multiple households share the access route, FEMA also requires: o Written consent from all applicants as pertains to the shared privately-owned access route. o A declarative statement affirming any assistance FEMA provides will be used to make repairs to the access route and the applicant understands they are responsible for securing permits and complying with local codes and ordinances. o The applicants do not have an established Homeowner's Association or Covenant responsible for repair of the access route, or the established Homeowner's Association or Covenant is unable to receive assistance from the SBA or private insurance to repair the access route. 89 Chapter 3: Individuals and Households Program 2. Limitations and Exclusions • FEMA will provide other types of IHP Assistance before considering providing Repair Assistance for an applicant's private access route. o For eligible applicants who have sole responsibility to repair the access route to their home, FEMA will provide Rental Assistance, then consider eligibility for Repair Assistance for an applicant's private access route. o For eligible applicants who share responsibility with other eligible applicants to repair the access route, FEMA will provide Rental Assistance, Home Repair Assistance for items that do not affect the access route, ONA, then consider eligibility for Repair Assistance for an applicant's private access route. • The Repair Assistance award amount is based on repair items (e.g., decking, guardrails, and handrails)that are of average quality, size, and capacity. o Repair awards will not include improvements to the access route's pre-disaster condition unless improvements are required by current SLTT government building codes or ordinances. o An applicant with access and functional needs that requires access for a particular vehicle may be approved for additional funds to improve the access if required for safe passage. • FEMA will verify whether the SLTT government has taken or EHP Compliance Review plans to take any emergency actions to repair the route to provide access The EHP review process considers the for emergency service providers or effects of Federal funding on resources such as to remove immediate threats to endangered species,floodplains and wetlands, public health and safety. Eligible and historic bridges or culverts. FEMA is required to ensure that Federal funding complies activities for the repair of privately- with applicable Federal EHP laws,regulations, owned access routes are subject to and executive orders(EOs)prior to providing Federal Environmental Planningand assistance. Historic Preservation (EHP) compliance review requirements. o Eligible applicants are responsible for complying with any conditions developed as a result of the EHP compliance review process and for obtaining any applicable Federal, SLTT government permits. • If multiple families share an access route, individuals who do not apply or do not meet all eligibility requirements will not receive assistance and will not be considered when determining the amount an eligible applicant will receive. 90 Chapter 3: Individuals and Households Program G. Replacement Assistance FEMA may provide financial assistance to owners whose primary residences were destroyed as a result of a Presidentially-declared disaster. Replacement Assistance may be applied toward purchasing a new permanent residence even if the new residence's cost is greater than the IHP financial assistance maximum award. FEMA calculates the replacement award amount according to the consumer price index data for the types of housing in the area where the damage occurred. FEMA establishes award amounts based on whether the pre-disaster home was a manufactured home, travel trailer,houseboat, or residential construction(e.g., single-family home). However,the award amount cannot exceed the IHP financial assistance maximum award(see Chapter 3, I.). 1. Conditions of Eligibility In order to qualify for Replacement Assistance, applicants must meet general conditions of eligibility(see Chapter 3, II.) and the following: • The residence was functional immediately in Functional before the disaster. Functional means a • A FEMA inspection confirms the residence "component"or residence capable of was destroyed, and the damage was caused being used for its intended purpose,or an by the disaster. A destroyed residence is a item or home capable of being used for its total loss or damaged to such an extent that intended purpose. the real property components of the A dwelling are structurally compromised (i.e., foundation, floor, walls, and roof) as a direct result of a peril identified in the Federal Register Notice of a Presidentially-declared major disaster or emergency. • The damage to the residence is not covered by insurance. • Repair is not feasible, will not ensure the safety or health of the occupant, or will not make the residence functional. • Replacement is necessary to ensure the safety or health of the occupant. 2. Limitations and Exclusions • Applicants who have reached the IHP financial assistance maximum award may use their Replacement Assistance to acquire temporary housing(i.e., a rental resource or hotel). • Replacement Assistance is not available for non-traditional forms of housing(e.g., tents, lean-to structures, etc.). • Replacement Assistance is not available to landlords who do not permanently reside in the damaged dwelling. In addition, any available assistance is limited to the owner- occupied unit and not common areas. 91 Chapter 3: Individuals and Households Program 3. Appeal Considerations If FEMA determines the residence was not destroyed by the disaster,the applicant may appeal by submitting supporting documentation from governing authorities giving notice of condemnation, substantial damage, or demolition. • FEMA will not automatically determine an applicant eligible for Replacement Assistance based on submitted documentation,because local authority determinations could be based on non-disaster-caused circumstances. • After receiving appeal documentation from the applicant, FEMA will review the request to determine if another inspection is necessary in order to verify if the residence was destroyed due to disaster-caused damage. 92 Chapter 3: Individuals and Households Program V. Housing Assistance (Direct) The Housing Assistance provision of the IHP, authorized by Section 408(c) of the Stafford Act, provides assistance for disaster-caused housing needs not covered by insurance or provided by any other source. FEMA may provide Direct Housing Assistance in two forms: Direct Temporary Housing Assistance and PHC. These types of assistance do not count against the IHP financial assistance maximum award. FEMA may only provide Direct Temporary Housing Assistance when eligible applicants are 111; THU and TTHU unable to use Rental Assistance to secure Temporary Housing Unit temporary housing. Direct Temporary Housing (THU): A house,apartment, cooperative, Assistance includes providing Temporary Housing condominium,manufactured home, or Units (THUs) through MLR or Direct Lease, or other dwelling acquired by FEMA and placing TTHUs on private, commercial, or group made available to eligible applicants for a sites.85 limited period of time. The term"THU" includes TTHUs where used in this FEMA may only provide PHC in insular areas and guidance,except where specifically stated other locations when other housing options are not otherwise. available and Temporary Housing Assistance (i.e., Transportable Temporary Housing Unit Rental Assistance or Direct Temporary Housing (TTHU): A readily-fabricated dwelling Assistance) is not feasible, available, or cost- (i.e.,a Recreational Vehicle [RV] or effective. PHC may come in the form of repairs Manufactured Housing Unit[MHU]) and new construction.86 purchased or leased by FEMA and provided to eligible applicants for use as A. Direct Housing Assistance Request and temporary housing for a limited period of Approval time. When there appears to be a lack of available housing resources within the HUD FMR or the approved Rental Assistance rate for the disaster to support the potential need for housing due to the disaster, FEMA will mobilize a Direct Housing Assessment Team(DHAT)to partner with the affected state,territorial, or tribal government to perform a comprehensive analysis of the disaster-caused housing needs and available resources. When the analysis demonstrates a need for Direct Temporary Housing Assistance, the affected state, territorial, or tribal government may request this assistance from FEMA in writing. The AA for Recovery will consider the request and must approve it before Direct Temporary Housing Assistance is implemented. 1. Direct Housing Assistance Assessment FEMA expects the state, territorial, or tribal government to establish and lead a Disaster Housing Task Force (DHTF) to determine the scope of disaster-caused housing needs, explore available rental resources and feasible alternatives, and develop housing solutions. The DHTF brings together Federal, SLTT government,non-governmental, and private sector expertise to identify, 93 Chapter 3: Individuals and Households Program evaluate, and deliver available programs,resources, and capabilities to disaster survivors in a coordinated effort. 1111elppr As part of the assessment,the DHAT and other FEMA staff will coordinate with the DHTF to: • Identify available rental resources within REHt reasonable commuting distance; • Analyze current and projected housing needs1111111P di , -.vow iimm41111111 and available resources by community, usually at the local level; Rental Resources • Identify alternatives to Direct Temporary Housing Assistance; • Identify multi-family housing rental «ngt°"'°"�` �n"""rxrrAt riismocRan+. properties feasible for repair or improvement for the evaluation of MLR, as described in Multi-Family Lease and Repair(see Chapter 3, V.D.); • Identify potential shortfalls in the capacity of the local building supply and construction . sector to meet demand for needed post- Alternative Housing Pilot in Bayou Le Barre, disaster repairs to housing stock, including Alabama recommendations for addressing these *' j challenges; and • Identify all applicable compliance i %'• j requirements for providing Direct Temporary Housing Assistance, if needed, including Federal, SLTT government t • r} t ordinances,the currently-adopted building nip Cf _ 1' code, zoning,permitting process and requirements, and any impediments and Multi-Family Housing requirements that may impact the delivery of Direct Temporary Housing Assistance. o Other related requirements may include the following: • SFHA identification • EHP concerns • A comprehensive procurement approach, including market research and independent government cost estimates 94 Chapter 3: Individuals and Households Program 2. Direct Housing Assistance Approval FEMA will only authorize Direct Housing Assistance in response to a written request from the State or Territorial Coordinating Officer(SCO/TCO) or Governor's Authorized Representative (GAR) or tribal government. FEMA's AA for Recovery has the authority to approve Direct Housing Assistance and to specify relevant conditions for implementation. The AA for Recovery will evaluate the Direct Housing Assistance request from the state, territorial, or tribal government using information obtained from the Direct Housing Initial Assessment and provide approval if all of the following have been verified: • Eligible applicants are unable to make use of Rental Assistance due to a lack of available housing resources.87 • Increasing the Rental Assistance rate to 125%of the HUD FMR will not be sufficient to meet the disaster-caused housing needs. • Assistance from other providers, including other Federal agencies, state, territorial, or tribal governments, and voluntary organizations is insufficient to meet the disaster-caused temporary housing needs of eligible applicants. The initial Direct Temporary Housing Assistance approval will authorize the use of Direct Temporary Housing Assistance in the form of TTHUs and MLR. The RA will review the Direct Housing Analytical Assessment to determine which forms of Direct Temporary Housing Assistance to implement based on locations and numbers of eligible applicants and the availability, feasibility, and cost-effectiveness of each option. The RA may delegate this authority to the FCO. In addition, the RA may approve the implementation of Group Site(s) if the approved Direct Temporary Housing Assistance options are not feasible. The RA must notify the AA for Recovery in writing prior to approving and implementing any TTHU Group Site(s). A separate written request from the FCO to the AA for Recovery is required for the approval of Direct Lease. The request should demonstrate that other forms of housing assistance have been evaluated and delivered in sequential order and are not sufficient to meet the disaster-caused housing need; housing needs exceed the capacity to provide MLR units or TTHUs in a timely manner; and when one or more properties have been identified that meet the criteria identified in the Direct Lease (see Chapter 3, V.G) section of this chapter. After Direct Temporary Housing Assistance has been approved and the forms of assistance being provided have been determined, the FCO will coordinate with the state,territorial, or tribal government to execute an addendum to the agreement between FEMA and the state, territorial, or tribal government that describes the responsibilities of each party. FEMA will use the most cost-effective forms of available Direct Temporary Housing Assistance to meet the disaster- caused housing needs. In general, FEMA will prioritize the types of Direct Temporary Housing Assistance as depicted in Figure 20. However, PHC may be considered when no alternative housing resources are available and all forms of Direct Temporary Housing Assistance are unavailable, infeasible, or not cost-effective. 95 Chapter 3: Individuals and Households Program Figure 20: General Sequence of FEMA Direct Housing Assistance Options 1 2 I 3 4 m j 5 6 7 Multi- TTHUs- TTHUs- I Direct ' TTHUs- PHC Repairs PHC New Family * Private& i! Expanded rI Lease I Group I Construction Lease and Commercial i Commercial! Sites Repair Sites Sites B. Direct Temporary Housing Assistance Conditions of Eligibility This section describes the additional conditions FEMA uses to determine an applicant's eligibility for Direct Temporary Housing Assistance and to select the appropriate size and type of THU to meet the household's needs. 1. Conditions of Eligibility Applicants who may be eligible for Direct Temporary Housing Assistance must: • Meet all of the conditions of eligibility found in IHP Eligibility(see Chapter 3, 11.). • Be verified by FEMA through the on-site inspection conducted following an applicant's registration as: o An owner of a disaster-damaged primary residence with real property verified loss amount of at least$17,00088 or o A renter with a disaster-damaged primary residence that was destroyed or received major damage as a result of the disaster. FEMA then contacts applicants to obtain information about their household's unmet Recording Property Loss temporary housing needs. During the contact, FEMA inspectors do not record typically by phone, FEMA refers eligible real property losses for renters, as renters applicants to other adequate, accessible, are not responsible for repairs to their pre- alternate housing units, if available,prior to disaster residence.This is why the discussing Direct Temporary Housing threshold for renters is based on a general Assistance. FEMA expects applicants to accept level of damage rather than a specific dollar the first offer of available alternate housing that amount of real property damage. meets their household's needs; applicants who refuse available housing that meets their household's needs may become ineligible for Temporary Housing Assistance. FEMA determines no housing resources are available or available alternate housing resources are not adequate for the applicant's household because of one of the following: • Housing resources are not within reasonable commuting distance. • Housing resources exceed the applicant's financial ability, defined as no more than 30% of the household's income. 96 Chapter 3: Individuals and Households Program • The applicant's household includes children attending school (not including post- secondary education) and transportation to school is not available from any of the available alternate housing resources. Direct Temporary • Housing resources are not accessible to Housing Assistance one or more members of the applicant's household who have a disability. Applicants who are ineligible for Home Repair Assistance or Replacement • Housing resources are not in reasonable Assistance because they failed to maintain distance to accessible public flood insurance required as a condition of transportation and the household accepting financial assistance in a previous includes one or more persons with a disaster may still be eligible for Direct disability who requires accessible Temporary Housing Assistance. public transportation. - l • The applicant's primary residence is a working agricultural interest generating at least 50% of the household's pre-disaster income. • A member of the applicant's household needs in-home health care services, or provides such services to a friend, neighbor, or relative, and would be unable to receive or provide these services if relocated to an alternate housing resource. • The applicant is able to provide verifiable documentation that demonstrates: o The landlord or leasing agent will not agree to a lease of less than one year; or o The applicant is unable to use Rental Assistance due to adverse credit history or criminal background. However, FEMA will coordinate with voluntary agencies and other organizations to assist in housing applicants in this situation prior to considering Direct Temporary Housing Assistance. 2. Temporary Housing Unit(THU)Selection Considerations FEMA determines the size of the THU to provide an applicant based on the required number of bedrooms recorded during the FEMA inspection. FEMA generally provides one bedroom for every two persons in the applicant's household.89 • FEMA may provide an additional bedroom based on the age, sex, and relationship of household members or as a reasonable accommodation for a household member with a disability or other access or functional need. • FEMA may provide an additional unit when the size of the applicant's household exceeds the capacity of a single available unit; however, FEMA will not provide more than one unit when the household has only one member over the age of 18. 97 Chapter 3: Individuals and Households Program C. Direct Temporary Housing Assistance Terms and Conditions FEMA provides Direct Temporary Housing Assistance for up to 18 months from the date of the declaration when adequate, alternate housing is unavailable and the occupants cannot fulfill their permanent housing plan(PHP)through no fault of their own. FEMA re-evaluates the occupant's eligibility on a periodic basis through recertification visits, usually monthly, and the Direct Temporary Housing Assistance eligibility for the entire period of assistance is subject to the occupant continuing to meet recertification requirements. All occupants must agree to comply with FEMA's rules,terms, and conditions for occupying the THUs before they move in by signing a Temporary Housing Agreement or Revocable License. The Revocable License documents the applicant's acceptance of government property for temporary housing based on FEMA's terms and conditions included in the license. Occupants must demonstrate a continued housing assistance need, actively participate in the FEMA recertification process, and show progress towards achieving their PHP to remain eligible to stay in the THU. When applicants fail to comply with FEMA's rules,terms, and conditions, FEMA may terminate their eligibility to remain in the THU.90 Applicants who have been deemed ineligible by FEMA and refuse to vacate the THU will be subject to a monthly penalty fee. If an applicant refuses to surrender possession of the THU, legal or and other appropriate actions may be taken.91 1. Occupant Responsibilities 111 Primary Occupant All THU primary occupants must sign and abide 1i by the terms and conditions of the Temporary Primary Occupant means the Housing Agreement or Revocable License, applicant,co-applicant,or other household member over the age of 18 who signs the which specifies the household's obligations to: Temporary Housing Agreement or • Comply with THU Rules of Use, such as Revocable License. The primary occupant maintaining the unit, its furnishings, and is responsible for any monthly rent or the surrounding area in a clean and additional charges related to the Temporary orderly condition; paying applicable Housing Unit. utility charges; and not damaging or making unauthorized modifications to the THU and its contents; • For THUs not owned by FEMA(i.e., MLR property) or located on sites not owned by FEMA or the occupant(e.g., commercial parks),the occupant will be required to comply with the terms of the owner's lease or terms of use; • Take action to secure adequate, alternate housing at the earliest possible time within the period of assistance; • Comply with all rules for a group site or commercial park and comply with all relevant local ordinances; 98 Chapter 3: Individuals and Households Program • Refrain from conduct which adversely affects FEMA's property interest in the THU or the rights of other THU occupants to enjoy safe, secure, and functional temporary housing; and • Meet the recertification requirements identified in Continued Direct Temporary Housing Assistance. FEMA will notify insured THU occupants that DOB may occur if an insured member of their household receives ALE or LOU benefits to rent alternate housing. When this occurs,the primary occupant must: • Pay an amount equal to the ALE or LOU benefit to FEMA starting from the date the occupant signed the Temporary Housing Agreement. The amount of the monthly DOB payment to FEMA will not exceed FMR; and • Continue to make the ALE or LOU payment to FEMA until the total amount of the insurance benefit for ALE or LOU has been exhausted or the occupant vacates the THU, whichever is first. 2. Continued Direct Temporary Housing Assistance FEMA requires all THU occupants to actively participate in the recertification process. Occupants are responsible for achieving their PHP at the earliest possible time within the period of assistance and providing verifiable information of their progress towards their PHP to FEMA in order to receive continued Direct Temporary Housing Assistance. FEMA requires the THU primary occupant to establish a realistic PHP for their household no later than the first recertification. An acceptable PHP may demonstrate one of the following: • A pre-disaster owner is able to repair or rebuild the pre-disaster residence. • A pre-disaster owner is able to purchase a new residence. • A pre-disaster owner or renter is able to find and lease an available rental unit. o FEMA expects owners who cannot demonstrate the ability to repair or rebuild their pre-disaster residence or purchase a new residence within the period of assistance to move into an available rental resource. FEMA will regularly review the primary occupant's PHP to ensure the plan is realistic and achievable within the period of assistance. A PHP is realistic and achievable when: • The primary occupant demonstrates sufficient financial resources or other viable means for achieving the PHP within the period of assistance. Sufficient resources include funds or a verifiable commitment of non-financial assistance, such as voluntary agency labor; and • The primary occupant shows documented progress towards the PHP (e.g., acquired permits, contracts for repairs). 99 Chapter 3: Individuals and Households Program Primary occupants who have not made progress toward their PHP must demonstrate it is due to no fault of their own(e.g., a contractor failure to obtain the required building permits, or a delay in the rental unit move-in date) and update their PHP to ensure they are realistic within the period of assistance. Disaster Case Management Program(DCM) SLTT governments may request the FEMA DCM Program if the Presidential Disaster Declaration includes IA.DCM provides disaster survivors with a single point of contact to facilitate access to a broad range of resources. The case manager verifies the survivor's disaster-caused unmet needs, and works with the survivor to develop a goal-oriented plan that outlines the steps necessary to achieve recovery. The case manager also organizes and coordinates information on available resources that match the survivor's disaster-caused need,monitors progress toward reaching recovery plan goals,and advocates for the survivor as needed.DCM is another resource that may help THU occupants with disaster-caused needs.More information on DCM is available in Chapter 4. 3. Health and Safety Concerns of THU Occupants When an occupant reports a health and safety concern about the living environment in the THU, FEMA will investigate to identify or verify the cause and obtain professional, expert recommendations for addressing the concern. If this investigation determines that testing and/or remediation is necessary, FEMA may require the occupant to vacate the unit. FEMA may offer alternate accommodations and moving and storage of personal property for occupants displaced due to any THU testing and/or remediation requirements. 4. Extension of Direct Temporary Housing Assistance FEMA may extend Direct Temporary Housing Assistance beyond the 18-month period of assistance when the affected state, territorial, or tribal government requests an extension in writing.92 The AA for Recovery will consider the request for approval. When the period of assistance is extended, FEMA will begin monthly rent collection from eligible occupants of FEMA TTHUs.93 • FEMA may authorize extensions to the initial 18-month period of assistance due to extraordinary circumstances when doing so is in the public interest. • FEMA will typically not consider extending the period of assistance without a written request from the SCO/TCO or GAR. However, FEMA may extend the period of assistance at its sole discretion; extensions to the period of assistance will only be considered in situations where the remaining disaster-caused temporary housing need exceeds the capabilities of the state,territorial, or tribal government, or the affected communities to support and there remains a lack of available resources. The request should include supporting documents demonstrating this housing need. • The AA for Recovery may consider extending the period of assistance when: 100 Chapter 3: Individuals and Households Program o Adequate, alternate housing is not available in the affected area; and o Accessible housing units for occupants with disabilities are not available or are not within a reasonable commuting distance of essential services (e.g., accessible public transportation, grocery,medical facilities,banking, child care, schools, or place of employment). • If an extension is approved,the affected state,territorial, or tribal government must execute an amendment to the FEMA-State/Territory/Tribal Government Agreement. S. Rent Collection for FEMA Temporary Housing Unit After the period of assistance has been extended, FEMA charges the primary occupant a monthly rent for each month any occupant remains in or maintains possession of a THU.94 The monthly THU rent is based on the locally applicable FMR. Establishing Rent Amount:FEMA calculates each occupant's monthly rent by applying the FMR based on the number of bedrooms in the THU and the THU location for the fiscal year in which Direct Housing Assistance is extended. Monthly rent begins accruing on the first day of the first full month after the extended assistance period begins.95 The primary occupant will be required to pay monthly rent due on the first day of each month after the date rent begins to accrue.96 Prior to the end of the period of assistance, Extra Bedroom FEMA provides a 30-day written notice of If FEMA provided the occupant with the requirement to pay monthly rent to an extra bedroom as a reasonable occupants who remain in a FEMA THU accommodation,the extra bedroom will not be after the initial 18-month period of included in the monthly rent calculation. assistance. Reasonable accommodations are part of the cost of doing business,and no surcharges will be FEMA does not prorate rent or reimburse passed on to the occupants to pay for them. See the primary occupant when any occupant Title II of the Americans with Disabilities Act for remains in or maintains possession of the further information. THU on or after the first day of the month. If any occupant remains in the THU on or after the first day of the month, the primary occupant is required to pay full rent for that month. Appeal of Rent: If the primary occupant is unable to pay the amount of rent established by FEMA,they may appeal FEMA's rent determination within 60 days of receiving FEMA's notice of the requirement to pay monthly rent. Appeals must include documentation demonstrating the applicant does not have the financial ability to pay the established rent. Specifically, FEMA requires both of the following information: • Pre-disaster versus post-disaster monthly gross income of all household occupants age 18 or older; and • Pre-disaster versus post-disaster monthly housing costs, such as mortgage payments on the pre-disaster residence while it is being repaired. 101 Chapter 3: Individuals and Households Program FEMA may adjust the amount of rent using the following criteria: • If the total monthly adjusted gross income amount of all occupants 18 years of age and older remained the same subsequent to the disaster, FEMA will consider the primary occupant capable of paying the same monthly amount for housing costs paid before the disaster or 30% of their household income,whichever is greater,but not to exceed the FMR. • If the total monthly gross adjusted income amount of all occupants 18 years of age and older increased or decreased as a result of the disaster, FEMA will consider the primary occupant capable of paying a monthly amount for housing costs equal to 30% of their household income or the FMR,whichever is greater, but not to exceed the FMR. • FEMA will subtract post-disaster monthly housing costs from the amount FEMA considers the primary occupant is capable of paying for housing costs to determine the FEMA adjusted rent amount to be charged,up to the applicable FMR. Housing costs may include rent and/or mortgage payments (including principal, interest, and real estate taxes) on the pre-disaster primary residence, real property insurance, and utility costs (not to include cable television, interne, and telephone service). • FEMA will not charge any primary occupant more than the FMR for monthly rent. • FEMA will not charge any primary occupant less than the FEMA minimum monthly rent amount of$50. Rent for a THU will continue to accrue each month while FEMA is considering the appeal, Minimum Rent Amount which may take up to 90 days. FEMA uses 30%of the total monthly • If the appeal is denied, the primary adjusted gross income of all household occupant must pay the originally members' income based on the formula used established rent in total within 30 days by HUD to determine the Total Tenant Payment(TTP). HUD allows a minimum rent of the date of the appeal decision, amount to be set in the TTP formula of up to including any rent not paid while $50. FEMA established$50 as the minimum FEMA was considering the appeal; or rent amount. • If the appeal is granted,the primary occupant must pay the adjusted rent in total within 30 days of the date of the appeal decision: o If the primary occupant paid the originally established rent amount while FEMA considered the appeal, FEMA will reimburse any overpayment based upon the amount of the adjusted rent. 6. Reasons for Terminating Direct Temporary Housing Assistance The occupant's eligibility to live in a FEMA THU automatically expires at the end of the period of assistance, unless the period of assistance has been extended. FEMA may terminate an 102 Chapter 3: Individuals and Households Program occupant's Direct Temporary Housing Assistance prior to the end of the period of assistance for the following reasons:97 Program Eligibility Violations • Occupants are not actively participating in the recertification process (e.g.,not being available to meet with FEMA recertification staff on a regular basis). • Occupants are not taking all actions necessary to achieve their PHP in a reasonable time frame. Conduct Violations In some cases, an occupant who committed a violation may be removed from the THU and other occupants may remain in the unit. • Major Violations: Occupants engaging in conduct violations involving criminal activity in violation of federal, state, territorial, or tribal law, or other actions which present an imminent threat to the health and safety of the occupant, other THU occupants, or persons in the surrounding area. Major violations must be supported by an arrest or police report and occur in the vicinity of the TTHU or be an immediate threat to one or more occupants of the TTHU or other persons in the surrounding area; however, FEMA does not have to wait for a conviction before terminating assistance. Examples of major violations include,but are not limited to: o Assault, battery,rape, domestic violence, child abuse, or sexual assault o The use, sale,possession, or manufacture of illegal drugs o Destruction or theft of property owned or leased by FEMA (including the THU), other THU occupants (including their guests), and contractors performing work for FEMA. General Violations Occupants engaging in conduct violations involving the breaking of rules established by the commercial park or other temporary housing site management rules included within the Temporary Housing Agreement or Revocable License. Examples of general violations include, but are not limited to: • Excessive noise or disturbance of peace • Unleashed or unattended pets outside of the THU • Damage to the THU beyond normal wear and tear • Failure to maintain reasonably clean and sanitary conditions both inside and outside the THU 103 Chapter 3: Individuals and Households Program • Failure to pay rent, after receiving a warning, and when rent has been assessed following the end of the period of assistance Figure 21: FEMA Notification of Occupant Violations 15-Day ��� Notice of Notice of Warning Revocation Surrender Notice t I � 1"....1114 • Outlines actions occupant Explains reason(s) for FEMA issues the primary must take to resolve the terminating DTHA, occupant a Notice to violation and remain instructions for submitting Surrender Possession prior eligible for DTHA. an appeal, and states that to referring the case to the assistance is terminated as U.S. Department of Justice of the date specified in the if occupant fails to vacate Notice of Revocation. or prevents FEMA from reclaiming the THU. 7. Process for Terminating Direct Temporary Housing Assistance FEMA will follow the process outlined below to afford each occupant due process and ensure sufficient justification exists for termination. • Warning Notice: After becoming aware of a program eligibility or general conduct violation, FEMA will notify the primary occupant through a 15-day warning notice, delivered in-person or through certified mail. This notice will outline the actions the occupant must take to resolve the violation and remain eligible for FEMA Direct Temporary Housing Assistance. FEMA will not issue a warning notice for Major Violations or the end of the period of assistance. • Notice of Revocation: If the occupant fails to remedy the violation as outlined in the 15- day notice or commits a Major Violation,FEMA will issue the primary occupant a Notice of Revocation(NOR) explaining the reason(s) for terminating Direct Temporary Housing Assistance, instructions for submitting an appeal, and that assistance is terminated as of the date of the letter. • Notice to Surrender Possession: If an occupant fails to vacate or prevents FEMA from reclaiming the THU, FEMA will issue the primary occupant a Notice to Surrender Possession prior to referring the case to U.S. Department of Justice. • Appeal Rights: Occupants can appeal the termination decision within 60 days after receiving the NOR. However, filing an appeal does not relieve the occupant of the responsibility to vacate the THU by the deadline established in the NOR. Also,the occupant cannot appeal an NOR received due to the end of the period of assistance. 104 Chapter 3: Individuals and Households Program 105 Chapter 3: Individuals and Households Program 8. Penalty Fees After the period of assistance has ended or an Example of Penalty occupant is determined ineligible for continued If a homeowner fails to complete assistance,primary occupants who fail to surrender repairs or construction on their primary the THU by the established deadline are subject to residence within the additional 90 days a monthly penalty fee for as long as any occupant Provided,FEMA will require the remains in or maintains possession of the THU. homeowner to pay the full,unreduced penalty fee for the length of time the FEMA may also charge the primary occupant a homeowner or any occupant remains in or penalty fee when they fail to pay monthly rent maintains possession of the THU. when charged by FEMA or fail to relocate or assume financial responsibility for a TTHU purchased from FEMA as agreed to in the Acknowledgement of Conditions of Sale(see Chapter 3, V.1.). Paying the penalty fee does not entitle an occupant to remain in a THU nor does it prevent FEMA from taking legal action to remove the occupant from the unit. A penalty fee is equivalent to the FMR plus a flat rate fee of$550 or FMR plus FEMA's actual monthly costs for the THU, whichever is higher. The flat rate of$550 is based on the average actual monthly cost per unit for occupied TTHUs from years 2011 to 2015. Figure 22: Example of a Penalty Fee Examples FMR Monthly Cost for Flat Rate Fee Penalty Fee THU Example 1 $1000* $475 $550* $1,550 Example 2 $1000* $1350* $550 $2,350 Asterisks indicate which columns are used to calculate each example penalty fee. FEMA may consider reducing the penalty fee to the FMR if occupants meet all of the following conditions: • Primary occupants who are pre-disaster homeowners: o Have a PHP to repair or rebuild their primary residence; o Have not achieved their PHP through no fault of their own; o Need up to an additional 90 days beyond the end of the initial or extended period of assistance to complete the repairs or construction; o Have previously declined to purchase their TTHU after the Sales Program was implemented; and o Paid monthly rent to FEMA during an extended period of assistance, if applicable (see Chapter 3, V.C.5.); applicants who were charged rent by FEMA during an extended period of assistance but did not pay will not be considered for a reduced penalty fee. 106 Chapter 3: Individuals and Households Program • Primary occupants who are pre-disaster homeowners and renters: o Have a TTHU sale or donation pending beyond the initial or extended period of assistance through no fault of their own; and o Pay monthly rent to FEMA during an extended period of assistance, if applicable; applicants who were charged rent by FEMA during an extended period of assistance but did not pay will not be considered for a reduced penalty fee. Primary occupants may appeal FEMA's decision • to terminate assistance; however, the penalty fee a- Air maynot be appealed. If FEMA accepts the pP p � r, , 41141,111166� appeal, overturns the termination, and reinstates Direct Temporary Housing Assistance,the ,, occupant will not be required to pay a penalty '"'llk er fee. FEMA will refund the applicant any penalty fees the applicant paid during the appeal period. „ Primary occupants who have not paid their = � penalty fee in full within 120 days of the date of receiving the bill will be referred to the U.S. A FEMA staff member helps a disaster survivor Department of the Treasury for debt collection. apply for FEMA assistance. D. Multi-Family Lease and Repair FEMA may provide Direct Temporary Housing Assistance in the form of repairs or improvements to existing,vacant multi-family housing units (e.g., apartments).98 FEMA may utilize units repaired or improved under MLR as temporary housing for eligible applicants who are unable to use Rental Assistance due to a lack of available resources. MLR is not intended to repair or improve individual units to re-house existing tenants. 1. Property Eligibility Requirements In addition to the criteria described in Direct Housing Assistance Request and Approval (see Chapter 3, V.A), FEMA must verify that one or more properties meet the following conditions of eligibility to authorize MLR. These additional conditions of eligibility Multi-Family Rental Housing include: Multi-family rental housing is defined • The property must have previously as a rental property that contains three or more been used as multi-family rental dwelling units, each such unit providing housing; complete and independent living facilities for one or more persons,including permanent • The property must be located in an provisions for living, sleeping, cooking, and area designated for IA included in a sanitation. major disaster declaration; 107 Chapter 3: Individuals and Households Program • The property must be located within reasonable access to community and wrap-around services such as accessible public transportation, schools, fire and emergency services, grocery stores, etc.; • The property must be available to be leased to FEMA allowing FEMA's exclusive use as temporary housing for eligible applicants for a term of no less than 18 months from the date of declaration; • The property owner must agree to allow FEMA to make reasonable accommodation and/or modification repairs or improvements during the term of the lease agreement without requiring FEMA to remove the improvements at the end of the lease agreement; and • The property owner must provide all property management services, including building maintenance, except where the property is leased or contracted from another government entity, in which case FEMA may directly provide such services. FEMA may add counties/jurisdictions to the major disaster declaration designated for IA specifically for the purpose of implementing MLR,providing: • There are insufficient properties within already-designated counties/jurisdictions to meet the housing need under MLR; • FEMA has identified suitable properties within counties/jurisdictions proposed to be designated for MLR; • The properties are necessary to provide temporary housing to eligible applicants within a reasonable commuting distance; and • The Governor or GAR submits a written request to add the counties/jurisdictions to the major disaster declaration and the Associate Administrator for Response and Recovery approves the request. JIM ■ i 4 - � g i ;5"+:am iii 7) ♦ 4^ a.-. :,3 111011 Rental units in Louisiana being repaired under Multi-Family Lease and Repair to house eligible applicants. 108 Chapter 3: Individuals and Households Program 2. Approving Properties Under the terms of any lease agreement for potential MLR property,the value of the improvements or repairs shall be deducted from the value of the lease agreement. Any repairs or improvements will not take more than four months to complete. To determine cost-effectiveness of a potential Lease Agreement MLR property, FEMA will deduct the �� estimated cost of repairs and improvements Lease Agreement is defined as a lease from the value of the lease agreement as or contract between FEMA and a property follows: FEMA will determine the estimated owner for use, and to allow for repairs or cost of repairs or improvements by performing improvements to a multi-family rental property.It includes the terms and conditions an independent government cost estimate for associated with the use and repairs or the necessary repairs and improvements, or improvements being made, and the authorized receive an estimated cost for repairs and expenditures to be paid by FEMA to the improvements from a building contractor. property owner• FEMA will identify the estimated cost of repairs or improvements to make one unit per lease agreement accessible to applicants with disabilities, including costs to provide marked and signed accessible parking, access to the unit, and accessible common areas. • FEMA will determine the value of the lease agreement by multiplying the approved monthly Rental Assistance rate by the number of units, and then multiplying the number of months remaining between the date the repairs are completed and the end of the 18- month period of assistance. • FEMA will deduct the estimated cost of repairs and improvements from the value of the lease agreement by using a three-step test to determine if the potential MLR property is cost-effective and viable for consideration. FEMA will also determine if the potential MLR property is cost-effective and viable for consideration with the � � Fair Market Rent(FMR) included cost associated with making one unit accessible. FMR is defined as housing market- wide estimates of rents that provide The RA or FCO, if the RA has delegated the opportunities to rent standard quality housing authority to the FCO, may approve properties throughout the geographic area in which up to the financial rental assistance rate, rental housing units are in competition. including any increase approved for the The fair market rent rates applied are those disaster(see Chapter 3, IV.D.). identified by HUD as being adequate for existing rental housing in a particular area. The RA or FCO, if the RA has delegated the FEMA uses the applicable rate based upon the authority to the FCO, must submit a written location of the housing unit,the number of notification with justification to the AA for bedrooms in the housing unit,and the fiscal Recovery when the estimated cost of the year in which the major disaster declaration repairs or improvements exceeds the standard was issued. 109 Chapter 3: Individuals and Households Program FMR, including accessibility-related costs. Specific properties may be approved up to the financial rental assistance rate approved for the disaster if: • Lower cost units are unavailable or already used; or • A housing market analysis supports the increase. 3. Prioritizing Properties When multiple approved MLR properties exist,FEMA will evaluate properties according to the following factors: • Cost to the Federal government; • Time to complete repairs; • Landlord's demonstrated ability to manage and/or provide maintenance services; • Proximity to wrap-around services; and • Accessibility. When selecting available properties for use, FEMA will prioritize properties that: • Make at least one unit accessible. • Are in proximity to accessible Payment Scenarios for public transportation. MLR Property Owner FEMA may, in some scenarios,make payments to a G FEMA will consider the specific needs of MLR property owner in addition to the costs for the applicants with disabilities and others repairs. FEMA may: with access and functional needs. FEMA will prioritize accessible units for • Provide monthly rent to the property owner applicants whose household includes one when the total estimated cost of repairs is less or more persons with a disability and than the FMR value of the lease. The total others with access and functional needs. amount of monthly rent payments may not FEMA may only consider placing other exceed the difference between the total eligible applicants in accessible units estimated cost of repairs and the FMR value of the lease.FEMA will not pay monthly rent when when all households with accessibility total projected cost of all necessary repairs and needs have been adequately housed. improvements equals or exceeds the FMR value of the lease. 4. Property Repair or Improvement Service Contracting • Provide a per-unit monthly maintenance fee for servicing repairs while FEMA utilizes the unit Once approved, FEMA has two options for temporary housing. for repairing or improving an eligible MLR property. At its discretion,FEMA • Provide a per-unit security deposit payment to may either: the landlord not to exceed one month of FMR based on the location and number of bedrooms. 110 Chapter 3: Individuals and Households Program • Enter into a contract with the property owner for the property owner to perform necessary repairs and improvements to housing units to be provided for FEMA's exclusive use as temporary housing during the term of the lease agreement; or • Enter into a contract with a third party to perform the repairs or improvements to the housing units and enter into a lease agreement with the property owner. FEMA will only authorize repairs and improvements that: • Make a property safe, habitable, accessible, and functional for temporary housing; • Use only builder-grade materials and finishes; • Promote living environments that are usable by the broadest spectrum of people, regardless of ability, without the need for adaptation or specialized design; and • Are performed in compliance with local building codes, standards,permitting, inspection requirements, and all applicable EHP laws and regulations. When repairs or improvements are made to provide accessibility features, contractors will be guided by the Americans with Disabilities Act Accessibility Guidelines (ADAAG)99 and HUD's Design Details for Accessible Disaster Relief Housing. FEMA will include the following accessibility features when repairs or improvements are required to these elements: • Bathrooms: o Reinforcements to allow later installation of grab bars around toilet, tub, shower stall and shower seat,to the extent it would not require extensive demolition solely for this purpose,where such facilities are provided o Americans with Disabilities Act(ADA)-compliant toilets • Faucets: Single-lever faucet controls • Door knobs/handles: Lever-type handles • Door locks: Single-push locks • Drawers and Cabinets: D-loop or other easy-to-use handle pulls • Flooring: Low-pile carpet or smooth anti-slip flooring If FEMA identifies an MLR-eligible applicant with a disability whose housing needs cannot be met by an available unit, FEMA will make the necessary modifications as a reasonable accommodation and/or modification so the applicant receives a habitable, safe, accessible, and functional housing unit. FEMA will prioritize units that can be modified in the most time-and cost-efficient manner and best meet the requirements of the applicant. FEMA will incur all costs related to making the necessary repairs or improvements. If construction costs begin to exceed the repair estimate at any time during the repairs, the project may need to be re-evaluated to ensure it still complies with the Stafford Act requirements. This will be a case-by-case determination based on the facts specific to the 111 Chapter 3: Individuals and Households Program situation, based on the reason for the cost overruns, the extent to which they are directly in FEMA's control, and whether the increased costs cause the repairs to exceed the value of the lease agreement. 5. Leasing Properties The property owner must agree to incorporate a lease addendum containing MLR program conditions of eligibility and termination of tenancy between the property owner and the occupant. The property owner acknowledges responsibility for evicting applicants whose assistance is terminated. Property owners may receive reimbursement for reasonable costs associated with the eviction process. FEMA may provide a per-unit security deposit payment to the landlord not to exceed one month of the FMR,based on location and number of bedrooms. Unused portions of each security deposit must be returned to FEMA upon release of the unit. If the security deposit amount does not cover the amount of damage to the unit, the occupant will be responsible to the property owner for the additional funds. FEMA will not pay for background checks, credit checks, application fees, or pet deposits.'°°FEMA will provide payment for utilities as part of the monthly rent only when utilities are included in the rent established by the property owner. The lease agreement between FEMA and the property owner must include the option to extend the lease if an extension beyond the standard 18-month period of assistance is approved. FEMA may release the unit to the owner and cease all monthly payments for the unit if the unit becomes vacant during the term of the contract and FEMA has not identified another eligible applicant to occupy the unit. 6. Limitations and Exclusions Hotels,hospitals,nursing homes, etc. are not considered residential properties and are not authorized for MLR. FEMA will not approve additional increases beyond the FMR approved by the AA for Recovery for the disaster. E. Transportable Temporary Housing Units and Site Types FEMA may provide Direct Temporary Housing Assistance in the form of TTHUs on sites with utility access that meet the needs of the household, and comply with applicable SLTT government ordinances. Approved sites must also meet Federal floodplain management and EHP requirements. FEMA selects locations based on the cost-effectiveness,timeliness, and suitability of each potential site. Sites may include private, commercial, and group sites. 112 Chapter 3: Individuals and Households Program 1. Unit Types TTHUs may be provided in the form of RVs or 11111 RV and MHU MHUs. FEMA determines whether an RV, Recreational Vehicle(RV): An MHU, or other form of temporary housing will RV is a vehicle designed as temporary be provided based on the applicant's household living quarters for recreational,camping, composition,the amount of time the applicant travel,or seasonal use purchased or leased expects to require temporary housing, as well as by FEMA and provided to eligible applicants for use as temporary housing for the feasibility and cost of the available temporary a limited period of time. housing options. FEMA prioritizes RVs for eligible applicants who are projected to have a Manufactured Housing Unit(MHU):A temporary housing need of six months or less. manufactured home purchased or leased by For those with a projected need of longer than six FEMA and provided to eligible applicants months, FEMA will generally utilize another for use as temporary housing for a limited form of Direct Temporary Housing Assistance. period of time. Recreational Vehicles FEMA provides RVs that are certified to comply with the Recreation Vehicle Industry Association standards and meet California Air Resources Board(CARB) standards or are certified compliant with the Toxic Substances Control Act Title VI requirements for formaldehyde emissions from composite wood products found in RVs. RVs may not be a suitable temporary housing solution for applicants with disabilities and others with access and functional needs. FEMA notifies applicants with a disability and others with access and functional needs who request an RV that a reasonable modification may be available upon request. If a reasonable modification is not available, FEMA works with applicants on a case-by-case basis to see if an acceptable alternative will effectively address the applicant's accessibility-related needs. For eligible applicants who are unable to occupy an RV, FEMA will provide an MHU that complies with Uniform Federal Accessibility Standards (UFAS) or an available THU. Manufactured Housing Units (MHUs) FEMA provides MHUs constructed in accordance with HUD regulations.10' FEMA MHUs are equipped with residential fire sprinklers,which can help save lives and prevent injuries. Residential fire sprinklers require a tank and pump system(TPS) to operate. FEMA provides MHUs built to UFAS, including UFAS-compliant platform steps or ramps, and path of travel from the parking lot throughout the facility, to eligible applicants with a disability. 113 Chapter 3: Individuals and Households Program 2. Site Types Private Sites: Private sites are sites provided by an applicant at no cost to FEMA,typically on their property near their pre-disaster residence. FEMA inspects each potential private site to determine if the site is feasible for placing the size and type of unit that will meet the household's needs. FEMA may provide TTHUs on private sites under the following conditions: • The owner of the private site must certify ,: A, that they are the landowner and that FEMA Alk"' • has permission to access the site to deliver, install, maintain,repair, and remove the TTHU. • The site has sufficient access to allow FEMA to safely deliver, install, and remove 4-0 the TTHU and meets local zoning requirements for a TTHU. MHU sits next to a residence in Zachary, • The site is sufficiently clear of debris and Louisiana after flooding other obstacles for placement of a TTHU and accessories (including steps or UFAS-compliant steps or ramps) in accordance with local setback or lot boundary requirements and the household's needs. • Sanitation, including public sewer or a private septic system, is available and functional at the site. FEMA will not perform any repairs to components of the site eligible for FEMA Repair Assistance(such as wells and septic tanks) in order to make the site feasible for a TTHU. • Electrical service is available and functional and a temporary power pole and meter panel for providing electrical service to the TTHU can safely be installed by the local power company. FEMA will not connect electrical service for the TTHU to the applicant's pre- disaster residence. • Potable water service is available and functional at the site. Commercial Sites: FEMA may provide TTHUs on commercial sites when the Fair Housing Act rules of the commercial site do not violate Title VIII of the Civil Rights Act of 1968 the Fair Housing Act. Commercial sites (Fair Housing Act)protects people from are existing manufactured home parks discrimination when they are renting,buying,or with available pads that FEMA may lease securing financing for any housing. The for the purpose of providing Direct prohibitions specifically cover discrimination Temporary Housing Assistance. because of race,color,national origin,religion,sex, disability,and the presence of children. 114 Chapter 3: Individuals and Households Program • FEMA will prioritize locations within reasonable commuting distance of and access to community and wrap-around services (see Chapter 3, V.E.3.). • FEMA,to the extent possible, leases commercial sites at a fair market price in the affected area based upon the pre-disaster pad lease rates. • FEMA only authorizes reasonable and cost-effective repairs or improvements necessary to make the site functional(such as an electrical service upgrade), including those necessary to meet reasonable accommodation requests for people with disabilities. • FEMA will not pay additional costs for ,., utilities, grounds maintenance, trash removal, snow removal, or any other costs unless such costs were typically included in leases and lease amount prior ; , N a to the disaster and the utilities in `�-- question are not metered separately by the utility provider. • FEMA will prioritize commercial sites with existing usable pads before considering sites which require Manufactured housing units to be used as improvement or expansion. FEMA will temporary housing for eligible applicants in a only consider expanding or improving FEMA Staging Area in South Dakota. existing commercial sites as a cost-effective alternative to building a group site. FEMA will deduct the total cost of expansion or improvements to commercial sites from the value of the lease agreement between FEMA and the park owner. Group Sites: Group sites are not automatically included as part of the Direct Housing Assistance approval. FEMA only considers group sites when the temporary housing need cannot be met by other direct temporary housing options. Group sites provided by the state or local government may include publicly-owned park land with adequate available utilities. The Regional Administrator(RA) will only approve group sites when the below conditions have been met: • The FCO must certify the need for each group site in writing and provide a copy of the certification to the RA before initiating the final design. The FCO's certification of need for a group site must include: o A request from the SLTT government for the specific group site and an assurance that the SLTT government has exhausted all other housing options in the area; o An analysis demonstrating insufficient rental resources exist within a reasonable commuting distance of the proposed group site location to meet the needs of eligible applicants; o An assessment demonstrating an increase in the Rental Assistance rate (see Chapter 3, 1V.D.) within the county or parish where the group site will be located will not be sufficient to meet the needs of eligible applicants; 115 Chapter 3: Individuals and Households Program o Identification of any restrictions for placing TTHUs on private sites within the county or parish where the group site will be located, accompanied by: • Documentation of the FEMA JFO's efforts to negotiate waivers or otherwise seek relief from these restrictions to provide temporary housing for eligible applicants; • An analysis demonstrating that the group site would still be required if applicants whose private sites are infeasible solely because of the local restrictions were removed from consideration; o Identification of the efforts taken to identify commercial sites for placement of TTHUs; and o Identification of the efforts taken to identify MLR and Direct Lease properties within the county or parish where the group site will be located. This should include data to support the need versus the number of MLR and Direct Lease properties and units available. The RA will provide justification for the approval of a group site, in writing,to the AA for Recovery. Group sites will be implemented according to the following considerations: • FEMA will partner with the affected SLTT government to identify and select group site locations. FEMA will prioritize sites provided by the SLTT government at no cost before leasing a site from a private party. • FEMA only develops group site locations within reasonable access to community and wrap-around services (e.g., schools, fire and emergency services, grocery stores, etc.). FEMA, as a lead coordinator, engages external stakeholders who may be able to assist in implementing wrap-around services in and around group site areas. FEMA ensures all common-use areas of the group sites, including accessible paths of travel from the parking lot and throughout the site, are designed and built in accordance with UFAS. At least 15%of the pads in a group site and at least 5%of the TTHUs installed will comply with UFAS. • FEMA will incorporate separate green spaces into group sites to accommodate households with children or pets. • FEMA will make every attempt to design and build group sites in such a manner that playgrounds or other recreational equipment may be installed within or adjacent to the group site. • The FEMA must re-evaluate the need for group sites as the housing mission progresses (e.g.,post-design and during all phases of construction). If at any time during the process applicants are able to be placed into other available direct housing options, the FEMA JFO will prioritize their placement into these other options instead of continuing to develop the group site. 116 Chapter 3: Individuals and Households Program 3. Wrap-around Services FEMA does not provide wrap-around Wrap-around Services services; however, FEMA will not provide Direct Temporary Housing Assistance in Wrap-around services address the locations where disaster survivors will not support eligible applicants need while living in the TTHU. Wrap-around services may include have access to wrap-around services. basic social services, access to transportation, police/fire protection,emergency/health care 4. Floodplain Management and EHP services, communications,utilities, grocery Considerations stores,child care,and educational institutions. FEMA complies with EHP laws,policies, and executive orders when installing TTHUs. FEMA will not install TTHUs within areas which can result in loss of 1111 Historic Property human life or will have adverse impacts on The term"historic property"is defined in historic properties or endangered or the National Historic Preservation Act as"any threatened species or their habitats. FEMA prehistoric or historic district,site,building, reviews each potential TTHU site for structure,or object included on, or eligible for inclusion on,the National Register,including floodplain management concerns 102 and will not place TTHUs within a one percent artifacts,records,and material remains relating to annual chance floodplain unless no practical the district,site,building,structure,or object" alternative exists. (54 U.S.C. § 300.308).An archaeological site can legally be considered a historic property under When placing TTHUs on private and the law. commercial sites, FEMA shall apply the "m abbreviated eight-step decision-making process for any proposed action that may occur in or may impact a floodplain or wetland.'°3 • FEMA will identify if the potential TTHU site is located in an SFHA as identified on the available flood hazard information or a potential flooding area as identified on the Advisory Flood Hazard Information. • FEMA will not place TTHUs within a floodway or coastal high hazard area(V zone), even under the eight-step process. FEMA will not place RVs in high flood risk areas with rapid rates of rise or flash flooding. • When deciding whether a potential TTHU site in the floodplain is the only practicable alternative, FEMA considers the following factors: speedy provision of temporary housing; potential flood risk to the temporary housing occupants; cost-effectiveness; social and neighborhood patterns; timely availability of other housing resources; and potential harm to the floodplain or wetland. • When FEMA determines that placing TTHUs within an SFHA is necessary for providing temporary housing for eligible applicants,FEMA will prioritize MHUs over RVs for sites within the floodplain. FEMA considers the availability of each type of unit,based on the number of MHUs available from FEMA's inventory,off the lot purchases, and additional 117 Chapter 3: Individuals and Households Program production from manufacturers to determine when providing RVs within an SFHA may be necessary for providing expedient temporary housing in an SFHA. • Placement of TTHUs will be made in accordance with NFIP criteria or any more restrictive Federal, SLTT government floodplain management standard. Such standards may require anchoring and elevation to the base flood elevation in absence of a variance. FEMA will take into account seasonal variations in flood risk and flood depth when evaluating potential sites for TTHU placement. • Units will be elevated to the highest level practicable and will be anchored to prevent movement. Actual elevation levels will be based on the manufacturers' specifications and agency guidance. RVs may be installed on their chassis but must also be adequately anchored. FEMA will coordinate with local floodplain administrators to permit the installation of TTHUs. • FEMA will provide applicants with information and advisories on the flood risk, including information relating to health and safety, evacuation, right of entry, and personal property, and contact information for the local emergency manager. FEMA will obtain acknowledgement from TTHU occupants that they have been provided this information. FEMA conducts appropriate EHP analyses on potential group site locations and when Expedited EHP Review expanding or improving commercial sites. Understanding the critical need for the FEMA will conduct additional EHP review placement of TTHUs following a disaster, FEMA has streamlining measures in place to for private sites only when the sites are ensure EHP review is completed in a timely known to have a high probability of manner.FEMA will complete the appropriate containing archaeological sites, Federally- level of analysis depending upon the action.This designated endangered or threatened could involve the simple application of a species, or known hazardous substance Categorical Exclusion(an action that has been contamination. documented to have little potential impact on the environment)or completion of an expedited F. Disposing of TTHUs through Sales to Environmental Assessment. Occupants and Donations FEMA is authorized to dispose104 of occupied TTHUs through sales to occupants or donations to qualified government agencies or voluntary organizations within the period of assistance.los Sales and donations are means to dispose of TTHUs, not forms of housing assistance. An occupant's participation in TTHUs sales or donations is voluntary. An occupant's decision not to participate does not affect their eligibility for Direct Temporary Housing Assistance during the period of assistance. 118 Chapter 3: Individuals and Households Program 1. Authorizing Disposal through Sales and Donations FEMA may dispose of occupied TTHUs by sale or donation in response to a written request from the state,territorial, or tribal government. The RA or FCO, if the RA has delegated the authority to the FCO, may implement TTHU sales and donations when: • Rental resources are not expected to support those currently residing in FEMA-provided TTHUs within the period of assistance for the disaster declaration; • Applicants' completion of repair or replacement of their disaster-damaged residences will not be possible within the period of assistance; • Disposing of TTHUs is not expected to adversely affect local rental housing and manufactured housing markets; • Disposing of TTHUs is expected to be in the best interest of the Federal government; and • Disposing of TTHUs will not cause a significant impact on FEMA's ability to maintain necessary TTHU inventory. Once approved, FEMA may sell occupied TTHUs to pre-disaster homeowners immediately following the implementation of Direct Temporary Housing Assistance. After determining that adequate, alternate housing has not returned to the housing market, and is not expected to return, the earliest FEMA will implement sales of occupied units to pre-disaster renters is six months following the date of declaration. FEMA will not initiate or approve TTHU donations independent of TTHU sales to occupants. FEMA will only consider donation after all TTHU sales to occupants have been completed. Each TTHU Donation Agreement must be approved by the RA or FCO. For additional information, see Chapter 3, V.F.3. 2. TTHU Sales to Occupants FEMA may dispose of occupied TTHUs by selling them directly to the occupant if that individual or household lacks permanent housing through no fault of their own.106 FEMA will sell a unit at a price that is fair and equitable. When an applicant purchases a unit from FEMA, they must agree to assume responsibility for it. Upon selling the unit to the occupant, FEMA will notify the residence tax office. Purchaser's Conditions of Eligibility: Only the primary occupant may request and complete the purchase of the TTHU. The primary occupant must meet the following criteria to purchase the TTHU: 119 Chapter 3: Individuals and Households Program • Be in compliance with all conditions and rules under Direct Temporary Housing Assistance(see Chapter 3, V.B.) and the Revocable License or Temporary Housing Agreement; • Lack permanent housing and be :4. unable to fulfill a PHP within the „= period of assistance through no fault of the occupant; . S • Respond to the FEMA Sales Notice expressing interest in purchasing the One of several MHUs provided by FEMA in unit; Crestwood, New Jersey following Hurricane • Demonstrate the household's Sandy. financial ability(e.g.,proof of income, insurance payout,personal savings, or external assistance from non-FEMA sources) to complete the purchase within the time frame required, typically 30 days after FEMA tenders the final sales offer; and • Demonstrate they have obtained any or all permits or inspections required by the SLTT government for the sale and location of a TTHU. A household that qualified for and received a TTHU through the citizenship or qualified alien status of a minor child member of the household may be eligible for a TTHU sale for the benefit of the child. FEMA staff will consult the Office of Chief Counsel to ensure the necessary legal requirements to complete the sale are met. Determining the Price of the Unit: MHU: FEMA will offer to sell the MHU to the primary occupant at the Adjusted Fair Market Value (AFMV), which is the fair market value minus a standard deduction of FEMA's average deactivation cost. RV: FEMA will determine the Fair Market Value (FMV) of the RV using the National Automobile Dealers Association(NADA)pricing guide and subtract FEMA's average deactivation cost to determine the AFMV. FEMA may lower the sales price based upon the occupant's financial ability but will not reduce the sales price to less than 25% of the AFMV.107 If the occupant feels they cannot afford to purchase the unit at the AFMV,the occupant may appeal FEMA's determination and petition for a reduced sales price. 120 Chapter 3: Individuals and Households Program • At the time FEMA calculates the reduced sales price,FEMA will consider the income and assets for all occupants over the age of 18 listed on the Temporary Housing Agreement. • In order to purchase the TTHU at the reduced sales price, the primary occupant will be required to: o Apply toward the cost of purchasing the unit all Home Repair Assistance or Replacement Assistance for which the primary occupant cannot produce a receipt or other documentation showing it was used for its intended purpose; o Contribute 30% of the gross monthly income of all occupants 18 years of age or older toward the cost of purchasing the TTHU; and o Contribute 40% of the cumulative assets of all occupants 18 years of age or older toward the cost of purchasing the TTHU. • FEMA's decision on an occupant's reduced sales price based on their appeal is a final Agency determination and not subject to further appeal. • Individuals and households who are non-compliant with the NFIRA requirement to purchase and maintain flood insurance are not eligible for a reduced sales price.108 Conditions of Sale: FEMA does not permit substitutions or exchanges of TTHUs. The primary occupant must agree to purchase the TTHU they currently occupy"as is" and"where is."This includes all modifications and accessories in place at the time of sale, including those provided as accommodations for occupants with disabilities. All of the following exceptions apply to "as is"and"where is:" • Where necessary, FEMA may perform minimum repairs needed to protect health and safety. • When the TTHU being sold is located in a FEMA group site or a FEMA-leased commercial site, the primary occupant must: o Secure an alternate location that Occupant Option at complies with all applicable Federal, Commercial Sites SLTT government laws, codes, and ordinances; For commercial sites,the primary occupant may choose to assume the pad o Be able to move the unit within 30 lease. days of sale; or o Assume the commercial site pad lease after the sale, if applicable. • FEMA will not sell units for use in a floodplain or wetland unless the sale fully complies with the 8-step process.109 o MHUs in a floodplain must be elevated prior to sale. MHUs that are not elevated to the required height cannot be sold. o FEMA will not sell RVs located within an SFHA. 121 Chapter 3: Individuals and Households Program The primary occupant acknowledges all terms of the sale on the Acknowledgment of Conditions of Sale document, including: • Agreeing to maintain hazard and flood insurance on the unit,regardless of whether the TTHU is or will be located in an SFHA • Responsibility for all maintenance and utilities associated with the TTHU after completing the sale • RVs are not designated for use as a permanent dwelling but as temporary living quarters for recreational, camping,travel, or seasonal use. FEMA will provide the primary occupant with an SF-97 Form, U.S. Government Certificate to Obtain Title to a Vehicle, signed by FEMA as the Transferor,upon collection of full payment and completion of the Acknowledgement of Condition of Sale. Payment must be made using a certified check or money order. After the sale is completed, the primary occupant and members of the occupant's household will no longer be eligible to receive FEMA Direct Temporary Housing Assistance for that disaster declaration. 3. TTHU Donations to Qualified Public Agencies and Private Organizations FEMA may donate occupied TTHUs "as is"and"where is"to a SLTT government agency or a voluntary organization for the purpose of continuing to provide temporary housing to eligible occupants who cannot afford to purchase the TTHU at the lowest price FEMA will offer.11° FEMA cannot donate directly to a TTHU occupant. Eligible Recipient Entities or Organizations: FEMA must identify eligible recipient entities liii Voluntary Organization or organizations interested in receiving donated A voluntary organization is any TTHUs. FEMA will give priority to SLTT chartered or otherwise duly recognized government agencies for receiving TTHU 501(c)(3)tax-exempt which has provided or donations before considering donating TTHUs may provide needed services,in cooperation to voluntary organizations. If government and partnership with SLTT or other agencies are unavailable, FEMA will give government agencies,to individuals and priority to voluntary organizations that have families coping with an emergency or a major disaster. been in existence for at least one year and have a history and demonstrated capability of assisting disaster survivors. After identifying an eligible recipient entity or organization,FEMA must identify occupants who are eligible to participate. Conditions of Eligibility for Occupants: Occupants may be considered for inclusion in TTHU donations when the following criteria are all met: • The primary occupant satisfies all conditions of eligibility under TTHU Sales to Occupants (see Chapter 3, V.F.2.)but does not have the financial ability to purchase a TTHU at the reduced sales price. 122 Chapter 3: Individuals and Households Program • The primary occupant lacks permanent housing and has not fulfilled a PHP through no fault of their own. • The primary occupant continues to have a disaster-caused temporary housing need. • The primary occupant indicates interest in participating in TTHU donations by replying to the Notice of Interest Letter with the required information. o If selected to participate in TTHU donations, the primary occupant must return the Acknowledgment Letter sent by FEMA, agreeing to be housed by the entity/organization approved to receive and manage the TTHU. Conditions of Donation: FEMA will not donate any TTHU without a TTHU Donation Agreement signed by FEMA and the recipient entity/organization. The TTHU Donation Agreement will require the recipient entity/organization to: • Use the occupied TTHU for the sole purpose of providing temporary housing to a FEMA-eligible occupant until the end of the period of assistance or for a minimum of one year, whichever is longer,unless: o The eligible occupant secures permanent housing earlier; and o FEMA is unable to identify another eligible applicant to occupy the unit for the remainder of this time period. • Ensure the site where each TTHU is to be occupied complies with local codes, ordinances,44 C.F.R. Part 9, and other EHP compliance procedures detailed in FEMA Instruction 108-1-1. • Obtain and maintain hazard and flood insurance on the unit,111 regardless whether the unit is or will be located within an SFHA. • Not impose a rent or usage fee on an eligible occupant until after FEMA's initial period of assistance has ended. • Acknowledge in writing, acceptance of any potential expenses (e.g.,permit costs, insurance)related to the donation. • Comply with the nondiscrimination provisions of the Stafford Act.112 • Notify occupants that RVs are not designated for use as a permanent dwelling but as temporary living quarters for recreational, camping, travel, or seasonal use. Approval of Recipient Entities or Organizations: The RA or FCO must approve and sign all Donation of Temporary Housing Units Agreements when all the above criteria and documentation requirements have been met. Transfer of ownership is complete once the SF-97 Form, U.S. Government Certificate to Obtain Title to a Vehicle, is sent to the entity/organization. Upon approval, FEMA sends a Final Notification letter to participating occupants, stating that FEMA has approved the donation and giving the date of transfer of responsibility for providing temporary housing to the occupant. 123 Chapter 3: Individuals and Households Program 4. Effect of TTHU Donations on FEMA Disaster Assistance • During the period of assistance, an occupant's decision not to participate in a TTHU sale or donation does not affect his/her eligibility for continued Direct Temporary Housing Assistance. • If an eligible occupant decides to participate in TTHU donation,upon the completion of the donation, the occupant will no longer be eligible to receive Direct Housing Assistance for that disaster declaration unless: o The recipient entity/organization fails to comply with the TTHU Donation Agreement; o The entity/organization's non-compliance creates an unmet disaster-caused temporary housing need for the eligible occupant during the period of assistance; and o The period of assistance remains open. G. Direct Lease Direct Lease is a form of Direct Temporary Housing Assistance where FEMA may lease existing residential properties for eligible applicants to use as temporary housing.113 FEMA will only authorize Direct Lease when the verified disaster-caused housing need cannot be met with other Direct Temporary Housing Assistance options. 1. Authorizing Direct Lease In addition to the criteria described in Chapter 3, V.A., FEMA will consider Direct Lease when Direct Temporary Housing Assistance has already been approved and: • Other forms of Temporary Housing Assistance(i.e., Rental Assistance, Multi-Family Lease and Repair, and TTHUs)have been evaluated and delivered in sequential order based on program criteria. • Housing needs exceed FEMA's capacity to provide MLR units or TTHUs in a timely manner. • FEMA has identified one or more properties that meet the criteria identified in Property Eligibility Criteria(see Chapter 3, V.E.2.). FEMA will not authorize Direct Lease: • To circumvent the IHP financial assistance maximum award; • For the sole purpose of providing temporary housing to applicants who are unable to pass a background and/or credit check; or • On the sole basis that Direct Lease is more cost-effective than providing TTHUs. The FCO must submit a written request to the AA for Recovery demonstrating Direct Lease is needed as a result of a Presidentially-declared Major Disaster based on the criteria provided 124 Chapter 3: Individuals and Households Program above. The AA for Recovery will review the request and make a final determination regarding approval of Direct Lease. Once Direct Lease has been approved, FEMA will contract with a property management company to locate, acquire, and manage properties for FEMA. 2. Approving Properties FEMA must identify one or more properties,provided by the contracted property management company, that meet the following conditions of eligibility: • The property must be an existing residential property, not typically available to the general public (i.e., corporate apartments,vacation rentals, and second homes), for use as temporary housing; o Units that may be obtained by applicants using Rental Assistance will not be acquired for Direct Lease; o Hotels,motels, and other transient accommodations will not be acquired for Direct Lease; • The property must be currently available to rent for housing up to 200% of the HUD FMR,unless a greater amount has been approved by the AA for Recovery; • The property must comply with Housing Quality Standards (HQS) established by HUD, and all utilities, appliances, and other furnishings must be functional; • Each individual unit must provide complete living facilities, including provisions for cooking, eating, and sanitation within the unit; • The property must be located in an area designated for IA included in a major disaster declaration; and • The property must be located within reasonable access to community and wrap-around services, such as accessible public transportation, schools, fire and emergency services, grocery stores, etc. The property owner must agree to include provisions within the lease agreement granting FEMA the following: • Exclusive use of the housing units and sole discretion to identify and select occupants during the term of the lease agreement; • The option to extend the lease if FEMA extends the period of assistance beyond 18 months; • The option of releasing the unit to the owner and ceasing all monthly payments for the unit at any time by providing thirty days' notice; • The ability to make permanent modifications or improvements to the property(at FEMA's expense)to provide a reasonable accommodation for an eligible applicant with a disability and others with access and functional needs; and 125 Chapter 3: Individuals and Households Program • The property owner's agreement to modify any lease between the property owner and the occupant to incorporate FEMA's program conditions of eligibility and termination of tenancy. The property owner acknowledges responsibility for evicting applicants whose assistance is terminated. Property owners may receive reimbursement for reasonable costs associated with the eviction process. 3. Prioritizing and Leasing Properties Before leasing a property, FEMA will inspect the property to ensure compliance with HUD HQS, and verify the property owner's capacity to provide all property management services. This includes building maintenance, except where the property is leased or contracted from another government entity, in which case FEMA may directly obtain such services. When more eligible Direct Lease properties have been identified than are required for temporary housing, FEMA will use the following factors to prioritize: • Cost to the Federal government: o The RA or FCO, if the RA has delegated this authority to the FCO, is authorized to approve properties up to 200% of the FMR, if: • Lower cost units are unavailable or already used; and • A housing market analysis supports the approved increase. o The AA for Recovery must approve Direct Lease costs above 200% of FMR. • Landlord's demonstrated ability to manage and provide maintenance services; • Proximity to wrap-around services; and • Accessibility: when selecting available properties, FEMA will prioritize properties that are already accessible, include accessibility features, or can be easily made accessible; and/or are in proximity to accessible public transportation. FEMA will prioritize accessible units for applicants whose household includes one or more persons with a disability and others with access and functional needs. FEMA may only consider placing other eligible applicants in accessible units when all households with accessibility needs have been housed. FEMA may authorize a one-time payment of security deposits for each unit based on FMR. Unused portions of each security deposit must be returned to FEMA upon release of the unit. If the security deposit amount does not cover the amount of damage to the unit,the occupant will be responsible to the property owner for the additional funds. FEMA may authorize payment for utilities that are included in the monthly rent established by the property owner; however, FEMA will not pay for background checks, credit checks,pet deposits,'14 or application fees. 126 Chapter 3: Individuals and Households Program H. Permanent Housing Construction FEMA may provide financial assistance or direct assistance to individuals and households to construct permanent or semi-permanent housing in insular areas outside the continental U.S. FEMA may also consider providing such assistance in other locations where no alternative housing resources are available, and other types of Temporary Housing Assistance are unavailable, infeasible or not cost-effective.1 1 5 PHC may be provided in the form of direct assistance such as repairs or new home construction. Repairs and new construction provided under PHC are limited to real property components eligible under FEMA Housing Assistance such as HVAC, walls, floors, ceilings, etc. Under PHC, FEMA will not repair or replace items eligible under Personal Property Assistance, such as furnishings and appliances. 1. PHC Request and Approval FEMA will only authorize PHC in response to a written request from the State, Territorial, or Tribal Coordinating Officer or Governor's Authorized Representative (GAR) or tribal government representative. Before authorizing PHC,FEMA will conduct a Direct Housing Assessment, as described in Direct Housing Assistance Request and Approval. • The assessment must demonstrate that other forms of Temporary Housing Assistance are unavailable, infeasible, or not cost-effective, including MLR,MHUs, RVs, Direct Lease, and other forms of temporary housing. • It must also identify all Federal, SLTT government compliance requirements, including: o The status and requirements of the currently-adopted building code, zoning, permitting process and requirements, and any impediments and requirements that may impact the delivery of PHC; o Cultural and climate considerations; and o Standard types of housing used in the area. • Identify useful studies,projects, and reports, including Mitigation Assessment Reports, if available, that address the performance of buildings and essential facilities in the declared state, territory, or tribe, with specific recommendations for improving performance. • The PHC request must include the following: o PHC Repairs: • Analysis of the estimated associated costs,based on real property line items; • Availability of sources of repair labor other than FEMA, such as contractors or voluntary agencies; and • A disaster-specific financial cost cap recommendation for each type of PHC approved. The cost cap amount will be set through data collected by 127 Chapter 3: Individuals and Households Program the Direct Housing Assessment Team based on the square footage and pre-disaster market value of an average home in the declared area. o PHC New Construction • Identification of potential new construction options appropriate for the culture, climate, and environmental requirements within the affected areas; • A comparative analysis of the timeliness, cost, feasibility, and suitability of each new construction option; and • A review of hazard mitigation measures (e.g., incorporation of seismic resistance in design and construction) and construction methods to be applied to ensure new construction provided by FEMA is resilient towards future hazards. • Within PHC, FEMA will prioritize the use of PHC to repair existing homes before constructing new homes. • FEMA may also include the shipment of construction materials in the PHC authorization. • The AA for Recovery will evaluate the PHC request using information obtained through the Direct Housing Assessment in order to approve PHC. If the request clearly demonstrates a need for PHC,the AA for Recovery will specify relevant conditions for implementation, such as establishing a disaster-specific financial cap for PHC Repairs. [Iii Unavailable, Infeasible, and Not Cost-Effective Unavailable: Temporary housing options do not exist for any reasonable cost or in any reasonable time. Rental housing is not available and other forms of temporary housing cannot be constructed and deployed in sufficient numbers. Infeasible: Rental Assistance cannot be used because there are no available rental resources, or other forms of Direct Temporary Housing Assistance cannot be utilized because of terrain, distance, physical barriers, or time delays,that with reasonable means,FEMA cannot overcome. Not Cost-Effective: The cost of providing another form of direct temporary housing option(MLR, TTHUs,and Direct Lease)is higher than providing PHC. Upon receipt of the authorization to implement PHC, FEMA will require the affected state, territorial, or tribal government to execute an amendment to the FEMA-State/Territory/Tribal Government Agreement. 128 Chapter 3: Individuals and Households Program Figure 23: Conditions for PHC Repair or New Construction Applicants ma) he considered for PHC repair ; Applicants may he considered for PHC new to their pre-disaster residence when: ■ home construction when: ■ ■ • • • The real property FEMA-verified loss i • amount is over$17.000 but not above the ; •• FEMAdetermines the pre-disaster disaster specific cap.and not destroed:or • residence has been destroyed as a • The applicant demonstrates on appeal they ■ result of the disaster,or are not able to use Home Repair • • The real property verified loss amount Assistance to make their home sate. • is over$17,000 and the pre-disaster sanitary.and functional;and • residence is repairable.but FEMA has • Repairs to the pre-disaster residence are ■ determined that new construction is more cost-ell"ective than new construction; • more cost-effective than repair;and and • • Structural elements of the pre-disaster ' • The repairs are estimated to he completed : primary residence.(e.g. foundation. within 90 days or less from the start of the • frame),or other components of the repair work:and • home require architectural or • The cost of repairs will not exceed 50%of • engineering services in order to be the pre-disaster primary residence's pre- ■ habitable. disaster market value. • ■ � ■ ■ 2. Conditions of Eligibility FEMA may authorize PHC for pre-disaster homeowners. Similar to other forms of Direct Housing Assistance, FEMA prioritizes applicants with a real property verified loss of at least $17,000. Applicants who have less than$17,000 in FEMA-verified losses may submit an appeal (see Chapter 3, II.C)with documentation that demonstrates they are not able to use FEMA financial assistance to secure temporary housing or afford repairs to make their home safe, sanitary, and functional. In addition to meeting general conditions of eligibility(see Chapter 3, II.), applicants must meet the following conditions in order to receive PHC: • Applicants are unable to use Temporary Housing Assistance. • Applicants are not receiving Continued Rental Assistance or Direct Temporary Housing Assistance. o Applicants will become ineligible for PHC if they receive Continued Rental Assistance or Direct Temporary Housing Assistance. • Applicants do not have insurance for repair or replacement. • Applicants must disclose to FEMA all grants and assistance received, and return any funds determined to be a DOB to FEMA prior to construction including previously awarded Repair or Replacement Assistance. 129 Chapter 3: Individuals and Households Program • Applicants have not accepted a disaster home loan from the SBA. Applicants who have accepted an SBA disaster home loan are not eligible for PHC, and may not return those funds or cancel the loan in order to be considered for PHC. 3. PHC Repair FEMA will only perform repairs necessary to restore the pre-disaster residence to a habitable condition. The components that may be deemed eligible for Repair Assistance, and the type of repairs authorized,will vary depending upon the nature of the disaster. In order for the household to be eligible for PHC Repair, FEMA must determine that the repairs necessary to make the home safe, sanitary, and functional can be completed within 90 days and under the disaster-specific approved cost maximum. The following components may be repaired or replaced:116 • The structure's interior, including walls, ceilings, doors, and cabinetry; • Interior floors, when buckling or deterioration creates a safety hazard; • Interior walls, limited to what is necessary to maintain the structural integrity of the home; • Exterior walls, doors, and windows, limited to what is necessary to maintain the structural integrity of the home and meet local codes; • Roof, when the damage affects the essential living area or are necessary to prevent additional damage; • Plumbing system, including fixtures providing service to the kitchen and bathroom(s), and flushing and/or purifying the water well; • Electrical system and essential fixtures necessary to ensure the home can safely receive electrical service; • Sewerage system; • HVAC, and integral fuel and electrical systems; and • Pre-existing accessibility features and accessible routes. All repairs shall be made using materials of average quality, size, and capacity("builder grade"), in accordance with Federal EHP laws,regulations, EOs, and local codes and ordinances, or minimum construction industry standards where no codes and ordinances apply. Repairs to accessibility features and accessible routes will be guided by the ADAAG and the HUD's Design Details for Accessible Disaster Relief Housing. 4. PHC New Construction FEMA will only complete PHC New Construction when an applicant's pre-disaster primary residence is determined to be destroyed, or determined to be infeasible for PHC Repair because the home requires repairs which exceed the scope of PHC Repair Assistance. 130 Chapter 3: Individuals and Households Program New construction shall be provided in accordance with EHP laws and regulations and local codes and ordinances, or minimum construction industry standards where no codes and ordinances apply, using materials of average quality for the lowest price ("builder grade"),taking into consideration the accessibility needs of the occupant. • FEMA partners with the affected SLTT government to select the type of construction and architectural design that meet SLTT government construction restrictions and EHP regulations based off of cultural and climate considerations, and standard type of housing used in the area. • New construction for households requiring accessibility features and accessible routes • will be provided in accordance with UFAS. • New construction shall be provided using mitigation practices to reduce the risk of damage from future disasters. • The land/property where the new single-family dwelling will be constructed must be owned by the eligible applicant. In limited circumstances, FEMA will evaluate providing PHC on land provided by the SLTT government at no cost to FEMA(e.g. insular areas, islands, or tribal lands where land ownership may vary; for instance, communal land or land held in trust by the state,territorial, or tribal government). Labor and materials costs for PHC New Construction will be capped at a pre-determined amount for each declared disaster. The FEMA JFO may submit a request to increase the authorized labor and materials costs for PHC New Construction, supported by a business case demonstrating the requested increase is necessary to construct adequate housing and the additional expenses are fair and reasonable. 5. PHC Terms and Conditions Prior to FEMA providing PHC, applicants must: • Acknowledge they understand and accept FEMA's terms and conditions for PHC assistance. • Agree to obtain and maintain flood insurance coverage on the PHC home for at least the value of the PHC residence if the home is located in an SFHA. FEMA will not contribute to the cost of flood insurance premiums for PHC residences. If the applicant fails to maintain flood insurance, they may be deemed ineligible for flood-insurable losses in future disasters. • Choose between receiving FEMA financial Housing Assistance (LER, Rental Assistance, Home Repair Assistance, and Replacement Assistance) or PHC. • Return any previously-provided financial Home Repair and Replacement Assistance that has not been used for eligible repair or replacement line items to FEMA. 131 Chapter 3: Individuals and Households Program • Grant right of access and entry upon their property to FEMA and other participating U.S. Government agencies, including their agents, employees, contractors, and subcontractors for all activities necessary for providing PHC. • Accept all responsibility and liability for the PHC dwelling upon completion including but not limited to recording fees and other costs associated with obtaining the title. • Indemnify and hold harmless FEMA and other participating U.S. Government agencies, including their agents, employees, contractors, and subcontractors, from any complaints, losses, and damage of sorts, directly or indirectly related to any program-related activity on the real property site. 132 Chapter 3: Individuals and Households Program VI. Other Needs Assistance The ONA provision of the IHP, authorized by Section 408(e)of the Stafford Act,I I7 provides financial assistance for disaster-related necessary expenses and serious needs that are not covered by insurance or provided by any other source. Unlike Housing Assistance, ONA is subject to a cost share between FEMA and the state,territorial, or tribal government.118 FEMA, in coordination with the state, territorial, or tribal government pre-determines ONA-eligible items and amounts to be awarded. A. ONA Options and Cost 111 11 Necessary Expense and Serious Needs Shares A"necessary expense"means the cost associated with acquiring an item, obtaining a service,or FEMA collaborates with the SBA paying for any other activity that meets a serious need. in determining applicant eligibility A"serious need"means the requirement for an item or for some types of ONA. The Small Business Act authorizes the SBA to service that is essential to an applicant's ability to prevent, provide low-interest disaster loans mitigate,or overcome a disaster-caused hardship,injury, or adverse condition. to applicants who have sustained damage in a disaster. An applicant must meet a minimum income test,which the SBA establishes, to be considered for a loan. FEMA refers the applicant's information to SBA if the applicant's income meets SBA minimum guidelines. FEMA and SBA coordinate to ensure that ONA and SBA disaster loans do not cause a duplication of benefits for the same type of assistance.119 Figure 24: SBA Disaster Loan Application Process L..AI\nn pr„ce.> applicant Fur iligihlc to ► NO t 41. tilt:\-dependent ONA :n:i�lanei Disaster Refer to SBA? S Survivor Rel2711l ik hosed NO registers on household Disaster survivor kith FI IA laconic Appror:dl applies tix SBA ♦ YES sm► for Sit.\ JJ disaster loam assistanceLoan:' Partial approval and loan �.�w..m.:. amount is insufficient Application must be returned by filing deadline YES If SBA approves applicant's 1 i loan application and the j applicant does not accept the loan,they are not referred I for ONA assistance. Each type of ONA has specific conditions of eligibility applicants must satisfy prior to being considered for assistance. These conditions are described in the appropriate sections of this chapter. 133 Chapter 3: Individuals and Households Program Figure 25: Other Needs Assistance,Non-SBA-Dependent and SBA-Dependent Category of ONA Type of ONA Assistance • Funeral Non-SBA Dependent ONA • Medical FEMA provides assistance • Dental for these items without regard • Child Care to whether an applicant may • Critical Needs Assistance obtain an SBA loan. • Clean and Removal Assistance • Assistance for Miscellaneous Items SBA-Dependent ONA • Personal Property The applicant must first apply . Moving and Storage to the SBA for a loan for • Transportation Assistance these expenses or serious • Group Flood Insurance Policy needs. 1. Amount of Assistance Assistance for an eligible applicant will not exceed the IHP financial assistance maximum award pursuant to Section 408(h) of the Stafford Act.120 However, for some specific categories of ONA, the affected state,territorial, or tribal government will establish the maximum amount of assistance that may be awarded as part of their yearly submission of FEMA Form 010-0-11, ONA Administrative Option Selection.121 Figure 26: Excerpt of FEMA Form 010-0-11,ONA Administrative Option Selection STATE/INDIAN TRIBAL GOVERNMENT SELECTION AND LINE ITEM MAXIMUM The State/Indian Tribal Government of selects the following administrative option for the • administration of the Other Needs Assistance provision of the Individuals and Households Program: r FEMA Option: FEMA Administers&Processes. r JOINT Option: State/Indian Tnbal Government Administers&FEMA Participates: FEMA Processing System Auto-determination ON FEMA Processing System Auto-determination OFF r— STATE/INDIAN TRIBAL GOVERNMENT Option: State/Indian Tribal Government Administers&Processes The State/Indian Tribal Govemment approves the following line item amounts to be awarded for ONA Transportation Repair- Transportation epairTransportation Replace(Total loss) S Funeral Maximum(Unmet Needy S Child Care Assistance(Maximum) $ I The State/Indian Tribal Government approves the additional ONA Personal Property and/or Miscellaneous items. Attached is the list of additional items.the justification,and situations for use. 134 Chapter 3: Individuals and Households Program 2. ONA Cost Share and Administration As outlined in Section 408(g)(2)2 of the Federal Share Stafford Act, FEMA is responsible for 75% Section 408(g)(2)of the Stafford Act of ONA, and the state,territorial, or tribal explicitly provides that the Federal share shall be government is responsible for the remaining 75%,giving FEMA no authority to adjust the 25%of ONA. Federal cost share for ONA. However,48 U.S.C. § 1469(a)allows FEMA to waive or The state,territorial, or tribal government adjust the cost share for disaster grants in insular may select from the following three options areas such as the Virgin Islands,Guam, for the administration of the ONA: American Samoa,and the Northern Mariana Islands. • FEMA Option: FEMA is responsible for all tasks associated with the administration of ONA: registration intake, inspection services, the processing system, disbursing awards, staffing,recovery of funds, case processing,mail processing, accessible forms of communication, appeals, and preparing closeout material. FEMA utilizes the National Emergency Management Information System(NEMIS) for processing all IHP Assistance, including ONA. FEMA provides assistance to applicants, and the state, territorial, or tribal government is responsible for reimbursing FEMA for their portion of the cost share.122 • Joint Option: The state,territorial, or tribal government administers ONA jointly with FEMA. FEMA is responsible for registration intake, inspection services,the processing system,mail processing, and accessible forms of communication. The state, territorial, or tribal government is responsible for manually processing awards, staffing, recovery of funds, case processing, appeals, and preparing closeout material. The respective state, territorial, or tribal government uses NEMIS for ONA processing,but may utilize their own system of record for other program administration functions, such as disbursing payments.123 The state,territorial, or tribal government provides assistance to applicants, and FEMA is responsible for reimbursing the state,territorial, or tribal government, for its portion of the cost share. The state, territorial, or tribal government may utilize 5% of the grant toward administrative costs. • State, Territorial,or Tribal Government Option: FEMA provides ONA as a grant to the state,territorial, or tribal government; therefore,the state,territorial, or tribal government administers ONA. The state, territorial, or tribal government is responsible for all tasks associated with the administration of ONA. The respective state, territorial, or tribal government receives a grant to process the ONA program outside of NEMIS. The state, territorial, or tribal government provides assistance to applicants, and FEMA is responsible for reimbursing the state,territorial, or tribal government for its portion of the cost share. The state,territorial, or tribal government may utilize 5%of the grant toward administrative costs.124 135 Chapter 3: Individuals and Households Program Figure 27: ONA Administrative Option Responsibility Process FEMA Option Joint Option State,Tribal, Territorial Option Registration Intake FEMA FEMA State* Inspection Services FEMA FEMA State Processing System FEMA FEMA State Disbursing Awards FEMA State State Staffing and Helpline FEMA State State Recovery of Funds FEMA State State Case Processing FEMA State State Mail Processing FEMA FEMA State Appeal Processing FEMA State State Preparing Closeout FEMA State State *Note: The references to "State"include applicable tribal governments and territories. 3. ONA Administrative Option Selection Form ONA Administrative Option Regardless of the administrative option selected, all state,territorial, or tribal governments must The ONA Administrative Option Selection Form must be completed and indicate their option selection every year using submitted to the FEMA RA by November the ONA Administrative Option Selection form, 30th each year. FEMA must have a current, which must be completed and provided to approved SAP on file before any assistance FEMA by November 301h of each year.125 can be provided. The state, territorial, or tribal government also uses the ONA Administrative Option Selection form to identify limits for specific ONA items and establish maximum award amounts for Transportation Assistance, Funeral Assistance, and Child Care Assistance. Additional line items, other than those on FEMA's Standard Personal Property Line Items list,may be requested when submitting or updating the ONA Administrative Option Selection form. The Standard Personal Property Line Items list identifies all ONA-eligible personal property and miscellaneous items, as well as the maximum number of items each individual or household may receive. The state,territorial, or tribal government submits the applicable forms to the RA,who reviews and approves the documentation.126 FEMA Headquarters also reviews the documentation to ensure consistency across disasters and for implementation. 136 Chapter 3: Individuals and Households Program State, territorial, or tribal governments,which select the Joint or the State, Territorial, or 0.1 State Administrative Plan Tribal Government Option,must also submit References to"State Administration a State Administrative Plan(SAP) every Plan"in this document also include"Tribal three years.127 The SAP describes the Administration Plan"and"Territorial procedures the state,territorial, or tribal Administration Plan,"as appropriate. The government will use to administer ONA.128 requirements found in 44 C.F.R. § 206.120(c)for The RA must review and approve the SAP State Administrative Plans also apply to tribal prior to submitting the documentation to governments and territories. FEMA Headquarters for coordination of m " implementation.129 The ONA Administrative Option Selection form and the SAP may be changed during any non- disaster time period or within three days of a major disaster declaration)30 However, in order for a state,territorial, or tribal government to change to the Joint Option or State, Territorial, or Tribal Government Option,they must submit a SAP. B. Non-Small Business Administration-Dependent The following types of assistance are non-SBA-dependent, and FEMA does not require the applicant to apply for an SBA loan before being considered for these types of ONA. FEMA may award applicants Funeral Assistance and Child Care Assistance up to the limits established by the state, territorial, or tribal government in the ONA Administrative Option Selection Form, rather than paying fixed amounts based on FEMA inspection verification. 1. Funeral Assistance FEMA provides financial assistance under the ONA provision of the IHP to individuals and households with disaster-caused funeral expenses.131 Unlike most other forms of IHP Assistance, an applicant seeking Funeral Assistance does not need to live in the Presidentially-declared disaster area to be considered for the assistance. An individual who incurs or will incur expenses related to a death or disinterment attributed directly or indirectly to a declared emergency or major disaster may apply for and, if eligible,receive Funeral Assistance. Multiple registrations for the same deceased are not allowed. The affected state, territorial, or tribal government establishes the maximum amount of Funeral Assistance that may be awarded per death or per household as part of the ONA Administrative Option Selection form. 137 Chapter 3: Individuals and Households Program CaN) Funeral Assistance Key Terms Interment:The placement of cremated remains or deceased human bodies in the ground, a cremation urn,or other burial facility such as a columbarium.A columbarium is a place where urns holding a deceased's cremated remains are stored and memorialized. Disinterment:The unearthing of cremated remains or deceased human bodies from the ground, a cremation urn,or other burial facility such as a columbarium. Reinterment: The replacement of cremated remains or deceased human bodies in the ground, a cremation urn,or other burial facility such as a columbarium. Funeral Services: Services to care for and prepare deceased human bodies and services to arrange, supervise, or conduct the funeral ceremony. Services may include preparation of the deceased(e.g.,embalming, cremation);use of facilities; staff for viewing;funeral ceremony or 1 memorial service;use of equipment; staff for graveside service or committal service;use of hearse/funeral coach; etc. Conditions of Eligibility In addition to meeting general conditions of eligibility(see Chapter 3, I1.), applicants must meet the following conditions in order to receive Funeral Assistance: • A SLTT government licensed medical official, such as the Medical Examiner or Coroner, has attributed the death to the emergency or disaster, either directly or indirectly. o Medical officials may reference the guidance set forth by the Centers for Disease Control (CDC) regarding death certifications in the event of natural,human- induced, or chemical/radiological disasters.132 • The applicant incurred or will incur eligible funeral expenses not covered by other sources. Other sources may include burial insurance or financial assistance from voluntary agencies, applicable government programs/agencies, or other entities. o The following items are eligible expenses for interment or reinterment: • Transfer of remains; • Casket or urn; • Burial plot or cremation niche; • Marker or headstone; and/or • Additional expenses mandated by any applicable SLTT government laws or ordinances. o The following items are eligible expenses only for interment: • Transportation for up to two individuals to identify the deceased, if such identification is required by SLTT government authorities; 138 Chapter 3: Individuals and Households Program • Interment; • Funeral services; • Clergy or officiant services; and/or • Costs associated with producing and certifying up to five death certificates. o The following items are eligible expenses only for reinterment: • Reinterment(including costs for preparing and transporting the remains); • Funeral services (limited to the preparation and use of facilities to prepare the remains for reinterment); and/or • Cost of identifying disinterred human remains. Required Documentation An applicant must submit: • An official death certificate that clearly indicates the death was attributed to the emergency or disaster, or a signed statement from a SLTT government licensed medical official, such as the Medical Examiner or Coroner, attributing the death to the emergency or disaster, either directly or indirectly. o A death is directly attributed to a disaster if caused by the forces of the disaster or the direct consequences of the forces, including but not limited to structural collapse, flying debris, or radiation exposure. o A death is indirectly attributed to a disaster if it occurs as a result of unsafe or unhealthy conditions present during any phase of the disaster(i.e.,pre-disaster preparations, during the actual disaster, or post-disaster during cleanup after a disaster), including disaster-caused exacerbation of pre-existing conditions. o FEMA staff may coordinate with the SLTT government to obtain the required signed statement. o FEMA staff will not share the applicant's personally identifiable information(PII) when obtaining documentation on the deceased. o When FEMA receives a signed statement from a licensed medical official, such as the Medical Examiner or Coroner,which does not clearly state the disinterment, death, or underlying injury causing the death was attributed either directly or indirectly to the emergency or disaster, FEMA will work with the licensed medical official to obtain clearer certification. • Receipts or verifiable estimates indicating the applicant incurred or will incur eligible interment, reinterment, or funeral expenses. • Documentation of burial insurance and/or any forms of funeral assistance received from voluntary agencies, government agencies, or other entities. 139 Chapter 3: Individuals and Households Program • For reinterment only, documentation proving that the disinterment occurred in a privately-owned, licensed cemetery or burial facility(such as an association or community cemetery or burial facility) and the cemetery or burial facility is not responsible for reinterring displaced remains. o In the event of disinterment, FEMA will consider requests that include a funeral home representative or cemetery representative statement indicating that the cause of disinterment was a direct result of the disaster. o FEMA may coordinate with the SLTT government to obtain the required documentation. Limitations and Exclusions • FEMA may provide assistance to the applicant only up to the Funeral Assistance amount established by the state, territorial, or tribal government. • For multiple family member deaths, FEMA may provide assistance up to the Funeral Assistance amount established by the state,territorial, or tribal government on the ONA Administrative Option Selection form. The state, territorial, or tribal government may set the assistance amount per death or per household. FEMA may provide assistance to the applicant only up to the IHP financial assistance maximum award for the fiscal year in which the disaster was declared. • FEMA will not provide assistance for any of the following: o Obituaries o Flowers o Printed materials such as banners,programs, or register books o Catering services, including food o Transporting applicant or others to site(s) of funeral services, interment, or reinterment o Gratuities 2. Medical and Dental Assistance FEMA provides financial assistance under the ONA provision of the IHP to individuals and households with medical or dental expenses caused by a disaster.133 Unlike most other forms of IHP Assistance, an applicant seeking Medical or Dental Assistance does not need to live in the Presidentially-declared disaster area to be considered for the assistance. Any person who incurs disaster-caused medical or dental expenses may apply for and, if eligible, receive Medical or Dental Assistance. 140 Chapter 3: Individuals and Households Program Conditions of Eligibility In addition to meeting general conditions of eligibility(see Chapter 3, II.), applicants must Disability meet the following conditions in order to receive The term"disability"means, Medical or Dental Assistance: with respect to an individual: (A)A physical or mental impairment that • The medical or dental injury or expense substantially limits one or more major life must be a direct result of the disaster, as activities of such individual; (B)A record verified by a written and signed of such impairment; or(C)Being regarded statement by the applicant, medical as having such an impairment. provider, or dental provider. Major life activities include,but are not o Eligible expenses include costs limited to,caring for oneself,performing associated with: manual tasks,seeing,hearing, eating, sleeping,walking,standing,lifting, • Injury or illness caused by bending, speaking,breathing, learning, the disaster. reading,concentrating,thinking, communicating, and working. • Pre-existing injury, disability,or medical (Source:ADA Section 12102) condition aggravated by the disaster. • Replacement of prescribed medication. • Loss or damage of personal medical or dental equipment. • Medical or dental insurance deductibles and co-payments for eligible expenses. • Loss or injury of a service animal. • Medical or dental expenses will not be eligible for FEMA reimbursement if they are covered by insurance or any other source. • Expenses related to the loss or injury of a service animal must be a direct result of the disaster. Eligible expenses may include costs associated with: o Veterinary expenses for disaster-caused injuries. o Replacement and/or training costs. o Lost or damaged equipment that enables the service animal to fulfill its function (e.g., specialized leash, harness, or vest). 141 Chapter 3: Individuals and Households Program Required Documentation Required documentation must indicate the expense was caused by the disaster, is medically- required, and includes the amount of expense. Disaster-caused injury or illness documentation includes both of the following: • Itemized bills,receipts, or estimates from the medical or dental provider or Medical and Dental Providers pharmacy Medical or dental provider may • A written and signed statement from a include audiologists,rehabilitation specialists, medical or dental provider,including the or state-based agencies who can verify an date of disaster-caused injury and applicant's disability and need for a device or expenses necessary for recovery equipment. Replacement of prescribed medication documentation includes all of the following: • A written and signed statement by the applicant or the applicant's medical or dental provider verifying the loss was caused by the disaster • A written and signed statement from a medical or dental provider verifying the prescription is required and was previously prescribed to the applicant or a household member • Receipts or other verifiable documentation from the pharmacy showing the replacement cost of the prescribed medication Loss or damage of medical or dental equipment documentation includes all of the following: • A written and signed statement by the applicant or the medical or dental provider verifying the loss was caused by the disaster • A written and signed statement from a medical or dental provider verifying the applicant or household member required the medical or dental equipment prior to the disaster • Itemized bills, receipts, or estimates showing repair or replacement cost of the medical or dental equipment Required documentation verifying the loss or injury of a service animal includes all of the following: • A written and signed statement by the applicant, medical provider, or veterinary provider verifying the service animal's loss or injury was caused by the disaster • A written and signed statement from a medical provider verifying the applicant or household member required the service animal for a disability prior to the disaster • A statement from the applicant,medical provider, or other representative explaining the type of task or work performed by the service animal 142 Chapter 3: Individuals and Households Program • Itemized bills,receipts, or estimates showing expenses related to the service animal's loss or injury Medical or dental insurance settlements must be provided if the applicant has medical or dental insurance. Limitations and Exclusions • Medically-required generators purchased or rented to power equipment necessary for an existing medical condition may be considered under Assistance for Miscellaneous Items rather than Medical and Dental Assistance. For additional information, see Chapter 3, V 1.B.4. • IHP Assistance for replacing lost or damaged medical or dental equipment is limited to items of similar quality and function as the item being replaced. • IHP Assistance for medical and dental services does not include medically unnecessary procedures (e.g.,procedures designed to enhance appearance, such as teeth whitening). • A limited number of accessible items are available for applicants with disabilities under Personal Property Assistance. To be eligible, these items must have been owned prior to the disaster and sustained disaster-caused damage or loss. For additional information, see Chapter 3, V[.C.1. • IHP Assistance for service animals is limited to service dogs and miniature horses that perform a qualified task for a person with a disability, as defined by the ADA of 1990 (ADA; as amended, 2008). The ADA defines service animal as "any dog [or miniature horse] that is individually trained to do work or perform tasks for the benefit of an individual with a disability." • A service animal must be required because of a disability and perform a functional task for the applicant or a member of the household. • IHP Assistance is not available for therapy animals or emotional support animals. 3. Child Care Assistance FEMA provides financial assistance under the ONA provision of the IHP to eligible individuals and households who have a disaster-caused increased financial burden for child care.134 FEMA will award a one-time payment for Child Care Assistance for the household's increased financial burden for up to eight cumulative weeks of child care,plus any eligible expenses, Activities of Daily Living(ADL) or the maximum amount of assistance for Activities of daily living are routine activities Child Care Assistance identified by the that people tend to do every day without needing state,territorial, or tribal government, assistance. There are six basic ADLs: eating,bathing, whichever is less. dressing,toileting, transferring(walking), and continence. 143 Chapter 3: Individuals and Households Program FEMA may provide financial assistance to address increased disaster-caused child care expenses for eligible households with: • Children aged 13 and under; and/or • Children with a disability, as defined by Federal law,135 up to age 21,who need assistance with activities of daily living. The respective state, territorial, or tribal government must establish the maximum amount of Child Care Assistance on a per-child or per-household basis as part of the annual ONA Administrative Option Selection process. Conditions of Eligibility In addition to meeting general conditions of eligibility(see Chapter 3, 11.), applicants must have a disaster-caused increase in financial burden for child care, regardless of whether child care expenses were required prior to the disaster,because: • The applicant's gross household income has decreased as a direct result of the disaster; or • The applicant's child care expenses have increased as a result of the disaster. Applicants must certify they cannot utilize child care services provided by any other source (e.g., other Federal assistance for child care,private employer child care services, etc.) in order to qualify for Child Care Assistance. For applicants with child care expenses prior to the disaster, FEMA compares the percentage of the household's gross income spent for child care expenses before the disaster to the percentage spent following the disaster to determine if the post-disaster child care costs create a financial burden. For example, if the household's pre-disaster income was $3,500 per week and pre- disaster child care costs were $750 per week, child care costs were 21.4% of the household's income pre-disaster. If the post-disaster income is $3,500 per week and post-disaster child care costs are $1,000 per week, child care costs are now 28.6%of the household's income post- disaster. Figure 28: Example-Comparison of Pre-and Post-Disaster Child Care Costs Childcare Costs: 21.4% Childcare Costs: 28.6% of household income of household income jjDisaster ( jt-DiSaSter 144 Chapter 3: Individuals and Households Program If the percentage of household gross income spent on child care post-disaster is higher than the percentage of household gross income spent on child care pre-disaster, the household has an increased financial burden for child care and may be eligible for assistance. In the example above,the percentage of the household's gross income spent on child care is 7.2%higher than the percentage of the household's gross income spent on child care pre-disaster. Because the household has an increased burden for child care, they may be eligible for the increased percentage. The applicant's post-disaster child care provider must be licensed,regulated, or registered under applicable SLTT government law to qualify for assistance. The following items are eligible expenses for Child Care Assistance: • Standard child care service fees, including personal assistance services that support activities of daily living for children with disabilities. • Registration and health inventory fees may be eligible expenses onlyCD Registration Fee for applicants who require a new A registration fee is a one-time fee child care service provider. when registering an eligible child at an Required Documentation authorized child care provider. A health inventory fee is a medical office fee for Details regarding information that must be processing required medical paperwork as part of included on each type of documentation are the registration process. listed in Figure 28. ". In order for FEMA to determine a disaster-caused need for Child Care Assistance, an applicant who had child care expenses pre-disaster must submit: • Pre-and post-disaster gross household income documentation. • Pre-disaster receipts, contract, or signed letter from the child care provider for child care expenses, if receipts or contract cannot be located. • Post-disaster receipts or estimates for child care fees,registration, and/or health inventory fees. • A post-disaster child care contract or agreement. • A post-disaster child care provider's license, if the information cannot be located within a respective SLTT government's licensed provider database. • Individualized Educational Plan(IEP), 504 plan,136 or medical professional's statements, if applicable, to verify disability for children up to age 21 who need assistance with activities of daily living. • A signed, written statement from the applicant. 145 Chapter 3: Individuals and Households Program An applicant who did not have child care expenses pre-disaster, and has IEPs and 504 Plans incurred or will incur child care IEP: A document developed for each public- expenses as a result of the disaster, school child who needs special education.An IEP must submit: defines the individualized objectives of a child who has been determined to have a disability, as defined by • Post-disaster receipts or Federal regulations.As long as a student qualifies for estimates for child care fees, special education,the IEP is mandated to be regularly registration, and/or health maintained and updated up to the point of high school inventory fees. graduation,or prior to the 21"birthday. • A post-disaster child care 504 Plan: This type of plan falls under Section 504 of contract or agreement. the Rehabilitation Act of 1973.A 504 plan outlines how a child's specific needs are met with • A post-disaster child care accommodations,modifications and other services. provider's license, if the These measures"remove barriers"to learning. information cannot be located within a respective SLTT government's licensed provider database. • IEP, 504 plan, or medical professional's statements, if applicable, to verify disability for children up to age 21 who need assistance with activities of daily living. • A signed, written statement from the applicant. Figure 29:Child Care Assistance Documentation Type of Documentation Documentation Requirements • The name of the child(ren)receiving care. • The provider's name,address,and telephone number. Copy of current child care • Time period covered by the contract/agreement and total child contract or agreement signed care expense/rate for the time period covered by the by the provider and applicant contract/agreement. • May also include other eligible expenses, such as a registration fee or health inventory fee. • The expected length of time the applicant believes they will have a disaster-caused need for Child Care Assistance. • The applicant is not receiving assistance from another source that meets their child care needs. This may include services that are A signed,written statement free of charge; assistance from the state, local, territorial,or tribal from the applicant government; compensation from any other government organization; assistance from their employer; etc. • Information that establishes that the need for child care,the increased cost of child care, and/or the decrease in income is disaster-caused. 146 Chapter 3: Individuals and Households Program Figure 29:Child Care Assistance Documentation Type of Documentation Documentation Requirements Pre-disaster child care • The name of the child/ren receiving care. • Provider's name,address,and telephone number. expense receipts,contract,or signed letter from child care • Time period covered and total child care expenses for that time provider,if receipts or period. contract cannot be located. • Signature of child care provider and applicant. • Examples include,but are not limited to: Proof of pre-disaster and • Recent pay stubs. current post-disaster income • W-2 forms or tax returns from most recent tax year. for the individual(s) • Documentation of self-employment,if applicable. responsible for child care expenses • Documentation of government assistance,including Social Security. Verification of the child care Applicant does not need to submit if the information can be located provider's license within a respective state,local,territorial,or tribal government's licensed provider database. Verifies a disability for children up to age 21 who require assistance with activities of daily living. If a child with a disability has not Individual Educational graduated from high school,they are eligible for education services Program Plan, 504 plan,or under the Individuals with Disabilities Education Act(IDEA)until age medical professional's 21. A child eligible under IDEA will have an IEP that documents the statement educational services. Children who are not eligible for an IEP,but still need some educational support,may have a 504 plan. Limitations and Exclusions • FEMA limits Child Care Assistance to up to eight cumulative weeks per child or per household or the maximum amount of assistance established by the state, territorial, or tribal government,whichever is less. • FEMA will only provide Child Care Assistance to one applicant on behalf of the child(ren). • If a child is a member of multiple households, FEMA will only award assistance to the primary custodial parent/guardian responsible for child care costs after the disaster. • FEMA will not provide assistance for any of the following: o Fees for extra-curricular activities and additional services (e.g., school photographs, field trips) o Fees not directly related to the day-to-day child care services provided to the eligible child(e.g.,prepared lunches, snacks, facility-provided linens, etc.) 147 Chapter 3: Individuals and Households Program o Fuel expenses related to transporting the child to and from the child care provider (e.g., school bus service) o Education services (e.g., after-school tutoring) o Medical care or services o Recreational camps or clubs (e.g., after-school clubs, overnight camps) 4. Assistance for Miscellaneous Items FEMA provides financial assistance under the ONA provision of the IHP to individuals and households with certain disaster-caused miscellaneous expenses.137 Eligible items must be purchased or rented after the incident to assist with the applicant's disaster recovery, such as gaining access to the property or assisting with cleaning efforts. Items damaged by the disaster that were owned prior to the disaster will be considered under Personal Property Assistance. State,territorial, and tribal governments, in consultation with FEMA,have identified standard miscellaneous line items. However, the state, territorial, or tribal government may elect not to include all of these items as eligible for reimbursement: • Carbon Monoxide Detector • Chainsaw • Dehumidifier • Generator o (see Chapter 3, VI.B.4)under this section's Limitations and Exclusions) • Humidifier • Smoke Detector • Weather Radio State,territorial, and tribal governments may request additional miscellaneous line items on the ONA Administrative Option Selection form, during any non-disaster time period or within 72 hours of a major disaster declaration.138 Conditions of Eligibility In addition to meeting general conditions of eligibility(see Chapter 3. II.), applicants must meet the following conditions in order to receive Assistance for Miscellaneous Items: • The expense must be a direct result of the disaster. • The item must have been purchased or rented within 30 days from the incident start date or up to the last day of the incident period, whichever is greater. • Generator exception: The reimbursement period starts the day the Governor declares a State of Emergency and ends at the incident period closure date identified by FEMA in the Federal Register, or if warranted due to extraordinary circumstances, the date 148 Chapter 3: Individuals and Households Program commercial power is restored to the applicant's primary residence as verified by the FEMA JFO or commercial power provider. • Applicants must provide an itemized receipt or equipment rental agreement for eligible expenses. • The expense must not be covered by insurance or provided by any other source. Limitations and Exclusions • If the applicant owned the eligible miscellaneous item prior to the disaster and the item was damaged by the disaster,the item will be considered under Personal 1114 Property Assistance. _ ` • Assistance for Miscellaneous Items is limited to the quantity established for the item by the state,territorial, or tribal government on the ONA Administrative Power lines in NY damaged by Hurricane Option Selection form. Irene and Tropical Storm Lee. • If the pre-disaster primary residence is located within a CBRS Unit, the applicant may not be considered for financial assistance for Miscellaneous Items except for expenses to purchase or rent items required to power life-sustaining medical equipment(e.g., generators). • Generator expenses only: o The generator must be purchased or rented to power a medically-required piece of equipment, including medically-required refrigerators. o The generator must be purchased or rented due to a disruption in electrical utility service as a result of the disaster. o The applicant must submit a statement from a medical services provider, indicating the equipment is medically necessary. o The allowable grant amount for generators is limited to the prevailing retail or rental rate for a 5.5 kw-sized generator, as identified by FEMA. o The eligible reimbursement period for generator rental costs starts on the date the Governor declares a State of Emergency and ends at the incident period closure date identified by FEMA in the Federal Register or, if warranted due to extraordinary circumstances, the date commercial power is restored to the applicant's primary residence as verified by the FEMA JFO or commercial power provider. o The IA Division Director may waive one or more conditions of eligibility during extraordinary circumstances (e.g., sustained power outage during a period of sub- freezing temperatures)when determined to be in the public's interest. 149 Chapter 3: Individuals and Households Program • Chainsaw expenses only: o The chainsaw must be purchased or rented to gain access to and/or remove hazards from the home. o Applicants who receive financial 6t Housing Assistance or have As �..., insurance coverage for debris or I f `' ---°� tree removal costs may not receive f Assistance for Miscellaneous Items for chainsaw reimbursement. A home in Arkansas is damaged by a fallen tree. 5. Critical Needs Assistance FEMA may provide financial assistance under the ONA provision of the IHP to applicants who have immediate or critical needs because they are displaced from their primary dwelling. Immediate or critical needs are life-saving and life-sustaining items including,but not limited to: water, food, first aid, prescriptions, infant formula, diapers, consumable medical supplies, DME, personal hygiene items, and fuel for transportation. Program Request and Approval An affected state,territorial, or tribal government must submit a written request to FEMA to implement CNA. FEMA's IA Division Director may authorize assistance when the majority of applicants from the declared area are or will be displaced from their primary residence for an extended period of time, generally 7 days or more. The affected state,territorial, or tribal government will have 14 days from the date of the declaration to submit the request for CNA. CNA will be approved for the initial 14-day period from the date of the Presidential declaration. When necessary based on applicant need,this period of assistance may be extended by the IA Division Director if requested by the affected state,territorial, or tribal government. Conditions of Eligibility Applicants will be considered for assistance if all of the following apply: • They pass FEMA's identity verification process; • At registration,they assert that they have critical needs and request financial assistance for those needs and expenses; • Their pre-disaster primary residence is located in an area designated for CNA; and • They are displaced from their pre-disaster primary residence as a result of the disaster. 150 Chapter 3: Individuals and Households Program Limitations and Exclusions Unless otherwise authorized by the IA Division Director and the respective state, territorial, or tribal government: • CNA is limited to $500 per eligible household; and • CNA will be awarded as a one-time payment. 6. Clean and Removal Assistance FEMA may provide a limited amount of financial assistance to individuals and households with disaster-caused real property damage who do not qualify for Home Repair Assistance because the damage did not render the home uninhabitable. Clean and Removal Assistance (CRA) is intended to ensure contamination from floodwaters is addressed in a timely manner to prevent additional losses and potential health and safety concerns. Individual property owners will be responsible for performing or contracting for services to remove contaminants and disinfect surface areas of their homes that have been affected by floodwater. Program Request and Approval An affected state,territorial, or tribal government must submit a written request to FEMA to implement CRA. The GAR must submit a written request for CRA to the FCO. CRA may only be requested in disasters where"flood"is listed as an incident type. CRA must be approved by the RA prior to implementation. The eligibility period for CRA will correspond to the standard FEMA registration period of 60 days,but will not include extension periods unless specifically authorized by the RA. Conditions of Eligibility In addition to meeting general conditions of eligibility(see Chapter 3, II.), applicants must meet the following conditions in order to receive CRA: • The pre-disaster primary residence is located in an area designated for Individual Assistance. • The applicant has at least one real property line item recorded during inspection as flood- damaged. • The pre-disaster primary residence is not covered by insurance, including flood or mobile home insurance, at the time of the disaster. • The applicant receives a denial indicating the disaster-damaged primary residence was safe to occupy. Limitations and Exclusions • CRA is limited to a fixed amount calculated based on the average cost of cleaning, sanitizing, and removing carpet in the geographic area. The amount will be determined per disaster by FEMA Headquarters in coordination with the Joint Field Office; 151 Chapter 3: Individuals and Households Program • CRA will be awarded as a one-time payment; and • CRA will be deducted from any subsequent Home Repair awards an applicant receives as a result of a change in the home's habitability, and if the home repair payment is greater than the CRA amount. C. SBA-Dependent 410 The following types of assistance are SBA- °;.t" dependent. Applicants who were referred to y, % the SBA but who did not qualify for an SBA + 41 loan, or who were approved for a partial loan but the amount of the loan was insufficient ,,os, �• to meet the applicant's disaster expenses or I , • :;! ►�:' serious needs,may be referred back to talpse-^0°` 03/4 FEMA to determine their eligibility for ,�' �k•— �Vr Personal Property Assistance, Transportation Assistance, Moving and Storage Assistance, and a Group Flood Insurance Policy(GFIP) A woman helps her neighbor clean out a flood damaged certificate. home in Cedar Rapids, Iowa. 1. Personal Property Assistance FEMA may provide financial assistance under the ONA provision of the IHP to repair or replace personal property damaged or destroyed due to a disaster.139 The ONA Administrative Option Section form includes a list of eligible items, also known as the Standard Personal Property Line Items list that may be considered for assistance. The affected state,territorial, or tribal government has the ability to request that items be added to or removed from the list within 72 hours of an IA declaration. FEMA and the affected state, territorial, or tribal government establish a maximum quantity that may be awarded for each personal property item. FEMA calculates the award amount for each item according to the consumer price index data for items of average quality, size, and capacity in the area where the damage occurred. The assistance is intended to meet the basic needs of the household,not to restore all personal property items to a pre-disaster condition. When applicants reside in the same damaged pre-disaster residence and are not classified by FEMA as roommates or boarders,the owner or head of household will be considered responsible for the personal property in the common living areas up to the quantity limit. However, a household member could be eligible if the owner, head of household, or landlord has not met the item quantity limit. The household members may be awarded the minimum amount of assistance to meet the household needs, not to exceed the quantity limit. For more information about roommates and boarders (see Chapter 3, II.). 152 Chapter 3: Individuals and Households Program FEMA will record personal property as being unaffected or needing repair or replacement during inspection of the applicant's damaged primary residence. FEMA assistance to repair and replace personal property falls within the following categories: • Appliances: Includes standard household appliances, such as a refrigerator,washing machine, etc. Appliances For processing assistance purposes, • Clothing: Essential clothing needed FEMA identifies certain items as"appliances" due to overall loss, damage, or that may not be considered a typical appliance contamination. to the general public. Items that fall into this category include: • Room furnishings: Standard furnishings found in a bedroom, • Children's strollers and toys kitchen, bathroom,and living room. . Every day dining tables • Essential Tools: Tools and equipment • Twin beds required by an employer as a condition of employment and items required as a • Property for applicants with access or condition of an applicant's or functional needs, such as accessible toilet household member's education. seats,beds,etc. Conditions of Eligibility In addition to meeting general conditions of eligibility(see Chapter 3, 11.), applicants must meet the following conditions in order to receive Personal Property Assistance: • The item needs to be repaired or replaced. • The occupants of the household have an unmet disaster-related need for the damaged item. FEMA may not provide assistance if the applicant can meet that need with another similar item in their possession or available to the household. • The item was owned and being used by occupants of the household. o FEMA does not provide assistance for furnishings and/or appliances provided by a landlord. o Items used by guests and relatives who were not members of the pre-disaster household are not eligible for assistance. Applicants must also meet specific eligibility requirements for each category of item for which they are requesting Personal Property Assistance. These include: • Appliances: Assistance is based on the number and type of household appliances in need of repair or replacement. Applicants may receive assistance for two appliances that serve a similar purpose or function(e.g., a range and a microwave). • Clothing: Assistance is based on the number of household members requiring clothing as determined during FEMA inspection. FEMA defines an essential need for clothing if existing clothing has been destroyed, is physically gone(e.g.,blown away), or contaminated by chemicals or sewer backup as a result of disaster. FEMA expects 153 Chapter 3: Individuals and Households Program applicants to clean clothing soaked by wind-driven rain, seepage, or flood waters. Stored clothing is generally not eligible for assistance. • Room Furnishings: Assistance is based on the level of damage to furnishings within specific rooms of the residence as recorded during FEMA inspection. The rooms must be one of the four types required to meet the needs of a typical household: kitchen, living room,bathroom, or bedroom. • Essential Tools: Assistance is based on a need to replace essential tools, supplies, and equipment owned pre-disaster that are required by an employer as a condition for - employment and items required as a •� " condition of an applicant's or household member's education. This includes tools and equipment required for a specific trade or profession. Eligible items that fall under essential tools are listed below: FEMA inspector records disaster damage at a o Schoolbooks/Supplies: Equipment survivor's home. and supplies required to be provided by the applicant for educational courses or schooling, including home schooling, college, and trade school courses. o Uniforms: Required for school or work when the applicant is responsible for replacement of the uniforms. o Computers: Required by a school or an employer(not self-employment)when the applicant is responsible for the replacement of the computer. o Occupational Tools: Essential tools and equipment required by an employer(not self-employment)as a condition of employment. • Applicants may be asked to provide the following documentation for essential tools: o A statement from the employer on company letterhead documenting the applicant is required to provide their own tools as a condition of employment. o A statement on school letterhead documenting a computer is required as a condition of education and the school does not provide access to computers to use outside of class, such as a school computer lab. o An itemized list of the tools required by the employer, also on company letterhead. o An itemized list of each tool required and a verifiable statement, estimate, or bill from the place of the potential purchase stating that the damage was caused by the disaster. • Accessible Items: FEMA also provides assistance for damaged personal property items required for applicants with disabilities. The list includes accessible beds,raised toilet seats, accessible refrigerators, accessible washers, and computers or adaptive technology 154 Chapter 3: Individuals and Households Program when utilized as the sole means of communication for a household member with a disability. Motorized and non-motorized wheelchairs, shower chairs,visual/vibrating fire signals, and walkers, are also eligible items. o If an applicant has additional medically-required assistive devices not included in the list above,they may request assistance to replace those items under the Medical and Dental Assistance category of ONA (see Chapter 3, VI.B.2.). o If the cost to repair or replace an ADA Personal Property item exceeds the award amount, applicants may request assistance for the additional amount by providing the following: • A written or signed statement from a medical provider verifying the applicant or household member required the item prior to the disaster; and • An itemized bill, receipt, or estimate showing the repair or replacement cost of the item. Limitations and Exclusions • Applicants incarcerated at the time of the disaster who incur disaster-caused damage to their personal property within their unit at the correctional facility or detention center are ineligible for IHP Assistance. Prisoners are legally entrusted to the corrections institute which is responsible for safeguarding their persons and providing for their needs. • Financial assistance for flood-damaged personal property in basements is limited to both of the following: o Washers and dryers o Essential personal property in rooms required for the occupation of the dwelling (for example, occupied bedrooms,a bathroom required for the occupied bedroom, a sole kitchen or living room) 2. Transportation Assistance FEMA may provide financial assistance under the ONA provision of the IHP to individuals and households with disaster-caused vehicle repair orAlb replacement expenses.140 Unlike most other forms -., of IHP Assistance, an applicant seeking Transportation Assistance does not need to live in t w the Presidentially-declared disaster area to be considered for the assistance. A car is surrounded by floodwaters. The affected state, territorial, or tribal government uses the ONA Administrative Option Selection form to establish the maximum amount of Transportation Assistance(i.e., Transportation Repair and Transportation Replacement)that may be awarded. The amount of Transportation Repair and Replacement Assistance awarded is based on the degree of damage and the state,territorial, or tribal government's repair and replacement maximum. 155 Chapter 3: Individuals and Households Program Conditions of Eligibility In addition to meeting general conditions of eligibility(see Chapter 3, II.), applicants must meet the following conditions in order to receive Transportation Assistance: • The vehicle sustained disaster-caused damage, and the damage occurred within the Presidentially-declared disaster area. • The damaged vehicle is an approved vehicle type; eligible vehicles include but may not be limited to vans,trucks, sport utility vehicles, and cars. o Other modes of transportation may be added to the ONA Administrative Option Selection form by the state, territorial, or tribal government during any non- disaster time period or within three days of a major disaster declaration. This may include boats,motorcycles, golf carts, or other non-standard modes of primary transportation. • The damaged vehicle is in compliance with its state,territorial, or tribal government's registration and insurance requirements at the time of the disaster. • The damaged vehicle is owned or leased(i.e.,not a rental vehicle)by the applicant, co- applicant, or household member. • The applicant does not own an operational and unaffected second vehicle. o An operational vehicle is defined as a vehicle that may need cosmetic repairs or incurred minimal damage but is in compliance with its state, territorial, or tribal government's registration and insurance requirements at the time of the disaster and can be legally driven. Vehicle Damage Levels A Destroyed Vehicle is defined as the vehicle has been declared a total loss due to disaster-caused damages(e.g., flood water covered the engine,vehicle was crushed by a fallen tree or was burned, etc.). A Repairable Vehicle is defined as the vehicle sustained disaster-caused damage which affects the drivability or safety of the vehicle(e.g.,broken windshield,window glass,mirror, or headlight assembly;minor mechanical repairs; etc.). A Vehicle with Cosmetic Damage is defined as damage that does not affect the drivability or safety of the vehicle in any way(e.g., minor dents,scratches,and other similar low levels of damage). 156 Chapter 3: Individuals and Households Program Required Documentation Generally, FEMA will verify vehicle damage during an on-site inspection and record it as repairable or destroyed. If the vehicle is not available at the time of inspection or if the applicant does not receive an on-site inspection, FEMA requests that applicants submit: • A copy of the vehicle registration valid at the time of the disaster for the damaged vehicle(s). • A list of all vehicle(s) owned(year,make, and model) and a brief description of damage for each vehicle. • Proof of liability insurance coverage or statement that insurance coverage does not exist. • For vehicle repair, a verifiable bill, receipt, or estimate from a mechanic that does the following: ifio Confirms the damage is disaster- Vehicle Repair Expenses caused Eligible repair expenses based on o Identifies repair or replacement bills,receipts,and estimates may include but costs (e.g.,parts, service, and are not limited to: labor) • Costs for labor o Includes the mechanic's contact • Service fees(e.g.,battery recharge or information wheel re-alignment) • For vehicle replacement, documentation • Repair estimates and vehicle towing from the SLTT government, towing expenses company, or other verifiable agencies to • confirm the vehicle was towed and The repair/replacement of vehicle parts salvaged due to the disaster and access when repairs for drivability and safety to the vehicle is no longer available. are required(includes paint and/or body work and carpet) • If the vehicle was towed to an accessible location and a salvage notification was not provided by a government entity, the applicant will be required to obtain and submit a statement, estimate, or bill from a mechanic. Limitations and Exclusions • FEMA will not award assistance for cosmetic damage to a vehicle. • Assistance is usually limited to one vehicle. However, in instances where any additional unaffected and operational vehicles owned by members of the household are not sufficient to meet the needs of the household, FEMA may award assistance to repair or replace a second damaged vehicle. Any additional vehicles would be required to meet all applicable conditions of eligibility, as referenced above. Additionally, the applicant must certify in writing that the damaged vehicle is essential for the household's daily usage, outline the relevant circumstances, and explain the serious need for a second vehicle. 157 Chapter 3: Individuals and Households Program 3. Moving and Storage Assistance FEMA may provide financial assistance under the ONA provision of the IHP to individuals and households to avoid additional disaster damage.141 Generally this includes storage of personal property while repairs are being made to the primary residence and returning the property to the applicant's primary residence.142 FEMA may provide assistance with eligible moving and storage expenses through the period of assistance or up to the IHP financial assistance maximum award, whichever comes first. Conditions of Eligibility In addition to meeting general conditions of eligibility(see Chapter 3, 11.), applicants must meet the following conditions in order to receive Moving and Storage Assistance: • The applicant's primary residence was rendered uninhabitable due to the disaster. • The property being moved and/or stored is considered as essential personal property and/or household goods (such as appliances and furniture). • The applicant is moving and/or storing essential household goods to prevent additional damage and returning the items to the individual's or household's primary residence. Eligible Expenses: Moving and Storage Assistance may be provided for,but is not Flood Insurance Policies limited to, all of the following expenses: Many flood insurance policies provide • Costs for commercial moving labor up to$1,000 in moving expenses. As FEMA • Moving truck rental fee is unable to duplicate assistance from other sources,applicants who have flood insurance • Fuel for the rental vehicle will have to submit documentation to show • Costs for tape and boxes they have exhausted funds allocated under their policy for moving expenses prior to being • Commercial storage unit fees considered for FEMA's Moving and Storage • Associated sales taxes Assistance. Ineligible Expenses: All of the following expenses are ineligible: • Moving and storage of recreational items (e.g., fishing gear, canoes,jet skis) • Costs incurred for the moving and storage of items as a preventative measure prior to the disaster • Expenses for essential personal property that is permanently moved out of the damaged pre-disaster residence and will not be returned to the applicant's primary residence • Optional insurance and security deposits listed on applicant's receipts,bills, or estimates 158 Chapter 3: Individuals and Households Program Required Documentation Applicants must submit: • Receipts,bills, or estimates with associated dates for the moving expenses. • Receipts or bills with associated dates for storage expenses. • Statements with all of the following: o The reason(s)moving and storage expenses were required o A description of the essential household goods being stored o Information indicating the essential household goods are being stored while repairs to the primary residence are being made o Information indicating the essential household goods will be returned to the primary residence Limitations and Exclusions • When the cause of damage is flooding and the applicant failed to maintain flood insurance as required as a condition of receiving previous Federal assistance, FEMA is unable to provide assistance for the first$1,000 of moving expenses. • The applicant may qualify for assistance in moving the essential personal property directly into a temporary housing unit to prevent further damage if they are returning the items back to the primary residence once repairs have been completed. 4. Group Flood Insurance Policy The Group Flood Insurance Policy refers to a flood insurance policy established under the NFIP regulations.'43 FEMA may pay$600 under ONA'44 for three years of flood insurance for eligible ONA recipients of assistance for flood-damaged property(personal and real) located in an SFHA on which FEMA places a flood insurance requirement. As part of the effort to reduce future expenses from floods, FEMA directly purchases GFIP certificates on behalf of applicants who are required to purchase and maintain flood insurance but who may not otherwise be able to purchase a policy. The GFIP is a policy that is established for each disaster declaration that results from flooding and authorizes the provision of IA. Conditions of Eligibility In addition to meeting general conditions of eligibility(see Chapter 3, II.), applicants must meet the following conditions in order to be considered for a GFIP certificate: 159 Chapter 3: Individuals and Households Program • FEMA verifies that damage to the applicant's property is caused by GFIP Overview flooding and the damaged items are insurable under NFIP. • GFIP certificates provide up to three years of • The applicant's damaged residence flood insurance coverage for real property and is located in an SFHA. personal property items insurable under the NFIP. • The applicant's damaged residence • The master GFIP policy term is for 36 months is not located in a sanctioned begins 60 days after the date of the community, CBRS area, or OPA. Presidential disaster declaration. However, • The applicant does not have a individual coverage becomes effective 30 days previous requirement to maintain following NFIP's receipt of the applicant's flood insurance as a condition of name and premium payment from either the receiving IHP Assistance. SLTT government or FEMA. o If a subsequent disaster • The GFIP premium counts towards the IHP financial assistance maximum award. occurs during the 30-day waiting period after • The coverage amount of the GFIP policy is purchasing a flood equal to the IHP financial assistance insurance policy from a maximum award. previous flood insurance - -- requirement, the applicant is considered compliant and eligible for IHP Assistance. • The applicant is referred to ONA. o Applicants who accept an SBA loan during the disaster in which a flood insurance requirement is set will not be considered for a FEMA-purchased GFIP certificate. o Applicants who were referred to the SBA, did not qualify for an SBA loan, and were referred back to FEMA may be considered for a FEMA-purchased GFIP certificate. • The applicant is eligible for Home Repair, Replacement, or Personal Property Assistance, prompting the requirement to maintain flood insurance on the damaged residence and initiating the GFIP. • An eligible applicant whose pre-disaster primary residence is located within an OPA and an SFHA may only be considered for a GFIP certificate if they also meet the following conditions: o A legally valid building permit for the construction of the applicant's pre-disaster primary residence was issued prior to November 16, 1991; and o The applicant's pre-disaster primary residence was built(walled and roofed)no later than November 16, 1991; and 160 Chapter 3: Individuals and Households Program o The applicant's pre-disaster primary residence was not substantially improved or substantially damaged on or after November 16, 1991. 161 Chapter 3: Individuals and Households Program Applicant Notification and Response • Pre-disaster owners included in the GFIP receive notification from FEMA stating they have been included in the policy as well as a"Certificate of Flood Insurance;"applicants do not receive a copy of the actual policy. Applicants do not have the ability to decline the GFIP. • Pre-disaster renters will only receive a GFIP certificate if they notify FEMA within six months of receiving a GFIP notification letter that they have moved back or intend to move back to their pre-disaster residence. o GFIP certificates are not transferable to a new renter of a rental unit and are not transferable to a new rental address. • FEMA gives applicants a 60-day notice of policy expiration and a final notice of termination of coverage. When the GFIP expires, the applicant is responsible for purchasing and maintaining flood insurance on their own. Failure to maintain flood insurance will affect applicant eligibility for future disaster assistance. Limitations and Exclusions • If the cost of a GFIP policy exceeds the remaining amount of IHP Assistance available to the applicant, then FEMA will not purchase a policy. The applicant will still be responsible for purchasing a policy on their own. • Applicants who own or rent travel trailers on non-permanent foundations are not eligible for GFIP.145 • Applicants whose pre-disaster primary residence is located within an OPA and SFHA must submit the following documentation in order to receive consideration for a GFIP certificate: o A legally valid building permit for the construction of the applicant's pre-disaster primary residence issued prior to November 16, 1991; or if the building permit was lost or destroyed, a written statement to this effect signed by the community official responsible for the building permits demonstrating the construction of the applicant's pre-disaster primary residence permitted prior to November 16, 1991. o A written statement by a responsible community official that: • The applicant's pre-disaster primary residence was built(walled and roofed)no later than November 16, 1991; and • The building was not substantially improved or substantially damaged on or after November 16, 1991. 162 Chapter 3: Individuals and Households Program o Additional forms of documentation to demonstrate a pre-disaster residence's eligibility for NFIP coverage may include: • First mortgage financing records; • Property tax records; • Electrical permit records; • On-site septic or sewer system records; • State Coastal Zone Management Agency Records; • State Wetlands Program Permit Records. 163 Chapter 3: Individuals and Households Program VII. Recovery of Program Funds Federal agencies are required to take action to identify and recover improper payments, Eligibility of Applicant with Debt whether made in error or obtained by fraud, An per the following Federal laws: applicant who has a debt from a current or previous disaster may be eligible for • Debt Collection Improvement Act of full IHP Assistance in a subsequent Presidential 1996 (DCIA) disaster declaration, except in some cases where the debt is a result of an applicant obtaining • Improper Payments and Information assistance through fraudulent means. Act of 2002 (IPIA) • Improper Payments Elimination and Recovery Act of 2010 (IPERA) • Improper Payments Elimination and Recovery Improvement Act of 2012 (IPERIA) In addition, the applicant must agree to return funds to FEMA when the assistance provided by FEMA duplicates assistance from another source,146 was provided in error,was spent on expenses inappropriately, or was obtained through fraudulent means. After every disaster, FEMA is required to review disaster assistance payments to ensure taxpayer dollars were properly spent. Those reviews often show a small percentage of specific cases where disaster assistance was given to applicants who were not eligible for some or all of the money they received. FEMA collects these overpayments through a process called "recoupment." FEMA employs a deliberative process to identify and verify payments that must be recouped and established as debts. This process involves multiple levels of FEMA staff and management review and validation before a debt is established. When FEMA determines assistance was given to applicants who were Fraud not eligible for some or all of the money Fraud is the intentional deception, received, FEMA IA program staff notifies concealment, or use of documents intended to the applicant in writing of their potential mislead FEMA in order to wrongfully obtain debt and their right to appeal the decision. IHP Assistance an applicant is not eligible to receive. FEMA staff are required to report After the applicant exhausts their appeal suspected fraud to the Department of Homeland rights or the period to appeal the debt Security(DHS)Office of Inspector General expires, a debt is officially established. The (OIG).The OIG investigates potential fraud FEMA Finance Center(FFC)will send a cases and,when appropriate,refers them to the letter to the applicant to provide information Department of Justice(DOJ)for appropriate on repayment options. legal action.FEMA may not establish or collect debts related to fraud unless the OIG or DOJ FEMA considers expenses associated with declines to pursue legal action and instructs the time and resources required to prepare FEMA to proceed. and follow up on a potential debt to 164 Chapter 3: Individuals and Households Program determine if the costs of recovering the potential debt will exceed the amount Significant Enforcement Principle owed. FEMA will not initiate recoupment FEMA will consider initiating collection of activity for any potential debt valued less a potential debt,regardless of debt value,when it than$250.00 unless a significant is necessary to aggressively pursue recoupment of enforcement principle is at stake. any assistance obtained through fraudulent means. Figure 30: FEMA Deliberative Process for Identifying and Validating Debt Payments Steps Process Identifying Potential FEMA staff review cases to identify potential debts and submit the case Debt for additional review and validation. Each case is assigned to another FEMA staff member who reviews to ensure the decision to request an applicant return funds to FEMA is Verifying Debt absolutely necessary.All reasonable efforts are made to identify assistance the applicant was eligible to receive and does not need to be returned. FEMA may contact applicants at this stage to give them an opportunity to provide additional documentation to resolve the issue. Multiple FEMA managers are required to review each case and concur on the type and amount of assistance that must be returned.FEMA managers also review the case to ensure all appropriate steps to resolve the issue Potential Debt were taken.When FEMA managers determine the assistance must be Notification and Appeal returned,a written notice is sent to the applicant notifying them of their potential debt,the reason the applicant is not eligible for the assistance provided,and information regarding how they may appeal and/or request an oral hearing. If an applicant does not appeal the decision or their appeal is not granted, Establishing Debt the debt becomes final and is forwarded to the FFC to continue debt collection activities. Debt Compromise, Once a debt has been established,applicants may work with the FFC to Suspension,and make payment arrangements.In limited circumstances,the FFC may Termination suspend or terminate debt collection. If the applicant has not repaid the debt or has entered into a repayment Transfer of Debt to plan within 120 days of FFC's letter,FEMA refers the debt to Treasury for Treasury collection. Significant additional costs will be incurred as a result of referral to Treasury. 165 Chapter 3: Individuals and Households Program A. Reasons for Recovery of Funds FEMA requests the return of IHP Assistance for the following reasons: • DOB,147 which occurs when FEMA provides funds that were also previously received or available from another source, such as insurance or another Federal agency. A DOB may also occur when multiple applicants in a household receive an award for the same item or type of assistance. • Assistance provided in error, which occurs when FEMA determines assistance was provided to the applicant for which they are not eligible, including exceeding the IHP maximum award. • Misuse of funds, which occurs when FEMA determines the applicant spent the funds inappropriately(e.g.,using assistance to pay off credit card debt). • Fraud, which occurs when FEMA determines the applicant obtained the assistance through false means (e.g., false address, submitting false or altered documents, misrepresenting insurance coverage, etc.). B. Identifying and Verifying Potential Debts FEMA may identify a case where an applicant may need to return funds as a result of routine internal reviews, information provided by the applicant, reports from other agencies, or audits conducted by the Government Accountability Office(GAO), Fraud and Internal Investigations Division(FIID), or OIG. When FEMA identifies that funds may need to be returned, at least two FEMA employees review the applicant's case to determine if an error or improper payment has been made. Each FEMA employee compares the assistance provided to the amount the applicant was eligible for during the review process. When the case reviews indicate an error was made, FEMA will, whenever possible, attempt to obtain additional information that may demonstrate that the funds do not need to be repaid by contacting the applicant, contractors, landlords, insurance companies, or other third parties. After the additional information has been obtained, FEMA employees '� may determine that the funds were properly awarded and close the review. When the review confirms that an error or improper payment has been made,the case is provided to a senior manager within the IHP program office at FEMA .4 FEMA staff member explains Headquarters for a final review. disaster assistance programs to an applicant at a Disaster Recovery Center(DRC)in Washington. 166 Chapter 3: Individuals and Households Program C. Notice of Potential Debt and Appeal Process Once FEMA has determined that the applicant was awarded more assistance than they were eligible for, FEMA IA staff will send the applicant a written"Notice of Potential Debt" identifying all of the following: • The amount of assistance the applicant received for which FEMA has determined the applicant is ineligible • The reason(s)the applicant is not eligible for the assistance provided • The process for appealing the decision, including the process for requesting an oral hearing • The documentation required to dispute the ineligibility determination • The notice that a final determination will be provided to the applicant informing them whether a debt is owed Applicants who disagree with the potential debt amount or reason may submit a written appeal or request for an oral hearing within 60 days of the date on the FEMA potential debt notification letter(for more information about appeals, (see Chapter 3, II.). When an applicant submits an appeal, FEMA will evaluate their case, including any new information submitted, to determine whether the potential debt stands in whole or in part. 1. Oral Hearings Applicants may request an oral hearing as part of their written appeal. FEMA will only grant oral hearings in limited cases, when there is an issue of identity theft, credibility, or truthfulness, and the case cannot be decided solely on the review of documents. The Alternate Dispute Resolution Division within FEMA's Office of Chief Counsel conducts the hearing. If the Oral Hearing Officer decides not to grant an oral hearing,that decision is final and cannot be appealed. The Oral Hearing Officer reviews all of the information regarding the case before the hearing. If the case was previously investigated for potential fraud,the Oral Hearing Officer's review will include reports and information gathered during the investigation. During oral hearings, applicants are permitted to present information and witness statements to support their claim(s), and FEMA staff represent the Agency's position. If a potential fraud investigation is conducted, a representative from the Fraud Investigation and Prevention Branch will present information about the investigation and report during the oral hearing. Oral hearing decisions are considered final agency determinations that cannot be appealed, and a decision letter drafted by the Oral Hearing Officer is mailed to the applicant. 2. FEMA Appeal Determination FEMA evaluates an applicant's case and their appeal and makes a final written decision within 90 days after receiving the appeal, or 45 days after concluding the oral hearing. 167 Chapter 3: Individuals and Households Program • Based on a review of the applicant's appeal, FEMA may grant an appeal challenging the reason for the potential debt or the amount of the potential debt. o When FEMA grants an appeal for the reason for the potential debt, FEMA will terminate the debt and return any money the applicant paid to FEMA. o When FEMA grants an appeal for any amount of the potential debt, FEMA will adjust the amount of the debt based on the appeal decision when: • An applicant already paid the debt. FEMA will return any money to the applicant that was in excess of the final debt amount based on the appeal. • The final debt amount based on the appeal was more than the amount the applicant already paid. FEMA will continue to collect any remaining portion of the reduced debt. • The applicant has not made any payments to FEMA for the debt. FEMA will continue debt collection activities. • Based on a review of the applicant's appeal, FEMA may deny an appeal challenging the reason or amount for the potential debt. If FEMA denies the appeal, FEMA's decision is considered a final agency determination and may not be appealed again. FEMA establishes the debt amount after the appeal period expires and all decisions are rendered on any appeals received, and forwards the debt to the FFC for continued debt collection activities. As part of the debt collection activities, the FFC will provide each applicant the opportunity to make payment arrangements. D. Debt Compromise, Suspension,or Termination Once a debt has been established,the FFC sends a written"Notice and Demand Letter" (NDL)to the applicant that informs them of the debt,the interest and penalties that will start to accrue on the debt if it is not paid, and their right to make payment arrangements. Through this process, the FFC also has the ability to compromise, suspend, or terminate debt collection in certain circumstances. 1. Debt Compromise The NDL states the applicant may request payment arrangements, and the FFC reviews any requests. If additional information is needed to determine payment arrangements, the FFC will request the information from the applicant. If the FFC determines that the debtor does not have the ability to Compromise pay, it may compromise the debt, in full or in part. If Compromise means an the applicant's financial situation does not warrant a agreement to accept less than the full compromise of the debt, or is otherwise not qualified amount owed to satisfy the debt. due to a substantiated finding of fraud,the FFC will notify the applicant. 168 Chapter 3: Individuals and Households Program 2. Debt Suspension FEMA may suspend debt collection activities at any time during the collection process for various reasons, to include: the debt is uncollectible due to the applicant's current financial inability to pay but the applicant has the future potential to reinstate payments; FEMA has been made aware that the applicant is now deceased; and/or FEMA suspects fraud at any time during the collection process. Once additional information is gathered,FEMA may resume collection of a deceased applicant's debt if one of the following applies: • There is a living co-applicant who registered with FEMA. • The deceased applicant's estate contains sufficient assets to cover some portion of the established debt. FEMA does not initiate debt collection on cases of fraud until they have been investigated by the FIID and/or OIG, and the DOJ has declined to pursue legal action. If fraud is suspected during any part of the debt collection process, the case is referred to the FIID and/or OIG and FEMA will not resume debt collection activities until the case has been investigated by the OIG and the DOJ has declined to pursue legal action. 3. Debt Termination FEMA may terminate debt collection efforts when: • FEMA is unable to collect any substantial amount through its own efforts or through the efforts of others. • FEMA is unable to locate the debtor. • The debt is legally without merit or enforcement of the debt is barred by any applicable statute of limitations. • The debt has been discharged in bankruptcy. • Costs of collection are anticipated to exceed the amount recoverable. • The applicant is deceased and no assets remain in the estate sufficient to cover some portion of the established debt. • A debt is returned by Treasury to FEMA as uncollectable. E. Transfer of Debt to Treasury The FFC refers the unpaid debt to Treasury for collection if a debt is not paid in full,the debt is not being paid on schedule when there is an established payment plan, or the debt was not compromised, suspended, or terminated. Delinquent debts may be referred to Treasury as early as 61 days after FFC notifies the applicant of delinquency,but no later than 120 days after FFC 169 Chapter 3: Individuals and Households Program notifies the applicant. In addition, documents which substantiate the debt are provided to Treasury at the time of referral. When the debt is referred to Treasury, interest and penalties continue to accrue on the unpaid debt, and Treasury may add substantial additional fees and administrative charges to the debt. Once a debt has been referred to Treasury for collection, FEMA will not recall the debt unless the applicant is able to prove the notices were sent to an outdated address. During the debt collection process, Treasury will offset any eligible Federal payments by the debt amount. Treasury is not required to notify the debtor prior to the offset. Federal payments eligible for offset include: income tax refunds; Federal/state salary pay, including military pay; Federal/state retirement, including military retirement pay; contractor vendor payments; and certain Federal benefit payments.'48 Treasury provides FEMA all applicant requests for disputes, Proof of Debt(POD), and/or Administrative Wage Garnishment(AWG) hearings. FEMA works with Treasury and processes every hearing request in which new information is provided or a new issue is raised that was not previously addressed in a hearing. When Treasury submits an AWG hearing to FEMA, any debt related to the case is administratively suspended while awaiting the decision(i.e., collections cease); however, during POD and dispute reviews, the debts are not suspended and collections continue unless the FFC specifically recalls the debt. F. Statute of Limitations While there is no statute of limitations on initiating recoupment of IHP debt owed to the U.S. Government through administrative means, FEMA's goal is to notify applicants of any potential debt owed within three years after the date of the final IHP Assistance payment. FEMA's failure to meet this goal will not preclude it from initiating recoupment of potential debt when otherwise appropriate. In general, FEMA will notify applicants of any potential debt owed within three years after the date of the final IHP Assistance payment in cases where funds are being recovered due to potential DOB, erroneous payment, or misuse of funds. FEMA may notify applicants of any potential debt beyond three years after the date of the final IHP Assistance payment in cases where it considers recovery of funds to be in the best interest of the Federal government. FEMA shall notify applicants of potential debt regardless of when the suspected fraud is discovered in all cases involving suspected fraud. 170 Chapter 3: Individuals and Households Program This page is intentionally blank. 171 Chapter 4: Disaster Case Management Chapter 4: Disaster Case Management I. Overview Disaster case management(DCM) is a time-limited process that involves a partnership between a disaster case manager and a disaster survivor(also known as a"client")to develop and carry out an individual disaster recovery plan. This partnership provides the client with a single point of contact to Disaster Caused Unmet Need I facilitate access to a broad range of available U. resources. The goal of the DCM program is to assist Any un resourced item, support, individuals and families through the recovery process or assistance that has been assessed and with finding resources to meet their disaster caused verified as necessary for a survivor to unmet needs. recover from disaster.This may include food,clothing,shelter, first aid, FEMA may provide DCM services or financial emotional and spiritual care,household assistance to state,territorial, tribal, or local (SLTT) items, home repair,or rebuilding. government agencies, or qualified private organizations (collectively, non-Federal entities),to identify and address disaster caused unmet needs following a major disaster declaration.149 FEMA's DCM is intended to augment,not to replace, existing case management capabilities in the impacted area. Following a major disaster declaration, the non-Federal entity must submit an application to FEMA for review and be approved for Federal assistance. There is no no-Federal cost share. A. Overview of Services to Survivors Services are provided at no cost and are available to any survivor that has been impacted by the disaster,regardless of eligibility for FEMA IHP or other Federal assistance. The DCM process is described in Figure 31. Qualified Private Organization A qualified private organization is defined as any non-governmental agency or entity that currently has an effective ruling letter from the U.S. Internal Revenue Service,granting tax exemption under Sections 501(c)of Internal Revenue Code of 1954, or satisfactory evidence from the State that the nonrevenue producing organization or entity is a nonprofit one organized or doing business under state law and that has experience providing case management services. 172 Chapter 4: Disaster Case Management Figure 31: DCM Process Service Definition Individuals and families whose primary residence or place of employment was Define Eligible in the impacted area and have a verifiable disaster-caused unmet need that has Clients not been met through other assistance. Clients do not have to be registered with FEMA to receive Federal Disaster Case Management assistance. In coordination with the Joint Field Office(JFO),other Federal partners,non- Client Outreach federal entities,local and community leaders,providers will perform outreach to connect with clients who could benefit from Federal Disaster Case Management services. The primary purpose of triage is to assign a priority level to a case based on Triage Needs the client's severity of need and ability to recover.It requires regular reassessment,particularly as the client transitions into long-term disaster case management. As clients are identified through outreach,the disaster case manager will conduct a screening, gathering necessary information such as pre-and post- disaster contact information,the number of impacted individuals in the Screen and Assess household,whether the client rented or owned their pre-disaster residence,and copies of documents needed to verify clients residence or employment in the declared area. Case Managers may also use available FEMA registrant data to inform this step and avoid asking survivors for duplicate information. Based on clients' identified needs,the disaster case manager will provide Information and information and referral to short term,immediate available resources and work Referral(I&R) with the survivor to develop an individually tailored disaster recovery plan that includes next steps and goals.A survivor may not require full DCM services, but may have immediate needs that can be resolved through I&R. The disaster case manager and the client will develop a preliminary recovery Development of plan based on the client's identified unmet needs.The plan may be revised as Recovery Plan necessary.During the assessment process,the disaster case manager seeks to establish a baseline of pre-disaster functioning. Advocacy and Both the disaster case manager and the client are responsible for advocating Referral for the services needed to move toward recovery. The disaster case manager will provide referrals to available resources to help meet the client's needs. A disaster case manager will monitor a client's progress toward achieving Monitor Recovery goals defined in their disaster recovery plan by providing regular client contact Plan and case file reviews that may result in adjustments to the client's disaster plan. B. Program Types FEMA's DCM is comprised of two programs, Immediate Disaster Case Management(IDCM) and the Disaster Case Management(DCM)program. IDCM is not a prerequisite for DCM, nor is DCM required if IDCM has been approved. Both programs require a Presidential major disaster declaration. 173 Chapter 4: Disaster Case Management 1. Immediate Disaster Case Management IDCM provides short-term, limited services to address immediate disaster caused unmet needs and make referrals for disaster survivors. IDCM may have a period of performance not to exceed 180 days, at which time cases will be transferred to the longer-term DCM program to local social service organizations. Under extraordinary circumstances, extensions may be considered. The size of the impacted population and the scope of the disaster, as well as the ability of local resources to adequately meet the immediate disaster-caused unmet needs of survivors,may be factors in determining whether or not IDCM is required. 2. Disaster Case Management Program The DCM program is a FEMA-funded supplemental program that generally provides financial assistance to SLTT government agencies, or qualified private organizations,through a Federal award. This program may be implemented through a grant or a cooperative agreement. FEMA shall make the determination of which funding instrument to use in administering the award. Typically, a grant agreement is used when no substantive involvement by FEMA is anticipated. If substantial FEMA involvement is anticipated, a cooperative agreement may be utilized. The DCM Federal award,when approved, enables non-Federal entities to provide services or contract with local providers familiar with disaster case management and the impacted communities. C. Waivers to Existing Program Policy Any waivers to this policy guidance must be submitted in writing,with justification,to the FEMA IA Division Director(IADD) for consideration and a determination. D. Authorities FEMA is authorized to provide case management services, including financial assistance,to SLTT governments or qualified private organizations to provide such services to survivors of major disasters to identify and address disaster caused unmet needs under Section 426 of the Stafford Act. Regulations within the Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards found in 2 C.F.R. Part 200 are applicable to all DCM Federal awards implemented as grants or cooperative agreements. 174 Chapter 4: Disaster Case Management H. Immediate Disaster Case Management IDCM provides short-term, limited services to address immediate disaster caused unmet needs and make referrals for disaster survivors. IDCM may have a period of performance of 90-180 days, at which time cases will be transferred to the longer-term DCM program to local social service organizations. The size of the impacted population and the scope of the disaster, as well as the ability of local resources to adequately meet the immediate disaster-caused unmet needs of survivors, may be factors in determining whether or not to request IDCM services. IDCM is not a prerequisite of the DCM program. An SLTT or qualified non-Federal entity may apply for DCM even if no IDCM is implemented. IDCM staff provide the same case management services as the DCM Federal award,but are generally focused on the early steps in the DCM process— outreach, triage, information and referral, and development of an individual recovery plan. The goal of IDCM is to address the immediate unmet needs of disaster survivors and prepare their cases to be transferred to long-term case management services if additional support is needed. IDCM is not a Federal award. It is implemented, administered, and overseen by FEMA, in coordination with the state, territory, and tribe. IDCM may be implemented through: • a mission assignment to other Federal agencies to provide case management services • invitational travel to support travel for voluntary agency personnel experienced in case management • an interagency agreement with national level partners experienced in case management • direct hiring of case managers to work with FEMA personnel • an existing FEMA contract with an experienced case management entity FEMA will assess the alternatives, in coordination with the impacted state, territory, or tribe and determine the best approach to implementing IDCM based on the needs of the impacted community. A. IDCM Period of Assistance Implementation of IDCM typically begins with 14-30 days of the declaration date. The period of assistance for IDCM will not exceed 180 days. In extraordinary circumstances, such as catastrophic events,the program may be extended by the Federal Coordinating Officer(FCO). B. Transition to Non-Federal Entity DCM Federal Award Program At the conclusion of IDCM, cases will be transitioned either to a DCM program or, if the non- Federal entity elects not to apply for a DCM Federal award or is not approved,to local providers (i.e. SLTT government agencies,non-profits, etc.). Planning for the transition,particularly of survivor data should begin early to ensure smooth and efficient transition of information and to streamline the access to services for survivors. Transition from IDCM will require collaboration between the non-Federal entity or local provider, FEMA, and IDCM program or technical staff to identify the most effective approach to transfer files, including a process both for information sharing and the actual transfer of cases. 175 Chapter 4: Disaster Case Management The timing of actual transition may be fluid due to the non-Federal entity DCM program Federal award application and award process. The transition plan must include an ability to securely transfer hard copy and electronic case files to the DCM program or local service providers, as directed by the non-Federal entity. Service providers shall not disclose applicant contact information to other parties outside of FEMA in accordance with the Privacy Act of 1974. C. Federal and Congressional Review Process Under the Department of Homeland Security Appropriations Act(P.L. 115-141), SEC. 507 FEMA is required to provide 72 hours advance congressional notification when awarding a grant or contract in excess of$1,000,000. Notification is routed to the Congressional Appropriations Committee for advanced notification review, after review and clearance by DHS and OMB. This process may add multiple weeks to the timeline before obligating the Federal award. 176 Chapter 4: Disaster Case Management III. Disaster Case Management Program The DCM program is a FEMA-funded supplemental program that provides financial assistance to SLTT government agencies, or qualified private organizations, through a Federal award. This program may be implemented through a grant or a cooperative agreement. The DCM Federal award, when approved, enables non-Federal entities (also known in this context as recipients) to provide services or contract with local providers familiar with disaster case management and the impacted communities. A. Period of Assistance DCM Federal Award Toolkit DCM Federal awards may be awarded for a period of performance up to 24 months FEMA has developed an online toolkit from the date of declaration. If necessitated containing required documents and tools to and justified,the recipient may submit a complement this guidance and assist request in writing to the appropriate stakeholders in preparing, assessing, applying, FEMA Regional Administrator(RA) for a implementing, managing, and closing a DCM 90-day extension to the period of Federal award program. FEMA updates the performance. These written requests must toolkit regularly to incorporate best practices be submitted no later than 90 days prior to and lessons learned,thus,non-Federal entities the end of the period of performance. should refer to the most current documents in Extension requests will be evaluated based the DCM Toolkit prior to applying for a Federal on the progress made during the initial award. period of performance and the justification of ongoing need. In some instances, due to the exigency of the need in the impacted area and in order to expedite award of the funding,the non-Federal entity may apply for and FEMA may approve an initial award with a shorter period of performance, less than 24 months. In these instances, the recipient will have the option to request, in writing, an extension to the period of performance up to the full 24-month period of performance. Extension requests will be evaluated based on the progress made during the initial period of performance and the justification of ongoing need. B. General Conditions of Eligibility for a DCM Federal award All of the following conditions must be met for a non-Federal entity to be considered by FEMA for a DCM Federal award: • The President must declare a major disaster. • The need for disaster case management services must be beyond the capabilities of the SLTT government to provide due to the severity and magnitude of the disaster. 177 Chapter 4: Disaster Case Management • The non-Federal entity must submit a complete DCM Federal award package (see Chapter 4, III.D.)within 90 days of the date of declaration of the Presidentially-declared major disaster. • The DCM Federal award packet must be signed by the Governor or Governor's Authorized Representative (GAR); the Tribal Chief Executive; or the non-Federal entity must be authorized to directly receive the award in the FEMA-State/Territory/Tribal Government Agreement. C. DCM Award Roles and Responsibilities 1. FEMA As the Federal awarding agency, FEMA's primary responsibility is to ensure the DCM program is implemented in accordance with this guidance,the Federal award articles of agreement,the requirements of the financial award as noted in the NOA, and 2 C.F.R. Part 200. FEMA provides quality assurance and monitors the non-Federal entity in meeting Federal award requirements, use of the Federal award funding, and meeting the audit requirements of the program. FEMA will maintain a toolkit accessible by the non-Federal entity; this toolkit will include application information, forms,templates, and job aids for preparation, application, and implementation of the program. FEMA will also provide two Federal officers to support the non-Federal entity in overseeing the Federal award, the Grants Management Officer(GMO) and the Program Officer (PO). The GMO is primarily responsible for receiving and acting on requests for prior approval or for changes in the terms and conditions of the award as well as for monitoring the drawdown of funding to ensure it is consistent with allowable and unallowable cost. The GMO is the primary point of contact for receiving and processing non-Federal entity requests for changes to the terms and conditions of the award. The PO provides regular technical assistance and programmatic coordination with the non-Federal entity. Figure 32 details the GMO and PO responsibilities associated with the Federal award. Figure 32: Fiscal and Program Officer Responsibilities Grants Management Officer Program Officer • Evaluating Federal award applications for administrative content and compliance with statutes, regulations, and guidelines. • Making site visits to monitor the progress of the Federal award. • Negotiating awards. • Providing programmatic technical assistance. • Providing consultation and technical assistance • Determine the frequency of conference calls, to applicants and recipients,including site visits,and programmatic performance interpretation of grants administration policies reports within federal guidelines. and provisions. • Monitoring performance of the program, • Administering and closing out Federal awards. including reviewing progress reports. 178 Chapter 4: Disaster Case Management 2. Non-Federal Entity The non-Federal entity is responsible for assessing the DCM needs, applying, and overseeing the DCM award in accordance with all applicable Federal award requirements, state regulations, and this guidance. In addition,they are responsible for: • Formulating the program,budget, and project design in a manner that meets minimum reporting and monitoring requirements, as well as the Federal award agreement; • Maintaining clear control of program operations and ensure response to emergent issues in a timely manner; • Reporting aggregate data on program activities to FEMA, and with FEMA's prior approval, to determine how personally identifiable information(PII) will be shared with service providers following The Privacy Act of 1974, 5 U.S.C. § 552a; • Standardizing services among DCM service providers with overall quality assurance, including budget requirements, staffing,program planning,reporting,training, and technology for tracking and resource sharing; and • Developing a plan that outlines their collaborative process with SLTT voluntary organizations, including, if applicable Voluntary Organizations Active in Disasters (VOAD), as well as the Emergency Management agency, and Long-Term Recovery Groups. D. Pre-Award Requirements for DCM 1. DCM Needs Assessment The DCM needs assessment is the responsibility of the non-Federal entity and Tailoring the Program to the should be submitted with the DCM Federal Population award application. The assessment evaluates When assessing the needs of the the current capacity to provide disaster case affected population,it is important to consider management services and identifies the the proportion and effect on vulnerable specific populations that will be served by the populations,including the elderly,people with disabilities and others with access and supplemental program. A capacity survey to functional needs, children,and those with low support the non-Federal entity in this step is English proficiency.The program may be available in the DCM toolkit. Information tailored to meet the needs of the specific from this survey and any additional community. For instance, if a high proportion information regarding needs of the impacted of children were impacted,adding a children's community should be included in the overall coordinator in your staffing plan may be justification when applying for DCM. beneficial. 2. DCM Award Application After a Presidential disaster declaration, a non-Federal entity may apply for a DCM Federal award. The DCM application package must be submitted to FEMA within 90 days from the date of the disaster declaration. In extraordinary circumstances, such as catastrophic events, the non- 179 Chapter 4: Disaster Case Management Federal entity may apply for an extension to this deadline in writing to the applicable FEMA RA; this request must document the extraordinary circumstances and what the additional time will allow them to accomplish. The non-Federal entity must submit this request within 60 days of disaster declaration. Extension requests not submitted within this timeframe will not be considered. Shortened DCM Awards The non-Federal entity may apply for, and FEMA may approve, an initial award with a shorter period of performance less than 24 months. This shortened application may be submitted at any point prior to the DCM deadline. If approved, the non-Federal entity may request an extension up to the total 24 months consistent with extension requirements. Application Process and Delegation of Authority DCM Federal awards are generally applied for by a state, territorial, or tribal agency. However, the state, territory, or tribe may request that a Federal award go directly to a local government agency or a qualified private organization. This request should be made in writing, signed by the Governor or GAR or Tribal Chief Executive, and submitted with the application. Cover letters for the DCM Federal award application packet should be addressed to the applicable FEMA RA. Applications for DCM will be reviewed and approved or denied by the FEMA RAs. Note that the Disaster Recovery Manager(DRM)authority does not carry the delegation of the DCM determination(delegation of authority is separate from the delegation of DRM authority). To delegate the authority to make a determination of the DCM Federal award, the FEMA RA must specify in writing that they are specifically delegating the determination for this program. Approval or Denial of Application The RA may approve or deny the Disaster Case Management program award. The program may be approved if: • A complete application is received no later than 90 days from the date of declaration; and • There is a need for the program clearly articulated in the application. If approved,the RA will send a signed approval memo with reason for approving to the FCO and Regional Grants Management Division(GMD)Director for processing of the Federal financial award, as a grant or cooperative agreement. The RA or their designee will issue the Notice of Award to the non-Federal entity receiving the award. The program may be denied if: • A complete application is not received within 90 days from the date of declaration; or • The application lacks sufficient information to justify the need for the program. If denied, the RA must submit a written denial with justification to the non-Federal entity. 180 Chapter 4: Disaster Case Management Required Information A complete DCM Federal award application must include the following information and documentation to be considered for an award: Figure 33: DCM Application Required Information and Documents • The geographical areas within the designated disaster area for which services will be provided; • An estimate of the number of disaster survivors requiring assistance; • A description of the STTL resources and capabilities,and an explanation of why these resources cannot meet the need; Information • A description of activities from the date of the disaster incident to the date of application; • A plan of services to be provided to meet the identified needs; and • A detailed budget,showing the cost of proposed services separately from the cost of reimbursement for any eligible services provided prior to the application. A Federal form that OMB requires for Federal award applications.All Request for Federal entities that apply for DCM funds must submit a completed SF-424 signed Assistance(SF-424) by the Governor or Governor's Authorized Representative, or equivalent authorized representative for the tribe. Budget Information for Non-Construction A Federal form OMB requires for Federal award applications. Programs (SF-424A) Assurances for Non- A Governor,or Governor's Authorized Representative signature is Construction Programs required. (SF-424B) q The budget narrative should include a detailed justification for all cost Budget Narrative categories requested in the SF-424A. Refer to the DCM toolkit for additional instructions on completing the Budget Narrative. Lobbying,Drug-Free Workplace,and Disbarment and Suspension and Other Responsibility Matters must be on file with FEMA. The state, Assurances territorial, or tribal government must acknowledge that the forms are in compliance with the state and/or tribal/FEMA agreement and the most current Department of Homeland Security (DHS)Standard Terms and Conditions. 3. Budget The DCM budget narrative must justify the proposed budget for the non-Federal entity, sub- recipients of a Federal award, and each individual service provider. The narrative must provide a justification of the costs and an itemization for each line of the budget. When filling out the DCM award application, applicants must adhere to the following budget limitations: 181 Chapter 4: Disaster Case Management Allowable and Unallowable Costs • Pre-Award Costs—Pre-award costs are those which are incurred prior to the start date of the period of performance (2 C.F.R. § 200.209). The period of performance for an approved DCM Federal award typically starts on the date of the disaster declaration. Costs accrued prior to the disaster declaration are not allowable. If exigent circumstances occur and the period of performance starts later than the declaration date and prior to the notice of award, such costs may be allowable only to the extent that they would have been allowable if incurred after the date of the Federal award and only with written approval of the FEMA Regional Administrator.150 • Indirect Costs—Unallowable: FEMA does not authorize the use of funds for indirect costs. Indirect costs, including management costs, are defined as costs not directly chargeable to a specific project. Please note that even if an indirect cost rate is established, it is subject to statutory and administrative limitations. A DCM award recipient or provider is not entitled to an established rate for services provided under the DCM award. The program's statutes, regulations, and policy govern whether any indirect costs are eligible. Section 324 of the Stafford Act requires FEMA to establish management cost rates through regulations. At this time, FEMA does not have regulations that govern the eligibility of indirect costs for the DCM. • Salaries and Wages: Salary compensation must be reasonable in amount and in alignment with local prevailing rates for the position funded. • Fringe Benefits: Fringe benefits may be charged directly to the Federal award. Claimed costs must be reasonable and conform to established policies for the state,territory, or tribe. Use of a pre-established provisional rate requires allocation to total salary costs. Rates must be adjusted to actuals at the year-end and rates and should be reviewed at least once annually. • Equipment: The non-Federal entity obtains title to equipment acquired under the DCM award and is subject to the conditions outlined in 2 C.F.R. § 200.313, including these requirements: o To use the equipment for the authorized purposes of the project until funding for the project ceases, or until the property is no longer needed for the purposes of the project; o To not encumber the property without approval of FEMA; o To use and dispose of the property in accordance with guidelines for states and non-states as set forth in 2 C.F.R. § 200.313; and o To use in a manner consistent with the purposes of the award and to benefit the beneficiaries of the project. • Supplies: FEMA retains an interest in any unused supplies exceeding $5,000 in total aggregate value upon termination or completion of the award if they are not needed for any other Federal award. The state,territory or tribe must compensate FEMA for its share 182 Chapter 4: Disaster Case Management of the supplies in compliance with 2 C.F.R. § 200.313 and § 200.314. As long as FEMA retains an interest in supplies,the state,territory or tribe must not use the supplies to provide services to other organizations for a fee that is less than private companies charge for equivalent services. • Travel: Travel must be included in the budget for preapproval as part of the application process. During implementation, travel costs must be supported by travel expense reports detailing employee name, the reason for the trip, and itemized expenses claimed. Claimed costs should be charged according to the award recipient's travel policy, which requires prior approval from FEMA and must comply with OMB cost principles and provide expenditure limitations. Major items of expense (e.g., airfare, lodging)must be supported by receipts. • Other: The budget may identify costs that are unique to the disaster and area impacted but do not fall into one of the prescribed cost categories listed above. Costs must be supported by adequate documentation(invoices,receipts, etc.). Consult with the FEMA Grants and Program Officer to determine which costs are allowable under this cost category and to confirm what items may require prior approval. • Contractual Costs: The non-Federal entity must follow its established policies and procedures used for procurements from non-Federal funds when procuring property and services under a Federal award; if no established policy exists, the non-Federal entity must follow the requirements in 2 C.F.R. § 200.318, General procurement standards, through § 200.326, Contract provisions. All states, territories or tribes should review the procurement standards outlined in 2 C.F.R. § 200.317 through § 200.326. Please refer to Appendix E for more information on allowable and unallowable costs. 4. Federal and Congressional Review Process Once submitted,the non-Federal entity's DCM application will go through a review by FEMA Joint Field Office (JFO), FEMA Region, and FEMA HQ staff for completeness, cost- effectiveness, and feasibility of the non-Federal entity's DCM application. The FEMA RA will issue a determination. Under the Department of Homeland Security Appropriations Act(P.L. 115-141), SEC. 507 FEMA is required to provide 72 hours advance congressional notification when awarding a grant or contract in excess of$1,000,000. Notification is routed to the Congressional Appropriations Committee for advanced notification review, after review and clearance by DHS and OMB. This process may add multiple weeks to the timeline before FEMA may issue the Notice of the Federal award to the non-Federal entity. 183 Chapter 4: Disaster Case Management E. Notice of Award (NOA) The NOA is the official Federal award document notifying the recipient and others that an award has been made. The NOA contains all terms and conditions of the Federal award and provides the support documentation for recording the obligation of Federal funds in the non-Federal entity's accounting system. Critical information included in the NOA: • The start and end dates for the period of performance • The Award amount • Name of FEMA grants officer • Name of FEMA program officer • Reporting requirements FEMA will schedule a post-award call with the non-Federal entity to review the NOA, Conditions of Award, program expectations, reporting requirements, the funding process, and the monitoring schedule. 1. Conditions of Award The Regional Grants Management Division will generate a NOA letter that details all conditions the non-Federal entity must satisfy within the timeframe designated in the letter. The non-Federal entity is responsible for the accounting and expenditures, cash management, maintenance of financial records, and refunding expenditures disallowed by audits. The award recipient must establish a Payment Management System(PMS) account prior to allocation and obligation of funds to transfer funds from FEMA to the non-Federal entity. Additional information on the funding process is available in the DCM toolkit. F. Post-Award Requirements for DCM 1. Multiple DCM Programs within the Geographic Area Multiple DCM Programs Occasionally,multiple DCM programs are awarded for the same area that is affected by overlapping Presidentially-declared disasters. If multiple DCM programs are operating concurrently, the non-Federal entity must ensure there is a mechanism in place to identify and mitigate the risk of duplication of services for clients impacted by the multiple disasters. The non-Federal entity must develop internal controls and provide its strategy for operating multiple programs for the same affected population and identifying the programmatic, financial, and management components of each program.'5' This strategy must be included as part of the application. Budget and programmatic reporting must remain distinct and separate between programs and highlight the number of cases transferred between disasters. 184 Chapter 4: Disaster Case Management A client will have one open case at a time. If a client has identified needs from multiple disasters, a single case manager will assess all disaster-related unmet needs under the DCM for one disaster at a time to prevent a duplication of benefits. 2. Procurement Requirements under a Federal Award Federal award recipients shall ensure that the process of soliciting DCM services is fair and transparent. Recipients must follow the same policies and procedures when procuring property and services under a Federal award that they follow for procurement from non-Federal funds. Recipients must ensure that any contract provisions as required by 2 C.F.R. § 200.326 Contract Provisions are included on all purchase orders or contracts that draw from Federal funds, an states must follow the state procurement requirements as described in 2 C.F.R. § 200.317. All other recipients, including sub-recipients of a state,territory, or tribe will follow the General procurement standards as required by 2 C.F.R. § 200.318 through § 200.326. 3. Appeals and Modifications to Award Appeal for Denied Federal Award Application or Extension The non-Federal entity may appeal the FEMA RA's decision. This appeal must be submitted to the IA Division Director(IADD), in writing,within 60 days of the date of the application decision. 152 The appeal must include new justifying information not included in the original Federal award application, including a new budget and associated training and implementation plans if applicable.153 See the DCM Toolkit for additional information. Appeals of Remedies for Noncompliance The non-Federal entity may submit a written appeal letter with supporting documentation, signed by the Governor or GAR, Tribal Chief Executive, or applicable authorized representative of the non-Federal entity to the appropriate FEMA RA within 15 days of the date of notification of the remedial action. The FEMA RA will make an appeal determination in writing to the applicant. Objections/Appeals of Decisions Regarding Allowable Costs The non-Federal entity may submit a written appeal letter with supporting documentation, signed by the Governor or GAR, Tribal Chief Executive, or applicable authorized representative of the non-Federal entity to the FEMA RA within 15 days of the date of notification of the disallowed cost. The FEMA RA will make an appeal determination, in writing to the applicant. Appeal of Termination or Suspension In order to appeal termination, the non-Federal entity must include a letter acknowledging receipt of notice of termination as well as a termination appeal letter,unless otherwise specified. If the non-Federal entity decides to terminate their approved DCM prior to the end of the period of 185 Chapter 4: Disaster Case Management performance or withdraw their submitted DCM Requests for Supplemental application,then a signed letter should be sent Funding Must Include: to the FEMA RA indicating the desire to withdraw the application or terminate the • An explanation of why current funding is program. The official notification must be insufficient. signed by the Governor or GAR, Tribal Chief • An updated DCM work plan. Executive, or applicable authorized • representative of the non-Federal entity. The All pertinent statistical information regarding current cases. termination or withdrawal will become effective on the date of the official acknowledgement from FEMA and will not be subject to an appeal should the non-Federal entity choose to reverse the decision.'54 All closeout and reconciliation documents must be submitted in accordance with the timeframes indicated in the DCM Toolkit unless otherwise specified. Award Modifications • Extensions, if initial award was for less than 24-month Period of Performance (POP) o If awarded funding for a period of performance less than 24 months from the date of declaration,the non-Federal entity may request, in writing, an extension to the period of performance up to the full 24-month period of performance. o An extension request must be submitted in writing no later than 90 days prior to the end of the current POP. o An extension request must include the progress made during the initial period of performance and a justification of ongoing need. o The official written request must be submitted to the FEMA RA for determination. • No-Cost Extension to the Period of Performance (POP) o The POP for DCM is a maximum of 24 months from the date of the major declaration. However, a request for an additional 90-day extension to the POP may be considered when requested in writing with adequate justification to the FEMA RA. o A program extension request must be submitted in writing no later than 90 days prior to the end of the current POP. o All financial and programmatic reports must be current and complete at the time of request or the request will not be processed. o The official written request must be submitted to the FEMA RA for determination. 186 Chapter 4: Disaster Case Management • Supplemental Funding o A request for supplemental funding may be considered under extenuating circumstances when sufficient justification is submitted. o Written requests for supplemental funding may be requested no later than 90 days before the end of the period of performance. o Financial and performance status reports must be current and complete. o The decision to approve/deny the supplemental funding request will be made by the FEMA RA. 4. Monitoring and Reporting Monitoring • FEMA monitoring responsibilities: FEMA must ensure that the Federal award recipient adheres to all laws,regulations, and policy guidance in all aspects of the DCM program. To do this,they will monitor the non-Federal entity operations and activity. This is done through regularly scheduled monitoring calls,reviewing and analyzing non-Federal entity reporting, and on-site visits. A minimum of three on-site visits is required for each DCM award,more if required in the Conditions of Award if the size, complexity, or scope of the award poses elevated risks. Additional on-site visits, as well as the frequency of the monitoring calls,will be determined by FEMA based on the program needs and may be added during the POP if a need is identified. • Non-Federal entity monitoring responsibilities: The non-Federal entity is responsible for oversight of the entire operations and all supported activities pertaining to the Federal award. As a recipient of a Federal award,the non-Federal entity is responsible for being compliant with all applicable provisions under 2 C.F.R. Part 200,refer to Figure 34 for some key provisions of 2 C.F.R. Part 200. They must monitor the activities under the awards to ensure compliance with applicable Federal requirements and to ensure performance expectations are being achieved. Monitoring by the non-Federal entity must cover each program, function, and activity. Reporting Requirements The non-Federal entity must submit performance reports at the interval required by the Federal awarding agency or pass-through entity to inform status of achieving program outcomes and ensuring compliance with laws,regulations, and policies applicable to the program. Intervals must be no less frequent than annually nor more frequent than quarterly except in unusual circumstances, e.g., where more frequent reporting is necessary for the effective monitoring of the Federal award or could significantly affect program outcomes.155 Annual reports must be submitted 90 calendar days after the reporting period; quarterly or semiannual reports must be submitted 30 calendar days after the reporting period. Alternatively, the Federal awarding agency or pass-through entity may require annual reports before the anniversary dates of multiple year Federal awards. 187 Chapter 4: Disaster Case Management Programmatic Reports Monthly and quarterly programmatic reports may be required to be submitted within 30 days of the end of each reporting period. Reports should be submitted to the FEMA Project Officer, and should include the following data, as well as anything else requested by FEMA: • Number of cases opened o Include how many cases are at each tier/priority level • Number of cases with completed needs assessments • Number of cases with developed recovery plans • Number of cases closed o Number of cases closed without a completed recovery plan(resource unavailable) o Number of cases closed after completing the recovery plan(needs met) o Number of cases withdrawn by survivor o Other • Number of survivors on a waitlist for services • Top 3-5 identified unmet needs Reported numbers should include a monthly total and a cumulative total for the program. Refer to the DCM toolkit for templates and additional instructions for assistance. Financial Reports The non-Federal entity submits the Federal Financial Report(SF-425)to the FEMA Grants Management Officer within 30 days of the end of each reporting period.156 The non-Federal entity submits the SF-425 for every quarter of the period of performance, including partial calendar quarters during the life cycle, regardless of the level of activity in that quarter. This requirement continues until the end of the period of performance. Reporting periods are as follows: • Quarter 1: October 1-December 31; Due January 30 • Quarter 2: January 1-March 31; Due April 30 • Quarter 3: April 1-June 30; Due July 30 • Quarter 4: July 1-September 30; Due October 30 Budget and Fiscal Management The non-Federal entity is responsible for accounting, including expenditures, cash management, maintenance of adequate financial records, and the refund of expenditures disallowed by audits. The non-Federal entity and DCM providers must comply with Federal Regulations.157 A non-Federal entity can only charge allowable costs incurred during the POP. Any costs incurred after the POP, including during the 90-day closeout timeframe for submitting all financial and performance reports, are not allowable.158 188 Chapter 4: Disaster Case Management Figure 34: 2 C.F.R. Part 200 Compliance Item References and Details General Provisions • 2 C.F.R. § 200 Subtitle B,Part 300 Cost Principles • 2 C.F.R. § 200,Part E • 2 C.F.R. § 200,Part F • The recipient will be monitored programmatically and financially by FEMA staff and may be audited under the Improper Payment Audit Requirements Elimination and Recover Improvement Act of 2012(IPERIA)and/or by the DHS Office of Inspector General(OIG)to ensure that the project goals,budgets,and other related program activities are being met. • Recipients cannot use any Federal funds,directly or indirectly,in Prohibition on Using support of the enactment,repeal,modification or adoption of any law, Federal Funds regulation or policy,at any level of government,without the prior written approval of FEMA. (18 U.S.C. 1913) Compliance with Program • All allocations and use of funds will be in accordance with the current Guidance Disaster Case Management Guidance and terms and conditions outlined in the Notice of Award. 5. DCM Award Closeout and Record Retention Closeout Within 90 days of the end of the period of performance,the non-Federal entity must submit a final SF-425 with a final narrative, detailing all accomplishments of the program, to both the FEMA GMO and Project Officer. After FEMA reviews the final reports,the closeout process will begin. The closeout process will include an accounting of any remaining funds that must be obligated and will address the maintenance of Federal award records. Additional tools and resources for award closeout will be available in the online DCM Toolbox. Record Retention All recipients and sub-recipients are subject to audit by FEMA and the Office of Inspector General personnel. Financial records, supporting documents, statistical records, and all other records pertinent to a Federal award must be retained for a period of three years from the date of submission of the final expenditure report or, for Federal awards that are renewed quarterly or annually, from the date of the submission of the quarterly or annual financial report,respectively, as reported to the Federal awarding agency or pass-through entity in the case of a sub- recipient.'59 The non-Federal entity is responsible for returning any funds that are drawn down but remain unliquidated on non-Federal entity financial records. 189 Chapter 5: Crisis Counseling Assistance and Training Program Chapter 5: Crisis Counseling Assistance and Training Program L Overview The Crisis Counseling Assistance and Crisis Counseling Training Program(CCP) is a Federally- Crisis Counseling means the application funded supplemental program that provides of individual and group treatment procedures financial assistance to state,territorial, tribal, which are designed to help alleviate the mental and local (SLTT) government agencies and emotional crises and their subsequent through a grant or cooperative agreement. psychological and behavioral conditions The CCP award enables SLTT government resulting from a major disaster or its aftermath. agencies to provide crisis counseling services „" or contract with local mental health service providers familiar with the affected communities to provide services. The intent of the CCP award is to augment,not replace, current mental health and training activities in order to assist disaster survivors. This program is only available after a Presidential major disaster declaration that includes Individual Assistance (IA), and a non-Federal entity has submitted an approved Federal award application. There is no cost-share. The goal of the CCP services is to reach a large number of disaster survivors in a short period of time to prevent or mitigate adverse psychological effects caused or aggravated by a major disaster. A. Overview of Services to Survivors Services are provided at no cost and are available to any survivor, regardless of FEMA IHP applicant eligibility, who has been impacted by the disaster. These services are provided in accessible locations, including survivor homes, shelters, temporary living sites, and places of worship. Services can be provided in a group setting or one-on-one and include supportive crisis counseling, education, development of coping skills, and linkage to appropriate resources. Characteristics of the program are described in Figure 35. -- - 190 .,_ Chapter 5: Crisis Counseling Assistance and Training Program Figure 35: Characteristics of CCP Characteristic Description Crisis counselors instill resilience in individuals and communities,and promote Strengths-based independence rather than dependence on the CCP,other people, or organizations. Crisis counselors help survivors regain a sense of control. Outreach oriented Crisis counselors take services into the communities rather than wait for survivors to come to them. Crisis counseling is designed to prevent or mitigate adverse repercussions of More practical than disasters rather than to treat them. Crisis counselors provide support and psychological in education,listen to survivors,and accept the content at face value. Crisis nature counselors help survivors to develop a plan to address self-identified needs and suggest connections with other individuals or organizations that can assist them. Crisis counselors do not classify, label,or diagnose people; they keep no records Diagnosis-free or case files. The CCP does not provide mental health or substance use treatment,or critical incident stress debriefing. Services are supportive and educational in nature. Conducted in non- Crisis counselors make contact with survivors in their homes and communities, traditional settings not in clinical or office settings. Culturally-aware The CCP embraces cultural and spiritual diversity. Designed to Crisis counselors support,but do not organize or manage, community recovery strengthen existing activities. Likewise,the CCP supplements,but does not supplant or replace, community support systems existing community systems. Provided in ways Crisis counselors should work together early to establish a unified identity. The that promote a CCP strives to be a single,easily identifiable program,with services delivered consistent program by various local agencies. identity B. Crisis Counseling vs.Traditional Mental Health Treatment Mental health treatment, as typically defined within the professional community, implies the provision of assistance to individuals for a diagnosable disorder. In contrast, crisis counseling seeks to prevent the onset of diagnosable disorders by helping the majority of survivors understand that they are experiencing common reactions to extraordinarily uncommon occurrences. A mental health professional often will engage a client in short-or long-term recovery treatment, committing the person to a set number of sessions. The crisis counselor should treat each encounter as if it will be the only one, assisting the survivor with identifying needs and goals. 191 Chapter 5: Crisis Counseling Assistance and Training Program Finally, while a traditional mental health professional will make a diagnosis and treat mental illnesses, the crisis counselor will avoid classifying, labeling, or diagnosing people in any way. The crisis counselor keeps no formal individual records or case files. Differences of traditional mental health and the CCP services can be seen in Figure 36. Figure 36: Mental Health vs Crisis Counseling Services Traditional Mental Health Crisis Counseling Office based Home and community based Diagnoses and treats mental illnesses Assesses strengths and coping skills Focuses on personality and functioning Seeks to restore or improve functioning Examines content Accepts content at face value Explores past experiences and their influence on current problems Validates common reactions and experiences Has psychotherapeutic focus Has psycho-educational focus Keeps records,charts, case files, etc. Does not collect any identifying information C. Services Funded Through the CCP The CCP award funds primary and secondary services. Primary services are high-intensity and include crisis counseling,public education, and community support. Secondary services are those that have a broader scope and are less intense and include development and distribution of psycho-educational material and public service announcements. Services that the program funds are described in Figure 37. Figure 37: Services Funded through the CCP Services Description Individual crisis Helps survivors understand their reactions,improve coping strategies,reviews counseling their options,and connect with other individuals in agencies that may assist them. Basic supportive or General support and information on resources and services available to disaster educational contact survivors. Group crisis Group sessions led by trained crisis counselors who offer skills to help survivors counseling cope with their situations and reactions. Public education Information and education about typical reactions,helpful coping strategies, and available disaster related resources. 192 Chapter 5: Crisis Counseling Assistance and Training Program Figure 37: Services Funded through the CCP Services Description Community Relationship building with community resource organizations,faith-based networking and groups, and local agencies. support Assessment, Adult and child needs assessment and referral to additional disaster relief referral, and services,mental health,or substance abuse treatment. resource linkage Development and distribution of Flyers,brochures,tip sheets,educational materials, and website information educational developed and distributed by the CCP staff. materials Media and public Media activities and public messaging in partnership with local media outlets, services STTL,charitable organizations,or other community brokers. announcements D. General Conditions of Eligibility for a Federal CCP Award All of the following conditions must be met for an entity to be considered by FEMA and 111i Eligible CCP Recipients Substance Abuse and Mental Health Services The definition of a recipient, as per this Administration(SAMHSA) for a Federal guidance,is a state,territorial,or tribal CCP award:16° government mental health agency,or other local • The President must declare a major or private mental health organization which is designated by the Governor,GAR, or Tribal disaster approved for IA. Chief Executive,to receive funds under Section • The need for crisis counseling services 416 of the Stafford Act. must be beyond the capabilities of the This definition aligns with the program specific SLTT government to provide due to definition of a grantee, as per 2 C.F.R. § 206.171 the severity and magnitude of the (b)(5),and the Federal award definition of a major disaster. recipient,as per 2 C.F.R. § 200.86. • A CCP needs assessment must be initiated within 10 days of the date that IA was approved on the major disaster. • The state,territorial, or tribal government mental health agency, or local or private mental health organization must be designated by the Governor, Governor's Authorized Representative (GAR), or Tribal Chief Executive. • The Federal award packet must be complete and submitted by the appropriate program application deadline. o ISP: Application is due no later than 14 days from the date that IA was approved on the major disaster declaration. o RSP: Application is due no later than 60 days from the date that IA was approved on the major disaster declaration. 193 Chapter 5: Crisis Counseling Assistance and Training Program The CCP application deadlines are set by regulation and cannot be waived or extended. E. Waivers to Existing Policy Any waivers to this CCP Guidance must be submitted in writing,with justification,to the FEMA IA Division Director for consideration and a determination. F. Authorities FEMA is authorized to fund mental health assistance and training activities for survivors impacted by a Presidential major disaster declaration approved for IA under Section 416 of the Stafford Act,161,162 implementing regulations found in 44 C.F.R. § 206.171, and Federal award regulations found in 2 C.F.R. Part 200. G. Partner Organizations The Center for Mental Health Services (CMHS), within the SAMHSA,works in partnership with FEMA through an interagency agreement to provide technical assistance, consultation, award administration,program oversight, and training for state,territory, and tribal mental health authorities. H. Types of Assistance The CCP is comprised of two separate Federal award programs, the Immediate Services Program (ISP) and the Regular Services Program(RSP). The ISP is not a prerequisite for an RSP,nor is an RSP required if an ISP has been approved; however, separate Federal award applications and needs assessments must be completed for both of the programs, if both are requested. For more information on the ISP, see Chapter 5, II. For more information on the RSP, see Chapter 5, III. For additional information on staffing, stress management, data collection, and quality assurance, please see Chapter 5, IV. 194 Chapter 5: Crisis Counseling Assistance and Training Program II. Immediate Services Program A. Period of Assistance for ISP The ISP provides funds for up to 60 days of services immediately following the date IA was approved on the major disaster declaration. If needed, a state, territorial, or tribal government may request a 30-day extension to the period of performance in writing to the appropriate FEMA RA. An extension will only be considered if an RSP application will be submitted. Thereafter, an additional 30 days may be requested while the RSP application is under Federal review.163 B. Pre-Award Assessment and Application This section covers the pre-award considerations and process of applying for an ISP. 1. Needs Assessment �ii Tailoring the Program to the The purpose of the needs assessment is to Population provide an estimate of the size and cost of the program needed and to determine if When assessing the needs of the affected population,it is important to consider supplemental Federal assistance is required. the proportion and effect on vulnerable The factors of the needs assessment must populations, including the elderly,people with include: disabilities and others with access and • An estimate of the number of disaster functional needs,children,and those with low English proficiency.The program may be survivors requiring assistance; tailored to meet the needs of the specific • A description of the SLTT government community. For instance, if a high proportion I resources and capabilities; and of children were impacted,adding a children's coordinator in your staffing plan may be • Justification of why the SLTT beneficial. government cannot meet the needs. 195 Chapter 5: Crisis Counseling Assistance and Training Program Figure 38: ISP Application Required Information and Documents • The geographical areas within the designated disaster area for which services will be provided; • An estimate of the number of disaster survivors requiring assistance; • A description of the STTL-resources and capabilities,and an Information explanation of why these resources cannot meet the need; • A description of activities from the date of the disaster incident to the date of application; • A plan of services to be provided to meet the identified needs; and • A detailed budget,showing the cost of proposed services separately from the cost of reimbursement for any eligible services provided prior to the application. The OMB approved ISP Application(1660-0085)must be completed ISP Application and signed by the Governor or Tribal Chief Executive, or their Authorized Representative. A Federal form that OMB requires for Federal award applications.All Request for Federal entities that apply for CCP funds must submit a completed SF-424 Assistance(SF-424) signed by the Governor or Governor's Authorized Representative,or equivalent authorized representative for the tribe. Budget Information for Non- A Federal form OMB requires for Federal award applications. Construction Programs (SF- Complete"Section B—Budget Categories," column one only,for the 424A) total CCP budget. Assurances for Non- Construction Programs(SF- A Governor,or Governor's Authorized Representative signature is 424B) required. Budget Narrative The budget narrative should include a detailed justification for all cost categories requested in the SF-424A. Lobbying,Drug-Free Workplace, and Disbarment and Suspension and Other Responsibility Matters must be on file with FEMA. The state, Assurances territorial,or tribal government must acknowledge that the forms are in compliance with the state and/or tribal/FEMA agreement and the most current Department of Homeland Security (DHS) Standard Terms and Conditions. 196 Chapter 5: Crisis Counseling Assistance and Training Program 2. Applying for the Federal ISP Award Q ISP Award The cover letter for the ISP application should be addressed Details to the applicable FEMA RA. A completed and signed After a Presidential disaster declaration that includes IA, application and Federal forms states, territories, and tribes may apply for the ISP. An ISP are required to apply for the application package must be submitted to FEMA and ISP.For application assistance, SAMHSA within 14 days of the date IA was approved on call SAMHSA DTAC at 1- the disaster. This application deadline is set by regulation 800-308-3515. and cannot be waived or extended. An ISP application package represents the Governor or Tribal Chief Executive's agreement and/or certification: • That the requirements are beyond the SLTT governments' capabilities; • That the program, if approved,will be implemented according to the plan contained in the application approved by the applicable RA; • To maintain close coordination with and provide reports to the RA, FEMA JFO and FEMA HQ staff, and SAMHSA Project Officer; and • To include mental health disaster planning in the state, territory, or tribe's emergency plan prepared under Title II of the Stafford Act. The application must contain the following information and documentation to be considered for an award (see CCP Online Toolkit). 3. Instructions for Submission of the ISP Application Package Prior to the 14-day application deadline,the state, territory, or tribe must mail an original hard copy of the completed ISP application packet to the applicable Federal Coordinating Officer. In order to expedite the review process, it is helpful if the state,territory, or tribe submits an electronic copy of the application to the applicable FEMA Joint Field Office (JFO), FEMA Headquarters (HQ), and SAMHSA staff. Once received, the FEMA Human Services Group Supervisor at the FEMA JFO, FEMA Community Services Specialist at FEMA HQ, and the SAMHSA Project Officer will review the application to ensure all required documentation meet the minimum eligibility requirements per 44 C.F.R. § 206.171 and the General Terms and Conditions outlined in 2 C.F.R. § 200.210. 197 Chapter 5: Crisis Counseling Assistance and Training Program 4. Budget The ISP budget narrative must justify the proposed budget for the state,territorial, or tribal government and sub-recipients and each individual service provider's budget. The narrative must provide a justification of the costs and an itemization for each line of the budgets. Pre-Award Costs—Allowable: Pre-award costs are those which are: a) incurred prior to the effective date of the Federal award, and b) directly pursuant to the negotiation and in anticipation of the Federal award where such costs are necessary for efficient and timely performance of the scope of work. Such costs are allowable under the ISP award only to the extent that they would have been allowable if incurred after the date of the Federal award and only with written approval of the Federal Coordinating Officer(FCO).164 The state,territorial, or tribal government may seek reimbursement for pre-award costs associated with crisis counseling services provided from the date of the disaster incident to the date of major disaster declaration. The state,territorial, or tribal government must document the crisis counseling services provided and justify the costs. Documentation should include the following: • Types of crisis counseling services provided • Location of service provision • Types of staff who provided the services • Hourly rates of staff who provided the services • Number of hours that staff worked • Types and number of disaster survivors who received services The state, territorial, or tribal government may seek reimbursement only for crisis counseling services and not for any other type of behavioral health response. Crisis counseling services are typically provided during the immediate disaster response phase to survivors and their families, first responders, and other individuals directly affected by the disaster. Typical locations of service provision in the immediate disaster response include shelters, family assistance centers, homes, or other community settings. Services often are provided by behavioral health agency staff, local behavioral health service provider staff, or members of disaster behavioral health response groups. Reimbursement for staff costs is allowable if it can be clearly demonstrated that the normal duties of the staff(if employed by the state, territorial, or tribal government during the disaster)were back-filled during the disaster response. Indirect Costs—Unallowable: FEMA does not authorize the use of funds for indirect costs. Indirect costs, including management costs, are defined as costs not directly chargeable to a specific project. Please note that even if an indirect cost rate is established, it is subject to statutory and administrative limitations. A CCP award recipient or provider is not entitled to an 198 Chapter 5: Crisis Counseling Assistance and Training Program established rate for services provided under the CCP award. The program's statutes, regulations, and policy govern whether any indirect costs are eligible. Section 324 of the Stafford Act requires FEMA to establish management cost rates through regulations. At this time, FEMA does not have regulations that govern the eligibility of indirect costs for the CCP. Salaries and Wages: Salary compensation must be reasonable in amount and in alignment with local prevailing rates for the position funded. Fringe Benefits: Fringe benefits may be charged directly to the grant. Claimed costs must be reasonable and confirm to established policies for the state,territory, or tribe. Use of a pre- established provisional rate requires allocation to total salary costs. Rates must be adjusted to actuals at the year-end and rates and should be reviewed at least once annually. Consultant Costs: Consultant costs must be supported by a consulting agreement that documents the service to be performed, cost, and applicable time periods. Documentation to support need,reasonable rates, and consultant expertise must be maintained,together with evidence of work product. Equipment: The state,territory, or tribe obtains title to equipment acquired under the CCP award and is subject to the conditions outlined in 2 C.F.R. § 200.313, including these requirements: • To use the equipment for the authorized purposes of the project until funding for the project ceases, or until the property is no longer needed for the purposes of the project. • To not encumber the property without approval of FEMA. • To use and dispose of the property in accordance with 2 C.F.R. § 200.313. • To use the equipment in a manner consistent with the purposes of the CCP award and to benefit the beneficiaries of the CCP project. Supplies: FEMA retains an interest in any unused supplies exceeding$5,000 in total aggregate value upon termination or completion of the CCP if they are not needed for any other Federal award. The state, territory, or tribe must compensate FEMA for its share of the supplies in compliance with 2 C.F.R. § 200.313 and § 200.314. As long as FEMA retains an interest in supplies,the state,territory, or tribe must not use the supplies to provide services to other organizations for a fee that is less than private companies charge for equivalent services. Travel: Travel must be included in the budget for preapproval as part of the application process. During implementation, travel costs must be supported by travel expense reports detailing employee name,the reason for the trip, and itemized expenses claimed. Claimed costs should be charged according to the award recipient's travel policy,which requires prior approval from FEMA and SAMHSA, complies with OMB cost principles, and provides expenditure limitations. Major items of expense(e.g., airfare, lodging)must be supported by receipts. 199 Chapter 5: Crisis Counseling Assistance and Training Program Other: The budget may identify costs that are unique to the disaster and area impacted but do not fall into one of the prescribed cost categories listed above. Costs must be supported by adequate documentation(invoices, receipts, etc.). Consult with the FEMA Specialists or SAMHSA Program Officer to determine which costs are allowable under this cost category. Contractual Costs: A state,territory,or tribe will follow its established policies and procedures used for procurements from non-Federal funds when procuring property and services under a Federal award. All other states, territories or tribes will follow the requirements in 2 C.F.R. § 200.318, General procurement standards, through § 200.326, Contract provisions. All states, territories or tribes should review the procurement standards outlined in 2 C.F.R. § 200.317 through § 200.326. For more information on allowable and unallowable costs,refer to the Appendix F. C. Approval Process for ISP The FCO may approve or deny the ISP in coordination with SAMHSA. The program may be approved for a period of performance of 60 days from the date of award if: • A complete application is received no later than 14 days from the date of declaration; and • There is a need for the program clearly articulated in the application. If approved, the FCO will submit a written approval with justification to the state,territorial, or tribal government agency receiving the award. The program may be denied if: • A complete application is not received by 14 days from the date of declaration; or • The application lacks sufficient information to justify the need for the program. If denied, the FCO must submit a written denial with justification to the state, territorial, or tribal government agency that applied for the award and the GAR. 1. Federal and Congressional Review Process for ISP Once submitted, the non-Federal entity's CCP application will go through a review by FEMA HQ, FEMA JFO, and FEMA Region staff for completeness, cost-effectiveness, and feasibility of the non-Federal entity's CCP application. The FEMA FCO will issue a determination. All Federal awards greater than$1M must be routed to the Congressional Appropriations Committee for advanced notification review. This process may add multiple weeks to the timeline before obligating the Federal award. Once the notification process is complete, the FEMA FCO is notified that the funds can be released and the FCO may issue the notice of award to the recipient after a minimum of 72 hours. 200 Chapter 5: Crisis Counseling Assistance and Training Program D. Notice of Award (NOA) for ISP When the non-Federal entity has been approved for a Federal CCP award, they will receive a Notice of Award (NOA). The NOA is the official document notifying the recipient and others that a Federal award has been made. The recipient will receive a NOA from the applicable FEMA RA. The NOA contains all terms and conditions of the Federal award and supporting documentation for recording the obligation of Federal fund in the recipients accounting system. Important information included in the NOA: • The start and end dates for the program's period of performance • The award amount • Name of the FEMA and SAMHSA Program Officers • Reporting requirements 1. Conditions of Award Conditions of Award, or Terms and Conditions and/or Special Conditions, are requirements that the recipient must satisfy within the timeframe specified in the NOA. Failure to comply with all terms and conditions of a Federal award may result in funding restrictions, award termination, and/or denial of any future funding. E. Post-Award Requirements This section covers the post-award requirements of the Immediate Services Program, including training requirements, reporting requirements, and extensions. 1. Training Training materials and recommendations for qualified trainers are provided by SAMHSA and through SAMHSA DTAC. Often,personnel from other assistance and disaster relief agencies are invited to attend The required standard CCP trainings are organized into modules that are provided to recipients by SAMHSA DTAC once a CCP is approved. Required trainings include: • Core Content Training: This is the basic CCP skills-building training and includes administrative procedures and data collection information specific to the program. The course takes place in 2 days, during which time crisis counselors are provided with critical information and skills related to individual, group, and community outreach strategies. This training is conducted during the first few weeks of the ISP. However, ongoing training must be provided to ensure all new crisis counselors receive the Core Content Training prior to working independently within the program. 2. Reporting Requirements for the ISP The recipient must submit to the appropriate FEMA FCO:165 201 Chapter 5: Crisis Counseling Assistance and Training Program • A mid-program report only when an RSP award application is being prepared and submitted. This report will be included as part of the RSP Federal award application; • A final program report; and • A financial status report. This documentation is due no more than 90 days after the last day of immediate services funding. 3. Extensions a. ISP Extension of the Period of Performance ISP funding shall not exceed 60 days following the disaster declaration,unless an RSP award application is submitted for consideration of additional Federal funding. ISP funding may continue up to 30 additional days if an RSP award application is submitted to allow time for FEMA and SAMHSA to review the application. Furthermore, if extenuating circumstances exist, the FEMA RA may authorize an additional extension of up to 30 days. During the ISP period of performance, the state, territorial, or tribal government must notify FEMA Specialist and SAMHSA Program Officer, no later than 45 days from the date of declaration, if they are planning to submit an application for the RSP award.166 b. ISP No-Cost Administrative Extension All costs associated with finalizing the program and financial reports are allowable costs, as long as those costs are included in the approved ISP budget. In order for these costs to be covered,the state, territorial, or tribal government must request for a no-cost administrative extension to the ISP award period of performance. The state, territorial, or tribal government must submit the written extension request to their FEMA Regional office prior to the end of the period of performance. A no-cost administrative extension can be granted for up to 30 days when requested in writing and approved by the FCO. In exceptional circumstances, an additional 30 day no-cost administrative extension may be approved by FEMA if the submitted written request demonstrates sufficient need. Any programmatic or service activities (not related to the ISP final report) conducted after the period of performance will not be funded under the CCP award. Any extension granted for the ISP once the RSP is awarded is only for work associated with finalizing the program and financial reports of providers to the recipient. F. Closeout and Records Retention 1. ISP Closeout The final ISP program narrative and fiscal report(Federal Financial Report SF-425) are due to the FCO, no later than 90 calendar days after the last day of the ISP award's period of performance. The state, territorial, or tribal government must liquidate all obligated balances, and show the exact balance of funds and total expenditures, which must be consistent with the line- item report. The final SF-425 must show the total Federal award amount,total Federal 202 Chapter 5: Crisis Counseling Assistance and Training Program expenditures, and the unobligated balance. The reported total Federal expenditures reflected on the SF-425 report must be consistent with the line-item expenditures reflected in the program report. 2. ISP Record Retention Financial records, supporting documents, statistical records, and all other records pertinent to a Federal award must be retained for a period of three years from the date of submission of the final expenditure report or, for Federal awards that are renewed quarterly or annually, from the date of the submission of the quarterly or annual financial report, respectively, as reported to the Federal awarding agency or pass-through entity in the case of a sub-recipient.16'The non-Federal entity is responsible for returning any funds that are drawn down but remain unliquidated on non-Federal entity financial records. 203 Chapter 5: Crisis Counseling Assistance and Training Program HI Regular Services Program A. Period of Assistance for RSP The RSP provides funds for up to nine months of services immediately following the date of the Notice of Award. If needed, state,territorial, or tribal government may request up to a 90-day extension to the period of performance in writing to the appropriate FEMA Regional Administrator(RA); this request must document the extraordinary circumstances and what the additional time will allow them to accomplish. In limited circumstances, such as disasters of catastrophic nature, the FEMA RA may extend the period of performance for more than 90 days were he or she deems it to be in the public interest.168 B. Pre-Award Assessment and Application This section covers the pre-award requirements and process of applying for a Regular Services Program. 1. Needs Assessment The purpose of the needs assessment is to provide an estimate of the size and cost of the program needed and to determine if supplemental Federal assistance is required. The factors of the needs assessment must include: s Tailoring the Program to the • An estimate of the number of disaster Population survivors requiring assistance; When assessing the needs of the • A description of the SLTT government affected population,it is important to consider resources and capabilities; and the proportion and effect on vulnerable populations,including the elderly,people with • Justification of why the SLTT disabilities and others with access and government cannot meet the needs. functional needs,children,and those with low English proficiency. The program may be 2. Applying for the Federal RSP Award tailored to meet the needs of the specific community. For instance,if a high proportion The cover letter for the RSP application should be addressed to thea applicable FEMA RA. As of children were impacted,adding a children's pp coordinator in your staffing plan may be per the 2018 Delegation of Authority,the FEMA beneficial. RAs have the authority to approve or disapprove an application for the RSP.Note that the Disaster Recovery Manager authority does not carry the delegation of the RSP determination. To delegate the authority to approve or deny the RSP,the FEMA RA must specify in writing which specific program is being delegated. After a Presidential disaster declaration that includes IA, states,territories, and tribes may apply for the RSP. After a Presidential disaster declaration that includes IA, states, territories, and tribes may apply for the RSP. The RSP application package must be submitted to FEMA and 204 Chapter 5: Crisis Counseling Assistance and Training Program SAMHSA no later than 60 days following the date IA was approved on the disaster. This application deadline is set by regulation and cannot be waived or extended. An RSP application package represents the Governor or Tribal Chief Executive's agreement and/or certification: • That the requirements are beyond the SLTT government's capabilities; • That the program, if approved, will be implemented according to the plan contained in the application approved by the applicable FEMA RA; • To maintain close coordination with and provide reports to the applicable FEMA RA, FEMA HQ, and FEMA JFO staff, and SAMHSA Project Officer and Grants Officer; and • To include mental health disaster planning in the state, territory, or tribe's emergency plan prepared under Title II of the Stafford Act. The application must contain the following information and documentation to be considered for a RSP award(see CCP Toolkit): Figure 39: RSP Application Required Information and Documents • The geographical areas within the designated disaster area for which services will be provided; • An estimate of the number of disaster survivors requiring assistance; • A description of the STTL resources and capabilities,and an Information explanation of why these resources cannot meet the need; • A description of activities from the date of the disaster incident to the date of application; • A plan of services to be provided to meet the identified needs;and • A detailed budget, showing the cost of proposed services separately from the cost of reimbursement for any eligible services provided prior to the application. The OMB approved RSP Application(1660-0085)must be completed RSP Application and signed by the Governor or Tribal Chief Executive,or their Authorized Representative. 205 Chapter 5: Crisis Counseling Assistance and Training Program Figure 39: RSP Application Required Information and Documents A Federal form that OMB requires for Federal award applications. All Request for Federal entities that apply for CCP funds must submit a completed SF-424 Assistance (SF-424) signed by the Governor or Governor's Authorized Representative,or equivalent authorized representative for the tribe. Budget Information for Non- A Federal form OMB requires for Federal award applications. Construction Proizrams(SF- Complete"Section B—Budget Categories,"column one only for the 424A) total CCP budget. The budget narrative must include a detailed justification for all cost Budget Narrative categories requested in the SF-424A.Refer to the Appendix Section for additional instructions on completing the budget narrative. A required form for an RSP that ensures pertinent documents, Health and Human Services information, certifications, and assurances are included in the (HHS)Checklist application,to include acknowledgement by the state,territorial, or tribal government that the forms are in compliance with the most current DHS Standard Terms and Conditions. Disclosure of Lobbying A required form for the CCP RSP. The state,territorial,or tribal Activities(SF-LLL) government may indicate"N/A"on the form if it is not applicable. Project/Performance Site A Federal form required for the CCP RSP. The state,territorial,or Locations tribal government should complete a form for each site where providers will perform project work. 3. Instructions for Submission of the RSP Application Package Prior to the 60-day application deadline,the state,territory, or tribe must mail an original hard copy of the completed RSP application package to the applicable FEMA RA. In order to expedite the review process, it is helpful if the state, territory, or tribe submits an electronic copy of the application to the applicable FEMA JFO Human Services Group Supervisor, FEMA HQ Community Services Program Specialist, and SAMHSA Project Officer. Once received, the FEMA Human Services Group Supervisor at the FEMA JFO, FEMA Community Services Specialist at FEMA HQ, and the SAMHSA Project Officer and Grants Officer will review the application to ensure all required documentation meet the minimum eligibility requirements per 44 C.F.R. § 206.171 and the General Terms and Conditions outlined in 2 C.F.R. § 200.210. 4. Budget The RSP budget narrative must justify the proposed budget for the state,territorial, or tribal government and sub-recipients and each individual service provider's budget. The narrative must provide a justification of the costs and an itemization for each line of the budgets. 206 Chapter 5: Crisis Counseling Assistance and Training Program Indirect Costs—Unallowable: FEMA does not authorize the use of funds for indirect costs. Indirect costs, including management costs, are defined as costs not directly chargeable to a specific project. Please note that even if an indirect cost rate is established, it is subject to statutory and administrative limitations. A CCP award recipient or provider is not entitled to an established rate for services provided under the CCP award. The program's statutes, regulations, and policy govern whether any indirect costs are eligible. Section 324 of the Stafford Act requires FEMA to establish management cost rates through regulations. At this time, FEMA does not have regulations that govern the eligibility of indirect costs for the CCP. Salaries and Wages: Salary compensation must be reasonable in amount and in alignment with local prevailing rates for the position funded. Fringe Benefits: Fringe benefits may be charged directly to the grant. Claimed costs must be reasonable and confirm to established policies for the state,territory, or tribe. Use of a pre- established provisional rate requires allocation to total salary costs. Rates must be adjusted to actuals at the year-end and rates and should be reviewed at least once annually. Consultant Costs: Consultant costs must be supported by a consulting agreement that documents the service to be performed, cost, and applicable time periods. Documentation to support need, reasonable rates, and consultant expertise must be maintained, together with evidence of work product. Equipment: The state, territory, or tribe obtains title to equipment acquired under the CCP award and is subject to the conditions outlined in 2 C.F.R. § 200.313, including these requirements: • To use the equipment for the authorized purposes of the project until funding for the project ceases, or until the property is no longer needed for the purposes of the project. • To not encumber the property without approval of FEMA. • To use and dispose of the property in accordance with 2 C.F.R. § 200.313. • To use the equipment in a manner consistent with the purposes of the CCP award and to benefit the beneficiaries of the CCP project. Supplies: FEMA retains an interest in any unused supplies exceeding $5,000 in total aggregate value upon termination or completion of the CCP if they are not needed for any other Federal award. The state, territory, or tribe must compensate FEMA for its share of the supplies in compliance with 2 C.F.R. § 200.313 and § 200.314. As long as FEMA retains an interest in supplies,the state,territory, or tribe must not use the supplies to provide services to other organizations for a fee that is less than private companies charge for equivalent services. Travel: Travel must be included in the budget for preapproval as part of the application process. During implementation,travel costs must be supported by travel expense reports detailing employee name, the reason for the trip, and itemized expenses claimed. Claimed costs should be 207 Chapter 5: Crisis Counseling Assistance and Training Program charged according to the award recipient's travel policy,which requires prior approval from FEMA and SAMHSA, complies with OMB cost principles, and provides expenditure limitations. Major items of expense(e.g., airfare, lodging)must be supported by receipts. Other: The budget may identify costs that are unique to the disaster and area impacted but do not fall into one of the prescribed cost categories listed above. Costs must be supported by adequate documentation(invoices,receipts, etc.). Consult with the FEMA Specialists or SAMHSA Program Officer to determine which costs are allowable under this cost category. Contractual Costs: A state, territory, or tribe will follow its established policies and procedures used for procurements from non-Federal funds when procuring property and services under a Federal award. All other states, territories or tribes will follow the requirements in 2 C.F.R. § 200.318, General procurement standards, through § 200.326, Contract provisions. All states, territories or tribes should review the procurement standards outlined in 2 C.F.R. § 200.317 through § 200.326. For more information on allowable and unallowable costs, refer to the Appendix F. C. Approval Process for RSP The RA may approve or deny the RSP in coordination with SAMHSA. The program may be approved for a period of performance of nine months from the date of award if: • A complete application is received no later than 60 days from the date of declaration; and • There is a need for the program clearly articulated in the application. If approved, the RA must submit a written approval with justification to the Chief of the Emergency Mental Health and Traumatic Stress Services Branch at SAMHSA for processing and CCP Toolkit award of the grant to the state, territorial, or tribal government agency receiving the award. SAMHSA and the SAMHSA Disaster Technical Assistance Center The program may be denied if: (DTAC),in collaboration with FEMA,have established and maintain an online C'CP • A complete application is not received by Toolkit containing required documents and 60 days from the date of declaration; or tools to assist stakeholders in preparing, applying, implementing,managing, and • The application lacks sufficient closing out a CCP. information to justify the need for the program. If you would like to speak with a SAMHSA Project Officer,please email SAMHSA If denied,the RA must submit a written denial DTAC at DTAC@samhsa.hhs.gov or call with justification to the applicant agency and 1-800-308-3515 (Monday-Friday 9 A.M.to GAR. 5 P.M.Eastern time)and a staff member will forward your request to the appropriate project officer. 208 Chapter 5: Crisis Counseling Assistance and Training Program Under the 2018 Delegation of Authority, the FEMA RAs have authority to approve or deny an application for the RSP. This authority is not delegated with the DRM authority. 1. Federal and Congressional Review Process for RSP Once the RSP application is submitted, the non-Federal entity's RSP application will go through a review by SAMHSA, FEMA HQ, FEMA JFO, and FEMA Region staff for completeness, cost- effectiveness, and feasibility of the non-Federal entity's RSP application. The FEMA RA will issue a determination. All Federal awards greater than$1M must be routed to the Congressional Appropriations Committee for advanced notification review. This process may add multiple weeks to the timeline before obligating the Federal award. Once the notification process is complete,the FEMA RA is notified that funds can be released and the RA may issue the notice of award to the recipient after a minimum of 72 hours. D. Notice of Award (NOA) for RSP When the non-Federal entity has been approved for a Federal CCP award, they will receive a Notice of Award(NOA). The NOA is the official Federal award document notifying the award recipient and others that an award has been made. The recipient will receive a NOA from SAMHSA. The NOA contains all terms and conditions of the Federal award and supporting documentation for recording the obligation of Federal fund in the recipients accounting system. Important information included in the NOA: • The start and end dates for the program's period of performance • The award amount • Name of the FEMA and SAMHSA Program Officers • Name of the SAMHSA Grants Management Officer • Reporting requirements 1. Conditions of Award Conditions of Award, or Terms and Conditions and/or Special Conditions,are requirements that the recipient must satisfy within the timeframe specified in the NOA. Failure to comply with all terms and conditions of a Federal award may result in funding restrictions, award termination, and/or denial of any future funding. E. Post-Award Requirements This section covers the post-award requirements for a Regular Services Program, including training,reporting requirements, and extensions. 209 Chapter 5: Crisis Counseling Assistance and Training Program 1. Training Training materials and recommendations for qualified trainers are provided by SAMHSA and through SAMHSA DTAC. Often,personnel from other assistance and disaster relief agencies are invited to attend The required standard CCP trainings are organized into modules that are provided to recipients by SAMHSA DTAC once a CCP is approved. Required trainings include: • Core Content Training: This is the basic CCP skills-building training and includes administrative procedures and data collection information specific to the program. The course takes place in 2 days, during which time crisis counselors are provided with critical information and skills related to individual, group, and community outreach strategies. This training is conducted during the first few weeks of the ISP; however, if no ISP is implemented,the training will need to be conducted during the RSP. However, ongoing training must be provided to ensure all new crisis counselors receive the Core Content Training prior to working independently within the program. • Transition to RSP Training: During this course, existing and newly hired CCP staff review key concepts related to crisis counseling skills,with an emphasis on longer-term service provision. This curriculum highlights how the needs of disaster survivors and communities evolve in the RSP and differ from those encountered in the immediate disaster response. If the state, territory, or tribe applied for the RSP only, it should begin with the Core Content Training. This training usually takes place as soon as formal RSP grant funding is awarded. • RSP Mid-Program Training: This training typically is held 3-6 months into the RSP. Issues of staff morale and stress management for sub-recipients are addressed. A focus is maintained on how crisis counselors will continue to provide services under difficult circumstances. This training includes problem-solving techniques for specific issues commonly encountered in the CCP such as emerging substance use or significant mental health needs. It also begins to address the subject of program phasedown. • Disaster Anniversary Training: This training is held several weeks before the first anniversary of the disaster event. Crisis counselors are taught expected anniversary reactions and intervention strategies. This training can be paired with the Mid-program Training or the Phasedown Training, depending on the anniversary date. • RSP Phasedown Training: This training should take place six—eight weeks prior to the scheduled phasedown of the CCP. All CCP administrative and outreach staff attend. Topics in this training include staff stress management and future planning, assisting the program and its staff to document the event,planning to leave a legacy for the community, resource linkage and referrals, and continuity of service via community partnerships. The CCP training plan is not limited to providing required trainings. The state, territory, or tribe should identify and deliver additional trainings based on specific disaster and staff needs. 210 Chapter 5: Crisis Counseling Assistance and Training Program Additional recommended training areas include more in-depth learning about specific crisis counseling interventions, as well as cultural competence, working with children, and mental health or substance use assessment and referral. To promote community partnerships,the CCP leadership is encouraged to share training opportunities with other disaster and community providers. In quarterly reports,programs should document training sessions held, describe the content of the sessions, and note the number of people who attended. As highlighted in the training section of this document, required training takes place throughout the program period and should be planned in a proactive manner. Optional training may take place, as deemed appropriate by the state,territory, or tribe. 2. Reporting Requirements for the RSP For the RSP, quarterly reports, including documentation on financial expenditures, must be submitted to the FEMA Headquarters Program Specialist; the FEMA JFO Specialist(or Regional Specialist if the FEMA JFO is demobilized); and the SAMHSA Project Officer. Quarterly reports are due 30 calendar days after the end of each three-month reporting period (refer to the NOA for specific due dates). The quarterly report must include a budget expenditure report for the state,territorial, or tribal government and any sub-recipients, showing: • The approved budget; • Costs incurred and obligated expenditures; • Approved budget modifications; and • Remaining balance of unspent funds. The report should be consistent with the cost categories and budget line items listed in the approved budget. If only a portion of award funding is disbursed at the start of the RSP,the state, territorial, or tribal government must submit a letter of request for the second allotment of funds with the first quarterly RSP report. 3. Extensions RSP Extension of the Period of Performance The RSP provides funds for up to nine months of services immediately following the date of the NOA. If needed, state,territorial, or tribal government may request up to a 90-day extension to the period of performance in writing to the appropriate FEMA RA; this request must document the extraordinary circumstances and what the additional time will allow them to accomplish. In limited circumstances, such as disasters of catastrophic nature, the FEMA RA may extend the period of performance for more than 90 days were he or she deems it to be in the public interest.169 RSP No-Cost Administrative Extension All costs associated with finalizing the program and financial reports are allowable costs, as long as those costs are included in the approved RSP budget. In order for these costs to be covered, 211 Chapter 5: Crisis Counseling Assistance and Training Program the state,territorial, or tribal government must request for a 90-day no-cost administrative extension to the RSP award period of performance. The state,territorial, or tribal government must submit the written extension request to SAMHSA and FEMA no later than one month prior to the end of the period of performance. Any programmatic or service activities (not related to the RSP closeout)conducted after the period of performance will not be funded under the CCP award. When a state, territorial, or tribal government provides a sub-award to a sub-recipient, the state, territorial, or tribal government must include the start and end dates of the period of performance in the sub-award document. F. Closeout and Records Retention 1. RSP Closeout The final RSP program report and the Federal Financial Report SF-425 form (OMB form number 0348-0061) are due to FEMA and SAMHSA 90 calendar days after the end of the period of performance. Note that the reported total Federal expenditures reflected on the SF-425 report must be consistent with the line-item expenditures reflected in the program report. 2. RSP Record Retention Financial records, supporting documents, statistical records, and all other records pertinent to a Federal award must be retained for a period of three years from the date of submission of the final expenditure report or, for Federal awards that are renewed quarterly or annually, from the date of the submission of the quarterly or annual financial report, respectively, as reported to the Federal awarding agency or pass-through entity in the case of a sub-recipient.170 The non-Federal entity is responsible for returning any funds that are drawn down but remain unliquidated on non-Federal entity financial records. 212 Chapter 5: Crisis Counseling Assistance and Training Program IV. Considerations for Implementation of ISP and RSP This section provides information regarding staffing a CCP, collecting data,modifying budget and program plans, and appealing various decisions regarding both an ISP and an RSP. A. Main Components of a Program Management Plan The components of the program management plan vary given the needs of the non-Federal entity and the scope of the disaster. Typical components include the following: • Performing ongoing needs assessment • Developing and effecting outreach strategies to identify and serve affected individuals, groups, and the community • Ensuring supervision and quality assurance at the state, territory or tribe and sub-recipient levels • Employing program media and marketing strategies • Recruiting and hiring staff • Providing training • Providing staff stress management • Ensuring effective fiscal management • Accomplishing program evaluation B. Staffing of the CCP The needs assessment will inform required CCP staff roles and the number of individuals needed for each position to be included in the staffing plan. The non-Federal entity determines how staff members are deployed to meet the needs of disaster survivors and at-risk groups. For safety and efficacy, crisis counselors typically are deployed in teams. Team deployment is linked with the CCP outreach strategy in order to target services to those individuals and groups identified to be in the greatest need. In its essential staffing, the CCP should reflect the cultural demographics of the affected area and use paraprofessionals with prior training and experience in the mental health and substance use fields. For additional information on training, refer to the CCP Toolkit. 1. Staff Stress Management Many staff members of a CCP are also survivors of the disaster. Interacting with disaster survivors is rewarding but may also produce strong levels of anxiety, frustration, anger, or depression in some workers. Sustained service provision can become debilitating when coupled with a staff member's personal experience of loss. It is, therefore, critical that ongoing staff stress management is integrated into the CCP at all levels of the program. All standard CCP trainings provided by SAMHSA include content on individual staff stress management. The program management plan developed by the recipient must include provisions for organizational stress management. Elements of an organizational stress management plan are as follows: • A clearly defined management and supervision structure 213 Chapter 5: Crisis Counseling Assistance and Training Program • Defined purpose and goals • Functionally defined roles reinforced through effective supervision • Sound clinical consultation, support, and supervision • Supportive peer relationships • Active stress management program • Comprehensive training plan C. Data Collection, Evaluation, and Reporting Consistent and timely data collection and evaluation are necessary to measure success of outreach efforts and the changing needs of disaster survivors. The recipient's program management plan should include mechanisms to collect, examine, and react to immediate and changing needs encountered by crisis counselors. Frequent analysis of both CCP data and feedback provided by staff allows the program to evolve to meet needs as they arise. The process improves the program's behavioral health disaster response, documents the program's accomplishments, and provides accountability information to stakeholders. SAMHSA and FEMA also use data to justify program efforts, as well as to make modifications to the CCP model and program service delivery. The recipient is required to submit a summary of up-to-date program data with their programmatic quarterly and final reports. Procedures for data collection and evaluation include the following: • Establishment of quality control and assurance processes is necessary for data collection and analysis. Typical quality control procedures include management review of forms for completeness prior to approval; staff review for consistency and accuracy, and giving feedback to the sub-recipient-level supervisors; and staff developing ways to resolve errors in collected data forms. • All CCP administrators and managers should carefully review evaluation and reporting requirements. • The CCP award conditions require collecting information on specific forms in specific formats. This should not limit the state,territory, or tribe and sub-recipients in collecting additional information that will assist in both program improvement and process. The specific required forms are detailed in the NOA. • The Federal CCP award conditions require database development and data delivery to SAMHSA upon submission of each quarterly report and with the final report. • Data on service delivery must be collected using the Individual/Family Crisis Counseling Services Encounter Log, Group Encounter Log, Weekly Tally Sheet, and the Child/Youth and Adult Assessment and Referral Tools, each a part of the standard FEMA CCP Toolkit as approved by the OMB (OMB No. 0930-0270). The Participant Feedback Survey and Service Provider Feedback Survey are also included in the CCP Toolkit. 214 Chapter 5: Crisis Counseling Assistance and Training Program D. Quality Assurance The CCP is a time-limited program that must identify and address emergent issues related to both disaster survivor needs and operational realities,while developing and implementing solutions to improve program services. Quality assurance and quality improvement activities are developed even before the program begins and assist the state,territory, or tribe in reporting program highlights and issues to SAMHSA and FEMA through regular program monitoring and reporting. Activities related to quality assurance include the following: • Regular onsite supervision, training, and consistent communication between CCP management and workers providing services • Weekly meetings and regular submission of data collection forms to the SAMHSA Program Officer and FEMA Specialist • Phone and email communication whenever workers have questions or concerns • Collecting and organizing programmatic materials and data to continue to improve service provision and educational materials • Identifying problems or gaps in service through data and informant feedback • Redirecting resources and modifying the service plan • Conducting ongoing needs assessment • Providing information to workers to improve services E. General Provisions 1. Conflict of Interest Recipients and pass-through entities must disclose any real or potential conflicts to the FEMA Specialist and SAMHSA Program Officer within 15 days of learning of the conflict of interest. Sub-recipients must also disclose any real or potential conflict of interest to the pass-through entity as required by the recipient's conflict of interest policies, or any applicable state, territorial, or tribal government statutes or regulations. Conflicts of interest may arise during the process of FEMA and SAMHSA making a Federal award in situations where an employee, officer, or agent, any members of his or her immediate family, or his or her partner has a close personal relationship, a business relationship, or a professional relationship with a state,territorial, tribal government provider entity,recipient, sub- recipient, or FEMA employee. 2. Mandatory Disclosures All violations of Federal criminal law involving fraud,bribery, or gratuity violations potentially affecting the Federal award must be submitted in writing to the FEMA Specialist and SAMHSA Program Officer at the time of the application, or if the violation occurs after the time of application, no later than 15 days after confirmation that such a violation occurred. 215 Chapter 5: Crisis Counseling Assistance and Training Program F. Modifications to Budget and Program Plans The state,territory, or tribe is required to report deviations from the approved budget or project scope and request prior approval from the SAMHSA Project Officer and FEMA Specialist for budget and program plan revisions, in accordance with 2 C.F.R. § 200.308. States, territories, and tribes must request prior approval for the following: • Change in scope or the objective of the project or program. • Change in key personnel specified in the application or Federal award. • The disengagement from the project for more than three months,or 25%reduction in time devoted to the project,by the approved project director or principal investigator. • Unless described in the application and funded in the approved Federal award, the sub- awarding,transferring, or contracting out of any work under a Federal award. This provision does not apply to the acquisition of supplies, material, equipment, or general support services. • Incurrence of project costs 90 calendar days before the Federal awarding agency makes the Federal award. The Federal awarding agency is under no obligation to reimburse such costs if for any reason the state,territory, or tribe does not receive a Federal award or if the Federal award is less than anticipated and inadequate to cover such costs. (See also section on pre-award costs.) The Federal awarding agency may, at its option, restrict the transfer of funds among direct cost categories or programs, functions, and activities for Federal awards in which the Federal share of the project exceeds the Simplified Acquisition Threshold and the cumulative amount of such transfers exceeds or is expected to exceed 10% of the total budget as last approved by the Federal awarding agency. Changes to the program plan based on the evolving needs assessment may require that funding be moved from one line item to another or from one provider to another. The state, territory, or tribe has the authority to move funds,up to a cumulative 10% of the total budget, from one line item to another without requesting approval. Any budget adjustments that move a cumulative 11-24%of funds must be submitted in writing and approved by the FEMA Specialist, in collaboration with the SAMHSA Project Officer. Any budget adjustments that exceed a cumulative 25% of the total budget must be submitted in writing and approved by FEMA and the SAMHSA Project Officer and Grants Management Officer. Budget adjustments or modifications should be discussed with FEMA Specialist and SAMHSA Project Officer prior to submitting a request for additional funds. Use a Request for Budget Adjustment letter template available online at CCP Toolkit for Evaluating. The FEMA RA, in coordination with the SAMHSA Project Officer, is responsible for providing technical assistance to the state, territory, or tribe regarding budget adjustments. The RA approves any budget adjustment requests for the ISP or those up to 25% for the RSP. If the 216 Chapter 5: Crisis Counseling Assistance and Training Program requested budget adjustment for an RSP exceeds 25%, the responsibility for approval belongs to the SAMHSA Grants Management Officer. G. Appeals 1. Appealing a Denial Determination A Federal award applicant may appeal FEMA's decision. This appeal must be submitted to the FEMA Individual Assistance Division Director(IADD), in writing, within 60 days of the date of the application decision171. The appeal must include additional information justifying a reversal of the previous decision. The FEMA IADD shall review the material submitted, and after consultation with SAMHSA, notify the applicant within 15 days, in writing, of his or her decision. 2. Appeals of Remedies for Noncompliance The state, territorial, or tribal government may submit a written appeal letter(including supporting documentation), signed by the Governor, GAR, or Tribal Chief Executive, to the appropriate FEMA RA and SAMHSA within 15 days of the date of notification of the remedial action. The FEMA RA, after consultation with SAMHSA and FEMA HQ, will make an appeal determination within 15 days, in writing to the applicant. 3. Objections/Appeals of Decisions Regarding Allowable Costs The state,territorial, or tribal government may submit a written appeal letter(including supporting documentation), signed by the Governor, GAR, or Tribal Chief Executive,to the FEMA RA and SAMHSA within 15 days of the date of notification of the disallowed cost. The FEMA RA, after consultation with SAMHSA and FEMA HQ, will make an appeal determination within 15 days, in writing to the applicant. 4. Objections/Appeals of Termination or Suspension The state,territorial, or tribal government may submit a written appeal letter(including supporting documentation), signed by the Governor, GAR, or Tribal Chief Executive,to the FEMA RA and SAMHSA within 15 days of the date of notification of the suspension or termination action. The FEMA RA, after consultation with SAMHSA and FEMA HQ, will make an appeal determination within 15 days, in writing to the applicant. H. Procurement Requirements under a Federal Award Federal award recipients shall ensure that the process of soliciting CCP services is fair and transparent. Recipients must follow the same policies and procedures when procuring property and services under a Federal award that they follow for procurement from non-Federal funds. Recipients must ensure that any contract provisions as required by 2 C.F.R. § 200.326 Contract provisions are included on all purchase orders or contracts that draw from Federal funds. All other recipients, including sub-recipients of a state,territory, or tribe will follow the General procurement standards as required by 2 C.F.R. § 200.318 through § 200.326. 217 Chapter 6: Disaster Legal Services Chapter 6: Disaster Legal Services I. Overview When the President declares a major disaster that is approved for Individual Assistance (IA), FEMA, through an agreement with the Young Lawyers Division(YLD) of the American Bar Association, provides free legal help for survivors of that disaster through a request from the state,territorial, tribal, or local(SLTT) governments. Disaster Legal Services (DLS)provides confidential legal assistance to low-income individuals who are unable to secure legal services to meet their unmet disaster-caused needs without a cost-share. A. Period of Assistance DLS can be activated immediately following the la Fee-Generating Case IA declaration and continue until FEMA, in For the purposes of this section, coordination with the legal representatives and the a fee-generating case is one which would state, territorial, or tribal government determine not ordinarily be rejected by local that the hotline and services are no longer needed. lawyers as a result of its lack of potential remunerative value. B. Types of Assistance DLS is limited to cases that will not generate a fee for the survivor. Typically, local lawyers provide the following types of disaster legal services: • Help with insurance claims for doctors and hospital bills, loss of property, loss of life, etc.; • Drawing up new wills and other legal papers lost in the disaster; • Estate administration, including guardianships and conservatorships; • Consumer protection matters,remedies, and procedures; • Help with home repair contracts and 0,saster ^, contractors; zr, Legal s Assistan�¢ • Counseling and advice about landlords/tenants; A Legal Aid representative helps a resident at • Preparing powers of attorney and a Disaster Recovery Center(DRC). guardianship materials; and • FEMA appeals and other disaster-related actions against the government. 218 Chapter 6: Disaster Legal Services DLS cases that may generate a fee (such as lawsuits)are not covered by this service and may be referred to private lawyers through existing lawyer referral services in the affected area. It is important to note that DLS provides legal advice and not cash assistance. C. Authorities The FEMA DLS program is authorized under Section 415172 of the Stafford Act and implementing regulations found in 44 C.F.R. § 206.164. D. Partner Organizations FEMA partners with the YLD of the American Bar Association to provide DLS through a memorandum of agreement. YLD coordinates with participating attorneys, law firms,nonprofit legal services providers, Legal Services Corporation recipients, state and local bar associations, and pro bono organizations to provide legal assistance under the DLS Program. The disaster operation will pay for representatives from the American Bar Association overseeing the DLS program to travel to the disaster(FEMA JFO, DRC, etc.)to review and audit the program in progress at least once during the period of performance (POP) for that specific program. E. Conditions of Eligibility An individual is eligible for disaster legal services if they were directly affected by a4:16) Tools and Resources Presidentially-declared disaster,meet the definition of low-income, and do not have the For more information,an individual may means to hire an attorney. visit the American Bar Association s website at: 1. Definition of low-income • American Bar Association Committee For the purpose of defining eligibility for on Disaster Response and Preparedness Disaster Legal Services assistance, low-income • Disaster Legal Services Program is used to refer to those disaster survivors who An have insufficient resources to secure adequate individual may also visit his or her local legal services,whether the insufficiency existed FEMA Disaster Recovery Center(DRC)for further referral information. prior to or resulted from the major disaster. 219 Chapter 6: Disaster Legal Services II. Delivery of Services Once FEMA has activated the DLS program, the YLD will establish a toll-free hotline to receive calls and provide legal assistance services. In addition to the hotline, individuals can visit FEMA Disaster Recovery Centers (DRCs) where DLS representatives may be located. A. Program Approval Process The impacted state, territorial, or tribal government can request the DLS program through the Request for Presidential Disaster Declaration(FEMA Form 010-0-13). For individuals seeking DLS, there is no formal application process. Individuals can access these services by contacting the toll-free number established once the program has been activated. 220 Chapter 6: Disaster Legal Services This page is intentionally blank. 221 Chapter 7: Disaster Unemployment Assistance Chapter 7: Disaster Unemployment Assistance Overview The Disaster Unemployment Assistance (DUA) program may be available to state,territorial, and tribal governments to provide temporary benefits to individuals whose employment or self- employment has been lost or interrupted as a direct result of a major disaster and who are not eligible for regular unemployment insurance (UI). DUA is available when the major disaster results in a Presidential declaration providing for Individual Assistance (IA), which includes the DUA program. Individuals also receive re-employment services administered by the state/territory. There is no cost share. The DUA program is authorized under Section 410 of the Stafford Act. The U.S. Department of Labor 173 oversees the DUA program and coordinates with the Federal Emergency Management Agency(FEMA). DUA is administered by the state/territory UI agency acting as agents of the Federal Government. When DUA is approved under a direct tribal declaration,the program is administered through the state UI of the state in which the tribal headquarters is located. FEMA provides the funding for DUA payments and state administrative costs. DUA payments are made by state/territory UI agencies,under agreements with the Secretary of Labor,to eligible individuals unemployed as a direct result of the disaster. The Department of Labor implementing regulations for DUA are found at 20 C.F.R. § 625. More information is available in the current UI DUA Handbook. A. Period of Assistance DUA benefits are generally paid for up to 26 weeks beginning with the first week following the date the major disaster began, and ending with the 26th week following the date the major disaster is declared by the , President. DUA will not be paid for any period of 4;, DISASTER unemployment that occurs prior to the date of incident '4141, UNEMPLOYMENT ,N ASSISTANCE nor for any period of unemployment which begins 411 subsequent to the end of the disaster assistance period. FEMA employee discusses how to file a claim for disaster unemployment with a B. Types of Assistance potential applicant. DUA provides temporary financial assistance and reemployment services to eligible individuals. The weekly DUA benefit amount will be based on the gross wages of the individual. If the individual is self-employed,the weekly benefit amount will be based on the net earnings (income) from self-employment. Generally,benefits are calculated using the same formula used for state UI benefits. However,the minimum weekly benefit amount payable can be no less than half(50%) of the average UI benefit amount in the state,174 with certain exceptions for part-time workers. 222 Chapter 7:Disaster Unemployment Assistance C. Application Process Individuals seeking DUA must file a claim within 30 days of the public announcement of the availability of DUA in the state, territorial, or tribal government. Individuals must follow the instructions in the announcement and apply for DUA based on the filing method used by the state/territory UI agency(i.e., in person, online, or by mail or telephone). Individuals who moved or evacuated to another state should contact the affected state for claim Tools and Resources filing instructions. Individuals can also contact the State UI agency in the state where they are currently For additional information concerning residing for claim filing assistance. the DUA program,individuals may contact the U.S.Department of Labor at: Individuals are required to substantiate employment or self-employment or to substantiate work that was Website: to begin on or after the first day of the incident https://workforcesecurity.doleta.gov/ period for the disaster. If proof of employment Phone number: 1-866-487-2365 cannot be provided at the time the claim is filed, An individuals have 21 calendar days from that time to individual may also contact his or her meet this requirement.175 Failure to submit this State UI agency for state-specific information: documentation within the 21 days will result in a denial of DUA, and any benefits already paid will Website: https://www.careergnestop.org/ be considered overpaid. Individuals are required to Phone Number: 1-877-872-5627 repay any benefits overpaid. Individuals are also required to submit proof of wages or income within 21 days of filing the DUA claim. The RA may approve or deny requests for funding to support the DUA program in coordination with the U.S. Department of Labor. The state workforce agency will submit the funding request to the RA through the Regional Department of Labor. The program may be funded for up to 26 weeks of benefits and subsequent administrative costs if: • A complete state workforce agency funding request and Regional Department of Labor recommendation is received; • The funding amount request provides reasonable justification for the key assumptions leading to the cost estimate; and • There is sufficient explanation for unusually high cost estimates,to include administrative costs exceeding 15%. If approved, the RA must submit a written approval with justification to the U.S. Department of Labor Comptroller for processing of the funds to the state workforce agency. If denied, the RA must submit a written denial with justification to the state workforce agency. 223 Chapter 7: Disaster Unemployment Assistance D. Conditions of Eligibility 1. General Requirements These general conditions must be met for an applicant to be eligible for DUA. Requested documents to establish the proof of these conditions may vary by state. A disaster survivor must: • Provide proof of identity; • Be a U.S. citizen,non-citizen national, or qualified alien; • Be ineligible for regular UI; • Be unemployed or partially unemployed as a direct result of the major disaster; • Be able and available for work,unless injured as a direct result of the disaster; • File an application for DUA within 30 days of the date of the public announcement of availability of DUA; and • Have not refused an offer of employment in a suitable position. 2. Conditions of Unemployment In addition to general requirements to receive DUA, an individual must meet one of several conditions of unemployment or inability to perform services in self-employment as a direct result of the disaster. Requested documents to establish the proof of these conditions may vary by state. These conditions are:176 • The individual has had a week of unemployment following the date the major disaster began; • The individual is unable to reach his/her place of employment; • The individual was scheduled to start work and the job no longer exists or the individual was unable to reach the job; • The individual became the major support of the household because the head of the household died as a direct result of the disaster; or • The individual cannot work because of dokHow to File a Claim an injury caused as a direct result of the major disaster; To file a claim, individuals who are unemployed as a direct result of the disaster 3. Frequency of Filed Claims should contact their State UI agency The individual must continue to file weekly or Website: https://www.careeronestop.org/ biweekly claims for DUA benefits according to the instructions given by the state agency when the DUA application is filed. 224 Chapter 7: Disaster Unemployment Assistance II. Delivery of Services After a Presidentially-declared disaster occurs,the affected state,territorial, or tribal government can apply for funding for the DUA program. DUA is administered by the state UI agency, which issues a public announcement throughout the declared disaster area notifying individuals in the affected area at the time of the disaster that they may be eligible for DUA compensation if they apply within the 30-day application period starting on the first public announcement date for the designated area. If the Presidential declaration is later amended to include additional areas, another release should be prepared that allows for a separate 30-day application period for affected employment in the newly designated areas. 225 Chapter 8: Voluntary Agency Coordination Chapter 8: Voluntary Agency Coordination I. Overview Voluntary agencies are the first and the last organizations to provide survivor support services in a community after a disaster. Agencies in the community begin providing services prior to a disaster and continue throughout the long-term recovery period after a disaster. The FEMA Voluntary Agency Coordination Section provides technical assistance, coordination and subject matter expertise to partners who are addressing gaps in resources,providing financial support and additional support to survivors after government assistance is exhausted. This assistance is provided through FEMA's Voluntary Agency Liaison(VAL) staff. A. Voluntary Agency Coordination The mission of FEMA VALs is to establish, foster, and maintain relationships among government, voluntary, faith-based, and community partners. Through these relationships,the VALs support the delivery of inclusive and equitable services and empower and strengthen capabilities of communities to address disaster-caused unmet needs. A function of the VAL staff is the coordination of voluntary agencies' information between FEMA VALs, other government agencies, and Voluntary Organizations Active in Disasters (VOADs). FEMA VALs work with state VALs and voluntary agencies at all levels. Some examples of voluntary agencies supported by VALs include: National VOAD (NVOAD), State VOADs and other NGOs -+, \, , in local communities. ""`'o'er During disaster operations,VALs provide —_ _ additional support by organizing and building the capability of disaster recovery for current and �/ �" ' — future disasters.177 Additionally, FEMA VALs continue to support ongoing community recovery The Calvary Chapel Relief volunteers, an activities even after the period of assistance has organization, works tirelessly to remove damaged boards from the Asbury Park boardwalk after ended. Hurricane Sandy. 226 Chapter 8: Voluntary Agency Coordination II. Responsibilities of FEMA Voluntary Agency Liaisons The VALs provide expertise to FEMA offices concerning the voluntary agency sector's participation in prevention,protection, response, recovery, and mitigation. The VALs keep the VOADs informed about programs, policies,trends,reports, services and plans. Additionally, VALs host and attend quarterly meetings,provide trainings and briefings with primary responsible voluntary agencies, community-based and faith-based organizations, and the private sector organizations independent from state and local VOADs. Some of the FEMA VAL activities may include: A. National Response Coordination Center The FEMA National Response Coordination Center(NRCC) is a resource the Federal government employs to bring multi-agency resources,both government and NGO,together during major disasters. VALs in the NRCC coordinate with voluntary organizations to identify gaps in services to survivors and communicate available resources to meet them. Resources may also include donated goods. B. Non-Declared Disasters FEMA VALs may provide support to communities that do not receive a Presidential Declaration. This shifts more duties to voluntary agencies without the individual assistance structure administered by FEMA and public support often engendered by a Presidential Declaration. In these instances, the complex challenge of survivor recovery is addressed by voluntary agencies working to assist in the impacted areas. VALs may provide subject matter expertise to a state, territorial, or tribal government to help coordinate agencies and improve service delivery. VALs may also be called upon to help conduct a preliminary damage assessment,prior to a declaration, to gauge the level of voluntary agency activity. C. Emergency Declarations and Public Assistance VALs may be requested to assist during emergency declarations and Public Assistance (PA) only declarations. While FEMA PA programs are focused on infrastructure repair,there may be individual households impacted by the disaster that will not receive government disaster assistance. VALs work with the community to develop voluntary agency capacity to provide assistance to impacted survivors. Examples of these types of activities can be seen in the Figure 40. 227 Chapter 8: Voluntary Agency Coordination Figure 40: VAL Coordination during Non-Declared Emergencies and PA-Only Declarations Operation Month/Year Location De Taraeion Activities YP Miwok Tribe Structure Fire Provided volunteer coordination, Tribal April 2015 CA N/A technical assistance,and Headquarters information for philanthropic destroyed grant opportunities. Assisted in developing Long- Term Recovery Groups, Okanagon,WA identified recovery resources for Floods/Wildfires August 2014 WA PA disaster survivors,and coordinated assistance efforts among government and NGO service providers. Coordinated Bridge Committee West Virginia resources and assisted with Flood Recovery April 2015 WV PA developing pilot program for bridge construction by Voluntary Agencies. D. Donations and Volunteer Management Individuals and organizations often donate resources to state, territorial, tribal, and local (SLTT) governments to assist with response and recovery. A donated resource may be in the form of materials, equipment, financial contributions, services or supplies. In an effort to efficiently manage the donated goods and services to SLTT governments, or voluntary agencies, FEMA VALs may provide logistical support by coordinating donations. The Volunteer and Donations Management Support Annex to the National Response Framework describes the coordination process of unaffiliated volunteers,unaffiliated organizations, and unsolicited donated goods.178 FEMA provides assistance through: • Donation management training; • Donations messaging; and • Technical assistance on donations management. Donations management training is provided through the Emergency Management Institute (EMI), for Federal, SLTT government,non-profit and private sector partners. Additional trainings are delivered through Independent Study, attendance at a classroom offering at the 228 Chapter 8: Voluntary Agency Coordination National Emergency Training Center(NETC), or through a field-based classroom offering at a FEMA Joint Field Office (JFO)which can be accessed at the FEMA Emergency Management Institute website. FEMA donations messaging regarding the appropriate method for the public to donate can be found at the FEMA volunteer website. Financial contributions are the most efficient method of donating. Funds allow the most flexibility in obtaining the needed resources, at the correct time and moves money into the local economy to help businesses recover. The site also provides information on accepted methods for unaffiliated volunteers to get connected. FEMA partners provide technical assistance on Donations Management through: • National Voluntary Organizations Active in Disaster; • National Association of State Emergency Donations and Volunteer Coordinators (NASEDoVoC); • The American Logistics Aid Network (ALAN); and • FEMA also uses the International Assistance System (LAS) Concept of Operations as the mechanism to accept/reject offers of donations from countries outside the United States of America. 229 Appendix A: Transportation Assistance Appendix A: Transportation Assistance Section 425 of the Stafford Act authorizes FEMA to provide transportation assistance to relocate individuals displaced from their pre-disaster primary residences as a result of a major disaster or emergency or otherwise transported from their pre-disaster primary residence under Section 403(a)(3) or Section 502 of the Stafford Act,to and from alternative locations for short or long- term accommodation or to return an individual or household to their pre-disaster primary residence or alternative location. I. Authorizing Transportation Assistance FEMA's AA for Recovery has the authority to approve Transportation Assistance at the request of the affected state,territorial, or tribal government. This form of assistance may be considered for specific areas within the declared disaster when: • The scale and magnitude of the declared incident results in an extended displacement of disaster survivors; • Temporary housing options within a reasonable distance from the disaster area are limited; and • A concurrent lack of infrastructure exists within the affected area. A. Conditions of Eligibility Transportation Assistance is not a part of an applicant's Individuals and Households Program (IHP) financial assistance maximum award. To be considered for Transportation Assistance, the applicant must: • Register for FEMA assistance within the registration period; • Confirm their pre-disaster primary residence is in the declared disaster area; • Be significantly displaced from their pre-disaster residence due to the disaster, factoring in distance to include travel time and mileage; • Be able to secure temporary housing(excluding hotels/motels) in the alternative location; • Pass identity verification; • Pass citizenship requirements; and • Not have assistance available for transportation expenses from any other source. All household members who will travel under Transportation Assistance, must be listed on the FEMA application.179 Applicants may call FEMA to add pre-disaster household members to the application if they were not listed at the time of registration. 230 Appendix A: Transportation Assistance B. Limitations and Exclusions • Travel for unaccompanied minors is not an eligible expense. Minors must travel with at least one adult household member. • The maximum time limit for Transportation Assistance is the period of assistance for the IHP. FEMA may further limit the timeframe of availability for Transportation Assistance for specific populations of applicants based on the progress of their permanent housing plan. 231 Appendix B: Individual Assistance Program and Assistance Approvals Appendix B: Individual Assistance Program and Assistance Approvals Not all Individual Assistance programs and types of assistance are automatically implemented when a disaster is declared for Individual Assistance. When requested by the state,territorial, or tribal government, FEMA officials at various levels throughout the Agency may approve the below Individual Assistance programs and types of assistance. The chart outlines who may approve each program or type of assistance: the Assistant Administrator for Recovery,the Individual Assistance Division Director,the Regional Administrator(RA), or the Federal Coordinating Officer(FCO). FEMA RAs may further delegate any of their approval authority to Federal Coordinating Officers. Figure 41: Delegation of IA Authorities Program Area Recovery IADD RA Mass Care and Community Services Transitional Sheltering Assistance -Initial Approval X -Extensions X *FCO may approve individual case exceptions Crisis Counseling Assistance and Training Program—Regular Services Program -Initial Approval X -Approval Appeals X Disaster Case Management -Initial Approval X *FCO approves Immediate Disaster Case Management -Approval Appeals X -Extensions X -Extension Appeals X 232 Appendix B: Individual Assistance Program and Assistance Approvals Figure 41: Delegation of IA Authorities Program Area Recovery IADD RA Disaster Unemployment Assistance -Initial Approval X -Appeals j X IAPPG Policy Waivers X IHP 18-Month Period of Assistance Extension X Registration Period - 1st Extension X -Additional Extensions X Section 425 Transportation Assistance X Geospatial Inspections X FMR Rental Assistance Rate Increase -Up to 125% X -More than 125% X ONA Administrative Option Selection Form and State Administrative Plan X Critical Needs Assistance X Clean and Removal Assistance X Direct Temporary Housing Assistance X Forms of Direct Housing(includes TTHU/MLR) X Direct Lease X 233 Appendix B: Individual Assistance Program and Assistance Approvals Figure 41: Delegation of IA Authorities Program Area Recovery IADD RA Direct Lease FMR Increase -Upto200% X -More than 200% X FMR will be consistent with Rental Multi-Family Lease and Repair FMR Increase Assistance Rate Increase approvals MHU/RV Group Sites X Permanent Housing Construction X Disposal of MHUs/RVs via Sales/Donations X 234 Appendix B: Individual Assistance Program and Assistance Approvals This page is intentionally blank. 235 Appendix C: Individual Assistance Policy Supersession Appendix C: Individual Assistance Policy Supersession These policies have been superseded by the IAPPG: Figure 42:Individual Assistance Policy Supersession Document Number Document Name FP 104-009-03 Individuals and Households Program Unified Guidance(IHPUG)— September 2016 Disaster Case Management Program Guidance-March 2013 Disaster Case Management Program Interim Guidance on 2 C.F.R. § 200 -December 2014 Interim Disaster Case Management Program Guidance- September 2017 Crisis Counseling Assistance and Training Program Interim Guidance on 2 C.F.R. § 200-December 2014 Crisis Counseling Assistance and Training Program Guidance-Version 5.0-July 2016 236 Appendix C: Individual Assistance Policy Supersession This page is intentionally blank. 237 Appendix D: Legal Considerations for Recipients of Federal Financial Assistance Appendix D: Legal Considerations for Recipients of Federal Financial Assistance I. Compliance with Federal Civil Rights Laws and Regulations and Other Legal Authorities All recipients of Federal financial assistance, including but not limited to non-Federal entities such as state,territorial, tribal, and local (SLTT) governments and their sub-recipients, and providers of disaster-related assistance must abide by the nondiscrimination provisions in Section 308 of the Stafford Act stating the provision of disaster-related assistance shall be accomplished in an equitable and impartial manner, without discrimination on the grounds of race, color,religion,nationality, sex, age, disability, English proficiency, or economic status. Recipients of Federal financial assistance must also comply with other Federal civil rights laws and regulations.180 Specifically, the recipient is required to provide assurances about compliance with Federal civil rights laws and regulations as a condition for receipt of Federal funds. The FEMA-State/Territory/Tribal Government Agreement contains a link to the DHS Standard Te17ns and Conditions. Among the provisions within the DHS Standard Terms and Conditions for grants, cooperative agreements, fixed amount awards, and other types of Federal financial assistance are the following civil rights-related obligations: Recipients of Federal financial assistance from DHS must complete the DHS Civil Rights Evaluation Tool within thirty days of receipt of the Notice of Award or, for State Administering Agencies, thirty days from receipt of the DHS Civil Rights Evaluation Tool from DHS or its awarding component agency. Recipients are required to provide this information once every two years, not every time an award is made. After the initial submission,recipients are only required to submit updates. Recipients should submit the completed tool, including supporting materials to CivilRightsEvaluationC.hq.dhs.gov. This tool clarifies the civil rights obligations and related reporting requirements contained in the DHS Standard Terms and Conditions. Sub-recipients are not required to complete and submit this tool to DHS. The evaluation tool can be found at https://www.dhs.gov/evaluation-tool. Age Discrimination Act of 1975: Recipients must comply with the requirements of the Age Discrimination Act of 1975 (Title 42 U.S.C. §§ 6101 et. Seq.), which prohibits discrimination on the basis of age in any program or activity receiving Federal financial assistance. Americans with Disabilities Act of 1990: Recipients must comply with the requirements of Titles I, II, and III of the Americans with Disabilities Act, which prohibits recipients from discriminating on the basis of disability in the operation of public entities,public and private transportation systems,places of public accommodation, and certain testing entities. (42 U.S.C. §§ 12101-12213). 238 Appendix D: Legal Considerations for Recipients of Federal Financial Assistance Title VI of the Civil Rights Act of 1964: Recipients must comply with the requirements of Title VI of the Civil Rights Act of 1964 (42 U.S.C. §§ 2000d et. Seq.), which provides that no person in the United States will, on the grounds of race, color, or national origin,be excluded from participation in,be denied the benefits of, or be subjected to discrimination under any program or activity receiving Federal financial assistance. DHS implementing regulations for the Act are found at 6 C.F.R. § 21 and 44 C.F.R. § 7. Limited English proficiency(LEP) (Title VI of the Civil Rights Act of 1964): Recipients must comply with the Title VI of the Civil Rights Act of 1964 (42 U.S.C. §§ 2000d et. Seq.) prohibition against discrimination on the basis of national origin, which requires that recipients of Federal financial assistance take reasonable steps to provide meaningful access to persons with LEP to their programs and services. For additional assistance and information regarding language access obligations,please refer to the DHS Recipient Guidance https://www.dhs.gov/meaningful-access and additional resources on http://www.lep.gov. Title VIII of the Civil Rights Act of 1968: Recipients must comply with the requirements of Title VIII of the Civil Rights Act of 1968, which prohibits recipients from discriminating in the sale, rental, financing, and advertising of dwellings, or in the provision of services in connection therewith, on the basis of race, color,national origin, religion, disability, familial status, and sex (See 42 U.S.C. §§ 3601 et. Seq.), as implemented by the Department of Housing and Urban Development at 24 C.F.R. § 100. The prohibition on disability discrimination includes the requirement that new multifamily housing with four or more dwelling units—i.e.,the public and common use areas and individual apartment units (all units in buildings with elevators and ground-floor units in buildings without elevators)—be designed and constructed with certain accessible features. (See 24 C.F.R. § 100.201.) Title IX of the Education Amendments of 1972 (Equal Opportunity in Education Act): Recipients must comply with the requirements of Title IX of the Education Amendments of 1972 (20 U.S.C. §§ 1681 et. Seq.),which provide that no person in the United States will, on the basis of sex, be excluded from participation in, be denied the benefits of, or be subjected to discrimination under any educational program or activity receiving Federal financial assistance. DHS implementing regulations are codified at 6 C.F.R. § 17 and 44 C.F.R. § 19. Section 504 of the Rehabilitation Act of 1973: Recipients must comply with the requirements of Section 504 of the Rehabilitation Act of 1973, (29 U.S.C. § 794), as amended, which provides that no otherwise qualified individual with a disability in the United States will, solely by reason of the disability,be excluded from participation in,be denied the benefits of, or be subjected to discrimination under any program or activity receiving Federal financial assistance. In addition,the United States has the right to seek judicial enforcement of these obligations. Members of the public have the right to file a civil rights complaint if they believe they have been discriminated against by a recipient of Federal financial assistance. Please contact FEMA's Office of Equal Rights for more information: 202 212 3535 or civilrightsofficeg fema.dhs.gov. 239 Appendix E: DCM–Allowable and Unallowable Costs Appendix E: DCM - Allowable and Unallowable Costs Figure 43: DCM—Allowable and Unallowable Costs Budget Allowable Expenses Unallowable Expenses Category Salaries and wages for DCM Positions must • Supplanting of existing non- be justified.Below is a list of some of the positions DCM allows: Federal entity or provider positions • Program Director • Finance Director • Finance Manager Personnel • Administrative Assistant • Monitoring/Data Management • Data Entry Specialist • Construction Cost Analyst • Case Management Supervisor • Case Manager • Fringe benefit costs at the usual and • Fringe benefit costs above the Fringe customary fringe benefit rate for STTL customary fringe benefit rate for Benefits and local providers temporary STTL and local provider staff • Mileage reimbursement for Case • Providing transportation for Managers travel to and from disaster survivors survivor locations or trainings if provided • Out of state travel for DCM Travel outside of the base office location personnel except in exceptional • All travel costs must be in accordance circumstances with prior FEMA with Non-Federal entity travel policy approval guidelines • Rental or leasing of vehicles Equipment means an article of N/A nonexpendable,tangible personal property having a useful life of more than one year and an acquisition cost which equals or exceeds the lesser of the capitalation level Equipment ! established by the governmental unit for financial statement purposes,or$5000. Pre-Approval for equipment is required by FEMA 240 Appendix E: DCM–Allowable and Unallowable Costs Figure 43: DCM—Allowable and Unallowable Costs Budget Allowable Expenses Unallowable Expenses Category • Contracted consulted maximum FEMA • Consultant costs exceeding$750 a Contractual reimbursement rate is$750 per day, day which includes equipment, supplies, lodging,and travel costs • Supplies include materials that are • Food and beverages expendable/consumed during the course • Refreshments for meetings/trainings Supplies of the project and less than$5000 • Basic office equipment, such as • Video cameras,video recording computers,mobile phones, equipment,televisions,and other printers/copiers,etc. types of video production equipment The budget may identify costs that are • Direct financial assistance for unique to the declared disaster area,but do survivors not fall into one of the budget sub-categories. • Telephone and utility charges not Note: Costs must not be identified as directly related to the DCM program miscellaneous(i.e.,they must be described in • FEMA will not provide funding for a detail). media campaign • Advertising costs associated with the recruitment of personnel required for the DCM program Other • Rental office space • Telephone and utility costs directly billed to the DCM Program • Background checks for case managers • FEMA will pay licensing fee for technology platform • Hotline and/or call center utilized for resource collection and/or referral services may be considered with sufficient justification N/A • Indirect costs,including management costs,are defined as costs not directly chargeable to a specific project. Indirect Section 324 of the Stafford Act Costs requires FEMA to establish management cost rates in program regulations. Since DCM does not have regulations under 44 C.F.R., they are unallowable per statute 241 Appendix E: DCM—Allowable and Unallowable Costs 242 Appendix F: CCP -Allowable and Unallowable Costs Appendix F: CCP - Allowable and Unallowable Costs Figure 44: CCP—Allowable and Unallowable Costs Budget Non-Fundable Expenses Typical In Kind Category Fundable Expenses (items apply to all budget Contributions categ_o_ries) • Salaries and wages for • Longer term,more formal • Salaries and typical CCP positions: mental health services, wages of and mental health existing STTL o Crisis Counselor professionals providing and local staff, o Team Leader these services (e.g. such as the (Supervisor) diagnosis and therapy) STTL Disaster o Administrative Behavioral Assistant • Longer-term,more formal Health o Data Evaluation substance use treatment, Coordinator Specialist and para professionals and local area o Consultant/Trainer providing these services provider (listed in personnel agency • Advocacy managers who only if a direct STTL dedicate a or provider • Formal critical incident percentage of employee) stress debriefing(CISD) time to the Salaries and o Fiscal Specialist services or critical CCP in Wages o STTL CCP Program incident stress addition to Manager/Director management(CISM) their existing o Provider Project training duties Manager o Community • Reimbursement for Liaison/Resource uncollected revenue(e.g., Linkage Coordinator if mental health workers o Media Liaison respond to the disaster and it results in fewer o Child Specialist Medicaid billings,the state will not be reimbursed for these lost Medicaid billings) • Supplanting of existing STTL or provider positions • Fringe benefit costs at the • Fringe benefit costs above N/A Fringe usual and customary fringe the customary fringe Benefits benefit rate for STTL and benefit rate for temporary local providers STTL and local provider staff 243 Appendix F: CCP-Allowable and Unallowable Costs Figure 44: CCP—Allowable and Unallowable Costs • Mileage reimbursement for • Out-of-state/area • The STTL crisis counselor travel to deliver travel for CCP may offer to services in survivor homes, personnel use the meet with community groups or • Transportation for motor-pool as agency personnel,and p an in-kind conduct/receive training survivors contribution Travel The standard motor-pool cost if • Rental/leasing of STTL cars are used vehicles except in unusual circumstances that indicate personal vehicles are not a reasonable option • Equipment purchases of more • Consult with • N/A than$5,000 per individual item FEMA and CMHS Equipment Consult with FEMA and CMHS Project Officer for Project Officer prior to developing specific non- the budget for this category. fundable expenses • CMHS-approved, qualified • Consultants or • Costs and consultants providing technical trainers not time assistance or consultation to approved by associated STTL project staff on program CMHS with the use development and project • Consultant charges of STTL in- managementhouse exceeding$750 per consultants • CMHS-approved, qualified day trainers providing standardized CCP training or training • Conferences or concerning unique disaster- workshops not Consultants related issues e. cultural directly related to g' /Trainers the project competence, working with children,working with special • Out-of- populations) state/territory • Travel costs,lodging,and per training diem for consultants • Disaster For contracted consultants, the preparedness maximum FEMA reimbursement training rate is$750 per day, which includes • CISD or CISM preparation, materials, and travel training time 244 Appendix F: CCP-Allowable and Unallowable Costs Figure 44: CCP—Allowable and Unallowable Costs • Basic office equipment, • Food and beverages • Use of existing such as computers,mobile phones,printers,pagers, • Refreshments for equipment,such fax machines,or meetings and trainings as office furniture, photocopiers • Medications computers,fax machines, • Toys or playground printers,or Supplies items for recreational photocopiers programs • Food and • Disaster kits beverages • Video cameras and • Toys and recording equipment, recreational televisions,and other items video production equipment • Advertisements to recruit • Items/activities not • For print crisis counselors included as part of the advertisements • Educational materials, Federal award and broadcast pamphlets, and handouts application program time,FEMA plan or not approved by and CMHS • Flyers or other materials to the FEMA and CMHS advise that promote access to CCP project officers programs seek services donations as a • Disaster preparedness Staff identification items, materials public service • such as t-shirts or name for space and badges • Expensive print, airtime television,or radio announcements. • Media messaging and advertisements If this is not Media/Public public service possible, list Information announcements these media costs as a • Duplication of existing budget item, materials, such as FEMA and provide and CMHS disaster ample behavioral health justification in materials, should the the narrative. STTL government require more copies of these materials than can be provided Video and multimedia product development may be funded only if it is carefully justified and the following three criteria are met: 245 Appendix F: CCP-Allowable and Unallowable Costs 246 Appendix F: CCP-Allowable and Unallowable Costs Figure 44: CCP—Allowable and Unallowable Costs • No comparable resource is available from another CCP,any Federal or STTL government agency,or any private entity • The STTL government has provided a comprehensive description of the objectives and format of the product, and has demonstrated the disaster mental health expertise to develop a quality product • The product can be completed to be used as an educational or training tool during the CCP • Provider costs and any • Items or activities not • Office space other contractual costs included as part of the • Additional must be itemized. The Federal award application itemization should include program plan or not trainings Provider/ costs associated with approved by the FEMA • Equipment Contractual salaries,fringe,travel,per and CMHS Project (copiers, Costs diem,and training. These Officers printers, fax) costs must be justified in • Transportation of • Human the budget narrative. survivors resources • Mental health treatment The budget may identify costs • Facility renovation, • Office space that are unique to the disaster and area affected but do not repair,or construction within the fall into one of the prescribed • Transportation for STTL government categories. survivors mental health Note: Costs must not be identified as miscellaneous • Child care authority and (i.e.,theymust be described in • CCP provider Case management facilities Other detail) Categories typically listed as • Diagnostic testing • Utilities such Other • Toys or recreational as heat,water, • Rental Office Space equipment or activities or electricity o Minimal office space • Food and beverages for the management • Refreshments and administration functions of the • Video or multimedia program when recording equipment 247 Appendix F: CCP-Allowable and Unallowable Costs 248 Appendix F: CCP-Allowable and Unallowable Costs Figure 44: CCP—Allowable and Unallowable Costs donated space is not • Longer-term,more formal available mental health services to o Appropriate existing or new clients telephone and utility • Financial assistance for costs for CCP operations when not survivors located within • Fundraising activities existing STTL government mental • Disaster preparedness health authority or • Facility renovation, provider space repair, or construction • Telephone and Utilities • Telephone and utility • Additional costs to charges not directly conduct CCP evaluation related to CCP operations and data collection in • Evaluation activities not compliance with the in compliance with the Evaluating the Reach, evaluating the Reach, Quality, and Consistency Quality,and Consistency of Crisis Counseling of Crisis Counseling Programs guidance Programs guidance More formal research activities 249 Appendix F: CCP-Allowable and Unallowable Costs This page is intentionally blank. 250 Appendix G:Definitions Appendix G: Definitions Terms may have different meanings when applied to other FEMA,non-Federal entity,Non- Governmental Organization(NGO), or local programs. Access and Functional Needs: Circumstances that are met for providing physical, programmatic, and effective communication access to the whole community by accommodating individual requirements through universal accessibility and/or specific actions or modifications which includes assistance, accommodation or modification for mobility, communication, transportation, safety, health maintenance, etc.; need for assistance, accommodation or modification due to any situation(temporary or permanent) that limits an individual's ability to take action in an emergency. When physical,programmatic, and effective communication access is not universally available, individuals may require additional assistance in order to take protective measures to escape to and/or from, access either refuge and/or safety in an emergency or disaster, and/or may need other assistance, accommodations or modifications in an emergency or disaster. This is accomplished through pre-planning by emergency management, first response agencies and other stakeholders or in sheltering or other situations, from notification and evacuation, to sheltering,to return to pre-disaster level of independence. Individuals having access and functional needs may include,but are not limited to, individuals with disabilities, older adults, and individuals with limited English proficiency, limited access to transportation, and/or limited access to financial resources to prepare for, respond to, and recover from the emergency. Federal civil rights law and policy require nondiscrimination, including on the bases of race, color,national origin, religion, sex, age, disability, English proficiency, and economic status. Many individuals with access and functional needs are protected by these provisions.181 Accommodation: Americans with Disabilities Act(ADA) accommodations apply equally to survivors and employees,requiring fiscal projections in separate budgets. The ADA also requires accommodations for qualified individuals with disabilities who are employees or applicants for employment, except when such accommodations would cause an undue hardship. In general, an accommodation is any change in the work environment or in the way things are customarily done which enables an individual with a disability to enjoy employment as an equal opportunity experience with all other employees. The duty to provide reasonable accommodation is a fundamental statutory requirement because of the nature of discrimination faced by individuals with disabilities. Specific questions may be addressed to legal advisors. Allowable Costs: Allowable costs are defined in the FAR as costs that are reasonable and chargeable to the grant/contract. (See FAR 31.201-2). Although this is a broad definition, FAR Section 31 specifically addresses many types of costs a recipient/contractor may incur. 251 Appendix G:Definitions Appeal: Applicants will have the opportunity to appeal a denial of initial program award or extension requests within 60 days of receipt of the written notice of determination. The appeal will be submitted to the IADD for review and determination. Appeals (DUA Definition): The state workforce agency will have the opportunity to appeal a denial of initial program award or supplemental funding requests within 60 days of receipt of the written notice of determination. First level appeals will be submitted to the RA for review and determination and second level appeals will be submitted to the IADD for review and determination. Client: A disaster survivor enrolled in a Disaster Case Management(DCM)program that is receiving case management services. Closeout: The process by which FEMA or the pass-through entity determines that all applicable administrative actions and all required work of the Federal award have been completed and takes actions as described in 2 C.F.R. § 200.343. Conditions of Award: The legal requirements imposed on a grant by FEMA,whether based on statute, regulation,policy, or other document referenced in the grant award, or specified by the Notice of Grant Award. It may include standard and/or special conditions, as necessary to attain the grant's objectives.182 Contract: A legal instrument by which a state,territorial, or tribal government purchases property or services needed to carry out the project or program under a Federal award. The term as used in this part does not include a legal instrument, even if the state,territorial, or tribal government considers it a contract, when the substance of the transaction meets the definition of a Federal award or sub-award. Congressional Notification: In compliance with Section 507 of the Appropriations Act, for all awards greater than or equal to one million dollars, the RA will be required to submit advance Congressional Notification and summary of award through the External Coordination Unit, Office of the Chief Financial Officer at FEMA Headquarters. Disaster Case Management(DCM): A time-limited process involving a partnership between a disaster case manager and a disaster survivor(also known as a"client")to develop and carry out an individualized disaster recovery plan. This partnership provides the client with a single point of contact to facilitate access to a broad range of resources. The process involves an assessment of the client's verified disaster-caused unmet needs; development of a goal-oriented plan that outlines the steps necessary to achieve recovery; organization and coordination of information on available resources that match the disaster-caused unmet needs; the monitoring of progress toward reaching the recovery plan goals; and when necessary, client advocacy. Disaster-Caused Unmet Needs: Any un-resourced item, support, or assistance that has been assessed and verified as necessary for a survivor to recover from disaster. This may include food, clothing, shelter, first aid, emotional and spiritual care,household items,home repair, or rebuilding. 252 Appendix G: Definitions Disaster Recovery Plan: A formal, written plan developed to accomplish the recovery goals identified by the client, with support from the disaster case manager. The plan is developed following a comprehensive disaster-impact assessment conducted by the disaster case manager, in close collaboration with the client, and should be updated regularly throughout the recovery process. The Disaster Recovery Plan includes specific goals and objectives that link with the client's disaster-caused unmet needs. Extensions: Requests for extensions to the period of performance and/or additional funding may be approved by the RA. Requests for additional time may be approved for up to 90 days. Extensions and/or additional funding may be approved if sufficient justification is provided. If sufficient need is not provided, the RA may deny the request for extension and/or additional funding. Federal award: The Federal financial assistance that a state,territorial, or tribal government receives directly from a Federal awarding agency or indirectly from a pass-through entity. Federal awarding agency: The Federal agency that provides a Federal award directly to a state, territorial, or tribal government. Household: All persons (adults and children)who lived in the pre-disaster residence, as well as any persons, such as infants, spouses, or part-time residents who were not present at the time of the disaster,but who are expected to return during the assistance period. Information and Referral(I&R): The provision of disaster-related resource information provided to disaster survivors to meet immediate unmet needs. Referrals may include those for temporary shelter, food, clothing, and medical assistance. I&R also refers to the ongoing process by which case managers facilitate a disaster survivor's access to needed services throughout the DCM life cycle. Long-Term Recovery Group: A cooperative body that is made up of representatives from faith-based,non-profit, government, business, and other organizations moving within a community to assist individuals and families as they recover from disaster.183 Non-Federal entity: A SLTT government, or a private organization that carries out a Federal award as a recipient or sub-recipient, or as referenced in previous guidance, a grantee or sub- grantee. Nonprofit organization: Nonprofit organization means any corporation, trust, association, cooperative, or other organization,not including Institutes of Higher Education, that is operated primarily for scientific, educational, service, charitable, or similar purposes in the public interest, is not organized primarily for profit and uses net proceeds to maintain, improve, or expand the operations of the organization. Pass-through entity: A state, territorial, or tribal government that provides a sub-award to a sub- recipient to carry out part of a Federal program. Performance goal: A target level of performance expressed as a tangible, measurable objective, against which actual achievement can be compared, including a goal expressed as a quantitative 253 Appendix G:Definitions standard, value, or rate. In some instances (e.g., discretionary research awards),this may be limited to the requirement to submit technical performance reports (to be evaluated in accordance with agency policy). Period of Performance: Per 2 C.F.R. § 200.77,period of performance for a Federal award means the time during which the non-Federal entity may incur new obligations to carry-out the work authorized under the Federal Award. Pre-Award Costs: Per 2 C.F.R. § 200.209,pre-award costs for a Federal award are costs incurred by the applicant prior to the start date of the period of performance. Recipient: A state,territorial, or tribal government mental health agency, or other local or private mental health organization which is designated by the Governor,Governor's Authorized Representative (GAR), or Tribal Chief Executive, to receive funds under Section 416 of the Stafford Act. This definition aligns with the program specific definition of a grantee, as per 44 C.F.R. § 200.171 (b)(5), and the Federal award definition of a recipient, as per 2 C.F.R. § 200.86. Service Providers: Any entity providing DCM services at the local level. These agencies include, but are not limited to,non-profit,voluntary, faith-based, and/or private not-for-profit organizations that provide DCM services to disaster survivors. Sub-award: An award provided by a pass-through entity to a sub-recipient for the sub-recipient to carry out part of a Federal award received by the pass-through entity. It does not include payments to a contractor or payments to an individual that is a beneficiary of a Federal program. A sub-award may be provided through any form of legal agreement, including an agreement that the pass-through entity considers a contract. Sub-recipient: A state,territorial, or tribal government that receives a sub-award from a pass- through entity to carry out part of a Federal program; does not include an individual that is a beneficiary of such program. Supplant: States,territories, or tribal governments may not use Crisis Counseling Assistance and Training Program(CCP) funds to take the place of or serve as a substitute for previously existing state or local activities. Supplemental: If sufficient justification is provided by the state workforce agency,requests for supplemental funding may be approved by the RA. 254 Appendix H: Abbreviations and Acronyms Appendix H: Abbreviations and Acronyms Abbreviation/Acronyms Definition AA Assistant Administrator ABFE Advisory Base Flood Elevation ACS Adventist Community Services ADA Americans with Disabilities Act ADAAG Americans with Disabilities Act Accessibility Guidelines ADL Activities of Daily Living AFHI Advisory Flood Hazard Information AFMV Adjusted Fair Market Value ALAN American Logistics Aid Network ALE Additional Living Expense ASL American Sign Language ASPR Assistant Secretary for Preparedness and Response AT Advanced Technology AWG Administrative Wage Garnishment BFE Base Flood Elevation BPA Blanket Purchase Agreements CARB California Air Resources Board CART Communication Access Real-time Translation CBRA Coastal Barrier Resources Act CBRS Coastal Barrier Resources System CCP Crisis Counseling Assistance and Training Program CDC Centers for Disease Control and Prevention CFR Code of Federal Regulations CMHS Center for Mental Health Services 255 Appendix H: Abbreviations and Acronyms Abbreviation/Acronyms Definition CMS Consumable Medical Supplies CNA Critical Needs Assistance CNCS Corporation for National and Community Service CRA Clean and Removal Assistance CTN Critical Transportation Needs CUSI Commonly Used Shelter Items DCIA Debt Collection Improvement Act DCM Disaster Case Management DFA Direct Federal Assistance DHAP Disaster Housing Assistance Program DHAT Direct Housing Assessment Team DHS Department of Homeland Security DHTF Disaster Housing Task Force DLS Disaster Legal Services DME Durable Medical Equipment DOB Duplication of Benefits DOD Department of Defense DOJ Department of Justice DOL Department of Labor DRC Disaster Recovery Center DSA Disaster Survivor Assistance D-SNAP Disaster Supplemental Nutrition Assistance Program DTAC Disaster Technical Assistance Center DUA Disaster Unemployment Assistance EHP Environmental Planning and Historic Preservation EMI Emergency Management Institute EOC Emergency Operations Center 256 Appendix H: Abbreviations and Acronyms Abbreviation/Acronyms Definition EOP Emergency Operations Plan EOs Executive Orders ESF Emergency Support Function ESF6-SS Emergency Support Function#6-Support Systems FAQ Frequently Asked Questions FAR Federal Acquisition Regulation FCO Federal Coordinating Officer FEMA Federal Emergency Management Agency FFC FEMA Finance Center FIID Fraud and Internal Investigations Division FIOP Federal Interagency Operational Plan FIRM Flood Insurance Rate Map FMR Fair Market Rent FODAC Friends of Disabled Adults and Children FOIA Freedom of Information Act FVL FEMA-Verified Loss GAO Government Accountability Office GAR Governor's Authorized Representative GFIP Group Flood Insurance Policy GIS Geographic Information System GMO Grants Management Officer GSA General Services Administration HA Housing Assistance HHS Health and Human Services HPSA Household Pets and Service and Assistance Animals HQ Headquarters HQS Housing Quality Standards 257 Appendix H: Abbreviations and Acronyms Abbreviation/Acronyms Definition HUD Department of Housing and Urban Development HVAC Heating,Ventilation,and Air Conditioning IA Individual Assistance IAA Interagency Agreement IADD IA Division Director IAPPG Individual Assistance Program and Policy Guide IAS International Assistance System IASC Individual Assistance Support Contracts IDCM Immediate Disaster Case Management IDEA Individuals with Disabilities Education Act IDIQ Indefinite Delivery Indefinite Quantity IEP Individualized Educational Plan IHP Individuals and Households Program IOF Initial Operating Facility IPERA Improper Payments Elimination and Recovery Act IPERIA Improper Payments Elimination and Recovery Improvement Act IPIA Improper Payments and Information Act I&R Information and Referral ISP Immediate Services Program JFO Joint Field Office LEP Limited English Proficiency LER Lodging Expense Reimbursement LOU Loss of Use MASTF Multi-agency Sheltering Task Force MC/EA Mass Care/Emergency Assistance MHU Manufactured Housing Unit MLR Multi-Family Lease and Repair 258 Appendix H: Abbreviations and Acronyms Abbreviation/Acronyms Definition MOA Memorandum of Agreement MOU Memorandum of Understanding N/A Not Applicable NAMB North American Mission Board NARSC National Animal Rescue and Sheltering Coalition NASAAEP National Alliance of State Animal and Agriculture Emergency Programs NASEDoVoC National Association of State Emergency Donations and Volunteer Coordinators NCIL National Council on Independent Living NDL Notice and Demand Letter NDMS National Disaster Medical System NDRF National Disaster Recovery Framework NDRN National Disability Rights Network NECLC National Emergency Child Locator Center NEMIS National Emergency Management Information System NETC National Emergency Training Center NFIP National Flood Insurance Program NFIRA National Flood Insurance Reform Act NGO Non-Governmental Organization NMCE National Mass Care Exercise NMETS National Mass Evacuation Tracking System NOA Notice of Award NOR Notice of Revocation NPG National Preparedness Goal NRCC National Response Coordination Center NVOAD National Voluntary Organizations Active in Disasters OIG Office of Inspector General OMB Office of Management and Budget 259 Appendix H: Abbreviations and Acronyms Abbreviation/Acronyms Definition ONA Other Needs Assistance OPA Otherwise Protected Area PA Public Assistance PAPPG Public Assistance Policy and Program Guide PAS Personal Assistance Services PHC Permanent Housing Construction PHP Permanent Housing Plan PII Personally Identifiable Information PKEMRA Post-Katrina Emergency Management Reform Act PMS Payment Management System PNP Private Non-Profit PO Program Officer POD Proof of Debt POP Period of Performance PPD Presidential Policy Directive PSMA Pre-Scripted Mission Assignments RA Regional Administrator ROE Right of Entry RRCC Regional Response Coordination Center RSF Recovery Support Function RSP Regular Services Program RSVP Retired and Senior Volunteer Program RV Recreational Vehicle SAMHSA Substance Abuse and Mental Health Services Administration SAP State Administrative Plan SBA U.S. Small Business Administration SBDR Southern Baptist Disaster Relief 260 Appendix H: Abbreviations and Acronyms Abbreviation/Acronyms Definition SCO/TCO State or Territorial Coordinating Officer SFHA Special Flood Hazard Area SME Subject Matter Expert SPOC Single Point of Contact SSA Social Security Administration SSN Social Security Number STTL state, territorial,tribal,and local government agencies THU Temporary Housing Unit TPS Tank and Pump System TSA Transitional Sheltering Assistance TTHU Transportable Temporary Housing Unit TTY Text Telephone UFAS Uniform Federal Accessibility Standards UI Unemployment Insurance UMR Unaccompanied Minor Registry USACE United States Army Corps of Engineers USDA United States Department of Agriculture VA Department of Veteran's Affairs VAL Voluntary Agency Liaison VISTA Volunteers in Service to America VOAD Voluntary Organizations Active in Disasters VRI Video Remote Interpreting VRS Video Relay Service YLD Young Lawyers Division 261 Appendix H: Abbreviations and Acronyms This page is intentionally blank. 262 Endnotes Endnotes 'Stafford Act§ 102(4),42 U.S.C.§5122 and Title 44 of the Code of Federal Regulations(C.F.R.)§206.2(a)(22),state governments include the District of Columbia,American Samoa,the Commonwealth of the Northern Mariana Islands,Guam, Puerto Rico,and the U.S.Virgin Islands. 2 Stafford Act§ 102(6),42 U.S.C.§5112,and 44 C.F.R.§206.201(i),a Tribal Government refers to any Native American tribe, band,nation,pueblo,village,or community in the continental U.S.and Alaska that is listed as a tribe under the Federal Recognized Native American Tribe List Act of 1994. 3 Stafford Act§ 102(8),42 U.S.C.§5122,and 44 C.F.R.§206.2.(a)(16),local governments include counties or parishes, municipalities,cities,towns,townships,local public authorities,school districts,special districts established under State law, intrastate districts,councils of governments(regardless of whether the council of governments is included as a nonprofit corporation under State law),regional or interstate government entities,agencies or instrumentalities of a local government;state- recognized tribes;and rural communities,unincorporated towns or villages,or other public entities,for which an application for assistance is made by a State or political subdivision of a State. 4 See Robert T.Stafford Disaster l I Emergency Assistance Act. 5 Stafford Act§ 102(12),42 U.S.C.§5122. 6 44 C.F.R.§§206.35(a)and 206.36(a). 7 Stafford Act§408(g),42 U.S.C.§5174(g)and 44 C.F.R.§206.110(i).Transitional Sheltering 8 Id. 9 Stafford Act§ 102(1),42 U.S.C.§5122,and 44 C.F.R.§206.2(a)(17). 1044 C.F.R.§206.32(f). 1144 C.F.R.§206.2(a)(6). 12 44 C.F.R.§206.32(d). 1344 C.F.R.§206.191(d)(2). 14 Mass Care/Emergency Assistance is authorized under Sections 402,403,and 502 of the Robert T.Stafford Disaster Relief and Emergency Assistance Act,Public Law 93-288,as amended;42 U.S.C.5121 et.Seq.(Stafford Act);and Title 6 U.S.C.§§774 and 775. 15 Section 402(a)(3)(j)authorizes the provision of rescue,care,shelter and essential needs...for individuals and their household pets,service animals,and assistance animals.This is not included in Category B. 16 The authorities governing the declaration of a disaster and the ensuing sheltering support by FEMA MC/EA are the Stafford Act(Sections 309,402,403,502,775). 17 The authorities governing the declaration of a disaster and the emergency feeding support by FEMA MC/EA are the Stafford Act(Sections 309,402,403,412,413,and 502). 18 The authority governing the declaration of a disaster and the ensuing distribution of emergency supplies by FEMA MC/EA is the Stafford Act(Sections 309,402,403,502). 19 The authorities governing the declaration of a disaster and the Personal Assistance Services support by FEMA MC/EA are the Robert T.Stafford Disaster Relief and Emergency Assistance Act(Sections 402,403,502),The Rehabilitation Act of 1973 (Provisions of 504 and 508),ADA of 1990(and as Amended in 2008),Architectural Barriers Act of 1968,Fair Housing Act of 1968(and as Amended in 1988),Air Carrier Access Act of 1986,and the UFAS of 1984.FEMA personal assistance contracts are governed by Section 3(2)of the ADA of 1990(42 U.S.C. 12102(2)and the Stafford Act(Public Law 93-288). 20 Support to children in disasters was added in the June 2016(version 3)of the ESF6 Annex. 21 The authorities governing the declaration of a disaster and the ensuing deployment of reunification services by FEMA MC/EA are the Stafford Act(Section 403),and Title 6 U.S.C.§774.NECLC is authorized under the Stafford Act(Sections 403 and 774). 22 The authorities governing the declaration of a disaster and the ensuing household pets,service animals,and assistance animals support by FEMA MC/EA are the Stafford Act(Sections 309,402,403,502,611,and 613). 23 The authorities governing the declaration of a disaster and the ensuing deployment of mass evacuee assistance by FEMA MC/EA are the Stafford Act(Sections 309,402,403,502),and Title 6 U.S.C.§§774 and 775. 24 The guidelines for Transitional Sheltering Assistance(TSA)are currently under review in order to incorporate changes resulting from the 2017 Hurricane Season. Due to the publication date of the IAPPG,the updated guidelines could not be included. The new guidelines will be published as soon as they are available.At this time,the operation of the program will be determined on a disaster-specific basis. 25 The guidelines for Transitional Sheltering Assistance(TSA)are currently under review in order to incorporate changes resulting from the 2017 Hurricane Season. Due to the publication date of the IAPPG,the updated guidelines could not be included. The new guidelines will be published as soon as they are available.At this time,the operation of the program will be determined on a disaster-specific basis. 263 Endnotes 26 Section 403,42 U.S.C.§51706,Essential Assistance;Section 408,42 U.S.C.§5174,Federal Assistance to Individuals and Households;and Section 502,42 U.S.C.§5192,Federal Emergency Assistance,of the Robert T.Stafford Disaster Relief and Emergency Assistance Act,as amended. 27 IRC Section 61(a),and Sections 139(a),(b)(1),(b)(4),(c)(2),(c)(4),and(h). 2844 C.F.R.§206.110(f). 2944 C.F.R.§206.110(g). 3°Stafford Act§408(c(1)(B)(iii),42 U.S.C.§5174(c)(I)(B)(iii)and 44 C.F.R.§206.110(e). 3144 C.F.R.§206.110(e). 32 44 C.F.R.§206.110(e). B This minimum is only limited to initial IHP awards.There is no minimum award amount for secondary awards. 34 Stafford Act§408(h),42 U.S.C.§5174(h)and 44 C.F.R.§206.110(b). 35 Stafford Act§408(b)(2)(B),42 U.S.C.§5174(b)(2)(B)and§206.110(c). 36 Stafford Act§408(h),42 U.S.C.§5174(h)and 44 C.F.R.§206.110(b). 37 Stafford Act§408(c)(1)(A)(i),42 U.S.C.5174(c)(1)(A)(i)and 44 C.F.R.206.117(b)(1)(i). 38 Id.;44§C.F.R.206.111. 39 Stafford Act§408(c)(2),42 U.S.C.§5174(c)(2)and 44 C.F.R.§206.117(b)(2). 40 Stafford Act§408(c)(3),42 U.S.C.§5174(c)(2)and 44 C.F.R.§206.117(b)(3). 41 Stafford Act§408(c)(1)(B)(i),42 U.S.C.§5174(c)(1)(B)(i)and 44 C.F.R.§206.117(b)(1)(ii). 42 Stafford Act§408(c)(1)(B)(ii),42 U.S.C.§5174(c)(1)(B)(ii). 43 Stafford Act§408(c)(4),42 U.S.C.§5174(c)(4)and 44 C.F.R.§206(b)(4). 44 Stafford Act§408(e),42 U.S.C.§5174(e)and 44 C.F.R.§206.119. 4542 U.S.C.§5174(i). 46 Stafford Act§408(a)(1),42 U.S.C.§5174(a)(1).Disaster Operations Legal Reference,Version 2.0,Department of Homeland Security,June 1,2013. 47 Id. 48 Stafford Act§408(i),42 U.S.C.§5174(i). 49 44 C.F.R.§206.113(a)(3). 50 44 C.F.R.§206.113(a)(3). 5144 C.F.R.§206.111. 52 44 C.F.R.§206.111. 53 44 C.F.R.§206.113(b)(7). 54 44 C.F.R.§206.113(b)(7). 5544 C.F.R.§61,Appendix A(1)and A(3). 56 44 C.F.R.§61. 57 44 C.F.R.206.110(k)(3). 58 44 C.F.R.§61.17 Appendix A.III.6. 59 44 C.F.R.§206.115(a). 60 44 C.F.R.§206.115(b). 61 44 C.F.R.§206.115(f). 62 Id. 63 42 U.S.C.§515I(a);44 C.F.R.§7. 6444 C.F.R.§206.112(a). 65 44 C.F.R.§206.112(c). 66 44 C.F.R.§206.110. 67 44 C.F.R.§206.117(b)(1)(i). 68 44 C.F.R.§206.110. 6942 U.S.C.§5174(c)(1)(A)(i)and44 C.F.R.§206.117(b)(1)(i). 7044 C.F.R.§206.111. 7144 C.F.R.§206.117(b)(1)(i)(B). 7244 C.F.R.§206.117(b)(1)(i)(C). 73 Stafford Act§408(c)(1)(A)(ii). 7444 C.F.R.§206.113(b)(2). 7544 C.F.R.§206.113(b)(3). 7644 C.F.R.§206.117(b)(1)(i)(A). 7744 C.F.R.§206.114(a). 78 44 C.F.R.§206.114(b)(3). 7944 C.F.R.§206.111. 8044 C.F.R.§206.111. 81 44 C.F.R.§206.114(b)(2). 82 44.C.F.R.§206.114(b)(2). 8342 U.S.C.§5174(c)(2)and 44 C.F.R.§206.114(b)(2). •44 L.r.x. tub.11/(b)(Z)(11)(F)• 264 Endnotes 85 42 U.S.C.§5174(c)(1)(B)and 44 C.F.R.§206.117(b)(1)(ii). 8642 U.S.C.§5174(c)(4)and 44 C.F.R.§206.117(b)(4). 87 Stafford Act,codified at 42 U.S.C.§5174,408(c)(B)(1). 88 This threshold is based on a 2012 statistical analysis of FEMA direct housing operations from 2008 to 2011. 89 Resource:Department of Housing and Urban Development(HUD)—Housing Quality Standards. 90 44 C.F.R.§206.117(b)(1)(ii)(G). 91 44 C.F.R.§206.117(b)(1)(ii)(H). 92 42 U.S.C.§5174(c)(1)(B)(iii). 93 44 C.F.R.§206.117(b)(1)(ii)(F). 9444 C.F.R.§206.117(b)(1)(ii)(F). 95 For example,if the original period of assistance ends on March 24,2016,and the extension is granted,rent will begin to accrue on April 1,2016. 96 For example,if rent begins to accrue on April 1,2016,the primary occupant's first monthly rent payment will be due on May 1,2016. 97 44 C.F.R.§206.117(b)(1)(ii)(G). 98 42 U.S.C.§5174(c)(1)(B)(ii). 99 https://www.access-board.gov/guidelines-and-standards/buildings-and-sites/about-the-ada-standards/background/adaag 10°Landlords may not prohibit service animals or charge"pet rent"or a pet deposit for service animals(Fair Housing Act,42 U.S.C.§3601—3619). 10124 C.F.R.§3280,Manufactured Home Construction and Safety Standards. 102 In accordance with 44 C.F.R.§9.13. 103 44 C.F.R.§9.13,Executive Order 11988-Floodplain Management,Executive Order 11990-Protection of Wetlands,and FEMA Instruction 108-1-1. 104 Dispose means to release a unit from FEMA's inventory. 10542 U.S.C.§5174(d)(2)(B);44 C.F.R.§206.118. 10642 U.S.C.§5174(d)(2)(A)(i);44 C.F.R.§206.118(a)(1)(i). 1°7 FEMA will use the MHU Depreciation Calculator to identify the AFMV of a unit. 10842 U.S.C.§4012(a). 10944 C.F.R.§9.6. 11°42 U.S.C.§5174(d)(2)(B)(ii);44 C.F.R.§206.118(a)(2)(i). 11142 U.S.C.§5174(d)(2)(B)(ii)(b);44 C.F.R.§206.118(a)(2)(i)(B). 11242 U.S.C.§5151;44 C.F.R.§206.118(a)(2)(i)(A). 113 42 U.S.C.§5174(c)(1)(B)(i) 114 Landlords may not prohibit service animals or charge"pet rent"or a pet deposit for service animals.(Fair Housing Act,42 U.S.C.§§3601—3619). 115 42 U.S.C.§5174(c)(4)and 44 C.F.R.§206.117(b)(4). 11644 C.F.R.§206.117(2)(ii). 117 42 U.S.C.§5174(e). 11842 U.S.C.§5174(g). 119 Please refer to Chapter 1:Introduction,for further information on the relationship between IHP and other forms of assistance, including SBA. 12042 U.S.C.§5174(h). 12144 C.F.R.§206.120(b). 12244 C.F.R.§206.120(a)and(b). 123 44 C.F.R.§206.120(d). 124 44 C.F.R.§206.120(a). 12544 C.F.R.§206.120(c)(1). 126 44 C.F.R.§206.120(b). 127 44 C.F.R.§206.120(c)(1). 12844 C.F.R.§206.120(c)and(d). 129 Id. 130 44 C.F.R.§206.120(c)(3)(i)and 44 C.F.R.§206.120(c)(3)(ii). 131 44 C.F.R.§206.119(c)(4). 132 https://www.cdc.gov/nchs/data/nvss/vsrg/vsrg01.pdf. 133 44 C.F.R.§206.119(c)(3)(i)and(ii). 13442 U.S.C.§5174(e)(1). 13542 U.S.C.§ 12102(1)defines disability to mean,"(A)a physical or mental impairment that substantially limits one or more major life activities of such individual;(B)a record of such an impairment;and(C)being regarded as having such an impairment..." 136 136 34 C.F.R.§ 104. 13744 C.F.R.§206.119(c)(6)(ii). tee 44 L.r.x. 2ub.12u(c)(3)(1)ana(11). 265 Endnotes '3944 C.F.R.§206.119(c)(1). '40 44 C.F.R.§206.119(c)(2). 141 44 C.F.R.§206.119(c)(5). 142 Id. 14344 C.F.R.§206.119(d)and 44 C.F.R.§61.17. 14444 C.F.R.§206.119(c)(6)(i)and(d)(2). 14544 C.F.R.§61,Appendix A(1). 146 Section 312(c)of the Stafford Act,42 U.S.C.§5155(c)and 44 C.F.R.§206.191. 147 Stafford Act§312,42 U.S.C.§5155. 148 Examples of"Certain Federal benefit payments"include Social Security(other than Supplemental Security Income),Railroad Retirement(other than tier 2),and Black Lung(part B)benefits,and other Federal payments including certain loans that are not exempt from offset. 149 Section 426 of the Robert T.Stafford Disaster Relief and Emergency Assistance Act,42 U.S.C.§5189d. 1502 C.F.R.§200.458. 1512 C.F.R.§200.303. 152 Section 423 of the Stafford Act(42 U.S.C.§5189a). 153 42 U.S.C.§5189a. '542 C.F.R.§200.339. 'u 2 C.F.R.200.327 156 2 C.F.R.§200.327. 1572 C.F.R.§200.327-200.329. 158 2 C.F.R.§200.343. 159 2 C.F.R.§200.333. 160 44 C.F.R.§206.171. 161 Section 416 of the Robert T.Stafford Disaster Relief and Emergency Assistance Act,42 U.S.C.§5183. '62 44 C.F.R.§206.171. 16344 C.F.R.§206.171 (f)(1)(i)(ii). 164 2 C.F.R.§200.458. 16544 C.F.R.§206.171(0(3). 166 44 C.F.R.§206.171(0(3). 167 2 C.F.R.§200.333. 168 44 C.F.R.§206.171 (g)(4)(i). 169 44 C.F.R.§206.171 (g)(4)(i). 170 2 C.F.R.§200.333. 171 Section 423,Stafford Act(42 USC§5189a) 172 42 U.S.C.§5182. 17342 U.S.C.§5177. 174 Published weekly by DOL. 175 20 C.F.R.§625.6. 17620 C.F.R.§625.4 Eligibility requirements for Disaster Unemployment Assistance. 177 The Americans with Disabilities Act of 1990 prohibits recipients from discriminating on the basis of disability in the operation of public entities,public and private transportation systems,places of public accommodation,and certain testing entities. In order to ensure compliance,recipients must provide program access,ensure effective communication,and provide physical access for persons with disabilities in developing budgets and in conducting programs and activities. The US Supreme Court decided in its 1999 Olmstead decision that the Americans with Disabilities Act requires provision of services to individuals with disabilities in the"most integrated setting." 178 https://www.fema.gov/media-library/assets/documents/32282. 179 44 C.F.R.§206.111. 180 FEMA itself has similar civil rights responsibilities for the public-facing programs and activities it conducts,such as providing disaster assistance,temporary housing,home inspections,National Flood Insurance Program and Flood Insurance Advocate,public messaging and information,training to state,territorial,and tribal officials,among others.See,e.g.,44 C.F.R.§ 16. 181 PPD-8 Access and Functional Needs Working Group 2014 182 2 C.F.R.§200.307. 183 http://www.nvoad.org/wp-content/uploads/2014/05/long_term_recovery_guide_-_final_2012.pdf 266