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MSHDA HUD Section 3 Training. To increase the capacity of nonprofit organizations and local units of government to fulfill the HUD Section 3 compliance obligations. Welcome!. Guy Stockard MSHDA Statewide Section 3 Coordinator 517-373-6725 stockardg@michigan.gov. Morning Agenda.
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MSHDA HUD Section 3 Training To increase the capacity of nonprofit organizations and local units of government to fulfill the HUD Section 3 compliance obligations.
Welcome! Guy Stockard MSHDA Statewide Section 3 Coordinator 517-373-6725 stockardg@michigan.gov
Morning Agenda • Historical Background • What is Section 3? • Recipient Responsibilities • Recommendations Practical Tips and Best Practices • Implementing Section 3 for Successful Compliance • Reporting Results
Section 3 History • Civil Unrest 1960’s • Kerner Commission Report • Los Angeles Riots • Hurricane Katrina • Current Economic Crisis • Economic Stimulus Act
A Changing Discussion • Renewed emphasis on enforcement of Section 3. • Previous discussions largely involved “how to avoid the intent of the law. • New discussion “how to implement creatively the spirit of the law to get results.”
What is Section 3? • Section 3 of the Housing and Urban Development Act of 1968 • Implementing regulations at: 24 CFR Part 135 • Statute: 12 U.S.C. 1701u • Purpose/Intent
Section 3 To ensure that economic opportunities generated by certain HUD funded projects shall, to the greatest extent feasible, and consistent with existing Federal and State laws, be directed to low- and very low-income persons (particularly those receiving assistance for housing), and to the businesses that provide economic opportunities to these persons.
To the Greatest Extent Feasible …what does this mean???
Simply Stated…. • HUD funds are one of the largest sources of federal dollars • Typically result in new contracts, employment or training opportunities • If economic opportunities are created…Section 3 residents and businesses receive preference
Failure to Comply with Section 3 HUD holds direct recipients of covered funding accountable for their own compliance, and the compliance of their sub-recipients and contractors
Penalties for Noncompliance • Debarment • Suspension • Limited Denial of Participation in HUD Programs
Applicability • Public Housing • Development • Operation • Modernization • Housing and Community Development • Housing rehabilitation • Housing construction • Other public construction
Covered Recipient Agencies • PHAs • Entitlement Communities • HOME Participating Jurisdictions • State, County, or Local Units of Government • Non-Profit Organizations • Developers • Property Managers • CHDOs • Private Agency or Institution
Covered Funding Examples • HOME • CDBG • NSP/Economic Stimulus Funds • HOPE VI Funding • PHA Operating Funds • PHA Development Funds • PHA Modernization/Rehab Funds
Funding Thresholds • The requirements for Section 3 apply to recipients of HUD Housing Community Development funding exceeding $200,000. • Contractors or subcontractors that receive contracts in excess of $100,000 are required to comply with Section 3 in the same manner as the recipients.
Funding Thresholds • There are no thresholds for Public Housing Funds. Section 3 applies to all activities regardless of the dollar amount • The requirements also apply to all contractors regardless of the dollar amount of the contract
Applicability to Entire Project Section 3 requirements apply to the entire project or activity regardless if the project is fully or partially funded with covered financial assistance.
What Section 3 is NOT… • A Racial Quota Program • An Entitlement for Eligible Individuals and Businesses • Only applicable to Direct Recipients • Optional—It’s the law!
Section 3 Economic Opportunities Section 3 regulations do not require hiring/contracting unless it is necessary to complete the project. ** Only triggered when covered projects require “new” hires or contracting opportunities
Section 3 Economic Opportunities • Not limited to low-wage construction jobs • Prospective Section 3 eligible employees or businesses must demonstrate that they are qualified
Section 3 Residents • Residents of Public Housing; or • Low- and very low-income persons residing in the metropolitan area or non-metropolitan county
Section 3 & Minorities • Section 3 of the HUD Act is race-neutral. • The preferences provided by this federal act are based on income and location.
Additional Potential Section 3 Residents • Persons receiving unemployment benefits or other government subsidies • Returning Veterans • Recent College or Vocational School Graduates • Women in non-traditional careers • YouthBuild participants
Section 3 Business Concerns • Owned (51%) by Section 3 residents; • Substantially employs Section 3 residents (30% or more); or • Can provide evidence of commitment to subcontract 25% of work to another Section 3 Business
Recipient Responsibilities, Recommendations & Practical Tips
Responsibility #1 Implementing procedures designed to comply with the requirements of Section 3
Practical Tips: • Develop and Publish official policies—Section 3 Plan • Strategic Planning • Internal/External Meetings
Practical Tips: • Identify long and short term projects/activities • Consider applicable State, Federal and local laws
Section 3 Plans • Strategies to target Section 3 residents and businesses • Certification/Selection criteria • Process for informing contractor’s about responsibilities and assessing hiring/subcontracting needs
Section 3 Plans • Penalties for noncompliance • Incentives for good performers • Reporting Requirements • Recordkeeping • Section 3 Coordinator
Responsibility #2 Notify Section 3 residents about training and employment opportunities and Section 3 businesses about contracting opportunities
Practical Tips: • Establish certification procedures • Maintain lists of certified Section 3 residents & businesses • Personally notify certified residents and businesses • Post Notices Door-to-Door
Practical Tips: • Community Job Fairs • Online Job Search Vehicles • Community Partnerships • Section 3 Coordinator
Responsibility #3 Notify covered contractors about the requirements of Section 3
Practical Tips: • Mandatory Pre-Bid Hearings/ Meetings • Section 3 Workshops • Provide copies of your agency’s Section 3 Plan and have contractors certify receipt
Practical Tips: • Include compliance with Section 3 as a rating factor when selecting “responsible bidders” • Assess bidders on their ability to meet the requirements of Section 3
Responsibility #4 Incorporate the Section 3 clause into covered solicitations and contracts
Practical Tips: • Section 3 references in bid packages, RFPs, etc. • Review clause with developer and have them certify compliance
Responsibility #5 Facilitate training and employment of Section 3 residents and award contracts to Section 3 businesses, as appropriate to reach the minimum numerical goals
Practical Tips: • Assess needs of developers at time of contract award • Match potential employees or subcontractors with developers • Ensure that developers advertise vacancies in accordance with the agency’s policies
Practical Tips: • Conduct local career/business development trainings • Sponsor Job-Fairs • Develop Partnerships with local Michigan Works office • YouthBuild/Apprenticeship Programs
Practical Tips: • Provide guidance for determining Section 3 eligibility • Develop strategies for recruiting new hires
Responsibility #6 Minimum Numerical Goals: • 30% of new hires annually • 10% of the total dollar amount of covered construction contracts • 3% of the total dollar amount of covered non-construction contracts
Minimum Numerical Goals • Numerical Targets (may and should be exceeded) • Safe Harbor Compliance • Other Efforts Taken to Achieve Compliance
Practical Tips: • Identify short- and long-term projects, job vacancies, training opportunities, contracts, etc. • Implement strategies to target Section 3 residents and businesses • Review Appendix to Regulation
Practical Tips: • Consider all hiring and subcontracting needs of developers and contractors • Maintain evidence of efforts taken to achieve compliance • Describe efforts taken on Section 3 annual report
Responsibility #7 Assisting and actively cooperating with HUD in obtaining the compliance of contractors
Practical Tips: • Section 3 Enforcement Actions • Hold developers/contractors accountable • Develop appropriate penalties and apply them fairly and consistently • Withhold Final Payments for “Section 3 Training/Implementation Fund”
Responsibility #8 Refrain from entering into contracts with contractors that fail to comply