Laserfiche WebLink
ATTACHMENT 6-G(2) <br />NEPA <br /> <br />4. Economic Development Activities: <br />▪ Equipment purchase <br />▪ Inventory financing <br />▪ Interest subsidy <br />▪ Operating costs <br />▪ Other expenses not associated with construction or expansion <br /> <br />5. Activities to assist homeownership of existing or dwelling units under construction, Including: <br />▪ Closing costs and down payment assistance to homebuyers <br />▪ Interest buy downs or other actions resulting in transfer of title <br /> <br />6. Affordable housing pre-development costs <br />▪ Legal consulting <br />▪ Developer and other site-option costs <br />▪ Project financing <br />▪ Administrative costs for loan commitments, zoning approvals, and other activities which don’t have a physical impact <br /> <br />7. Approval of supplemental assistance (including insurance or guarantee) to a project previously approved under Part 58, if: <br />the same responsible entity conducted the environmental review on the original project and re-evaluation of the <br />environmental findings is not required under Section 58.47 <br /> <br />Additional HUD Laws & Authorities (24 CFR 58.6) <br />Section 1. Flood Disaster Protection Act <br />Section 58.6 requires compliance with the Flood Disaster Protection Act. However, under 24 CFR 55.1 (b)(1) the prohibitions are <br />not applicable to HUD financial assistance under the State-administered CDBG Program (24 CFR part 570, subpart I). Therefore, the <br />Act does not apply. <br />Section 2. Airport Runway Clear Zones (Civil) and Accident Potential Zones (Military) <br /> (Check as appropriate) <br />Does the project involve HUD assistance, subsidy or insurance for the purchase or sale of <br />an existing property? YES <br />Continue <br /> NO <br />Proceed to Section 3— <br />regulation does not apply. <br />Is the project located within 2,500 feet of a civil airport or 15,000 feet of a military airfield? YES <br />Continue <br /> NO <br />Document & proceed to <br />Section 3—regulation <br />does not apply. <br />Is the project located within an FAA-designated civilian airport Runway Clear Zone (RCA) or <br />Runway Protection Zone, or within the military Airfield Clear Zone (CZ) or Accident <br />Potential Zone/Approach Protection Zone (APZ), based upon information from the airport <br />or military airfield administrator identifying the boundaries of such zones? <br />YES <br />Continue <br /> NO <br />Document & proceed to <br />Section 3—regulation <br />does not apply. <br />Comply with 24 CFR Part 51, Subpart D which may include providing a written notice to a prospective buyer or leaser of the <br />potential hazards from airplane accidents and the potential that an airport or airfield operator may wish to purchase the property <br />at some point in the future as part of a clear zone acquisition program. Maintain copies of the signed notice. For properties <br />located in a military clear zone, make and document a determination of whether the use of the property is generally consistent <br />with DOD guidelines. Notice Sample: <br />http://www.hud.gov/offices/cpd/environment/review/qa/airporthazards.pdf <br />Section 3. Coastal Barrier Resources Act. <br />Section 58.6 also requires compliance with the Coastal Barrier Resources Act. There are no Coastal Barrier Resource Areas in <br />Washington State. Therefore, the Act does not apply. <br /> <br />NEPA CERTIFICATION <br />A Request for Release of Funds (RROF) is not required for this project. The activity may be initiated without further environmental <br />review beyond 24 CFR Part 58.6. <br /> <br />SEPA CERTIFICATION <br />The Grantee certifies that the proposed CDBG project complies with the provisions of the State Environmental Protection Act (SEPA, <br />Chapter 43.21C RCW) and has determined: