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Resource Center

Looking for talking points or FAQs to prepare for a meeting on Capitol Hill? A copy of NCSHA’s annual Factbook? Housing research and analysis? A presentation from a recent conference to share with a colleague? A reference guide for Housing Credit, HOME, MRBs, or Section 8 program administration? You’ve come to the right place: The NCSHA Resource Center is your source for this important information and much more. Refer to the right sidebar to see resource categories or use the search bar to search resources by topic.

NCSHA Members: Looking for a specific resource from a past event or conference? Please contact us for assistance.

Emergency Housing Assistance Updates

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NCSHA Letter to Appropriations Committee Leaders on Project-Based Rental Assistance Contract Administration (PBCA)

NCSHA sent House and Senate Appropriations Committee leaders this letter asking them to preserve in any final FY 2024 HUD appropriations legislation the project-based rental assistance contract administration (PBCA) language contained in the Senate-passed FY 24 HUD appropriations bill.

NCSHA Memorandum on Performance Based Contract Administration

This memorandum provides information and talking points for the HUD Performance Based Contract Administration (PBCA) stakeholders meeting. It lists the legal and policy history of PBCA procurement and information about HUD’s most recent legislative PBCA proposal and current congressional proposals.

NCSHA Comments to HUD on Modernizing the Delivery of Housing Counseling Services

On December 20, 2023, NCSHA sent comments to the U.S. Department of Housing and Urban Development in response to a request for comment on the Proposed Rule, "Modernizing the Delivery of Housing Counseling Services," published on November 1, 2023.

AHCIA Co-Lead Letter to House Leadership

This December 15, 2023, letter was sent to Speaker of the House Mike Johnson and House Minority Leader Hakeem Jeffries by the lead sponsors of the Affordable Housing Credit Improvement Act, urging...

NCSHA Comments to HUD on Draft Payment Supplement Mortgagee Letter 2023-XX

On December 12, 2023, NCSHA sent these comments to the Assistant Secretary for Housing/Federal Housing Commissioner in response to the DRAFT Mortgagee Letter 2023-XX, Payment Supplement.

Treasury Department Interim Final Rule to Amend ‘Obligation’ in SLFRF Regulations

On November 20, 2023, the Treasury Department issued an interim final rule to amend the definition of ’obligation’ set forth in Coronavirus State and Local Fiscal Recovery Fund (SLFRF) regulations and to give additional flexibility and clarity to recipients to support their use of SLFRF funds. The rule does not alter the eligible use categories described in the 2022 SLFRF final rule or the 2023 interim final rule and does not alter existing SLFRF obligation or expenditure deadlines. Recipients must obligate SLFRF funds by December 31, 2024, and expend obligated funds by December 31, 2026.

Workforce Housing Tax Credit Act

This legislation would enact a Middle-Income Housing Tax Credit to incentivize private-sector investment in rental housing for households earning between 60 and 100 percent of area median income. The...

Protected: December 7 | Members-Only Webinar: Recent IRS Housing Credit Form Revisions

December 7, 2023 webinar with IRS to discuss recent changes to IRS Form 8823 (Low Income Housing Credit Report of Noncompliance), including barcode scanning capability and plans for electronic transmission in 2024.

NCSHA Letter to Treasury, HUD, DOJ, and IRS on VAWA Enforcement Guidance

On December 6, 2023, NCSHA sent this letter to the Secretaries of Treasury and HUD, the Attorney General, and the IRS Commissioner urging them to enter into a Memorandum of Understanding to facilitate the implementation of guidance on application of the Violence Against Women Act to the Housing Credit program. 

NCSHA Comments to FHFA on Modified GSE Duty-to-Serve Plans

On December 6, 2023, NSHA submitted the attached commented letter in response to a Federal Housing Finance Agency (FHFA) request for input on changes Fannie Mae and Freddie Mac proposed to their Duty-to-Serve Underserved Market Plans. The letter conveys opposition to Freddie Mac’s proposal to reduce equity purchase goal for 2023. NCSHA also expresses concerns about other downward revisions that both firms propose to various loan and investment goals for 2023.