More Information: Activities Not Included in The Lead Rule Compliance Advisor
Some programs or activities have their own lead-based paint related requirements that are NOT included by the Advisor.
- OHHLHC grant funding. If an activity includes OHHLHC grant funding (such as a Lead Hazard Control grant) the project must follow the lead-related requirements of the grant. Grant requirements are published annually in a Notice of Funding Availability (NOFA). However, in recent years the NOFA has included requirements that the grantee conduct lead hazard evaluation and control work in compliance with the Lead Safe Housing Rule. Users may find this Advisor useful in that regard.
- Single-family mortgage insurance and guarantee programs. FHA programs,
such as the 203(k) and other single-family mortgage insurance programs, are
included under 24
CFR 200 subpart O, so generally, don't use the Advisor for these programs.
- When HUD funded activities included by the LSHR, such as rehab or acquisition assistance, are combined with a single-family mortgage insurance or guarantee program, then the LSHR requirements apply and the Advisor can be used.
- Housing Financing from Fannie Mae and Freddie Mac
In addition, there are limited elements of the Lead Safe Housing Rule that are NOT included in this Advisor.
- Subpart C—Disposition of Residential Property Owned by a Federal Agency Other Than HUD. Activities of other agencies included under subpart C of the LSHR are NOT included in this Advisor.
- Subpart D—Project-Based Assistance Provided by a Federal Agency Other Than HUD. Activities of other agencies that have housing programs and provide more than $5,000 of project-based assistance.
- Subpart E—HUD
Single Family Mortgage Insurance and Guarantee. Subpart E is reserved for
possible future rulemaking on lead-based paint poisoning
prevention requirements in single family housing included in an application
for HUD mortgage insurance or guarantee.