Comment Detail
Date: 05/09/18 First Name: Wilma Last Name: Kelley Organization: Beattyville Housing and Development Corp. City: N/A State: N/A Attachment: N/A Number: RIN-2590-AA83 Comment
In response to #14 in the package of 41 questions, if the AHP retention language is retained, there should be additional clarification that would add termination of the retention after deed in lieu of foreclosure, assignment of an FHA mortgage to HUD, or death of the owner of the unit.
In response to questions 29-30, the answer is no. The minimum of 20% threshold is working and should not be changed
In response to question 31-There should not be a change in the minimum threshold for the other targeted populations.
In response to 32-the 20 percent minimum threshold is sufficient and is working and should not be changed.
In response to question #36-the current regulatory scoring system should be maintained without change.