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  • Comment Detail

  • Date: 07/24/23
    First Name: Carolina
    Last Name: Goodman
    Email: dgcg2@sbcglobal.net
    Organization Type: N/A
    Organization: NA
  • Comment

    Thank you for the opportunity to provide feedback on the Federal Housing Finance Agency (FHFA) Request for Information on tenant protections. My name is Carolina Goodman and I am writing to to urge FHFA to take bold action to create clear, strong, and enforceable renter protections for households living in rental properties with federally backed mortgages. Given the broad reach of FHFA’s work, any renter protections created by FHFA should cover a significant share of renters across the nation and put America on a pathway towards stronger protections for all renters.
    Federal renter protections are critically needed to address the power imbalance between landlords and renters that puts renters at greater risk of housing instability, harassment, and homelessness and fuels racial and gender inequity.
    To help ensure greater housing stability, FHFA should create new renter protections for households living in properties with federally backed mortgages, including:
    1. Source of income protections to prohibit landlords from discriminating against households receiving rental housing assistance such as Section 8 Housing Choice Vouchers, or Supplemental Security Income (SSI), or local rental assistance, so that families can have greater choice about where to live.
    2. “Just cause” eviction standards, which limit the causes for which a landlord can evict a tenant or refuse to renew a tenant’s lease when the tenant is not at fault or in violation of any law.
    3. Rent gouging protecions to stop landlords from dramatically and unreasonably raising rents.
    4. Requirements to ensure housing is safe, decent, accessible, and healthy for renters and their
    families.

    I urge FHFA to take bold ation to implement mandatory, standardized protetions – paired with strong enforcement – for all households living in properties with federally backed mortgages, including larger developments and smaller properties. FHFA must continue to engage tenants and directly impacted people throughout its process of establishing and implementing renter protections, and protections must be centered on racial and social equity as explicit goals. These protections– along with to large-scale, sustained investments and anti-racist reforms – are necessary to ensure that everyone, including the lowest-income and most marginalized renters, have a safe, quality, affordable, and accessible place to call home.
    Sincerely,
    Carolina Goodman