A. Policies for Fees
1. The decision to lower individual certification and re-certification fees for
Federally-recognized Indian Tribal employees to $10 is appropriate. But financial
hardship situations should be treated comparably. The opportunity to pay a $10
certification fee that has been extended to Indian Tribe LBP activities
professionals should be offered to workers with low incomes (e.g. income below
50% of area median based on readily available HUD data). Similarly, because
non-profit organizations face hardships, and they will likely have to pay for
employee certification, their employees should receive the discounted rate.
2. The decision to forego collection of fees for certified renovators and sampling
technicians is correct. The training provider will assure readiness, issue
identification, and report certifications to states and EPA. There is no basis for
tracking of certified renovators since all will be employed by firms that are
responsible for rule compliance, and from which fees will be collected.
3. Exemption from training accreditation fees for non-profit and government-
operated training firms is proper, consistent with Title X.
4. Since some states’ RRP programs may be administered outside of the
agency or administrative structure responsible for the LBP activities program, and
the entity that does not already administer LBP may have economies stemming
from their pre-existing systems for regulating construction contractors or other
circumstances, EPA should not model the merger of the LBP and RRP delivery
systems by combining the estimated costs for these two programs or taking any
other comparable actions.
5. Charging firms with annual revenues below $25,000, likely to be part-time
operations, only $100 for firm certification to makes good sense. EPA’s schedule
of fees for firm certification should be further gradated according to annual revenue.
Harvard University’s Joint Center for Housing report, Foundations for Future
Growth in the Remodeling Industry, indicates that firms with revenue less than
$100,000 receive 2.5% of the remodeling contractor revenue, and firms earning
between $100,000 and $250,000 earn only 9.9% of the remodeling contractor
revenue. Because these entities have a smaller base on which to spread the rule’s
training and recordkeeping costs, firms with $25,001-100,000 in revenue and firms
with $100,001-250,000 in revenue should be charged $150 and $200 respectively.
6. Reducing fees for firm certification for State and local governments by 50%
makes sense, even though fees for non-government firms would have to be
increased. This same price break for firm certification should be extended to non-
profit organizations and Indian Tribes.
B. Basis for Costs to be Covered by Fees
1. At $210 per record of certification or accreditation, the apparent cost of the
Federal Lead-Based Paint Program (FLPP) database seems excessive and
should not be included as a supportable cost for fees to be collected to administer
RRP training provider accreditations and firm certifications. The lack of credibility
of this pricing calls into question the proposed comparable costs for RRP ($210
per firm certification and training provider accreditation and $5 per renovator/
sampling technician). For non-delegated states’ renovation firms, the regions and
headquarters should use commonly available database software to record and
periodically post updated listings. States should be encouraged to use similar
systems. Removal of these inflated costs from the fee cost basis estimates can
reduce per-entity admin costs considerably.
2. The estimate of enforcement cost is understated; the share of fees set aside
for admin should be designated for enforcement infrastructure.
Comment submitted by Jane Malone, Alliance for Healthy Homes,
jmalone@afhh.org
For Docket # EPA-HQ-OPPT-2008-0382 - Proposed rule re: Lead; Fees for
Accreditation of Training Programs and Certification of Lead-Based Paint Activities
and Renovation Contractors
Attachments:
Comment attachment submitted by Jane Malone, Alliance for Healthy Homes
Title: Comment attachment submitted by Jane Malone, Alliance for Healthy Homes
Comment submitted by Jane Malone, Alliance for Healthy Homes
This is comment on Proposed Rule
Lead; Fees for Accreditation of Training Programs and Certification of Lead-Based Paint Activitiesand Renovation Contractors
View Comment
Attachments:
Comment attachment submitted by Jane Malone, Alliance for Healthy Homes
Title:
Comment attachment submitted by Jane Malone, Alliance for Healthy Homes
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