While providing clarity to the process for using Capital and Operating funds for
financing activities, the proposed rule has some significant flaws:
905.715: HUD needs to establish a timeframe for the HUD review and approval
process. It is difficult to leverage private capital if the review and approval process
takes many months or even years.
990.405: Item J, Amount of Operating Fund for Debt Service. The requirement to
demonstrate a debt service coverage ratio of 3.0 is unreasonable, unworkable and
will effectively prevent the use of operating funds for debt service. Was this a
typo? The industry standard is typically 1.10 DSCR with 1.20 being the maximum
allowed by some funding sources. Requiring a 3.0 DSCR will prevent this option
from being used with tax credits, state grant funds and AHP funds in California
because the funding sources will not allow a DSCR as high as 3.0. In addition, it
is difficult to imagine a project attaining 3.0 DSCR unless the amount borrowed is
extremely small. A project needing to borrow only $500,000 for 10 years at 7%
interest would have to demonstrate a net operating income exceeding $210,000.
That is not realistic or likely for average size projects. A DSCR of 1.2 is a better
option here.
Comment Submitted by Stephen Pelz, Housing Authority of the County of Kern
This is comment on Proposed Rule
FR-4843-P-01: Use of Public Housing Capital and Operating Funds for Financing Activities
View Comment
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