Floodplain Review. The Huntington at Richmond development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond Partners, Ltd. and MGroup Holdings, Inc. have not provided plans for review. Huntington Richmond Partners, Ltd. and MGroup Holdings, Inc. have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 2 contracts
Samples: Grant Agreement, Grant Agreement
Floodplain Review. The Huntington at Richmond Maple Court development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). X. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond Partners, Ltd. Maple Court GP LLC and MGroup Holdings, Inc. Provident Realty Development LP have not provided plans for review. Huntington Richmond Partners, Ltd. Maple Court GP LLC and MGroup Holdings, Inc. Provident Realty Development LP have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 2 contracts
Samples: Grant Agreement, Grant Agreement
Floodplain Review. The Huntington at Richmond Danbury Manor Apartments development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). X. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond PartnersDanbury Manor Apartments, Ltd. LTD. and MGroup HoldingsMegan Advisors, Inc. LLC have not provided plans for review. Huntington Richmond PartnersDanbury Manor Apartments, Ltd. LTD. and MGroup HoldingsMegan Advisors, Inc. LLC have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Magnolia Station development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). X. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond PartnersMagnolia Station Apartments, Ltd. LLC and MGroup HoldingsXxxxxx & Xxxxxx Properties, Inc. Inc have not provided plans for review. Huntington Richmond PartnersMagnolia Station Apartments, Ltd. LLC and MGroup HoldingsXxxxxx & Xxxxxx Properties, Inc. Inc have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Abby Court development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). X. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond Partners, Ltd. Abby Court GP LLC and MGroup Holdings, Inc. Provident Realty Development LP have not provided plans for review. Huntington Richmond Partners, Ltd. Abby Court GP LLC and MGroup Holdings, Inc. Provident Realty Development LP have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Enclave on Independence development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). X. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond PartnersEnclave on Independence, Ltd. and MGroup Holdings, Inc. LLC have not provided plans for review. Huntington Richmond PartnersEnclave on Independence, Ltd. and MGroup Holdings, Inc. LLC have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Ingleside Pioneer Crossing development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). X. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond PartnersIngleside Pioneer Crossing, Ltd. LLC and MGroup Holdings, Inc. Watermark Residential II LLC have not provided plans for review. Huntington Richmond PartnersIngleside Pioneer Crossing, Ltd. LLC and MGroup Holdings, Inc. Watermark Residential II LLC have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Xxxx Estates development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). X. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond Partners, Ltd. and MGroup Holdings, Inc. have XXXXXX Community Development Corporation has not provided plans for review. Huntington Richmond Partners, Ltd. and MGroup Holdings, Inc. have XXXXXX Community Development Corporation has provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Oaks of West Columbia development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). X. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond PartnersOaks of West Columbia, Ltd. Ltd and MGroup HoldingsMegan Advisors, Inc. LLC have not provided plans for review. Huntington Richmond PartnersOaks of West Columbia, Ltd. Ltd and MGroup HoldingsMegan Advisors, Inc. LLC have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Huntsville Village development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). X. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond PartnersBAH Huntsville Village, LLC and Brownstone Affordable Housing, Ltd. and MGroup Holdings, Inc. have not provided plans for review. Huntington Richmond PartnersBAH Huntsville Village, LLC and Brownstone Affordable Housing, Ltd. and MGroup Holdings, Inc. have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Maple Park Senior Village development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). X. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond PartnersMaple Park Senior Village, Ltd. LLC and MGroup HoldingsJES Dev Co, Inc. Inc have not provided plans for review. Huntington Richmond PartnersMaple Park Senior Village, Ltd. LLC and MGroup HoldingsJES Dev Co, Inc. Inc have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Mesquite Xxxxx development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). B. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond PartnersHitchcock Housing, Ltd. and MGroup HoldingsMegan Advisors, Inc. LLC have not provided plans for review. Huntington Richmond PartnersHitchcock Housing, Ltd. and MGroup HoldingsMegan Advisors, Inc. LLC have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Delta Manor development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). X. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond Partners, Ltd. Delta Manor GP LLC and MGroup Holdings, Inc. Provident Realty Development LP have not provided plans for review. Huntington Richmond Partners, Ltd. Delta Manor GP LLC and MGroup Holdings, Inc. Provident Realty Development LP have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Angleton Village development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond PartnersBAH Angleton Village, LLC and Brownstone Affordable Housing, Ltd. and MGroup Holdings, Inc. have not provided plans for review. Huntington Richmond PartnersBAH Angleton Village, LLC and Brownstone Affordable Housing, Ltd. and MGroup Holdings, Inc. have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Linden Oaks Apartments development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). X. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond PartnersRockport Retirement, Ltd. and MGroup HoldingsXxxxxxxx Valley Management, Inc. have not provided plans for review. Huntington Richmond PartnersRockport Retirement, Ltd. and MGroup HoldingsXxxxxxxx Valley Management, Inc. have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Palms I Apartments development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). X. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond PartnersHVM Aransas Pass, Ltd. Ltd and MGroup HoldingsXxxxxxxx Valley Management, Inc. have not provided plans for review. Huntington Richmond PartnersHVM Aransas Pass, Ltd. Ltd and MGroup HoldingsXxxxxxxx Valley Management, Inc. have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Xxxxxxxxxxx Terrace Apartments development is not located within the 100-year 100‐year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). X. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day ninety‐day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes re‐institutes the ninety-day ninety‐day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR CDBG‐DR agreement is signed between the GLO and the Developer. Huntington Richmond PartnersHVM Yoakum, Ltd. Ltd and MGroup HoldingsXxxxxxxx Valley Management, Inc. have not provided plans for review. Huntington Richmond PartnersHVM Yoakum, Ltd. Ltd and MGroup HoldingsXxxxxxxx Valley Management, Inc. have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Konnor’s Court development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). X. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond PartnersKonnor’s Court, Ltd. and MGroup Holdings, Inc. have LLC has not provided plans for review. Huntington Richmond PartnersKonnor’s Court, Ltd. and MGroup Holdings, Inc. have LLC has provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Conroe Senior Village development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond PartnersBAH Conroe Senior Village, LLC and Brownstone Affordable Housing, Ltd. and MGroup Holdings, Inc. have not provided plans for review. Huntington Richmond PartnersBAH Conroe Senior Village, LLC and Brownstone Affordable Housing, Ltd. and MGroup Holdings, Inc. have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Sierra Royale Apartments development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). A. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond PartnersSierra Housing I, Ltd. LLC and MGroup Holdings, Inc. Realtex Development Corporation have not provided plans for review. Huntington Richmond PartnersSierra Housing I, Ltd. LLC and MGroup Holdings, Inc. Realtex Development Corporation have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington SilverLeaf at Richmond Rockport development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond SilverLeaf at Rockport, LP and StoneLeaf Development Partners, Ltd. and MGroup Holdings, Inc. LLC have not provided plans for review. Huntington Richmond SilverLeaf at Rockport, LP and StoneLeaf Development Partners, Ltd. and MGroup Holdings, Inc. LLC have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Lively Oaks development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). C. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond PartnersLively Oaks Limited and Megan Advisors, Ltd. and MGroup Holdings, Inc. LLC have not provided plans for review. Huntington Richmond PartnersLively Oaks Limited and Megan Advisors, Ltd. and MGroup Holdings, Inc. LLC have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington at Richmond Mesquite Xxxxx development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). B. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond PartnersXxxxxxxxx Housing, Ltd. and MGroup HoldingsMegan Advisors, Inc. LLC have not provided plans for review. Huntington Richmond PartnersXxxxxxxxx Housing, Ltd. and MGroup HoldingsMegan Advisors, Inc. LLC have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement
Floodplain Review. The Huntington Village at Richmond Greenwood development is not located within the 100-year floodplain or High Hazard Area. The proposed activities will take place in Zone X (shaded). B and C. The proposed project is not a critical action. This project does not immediately trigger the environmental requirement to maintain flood insurance for the CDBG assisted property. Section 414 of the Xxxxxxxx Disaster Relief and Emergency Assistance Act ensures no one is denied URA eligibility based upon their ability to meet the occupancy requirements stated by the Act. This has the effect of waiving the ninety-day occupancy requirement that is a standard requirement under normal URA conditions. The Grantee has applied for and was granted a disaster waiver to Section 414 of the Xxxxxxxx Act. This waiver of Section 414 effectively re-institutes the ninety-day occupancy requirement rule that is standard for URA, for projects that commence more than one year after the disaster, provided the project was not planned, approved, or otherwise underway prior to the disaster. A General Information Notice should be sent to any active residents as soon as is feasible at the time of submission of the initial application for CDBG funds. Notices of Eligibility/Ineligibility should be sent to all residents at the Initiation of Negotiations. For this project, this would be triggered when the CDBG-DR agreement is signed between the GLO and the Developer. Huntington Richmond PartnersTG 110 Village at Xxxxxxxxx XX, Ltd. LLC and MGroup HoldingsTG 110, Inc. have not provided plans for review. Huntington Richmond PartnersXX 000 Xxxxxxx xx Xxxxxxxxx XX, Ltd. LLC and MGroup HoldingsTG 110, Inc. have provided ADA/Section 504 Compliance Certifications. For all new construction or if the proposed alterations consist of 15 or more units and the cost of alterations is 75% or more of the replacement cost of the completed facility the applicant will need to:
Appears in 1 contract
Samples: Grant Agreement