Update the EBLL tracker by including which data fields are required, establishing what type of information can be entered into each data field, and disallowing case closure if required information is missing.
2021-OE-0011b | February 28, 2023
Improvements are Needed to the U.S. Department of Housing and Urban Development's Processes for Monitoring Elevated Blood Lead Levels and Lead-Based Paint Hazards in Public Housing
Public and Indian Housing
2021-OE-0011b-05
Closed on December 08, 20232021-OE-0011b-06
PriorityPriorityWe believe these open recommendations, if implemented, will have the greatest impact on helping HUD achieve its mission to create strong, sustainable, inclusive communities and quality affordable homes for all.
PIH in coordination with other HUD offices as necessary, research and address potential causes of the variance in the number of EBLL cases among States on the EBLL tracker and identify solutions that are within HUD's control.
Status
On May 7, 2024, the Office of Field Operations (OFO) stated that it met with the Real Estate Assessment Center (REAC) and Office of Lead Hazard Control and Healthy Homes (OLHCHH) on March 4 and April 23 and agreed that OFO and OLHCHH will review CDC data on counties with the highest prevalence of EBLLs in children for counties whose states that have reported their BLL data to CDC. OFO will review its EBLL tracker to determine reporting rates by the largest public housing authorities in those counties. OLHCHH will assign an analyst to summarize the most recently available prevalence rates based on selected states. Subsequently, OFO will scrutinize public housing authorities within those states to ascertain the reported cases.
The revised estimated completion date is February 28, 2025.
Analysis
To fully address this recommendation, OFO must provide evidence of meetings held and summaries of the research conducted. For example, what was the exchange with OLHCHH, did OFO coordinate with any other offices, and what research was conducted? OFO needs to research potential causes for the variances and determine what HUD could do to address them.
Alternatively, OFO must establish that there are no solutions within HUD’s control to address any identified causes.
Implementation of this recommendation will help ensure that EBLL cases are reported and recorded appropriately in the EBLL tracker.
2021-OE-0011b-07
Closed on February 28, 2023Create a plan and timeline that outlines OFO’s proposal to move the LBPR tracker to a different platform.
2021-OE-0011b-08
Closed on March 07, 2024Develop a timeliness standard in the LBPR tracker to establish expectations for how often field office staff must reach out to PHAs on the LBPR tracker to discuss measures that will resolve cases in a timely manner.
Lead Hazard Control
2021-OE-0011b-01
PriorityPriorityWe believe these open recommendations, if implemented, will have the greatest impact on helping HUD achieve its mission to create strong, sustainable, inclusive communities and quality affordable homes for all.
Update HUD regulations, policies, and procedures following the regulatory process required by the amended Lead Safe Housing Rule, in consideration of CDC’s lowered BLRV of 3.5 ug/dL.
Status
On June 12, 2024, the Office of Lead Hazard Control and Healthy Homes informed HUD OIG that the draft Federal Register notice of its request for information from Lead Safe Housing Rule stakeholders and the general public on its proposal to adopt CDC's BLRV of 3.5 µg/dL as its EBLL under the rule has been circulated for OGC and preclearance review, which will be followed by Departmental clearance. OLHCHH plans on publishing the Federal Register notice by June 30, 2024, with a 60-day comment period. OLHCHH will provide the link and the link and the notice once it is published. OLHCHH will then review public comments in preparing to decide whether to change the rule's current level, and if so, to what level.
The Office of Lead Hazard Control and Healthy Homes estimated this will be completed by June 30, 2024.
Analysis
To fully address this recommendation, OLHCHH must provide evidence that it has updated its regulations, policies, and procedures so that they are consistent with CDC’s lowered BLRV of 3.5 ug/dL.
Alternatively, OLHCHH must establish that its research led it to determine that environmental interventions in cases of children with EBLLs between 3.5 and 4.9 µg/dL were ineffective in reducing the children’s blood lead levels and that lowering HUD’s EBLL regulation to 3.5 µg/dL is unnecessary.
Implementation of this recommendation will help ensure children living in public housing with EBLLs receive effective environmental interventions.
2021-OE-0007 | February 17, 2023
HUD’s Robotic Process Automation Program Was Not Efficient or Effective
Chief Information Officer
2021-OE-0007-01
Identify short- and long-term plans for the RPA program that align its capabilities, staffing needs, funding projections, and mission needs.
2021-OE-0007-02
Implement procedures to capture and monitor centralized logs to maintain appropriate visibility into bot activities and provide for auditability of bot actions.
2021-OE-0007-03
Implement procedures to periodically review RPA system access and remove access for users that are not authorized or no longer have a need to use the system.
2021-OE-0007-04
Implement procedures to ensure that attended bots use the security rights and credentials of the attending user.
2023-KC-0002 | February 14, 2023
HUD Did Not Sufficiently Flag Unacceptable Physical Condition Scores To Assess Its Controlling Participants
Housing
2023-KC-0002-001-A
Closed on July 09, 2024Implement a quality control review to ensure that successive below-60 REAC inspection score flags are entered into APPS.
2023-KC-0002-001-B
Closed on March 11, 2024Update APPS to automatically flag a property that receives successive below-60 REAC inspection scores.
2023-NY-0001 | January 30, 2023
HUD’s Communication to Homeowners About COVID-19 Policies
Housing
2023-NY-0001-001-A
Closed on May 26, 2023We recommend that the Deputy Assistant Secretary for Single Family Housing update its COVID-19 Resources for Homeowners webpage to clearly communicate that homeowners who had not previously requested forbearance by September 30, 2021, are eligible to request forbearance from their servicer through the end of the COVID-19 National Emergency.
2023-NY-0001-001-B
Closed on May 26, 2023We recommend that the Deputy Assistant Secretary for Single Family Housing update its COVID-19 Resources for Homeowners webpage to include information on the various COVID-19 loss mitigation options servicers may offer homeowners with FHA-insured forward mortgages who are exiting COVID-19 forbearance.
2023-NY-0001-001-C
Closed on May 26, 2023We recommend that the Deputy Assistant Secretary for Single Family Housing update its COVID-19 Resources for Homeowners webpage to include details about the protections and loss mitigation options available for homeowners with FHA-insured reverse mortgages. This information could include (1) instructions for requesting an extension, (2) a statement notifying homeowners that they should not be charged late fees or penalties, (3) a chart showing the extension periods and related deadlines, and (4) information on the various loss mitigation options available for homeowners with FHA-insured reverse mortgages who are exiting a COVID-19 HECM extension.
2023-NY-0001-001-D
Closed on May 26, 2023We recommend that the Deputy Assistant Secretary for Single Family Housing update its COVID-19 Resources for Homeowners webpage to include relevant information on the U.S. Department of the Treasury’s Homeowner Assistance Fund.
2023-NY-0001-001-E
Closed on May 26, 2023We recommend that the Deputy Assistant Secretary for Single Family Housing work with the Office of Public Affairs, Office of Housing Counseling, and other offices within HUD to develop a detailed communication strategy for how and when it plans to use websites, letters, and other methods to proactively notify homeowners about relief programs, protections, and loss mitigation options during disasters and national emergencies. The strategy could include processes to ensure that (1) key information is provided or made available in a timely manner and kept up-to-date, (2) information is communicated clearly and consistently across mediums, and is linked together when possible, and (3) letters are mailed to struggling homeowners when needed. It could also articulate the methods HUD will use to reach homeowners without internet access.
2023-FO-0008 | January 24, 2023
Assessment of HUD’s IT Infrastructure To Support Extensive Telework
Chief Information Officer
2023-FO-0008-001-A
Closed on May 24, 2023Research, evaluate, and implement technical or alternative solutions to deploy essential computer software updates using appropriate secure methods to ensure that computer security updates occur in a timely manner to minimize risk to HUD’s systems and operations
2023-FO-0008-002-A
Closed on May 24, 2023Research, evaluate, and implement technical solutions to provide additional improvements to VPN and related remote working capabilities of HUD system users.
2023-FO-0008-002-B
Closed on May 24, 2023Perform routine VPN stress tests as part of its contingency planning and testing processes to regularly identify and remediate network performance issues and ensure that network capabilities are sufficient for teleworking.
2023-FO-0008-003-A
Closed on October 02, 2024Research, evaluate, and implement technical solutions to resolve the user account management issues and the underlying issue in the technical environment.