HUD’s Office of Housing contracts with performance-based contract administrators to administer the housing assistance payments (HAP) contract with owners. Through RAD, HUD oversees the HAP contracts for converted properties and monitors owners for compliance with HUD’s requirements, which include maintaining (1) units in decent, safe, and sanitary condition and (2) reserve for replacement accounts to help defray the cost of replacing properties’ capital items.
We found HUD needs to improve its oversight of the physical condition of public housing units that converted to PBRA and FHA-insured PBV under the RAD program. Of the 242 units we observed, 65 percent contained 576 deficiencies, 63 of which were life-threatening deficiencies. Converted properties are required to maintain reserve for replacement accounts to fund extraordinary maintenance, repair, and replacement of capital items. However, owners’ reserve for replacement accounts’ balances were not supported for 13 of the 14 properties reviewed. Further, HUD did not ensure that initial inspections of converted properties occurred in a timely manner.
The unit deficiencies occurred because the properties’ (1) management officials did not ensure that staff or contractors inspected the physical condition of RAD units annually and (2) maintenance departments were understaffed, resulting in delayed inspections and repairs. Further, HUD did not ensure that its staff consistently performed management and occupancy reviews (MOR) to monitor the operation of the properties for compliance with HUD’s requirements for the physical condition of RAD units and reserve for replacement accounts. Specifically, for the properties that we reviewed, HUD’s staff had not conducted (1) initial MORs for 50 percent of the properties even though they had been converted under RAD between 3 to 10 years ago and (2) timely initial MORs for nearly 48 percent of the properties. HUD also did not have a (1) process for monitoring the timeliness of properties’ initial inspections and (2) clear guidance specifying the timing of initial inspections for non-FHA-insured PBRA properties.
As a result, families resided in units that were not decent, safe, and sanitary. Further, there is an increased risk of (1) additional families’ residing in units that are not decent, safe, and sanitary and (2) properties’ reserve for replacement accounts being insufficiently maintained to address extraordinary maintenance, repair, and replacement of capital items. Further, HUD did not have necessary information to determine the (1) initial physical of condition of the units, including identifying deficiencies that require timely corrective actions, and (2) timing of properties’ next inspection, which is based on each property’s previous inspection score.
We made several recommendations to HUD to improve its oversight of properties converted under RAD. Specifically, we made recommendations related to determining the timing and completion of initial and subsequent MORs, including issuing updated guidance that includes a system to track the timeliness of initial MORs. We also made recommendations to provide training to staff members to ensure that they have the skills necessary to complete MORs of converted properties and to review the reserve for replacement account balances for all properties to ensure the accuracy of the account balances. Lastly, we made recommendations for HUD to implement adequate procedures and controls to ensure that servicing lenders comply with HUD time requirements in initial inspections of converted properties and determine an appropriate timeframe for when noninsured PBRA converted properties should be initially inspected and work with the Real Estate Assessment Center to ensure that inspections are ordered and completed within that timeframe.
Recommendations
Housing
- Status2025-CH-0001-001-AOpenClosed
Review the non-life-threatening health and safety and other deficiencies observed by the audit team and ensure that property owners and agents make the necessary corrections to the deficiencies as appropriate.
- Status2025-CH-0001-001-BOpenClosed
Determine the appropriate timeframe for when initial MORs should be completed for all properties that convert under RAD and issue updated guidance that includes a system to track the timeliness of initial MORs.
- Status2025-CH-0001-001-COpenClosed
Complete the initial MORs for RAD properties that have not had an initial MOR.
- Status2025-CH-0001-001-DOpenClosed
Develop and implement a plan to determine how to implement the risk-based approach to review the RAD properties that have not had subsequent MORs in more than 3 years and to require periodic MORs going forward.
- Status2025-CH-0001-001-EOpenClosed
Provide training to field staff members to ensure that they have the skills necessary to complete MORs of converted properties.
- Status2025-CH-0001-001-FOpenClosed
Review the reserve for replacement account balances for the 13 properties (11 underfunded and 2 overfunded) to determine whether the balances are maintained in accordance with the applicable HUD requirements and executed HUD business documents and require owners to fully fund any underfunded reserves and determine whether any overfunded accounts should have the deposits suspended for a specified period.
- Status2025-CH-0001-001-GOpenClosed
Review the HUD business documents, such as the RAD conversion commitment, HAP contract, and regulatory agreement, for the four properties that did not contain consistent reserve for replacement information and update the documents to be consistent as appropriate.
- Status2025-CH-0001-001-HOpenClosed
Issue guidance to RAD property owners clarifying that the owner is responsible to follow both the HUD business documents and the property’s business documents and that the most restrictive document indicates the amount and timing of the annual deposits into the reserve for replacement account.
- Status2025-CH-0001-001-IOpenClosed
Develop and implement a process to ensure that the reserve for replacement requirements in HUD’s business documents are consistent for all converted properties.
- Status2025-CH-0001-001-JOpenClosed
Develop and implement a plan to review the reserve for replacement accounts for all converted properties from the date on which the account was established to the date of the review. Based on the reviews completed, HUD should take appropriate actions to ensure that reserve for replacement accounts are appropriately funded or determine whether overfunded accounts should have the deposits suspended for a specified period.
- Status2025-CH-0001-002-AOpenClosed
Implement adequate procedures and controls to ensure that servicing lenders comply with HUD time requirements in scheduling initial inspections of FHA-insured RAD PBV properties.
- Status2025-CH-0001-002-BOpenClosed
Determine an appropriate timeframe in which non-FHA-insured PBRA properties converted under RAD should be initially inspected, work with REAC to ensure that inspections are ordered and completed within that timeframe, and update HUD’s publicly available and internal guidance to ensure consistent messaging in accordance with HUD’s determination.