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Other Statutes: Administrative Procedures Act/Review or Appeal of Agency Decision | Massachusetts
Order
Judge Myong J. Joun: ELECTRONIC ORDER entered. The Court has reviewed Defendants' October 1, 2026 Status Report Doc. No. 51 and Plaintiffs' Response Doc. No. 56 . Defendants shall file a supplemental status report by 5:00 p.m. on October 8, 2026. The supplemental report shall: 1. identify the anticipated publication date for each replacement FY2025 FHIP NOFO (PEI, EOI, and FHOI); 2. identify the anticipated date by which HUD expects to complete the pending PEI renewals, including the pending third-year renewals and, to the extent applicable, the second-year renewals; 3. identify the fiscal-year appropriation or other funding source HUD is using, or presently intends to use, for the pending PEI renewals; and 4. explain the difference between HUD's prior representation that as many as 17 PEI renewals could be completed in time for an October 1 start date and its October 1 report that nine grant agreements had been fully executed and one additional agreement had been sent to an awardee for review and execution. The explanation shall identify any circumstances that caused or contributed to the difference and describe the status of the remaining renewals. If Defendants contend that they cannot provide a date certain as to any item in paragraphs (1) or (2), they shall state the earliest date presently anticipated, identify the remaining steps necessary before completion, state which of those steps are legally required, and explain with specificity why a date certain cannot presently be provided. The supplemental report shall also provide the current number of PEI renewal agreements that have been fully executed, the number transmitted to awardees for execution, and the number remaining to be completed. This Order requires supplementation of the existing compliance record and does not alter the substantive requirements of the Court's prior orders.(SP)
The Court has reviewed Defendants' October 1, 2026 Status Report Doc. No. 51 and Plaintiffs' Response Doc. No. 56 . Defendants shall file a supplemental status report by 5:00 p.m. on October 8, 2026. The supplemental report shall:
1. identify the anticipated publication date for each replacement FY2025 FHIP NOFO (PEI, EOI, and FHOI); 2. identify the anticipated date by which HUD expects to complete the pending PEI renewals, including the pending third-year renewals and, to the extent applicable, the second-year renewals; 3. identify the fiscal-year appropriation or other funding source HUD is using, or presently intends to use, for the pending PEI renewals; and 4. explain the difference between HUD's prior representation that as many as 17 PEI renewals could be completed in time for an October 1 start date and its October 1 report that nine grant agreements had been fully executed and one additional agreement had been sent to an awardee for review and execution. The explanation shall identify any circumstances that caused or contributed to the difference and describe the status of the remaining renewals.
If Defendants contend that they cannot provide a date certain as to any item in paragraphs (1) or (2), they shall state the earliest date presently anticipated, identify the remaining steps necessary before completion, state which of those steps are legally required, and explain with specificity why a date certain cannot presently be provided. The supplemental report shall also provide the current number of PEI renewal agreements that have been fully executed, the number transmitted to awardees for execution, and the number remaining to be completed. This Order requires supplementation of the existing compliance record and does not alter the substantive requirements of the Court's prior orders.(SP)
Response - not related to a motion
Response by Massachusetts Fair Housing Center, National Fair Housing Alliance to 51 Status Report . (Miller, Lila)
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