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Agenda - 04-17-2012 - 5d
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Agenda - 04-17-2012 - 5d
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Last modified
6/22/2015 4:56:25 PM
Creation date
4/13/2012 4:15:37 PM
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BOCC
Date
4/17/2002
Meeting Type
Regular Meeting
Document Type
Agenda
Agenda Item
5d
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Minutes 04-17-2012
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Path:
\Board of County Commissioners\Minutes - Approved\2010's\2012
NS EDC North Carolina Tomorrow Grant Award
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Path:
\Board of County Commissioners\Contracts and Agreements\BOCC Grants\2010 - 2019\2012\2012 Grants
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7 <br /> can be properly and legally provided to appropriate federal and state entities,including DOC <br /> and HUD,without issue or objection by the individual or entity. <br /> 11. Project Savings. The Recipient is obligated to contribute 100 percent of its pledged cash <br /> contribution to the CDBG project even if the project experiences a savings after authorized <br /> activities are completed. Any project savings accrue to the CDBG program. Substitution of <br /> in-kind contributions for cash is not allowed. <br /> 12. Expenditure of Non-CDBG Funds. The recipient must ensure that non-CDBG funds are <br /> expended along with CDBG funds,following the implementation schedule described in the <br /> approved application and modified by the Performance Contract(or otherwise with DOC <br /> approval),and shall report on non-CDBG expenditures with each Annual Performance <br /> Report, consistent with Section.1100 PERFORMANCE of the program regulations <br /> (4NCAC 19L)as well as any other applicable reporting requirements. <br /> 13. Method of Payment. The Department of Commerce uses the Office of State Controller <br /> (OSC)to make CDBG payments to units of local government. The Electronic Payment <br /> Form from OSC must be completed for funds to be electronically transferred. Arrangements <br /> must be made with the Finance Officer in the Division of Community Investment and <br /> Assistance if a Recipient does not want to use the electronic funds transfer. <br /> 14. Fair Housina. Recipients of CDBG funds are required to comply with fair housing and non- <br /> discrimination laws and regulations. Recipients should consult Section.1001 of the CDBG <br /> administrative rules for further information on equal opportunity requirements. Recipients <br /> are required to submit a fair housing plan for its jurisdiction. Recipients with 10,000 persons <br /> or more will be required to complete an Analysis to Impediments to Fair Housing Choice <br /> Study. For each grant year that a CDBG project is active,a Recipient must describe the <br /> actions it will take in the areas of enforcement, education and removal of barriers and <br /> impediments to affirmatively further fair housing. Guidance for developing a Fair Housing <br /> Plan can be found in CI Bulletin 93-4 and the CDBG Implementation Notebook. <br /> 15. Equal Employment and Procurement Opportunity. A Recipient must describe the actions it <br /> will take annually while the grant is open in the areas of enforcement,education and removal <br /> of barriers and impediments that affirmatively further equal access in employment and <br /> procurement. This includes a description of steps to be taken in the areas of advertisement, <br /> compliance and complaint tracking. <br /> 16. Local Economic Benefit(Section 3 Regulation). For each year that a CDBG is active,the <br /> Recipient must describe a strategy whereby opportunities in employment and procurement <br /> arising out of a CDBG assisted project are identified and made available to low-income <br /> residents within the CDBG assisted area to the greatest extent feasible. This strategy must <br /> include(1)identification of training and technical assistance resources to prepare low- <br />, income residents for employment and procurement opportunities, (2) attempts to reach the <br /> numerical targets for new hires set forth in the Section 3 regulation,which applies to <br /> Recipients receiving$200,000 or more in non-administrative line items expended for <br /> construction contracts and(3)education of low-income residents within the CDBG assisted <br /> area about the components and opportunities of the program. <br /> In addition,Recipients will be required to coordinate additional activities as it relates to <br /> Section 3 with the DOC CDBG Compliance Office. <br /> 5 <br />
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