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<br /> <br />SAHA Policy <br /> <br />SAHA will make use of private companies or any other source of Sex Offender data. <br />is subject to a lifetime registered sex offender registration requirement in any state \[Notice PIH <br />2012-28\]. <br />If the PHA proposes to deny assistance based on a criminal record or on lifetime sex offender <br />registration information, the PHA must notify the household of the proposed action and must <br />provide the subject of the record and the applicant a copy of the record and an opportunity to <br />dispute the accuracy and relevance of the information prior to a denial of admission. \[24 CFR <br />5.903(f) and 5.905(d)\]. <br /> <br />Screening for Suitability as a Tenant \[24 CFR 982.307\] <br />The PHA or or suitability for <br />tenancy. The PHA has the authority to conduct additional screening to determine whether an <br />applicant is likely to be a suitable tenant. <br />SAHA Policy <br /> <br />suitability for tendency. <br />T <br />The PHA will inform the owner that screening and selection for tenancy is the responsibility of <br />o factors such as: payment of <br />rent and utilities, caring for a unit and premises, respecting the rights of other residents to the <br />peaceful enjoyment of their housing, criminal activity that is a threat to the health, safety or <br />property of others, and compliance with other essential conditions of tenancy. <br />HUD requires the PHA to provide prospective owners with the family's current and prior address <br />(as shown in PHA records) and the name and address (if known) of the owner at the family's <br />current and prior addresses. HUD permits the PHA to provide owners with additional <br />information, as long as families are notified that the information will be provided, and the same <br />type of information is provided to all owners. <br />The PHA may not disclose to the owner any confidential information provided in response to a <br />request for documentation of domestic violence, dating violence, or stalking except at the written <br />request or with the written consent of the individual providing the documentation \[24 CFR <br />5.2007(a)(4)\]. <br />SAHA Policy <br /> <br />SAHA will inform owners of their responsibility to screen prospective tenants, and will <br />provide owners with the required known name and address information, at the time of the <br />initial HQS inspection or before. SAHA will not provide any additional information to <br />the owner, such as tenancy history or criminal history. <br />Page 3-21 <br /> <br />04/01/14 <br /> <br />