Establishing a Deductible for FEMA’s Public Assistance Program
Supplemental advance notice of proposed rulemaking.
CFR Part: "44 CFR Part 206"
RIN Number: "RIN 1660-AA84"
Citation: "82 FR 4064"
Document Number: "Docket ID FEMA-2016-0003"
Page Number: "4064"
"Proposed Rules"
SUMMARY: The
DATES: Comments must be submitted by
ADDRESSES: You may submit comments, identified by Docket ID FEMA-2016-0003, by one of the following methods:
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Mail/Hand Delivery/Courier: Regulatory Affairs Division,
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SUPPLEMENTARY INFORMATION:
I. Public Participation
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II. Executive Summary
On
The Public Assistance deductible would condition the States' receipt of
In this SANPRM,
Under the deductible concept, each State would be expected to expend a predetermined, annual amount of its own funds on emergency management and disaster costs before
FEMA could calculate annually the deductible amount (in dollars) for each State based on an index of State risk and fiscal capacity.
FOOTNOTE 1 For a full explanation of how the first year starting deductibles could be calculated under this model program, please refer to Section V, Subsections A-F of this notice. END FOOTNOTE
Table 1--First Year Starting Deductibles Before Credits(1M) First year starting deductibles (before credits) State Year 1 starting deductible (in millions)Alabama $6.74 Alaska 1.00Arizona 9.01Arkansas 4.11California 52.53Colorado 7.08Connecticut 5.04Delaware 1.27Florida 26.51Georgia 13.66Hawaii 1.92Idaho 2.21Illinois 14.43Indiana 9.14Iowa 4.30Kansas 4.02Kentucky 6.12Louisiana 6.39Maine 1.87Maryland 8.14Massachusetts 9.23Michigan 13.94Minnesota 7.48Mississippi 4.18Missouri 8.44Montana 1.40Nebraska 2.58Nevada 3.81New Hampshire 1.86New Jersey 12.40New Mexico 2.90New York 27.32North Carolina 13.45North Dakota 1.00Ohio 16.27Oklahoma 5.29Oregon 5.40Pennsylvania 17.91Rhode Island 1.48South Carolina 6.52South Dakota 1.15Tennessee 8.95Texas 35.46Utah 3.90Vermont 1.00Virginia 11.28Washington 9.48West Virginia 2.61Wisconsin 8.02Wyoming 1.00
To offset the deductible requirement,
FOOTNOTE 2 For a full explanation of how each State's projected credits were calculated and how those credits impacted the projected first year's final deductibles under this model program, please refer to Section V, Subsections G-H of this notice. END FOOTNOTE
Table 2--Potential First Year Final Deductibles Adjusted for Projected Credits(2M) Potential first year "final" deductibles (adjusted for projected credits) State "Final" adjusted deductible (in millions)Alabama 5.01Alaska 0.74Arizona 4.88Arkansas 2.49California 7.63Colorado 5.24Connecticut 3.72Delaware 0.94Florida 10.85Georgia 9.99Hawaii 1.68Idaho 1.66Illinois 3.47Indiana 2.81Iowa 1.70Kansas 3.45Kentucky 4.65Louisiana 5.57Maine 1.46Maryland 5.78Massachusetts 5.11Michigan 8.53Minnesota 1.25Mississippi 2.51Missouri 4.78Montana 0.77Nebraska 1.52Nevada 2.03New Hampshire 0.91New Jersey 4.89New Mexico 2.02New York 19.59North Carolina 2.48North Dakota 0.30Ohio 11.75Oklahoma 3.33Oregon 3.91Pennsylvania 5.52Rhode Island 1.20South Carolina 4.92South Dakota 0.92Tennessee 7.06Texas 26.99Utah 1.99Vermont 0.63Virginia 4.89Washington 8.91West Virginia 1.91Wisconsin 6.17Wyoming 0.71
Under the deductible concept,
FEMA could implement the deductible program by regulation, supplemented by a guidance document and annual notices. The regulation could set forth broadly that
Under this concept,
A deductible program could leverage
III. Background and Development of the Deductible Concept
Although the Federal government has been providing supplemental disaster relief to States and localities since the early 1800s, the Disaster Relief Act of 1974, /3/ which was amended and renamed the Robert T. Stafford Disaster Relief and Emergency Assistance Act (Stafford Act) in 1988, /4/ formally established the foundation of the current disaster assistance system. Generally,
FOOTNOTE 3 Disaster Relief Act of 1974, Public Law 93-288 (1974). END FOOTNOTE
FOOTNOTE 4 Public Law 100-707 (1988). Robert T. Stafford Disaster Relief and Emergency Assistance Act, Public Law 93-288 (1974), as amended; 42 U.S.C. 5121 et seq. END FOOTNOTE
Pursuant to this system, the Federal government provides various forms of financial and direct assistance following disasters. One of the primary types of support
FOOTNOTE 5 See 42 U.S.C. 5172. END FOOTNOTE
On average,
FOOTNOTE 6 See 44 CFR 206.201(j). END FOOTNOTE
Before an affected jurisdiction can receive funding through the Public Assistance program, the President of
FOOTNOTE 7 See 42 U.S.C. 5170b, 5192; see also 44 CFR 206.38, 206.40. END FOOTNOTE
FOOTNOTE 8 42 U.S.C. 5170, 5191. END FOOTNOTE
FOOTNOTE 9 See 44 CFR 206.37(c). END FOOTNOTE
When considering a jurisdiction's request for a major disaster declaration authorizing the Public Assistance program,
FOOTNOTE 10 See 44 CFR 206.48(a). END FOOTNOTE
1. Estimated cost of the assistance; /11/
FOOTNOTE 11 Id. at
2. Localized impacts; /12/
FOOTNOTE 12 Id. at
3. Insurance coverage in force; /13/
FOOTNOTE 13 Id. at
4. Hazard mitigation; /14/
FOOTNOTE 14 Id. at
5. Recent multiple disasters; /15/ and
FOOTNOTE 15 See 44 CFR 206.48(a)(5). END FOOTNOTE
6. Programs of other Federal assistance. /16/
FOOTNOTE 16 Id. at
Under the current system, if a State demonstrates that an incident has caused a certain level of damage to a State to address the damage caused,
FOOTNOTE 17 42 U.S.C. 5122(2) (defining a major disaster for purposes of the Act). END FOOTNOTE
FOOTNOTE 18 42 U.S.C. 5170b(b). END FOOTNOTE
Conversely, if the President does not issue a major disaster declaration, the amount of damage is presumed to be within the capabilities of the affected jurisdictions and any supporting disaster relief organizations. In that case, the affected State is responsible for all of the costs of the incident, although the State will often pass many of the costs on to local jurisdictions. For example, under current regulations
Since 1986,
FOOTNOTE 19 The per capita indicator is applied at the State level for major disaster declarations; however, a second indicator is also used at the local level to determine which counties are declared within the State. END FOOTNOTE
FOOTNOTE 20 Disaster Assistance; Subpart C, the Declaration Process and State Commitments, 51 FR 13332,
FOOTNOTE 21 Id. END FOOTNOTE
FOOTNOTE 22 Notice of Adjustment of Statewide Per Capita Indicator, 80 FR 61836,
FEMA publishes the updated per capita indicator in the
FEMA has established, through regulation, a 1,000,000 minimum for any major disaster, regardless of the calculated indicator. /23/ The 1,000,000 floor is not subject to inflationary adjustments. Although
FOOTNOTE 23 44 CFR 206.48(a)(1). END FOOTNOTE
Since the per capita indicator was initially adopted in 1986, it has lost its relation to both of the metrics upon which it was first calculated. In 1986, PCPI in
FOOTNOTE 24 See Disaster Assistance; Subpart C, the Declaration Process and State Commitments, 51 FR 13332,
FOOTNOTE 25 Per Capita Personal Income (PCPI) is calculated annually by the
A retrospective analysis conducted by
Overall, Public Assistance grants would have been reduced by 10 percent had these 408 major disasters not been declared, resulting in
FOOTNOTE
Table 3 presents a State-by-State retrospective synopsis of the likely impacts a PCPI-adjusted per capita indicator would have had on declared major disasters between 2005 and 2014. To conduct this analysis,
Table 3--Impact of PCPI-Adjusted per Capita Indicator on Past Disaster Activity [2005-2014] State Change in Public assistance change numbers of (actual in 2015 ] disasters Alabama -12 -$156,634,854 Alaska -8 -16,686,176 Arizona -5 -32,864,734 Arkansas -15 -105,560,705 California -12 -761,414,191 Colorado -3 -12,035,081 Connecticut -4 -34,539,160 Delaware -2 -2,734,920 Florida -7 -170,847,001 Georgia -5 -105,365,782 Hawaii -5 -19,758,046 Idaho -5 -11,113,622 Illinois -11 -279,253,502 Indiana -8 -98,604,662 Iowa -13 -103,292,537 Kansas -12 -74,419,056 Kentucky -11 -98,057,973 Louisiana -6 -40,610,199 Maine -11 -31,102,969 Maryland -7 -120,907,360 Massachusetts -7 -135,316,467 Michigan -3 -36,000,794 Minnesota -10 -114,692,904 Mississippi -7 -37,337,169 Missouri -19 -275,421,878 Montana -5 -11,589,893 Nebraska -16 -67,235,065 Nevada -4 -15,984,383 New Hampshire -11 -39,448,267 New Jersey -11 -207,572,077 New Mexico -6 -37,173,106 New York -15 -600,294,475 North Carolina -8 -124,991,358 North Dakota -6 -11,015,041 Ohio -6 -131,629,728 Oklahoma -19 -120,128,934 Oregon -8 -61,741,829 Pennsylvania -7 -144,293,529 Rhode Island -1 -641,448 South Carolina -1 -12,859,770 South Dakota -8 -11,791,000 Tennessee -13 -113,576,960 Texas -9 -366,759,151 Utah -6 -33,421,146 Vermont -8 -10,790,332 Virginia -8 -159,073,446 Washington -8 -158,351,021 West Virginia -10 -59,884,181 Wisconsin -6 -55,046,806 Total -408 -5,429,864,688
The Public Assistance per capita indicator has also fallen short of keeping pace with State general fund expenditures. According to the
,
The failure of the per capita indicator to keep pace with changing economic conditions and the increasing frequency and costs of disasters has led to criticism of the per capita indicator. Those critiques have emphasized that the per capita indicator is artificially low. Many have called for
FOOTNOTE 28 See, e.g., GAO, Disaster Assistance: Improvements Needed in Disaster Declaration Criteria and Eligibility Assurance Procedures, GAO-01837 (2001); See also, GAO, GAO-12-838, Federal Disaster Assistance: Improved Criteria Needed to Assess Eligibility and a Jurisdiction's Capability to Respond and Recover On Its Own, 29 (2012). END FOOTNOTE
FOOTNOTE 29
FOOTNOTE 30 See, e.g., S.1960, Fairness in Federal Disaster Declarations Act of 2014, 113th Cong.; H.R. 3925, Fairness in Federal Disaster Declarations Act of 2014, 113th Cong. (establishing criteria for
Concluding that the per capita indicator is artificially low, /31/ the GAO recommended that the FEMA Administrator "develop and implement a methodology that provides a more comprehensive assessment of a jurisdiction's capability to respond and to recover from a disaster without federal assistance." /32/
FOOTNOTE 31 GAO 12-838, supra FN22, at 24. END FOOTNOTE
FOOTNOTE 32 Id. at 50. END FOOTNOTE
As FEMA considered these observations and recommendations,
FOOTNOTE 33 See generally FEMA Strategic Plan: 2014-2018, available at http://www.fema.gov/media-library-data/1405716454795-3abe60aec989ecce518c4cdba67722b8/July18FEMAStratPlanDigital508HiResFINALh.pdf. END FOOTNOTE
FOOTNOTE 34 Id. at 23. END FOOTNOTE
FOOTNOTE 35 Id. at 26. END FOOTNOTE
FOOTNOTE 36 Id. at 27. END FOOTNOTE
FOOTNOTE 37 Ibid. END FOOTNOTE
FEMA also considered the President's emphasis on advancing national resilience. The President issued three related Executive Orders in the past two years to build resilience through (1) establishing a Federal flood risk management standard, /38/ (2) establishing a Federal earthquake risk management standard, /39/ and (3) requiring agencies to enhance the resilience of buildings to wildfire in the wildland-urban interface. /40/
FOOTNOTE 38 Executive Order 13,690, 80 FR 6425,
FOOTNOTE 39 Executive Order 13,717, 81 FR 6407,
FOOTNOTE 40 Executive Order 13,728, 81 FR 32223,
FOOTNOTE 41 Public Assistance Required Minimum Standards Policy, FP-104-109-4,
In early 2014,
In the course of this research,
FOOTNOTE 42 See Disaster Assistance; Subpart C, the Declaration Process and State Commitments, 51 FR 13332,
FOOTNOTE 43 Inquiry into
1.
2.
Considering this background, the
1. Encourage and incentivize risk-informed mitigation strategies on a broad scale, while also recognizing current State activities;
2. Incentivize consistent fiscal planning by all States for disasters and establish mechanisms to better assess State fiscal capacity to respond to disasters; and
3. Ensure the supplemental nature of
Through these guiding principles, the working group designed an initial deductible concept that could leverage the Public Assistance program to recognize risk reduction investments that the States were already undertaking and to incentivize risk reduction best practices nationwide as a means to reduce future disaster impacts and costs for the whole community rather than simply transferring response and recovery costs from the Federal government to State and local jurisdictions. The working group also determined further exploration of the deductible concept should be cognizant of the two primary criticisms of
In its 2015 updated response to the GAO recommendations,
1. Adjust the per capita indicator to better reflect current national and State-specific economic conditions;
2. Develop an improved methodology for considering factors in addition to the per capita indicator; and
3. Implement a State-specific deductible concept for States to satisfy before qualifying for Public Assistance.
After further investigation and consideration of the alternatives,
IV. Advance Notice of Proposed Rulemaking
FEMA issued the ANPRM to introduce the deductible concept with the emergency management community and the public. The ANPRM consisted of basic background information concerning the declarations process and a very high-level overview of a deductible concept. In keeping with the preliminary and developmental state of the concept at that time, the ANPRM offered few specifics concerning the organization or implementation of a deductible. Chiefly, the ANPRM included an extensive list of questions that
In all,
FOOTNOTE 44 The comments can be viewed on the docket for this rulemaking at www.regulations.gov under docket ID FEMA-2016-0003. END FOOTNOTE
FEMA reviewed the comments that were received and incorporated the concerns and suggestions into the potential deductible program presented in this SANPRM.
Notwithstanding the limitations on specificity in the ANPRM,
In addition to seeking comment via the ANPRM,
With the assistance of the Department of
FEMA also contracted with a leading emergency management consulting firm to conduct additional research pertinent to developing the deductible. With the assistance of the
FOOTNOTE 45 The States contacted were
Specifically, the consulting firm assisted
FEMA primarily used the information it obtained from the consulting firm to estimate baselines of current State investments that
Following closure of the ANPRM comment period,
FEMA believes that this deductible concept is capable of meaningfully reducing the nation's overall risk profile over time. Calculating a deductible is, however, complex.
V. Potential Deductible Program
A. Calculation Methodology
There is innate uncertainty in the likelihood of disaster events that prevents perfection in a deductible concept and complicates a complete understanding of the complex disaster environment within which the deductible program would operate. However, not unlike the commercial insurance markets, these uncertainties can be quantified and analyzed over geographic areas and over long periods of time with increasing precision. These calculations could be used to approximate the relative exposure of certain regions, in this case the States, to future disaster costs. These estimates could then be reflected in the relative value of a State's deductible.
Arriving at a calculation methodology is thus one of the most critical aspects of moving the deductible program beyond the conceptual stage and requires public comment.
B. Establishing the Base Deductible
As with the rest of the SANPRM all numbers, figures, criteria and processes detailed in this section are notional. They are intended to aid the public in understanding how a potential deductible program could operate and to spur discussion and feedback.
FEMA begins its conceptual methodology by establishing an annual base deductible that would be shared nationwide (i.e., the same amount for each State), and would then be increased or decreased for each State based upon a State's fiscal capacity and risk profile relative to the other States.
FOOTNOTE 46 See generally Section 406 of the Stafford Act which authorizes
As developed by
FOOTNOTE 47
FEMA believes that this may be a reasonable approach to establishing a base deductible because it would leverage approximately 25 percent of the average amount that
Table 4--State Rank of Federal Assistance From 1999-2015 [In 2015 dollars] No. State Total federal Annual average share federal share obligated obligated (1999-2015) 1 New York$21,671,388,334 $1,274,787,549 2 Louisiana 16,621,415,286 977,730,311 3 Florida 6,399,822,001 376,460,118 4 Mississippi 4,180,836,633 245,931,567 5 Texas 4,094,422,168 240,848,363 6 New Jersey 2,357,737,579 138,690,446 7 Iowa 1,826,578,453 107,445,791 8 California 1,437,292,282 84,546,605 9 Oklahoma 1,131,691,340 66,570,079 10 Kansas 1,080,772,444 63,574,850 11 North Carolina 953,206,418 56,070,966 12 Missouri 888,379,570 52,257,622 13 Alabama 841,956,023 49,526,825 14 Arkansas 744,651,963 43,803,057 15 North Dakota 679,833,405 39,990,200 16 Virginia 643,863,349 37,874,315 17 Kentucky 615,307,272 36,194,545 18 Tennessee 602,295,312 35,429,136 19 Pennsylvania 557,230,633 32,778,273 20 Nebraska 435,308,536 25,606,384 21 Washington 428,584,871 25,210,875 22 Minnesota 426,982,553 25,116,621 23 Massachusetts 422,663,583 24,862,564 24 Colorado 408,338,653 24,019,921 25 South Carolina 384,041,986 22,590,705 M Median 377,446,341 22,202,726 26 Ohio 370,850,697 21,814,747 27 Georgia 328,820,892 19,342,405 28 West Virginia 311,011,683 18,294,805 29 Illinois 309,990,918 18,234,760 30 Vermont 297,996,556 17,529,209 31 Connecticut 284,870,352 16,757,080 32 South Dakota 284,612,022 16,741,884 33 New Mexico 274,303,673 16,135,510 34 Maryland 265,115,281 15,595,017 35 Indiana 237,955,033 13,997,355 36 Alaska 203,258,189 11,956,364 37 Wisconsin 174,472,096 10,263,064 38 Oregon 144,641,218 8,508,307 39 New Hampshire 137,674,702 8,098,512 40 Maine 91,683,905 5,393,171 41 Hawaii 87,697,345 5,158,667 42 Montana 70,196,126 4,129,184 43 Arizona 68,642,964 4,037,821 44 Rhode Island 63,361,303 3,727,135 45 Michigan 42,583,629 2,504,919 46 Delaware 39,007,437 2,294,555 47 Utah 34,208,312 2,012,254 48 Nevada 30,275,261 1,780,898 49 Wyoming 12,973,750 763,162 50 Idaho 11,695,737 687,985
After establishing this base deductible that is shared by every State,
Because FEMA is seeking to reduce risk through the deductible, and it is precisely through this risk reduction that the nation could realize the promise of the deductible program in decreasing disaster impacts and costs,
C. Calculating the Fiscal Capacity Index
As with the rest of the SANPRM all numbers, figures, criteria and processes detailed in this section are notional. They are intended to aid the public in understanding how a potential deductible program could operate and to spur discussion and feedback.
To calculate a State's relative fiscal capacity,
TTR is an annual measure of fiscal capacity calculated by the
FOOTNOTE 48 Additional information regarding Total Taxable Resources (TTR), including the methods for calculating and the current TTR estimates, can be found on the Web site of the
The surplus/deficit and the reserve fund indices operate in similar fashion. In each case, the State's value (surplus/deficit or reserve) is divided by the State's population. That amount is then compared with the per capita value of the median State. This creates indices of relative strength for each.
The surplus/deficit index is built using data provided by the Annual Survey of State Government Finances provided by the
FOOTNOTE 49 Additional information concerning the Annual Survey of State Government Finances, including the survey methodology and latest survey results, can be found on the Web site of the
FOOTNOTE 50 Additional information concerning the
Finally, the bond rating index is similarly calculated by dividing the State's bond rating by the median State's bond rating. In this model,
FOOTNOTE 51 Additional information concerning the data provided by the
FEMA averaged these four indices of relative fiscal strength into a consolidated fiscal capacity index, each factor being equally weighted. This index accounts for 25 percent of a State's base deductible adjustment. However,
D. Calculating the Composite Risk Index
As with the rest of the SANPRM, all numbers, figures, criteria and processes detailed in this section are notional. They are intended to aid the public in understanding how a potential deductible program could operate and to spur discussion and feedback.
FEMA explored multiple leading alternatives for predicting disaster losses. For the model described in this SANPRM,
AAL is a proxy for risk commonly used in risk modeling that considers the expected losses from a particular hazard per year when averaged over many years. Generally, AAL is calculated by multiplying the likelihood of the hazard occurring in a particular year by the likely cost of the event if it does occur. For example, if the likelihood of a hazard occurring is 0.2 percent, such as for a 500-year event, and the likely loss generated by that level of event is
FOOTNOTE 52 A 500-year event is an event that has the statistical likelihood of occurring once every 500 years, or in other words, a 1 in 500 chance (0.2%). END FOOTNOTE
There are numerous sources of AAL data for hazards. Proprietary catastrophic risk models developed by companies such as AIR Worldwide (AIR), Risk Management Solutions (RMS), and
FOOTNOTE 53 A short discussion about catastrophic modeling and a description of the three proprietary AAL models identified here can be found on the
Hazus is a nationally applicable standardized methodology that contains models for estimating potential losses from earthquakes, floods, and hurricanes. Hazus uses Geographic Information Systems (GIS) technology to estimate physical, economic, and social impacts of disasters. /54/
FOOTNOTE 54 For additional information, visit
FEMA used the Hazus-based AAL estimates to create a simplified risk index for each State. Specifically,
FOOTNOTE 55
FOOTNOTE 56 KS Jaiswal, et al. (2015). Estimating Annualized Earthquake Losses for the Conterminous United States. Earthquake Spectra:
FOOTNOTE 57 Hazus AAL results for flood (coastal and riverine) are available at https://data.femadata.com/Hazus/FloodProjects/AAL/StateAAL_proj.zip and http://www.arcgis.com/home/item.html?id=cb8228309e9d405ca6b4db6027df36d9. Accessed
FOOTNOTE 58
FEMA created a composite risk index around the median cumulative AAL.
For example, consider a State with the following Hazus-based AALs:
Hurricane:
Flooding:
Earthquake:
Cumulative:
If the median cumulative AAL across all of the States is
The AALs produced using Hazus vary from State to State depending upon the types of hazards that each State is prone to and the levels of loss that those hazards have the ability to create in those States. Consequently, the per capita cumulative AALs are not evenly distributed across the States and a few States have higher risk index scores because of that. Every State should be assigned a deductible that is reasonable and achievable. In this model,
FEMA capped the fiscal capacity components at a value of 5.0. This means that
E. Normalizing the Deductible Amounts
As with the rest of the SANPRM, all numbers, figures, criteria and processes detailed in this section are notional. They are intended to aid the public in understanding how a potential deductible program could operate and to spur discussion and feedback.
FEMA used the base deductible, composite risk index, and fiscal capacity index established above to calculate the post-indexed deductible value for each State. As explained previously, 75 percent of the total index adjustment to the base deductible is determined by the State's relative risk profile and the remaining 25 percent is determined by the State's relative fiscal capacity. For the final step in the deductible calculation process,
Specifically,
For example, assume that the base deductible is calculated to be
If, after applying the indices to each State's base deductible, the sum of all of the resulting, post-indexed deductibles exceeded the
Normalization is a common statistical approach for addressing variations that occur when adjustments are made to values through indices of relativity, which both the fiscal capacity and risk index are. This important step could ensure that the Public Assistance deductibles remain rooted in their nexus to the Public Assistance program. This final step, normalization, will establish the Starting Deductible for each state.
F. Calculating Each State's Starting Deductible
As with the rest of the SANPRM, all numbers, figures, criteria and processes detailed in this section are notional. They are intended to aid the public in understanding how a potential deductible program could operate and to spur discussion and feedback.
As summarized above, the base deductible will be multiplied by the sum of: 0.75 multiplied by the State's Composite Risk Index and 0.25 multiplied by the State's Composite Fiscal Capacity Index. That calculation establishes an adjusted deductible for each State.
Table 5--Model 2016 Starting Deductibles State Starting deductible ( $M)Alabama $12.96 Alaska 19.42Arizona 18.67Arkansas 8.01California 141.03Colorado 7.08Connecticut 20.85Delaware 8.03Florida 141.53Georgia 17.65Hawaii 9.17Idaho 7.68Illinois 14.43Indiana 12.23Iowa 10.63Kansas 9.54Kentucky 9.47Louisiana 73.90Maine 8.52Maryland 9.26Massachusetts 30.34Michigan 23.20Minnesota 9.44Mississippi 13.32Missouri 11.38Montana 6.23Nebraska 9.93Nevada 8.81New Hampshire 7.92New Jersey 29.28New Mexico 11.11New York 51.70North Carolina 17.50North Dakota 10.09Ohio 25.86Oklahoma 10.40Oregon 24.62Pennsylvania 21.88Rhode Island 12.30South Carolina 11.60South Dakota 8.25Tennessee 16.68Texas 73.72Utah 7.73Vermont 8.64Virginia 13.51Washington 27.30West Virginia 23.39Wisconsin 13.50Wyoming 10.47 Average 22.20 Median 12.26 Minimum 6.23 Maximum 141.53
These deductibles represent
G. Credit Structure
As with the rest of the SANPRM all numbers, figures, criteria and processes detailed in this section are notional. They are intended to aid the public in understanding how a potential deductible program could operate and to spur discussion and feedback.
A potential credit structure could offer States the ability to partially or fully satisfy their deductible in advance of a major disaster declaration. While simply raising the per capita indicator to qualify for Public Assistance would reduce Federal costs, a potential credit structure, if successful, could eventually deliver the true benefits of reduced risk and realized disaster response and recovery cost savings nationwide.
FEMA believes that the model credit structure described in this SANPRM would allow every State to earn credits for activities that each would already be undertaking, and also improve risk reduction and resilience building for States that choose to expand those activities. To that end, the deductible model described in this SANPRM includes seven potential categories of credits.
Due to the differences among the credit categories and their likely effects upon reducing risk, each category offers a unique credit-to-cost ratio, and a few have caps to provide States with an opportunity to develop a potentially diverse portfolio of risk reduction strategies.
FEMA would monitor which credits States elect to earn and would continue to refine its credit offerings each year.
FEMA recognizes that any additional program could create some additional administrative burden to State and Federal governments. However,
1. Dedicated Funding for Emergency Response/Recovery Activities
A State that has planned for and taken fiscal steps to address the financial impacts of potential disasters ahead of time is better prepared to immediately respond to and to rapidly recover from a major disaster.
FEMA believes that response and recovery efforts could be improved if the affected States maintain dedicated disaster relief funds. By having this funding available, these States also could potentially obviate the need to reduce or eliminate other planned State services to divert funding to disaster operations and infrastructure repair. For example, a State could divert funding for summer roadway maintenance or improvements to cover debris removal costs following a hurricane or snow removal costs following a major winter storm. States that maintain a dedicated disaster relief fund may be able to more rapidly ameliorate disaster consequences, leverage supplemental Federal assistance programs, and repair public buildings and infrastructure, without diverting funding from other important initiatives.
Furthermore, States without dedicated disaster relief funds could find themselves in the position of incurring new public obligations, or in some cases debt, while simultaneously suffering from the tax losses of disaster- induced decreased economic activity. By having a dedicated fund available to address the direct costs of disaster response and damage restoration, States could be better positioned to address these secondary disaster consequences.
In order to incentivize States to take the proactive step of establishing and funding a dedicated disaster relief fund in advance, this potential model credit structure includes
2. Expenditures for Non-Stafford Act Response and Recovery Activities
FEMA received multiple comments during the ANPRM comment period that emphasized that
Commenters also noted that counties and cities often lack the independent ability to raise the necessary financial resources to address the costs of significant localized impacts. In these cases, the support provide by their State partners is invaluable to ensuring that adequate funding is available to support the response and recovery operations necessary to assist the affected localities and survivors. Additionally, commenters explained that, even following a major disaster declaration, supplemental Federal assistance is typically only made available to the most severely impacted jurisdictions within the affected State. However, there are other communities that are not designated, but nonetheless have experienced damage resulting from the same incident. The commenters postulated that the damage experienced within these non-declared jurisdictions may nevertheless still exceed their individual capacities to effectively respond and recover, necessitating additional support from their State partners. This is, the commenters offered, an additional burden upon the State that the current system of Public Assistance does not recognize or incentivize.
FEMA seeks to preserve and strengthen this important State-local relationship and to incentivize States to continue providing assistance when jurisdictional capabilities are exceeded, regardless of the availability of supplemental Federal assistance. In order to do so, this potential deductible model includes
3. Expenditures for Mitigation Activities
Integral to any effort to lessen the risks associated with and consequences of disaster is effective mitigation. Mitigation is the act of lessening or avoiding the impacts of a hazard, typically through engineered solutions. The linkage between advanced mitigation and lowering disaster impacts and costs has been demonstrated many times, both through academia and research, and also in practical application.
FEMA provides funding assistance for mitigation projects through several programs, including the Hazard Mitigation Grant Program and the Pre-Disaster Mitigation Grant Program, as well as to mitigation-enhanced restoration projects through the Public Assistance program authorized by Section 406 of the Stafford Act. /59/
FOOTNOTE 59 42 U.S.C. 5172. END FOOTNOTE
This model includes
FOOTNOTE 60 See Hazard Mitigation Assistance Guidance, Part III, section E.1.3.1, available at this link https://www.fema.gov/media-library-data/1424983165449-38f5dfc69c0bd4ea8a161e8bb7b79553/HMA_Guidance_022715_508.pdf. END FOOTNOTE
Due to the importance of incentivizing mitigation activities to the success of the deductible program in reducing future disaster impacts and costs nationwide,
4. Insurance Coverage for Public Facilities, Assets, and Infrastructure
States have choices when it comes to how they elect to address their disaster risks. Some States have chosen to establish dedicated disaster relief funds that can be leveraged to address the costs of disasters without jeopardizing other services and operations. Other States have elected to purchase third-party insurance to cover some of those costs, while others have established self-insurance risk pools to better distribute the risk. Regardless of the choice that is made,
The model
This model includes credit based on the aggregate limits of applicable State policies, rather than on the premiums paid for coverage. Consequently,
This model includes a potential three-tier incentive structure for insurance coverage based upon multiples of each State's annual deductible amount as follows:
Table 6--Insurance Coverage Credit Schedule Coverage amount Credit (percentage of deductible) 50x Deductible = Coverage <100x 5 Deductible 100x Deductible = Coverage <150x 10 Deductible 150x Deductible = Coverage 15
For example, if a State has an annual deductible of
5. Building Code Effectiveness Grade Schedule (BCEGS(R))
The Insurance Services Office, Inc. (ISO), a leading provider of information concerning risk assessment and property and casualty insurance, has explored the relationship of building codes to risk reduction. According to a recent ISO report:
[M]odel building codes have most clearly addressed the hazards associated with wind, earthquake, and fire. Experts maintain that buildings constructed according to the requirements of model building codes suffer fewer losses from those perils. If municipalities adopt and rigorously enforce up-to-date codes, losses from other risks (including man-made perils) may also decrease. /61/
FOOTNOTE 61
This model includes an escalating credit structure that provides moderate incentive to simply participate in ISO's
The following model incentive structure is based on each State's annual BCEGS(R) score for both residential and commercial building codes:
Table 7--BCEGS Credit Schedule BCEGS(R) score Residential Commercial credit credit (percentage of (percentage of deductible) deductible) 1 20 20 2 15 15 3 12 12 4 9 9 5 8 8 6 6 6 7 5 5 8 4 4 9 3 3 10 2 2
This structure could allow States to earn between 4 percent and 40 percent credits based upon their residential and commercial BCEGS(R) scores. As of 2015, 45 States participate in the BCEGS(R) program and could have received, at a minimum, the 4 percent credit for doing so under this structure. Based on 2015 scores, the average participating State could receive a 16 percent reduction to their deductible amount. The smallest credit would have been 7 percent and the largest would have been 24 percent. The following chart depicts the number of States per credit level in 2015.
See Illustration in Original Document.
6. Tax Incentive Programs
FEMA recognizes that the most effective ways to reduce risk across the entire nation employ a whole-community approach that involves every level of government, the private sector, and the citizenry in taking steps to promote and increase resilience. With that in mind,
For example, a State may offer an income tax credit for elevating homes or host a sales-tax holiday for personal preparedness supplies.
Regardless, this model includes credits to States for these types of innovative tax incentive programs.
Because FEMA sees this credit as a type of whole-community risk reduction, in this model
7. Expenditures on State Emergency Management Programs
Perhaps the most visible factor in a State's ability to address disasters in the broad sense is the quality of its emergency management program. States have organized their emergency management function in a number of different ways. In some States, emergency management is a standalone office, whereas in other States the function is embedded in a broader public safety or military organization.
The Federal government provides numerous types of assistance to States to develop, maintain, and implement their emergency management programs. At
FOOTNOTE 62 6 U.S.C. 762. END FOOTNOTE
FOOTNOTE 63 6 U.S.C. 603. END FOOTNOTE
FOOTNOTE 64 6 U.S.C. 605. END FOOTNOTE
FOOTNOTE 65 6 U.S.C. 604. END FOOTNOTE
In order to further incentivize States to allocate their own resources to their emergency management enterprises, this model includes a deductible credit for annual State expenditures supporting State emergency management programs beyond any cost-share required by a Federal assistance program or grant.
FEMA includes in this model
8. Emergency Management Accreditation Program (EMAP(R)) Credit Enhancement
The Emergency Management Accreditation Program (EMAP(R)) is an independent non-profit organization that offers an emergency management program review and recognition program. /66/ EMAP(R) is a completely voluntary program and accreditation is not presently a factor in any
FOOTNOTE 66 Additional information on EMAP can be found at https://www.emap.org/index.php. END FOOTNOTE
This model includes a credit enhancement to States that voluntarily seek and achieve provisional or full EMAP(R) accreditation.
1. Dedicated funding for emergency response and recovery activities;
2. expenditures for non-Stafford Act response and recovery activities; and
3. expenditures on State emergency management programs.
Specifically, instead of offering
9. Credit Summary
Table 8 provides an overview of the credits that
Table 8--Summary Credit Menu Credit Credit name Credit amount Credit cap EMAP(R) No. enhancement 1 Dedicated Funding$1.00 in credit 20% Yes. for Emergency for each$1.00 Response/Recovery in qualifying Activities deposits 2 Expenditures for$1.00 in credit 20% Yes. Non-Stafford Act for each$1.00 Response and in qualifying Recovery expenditures Activities 3 Expenditures for$3.00 in credit No Cap No. Mitigation for each$1.00 Activities in qualifying expenditures 4 Insurance % reduction based N/A No. Coverage for on qualifying Public coverage above Facilities, deductible amount Assets, and Infrastructure 5 Building Code % reduction to N/A No. Effectiveness the starting Grade Schedule deductible based (BCEGS(R)) on BCEGS(R) 6 Tax Incentive$2.00 in credit No Cap No. Programs for every$1.00 in qualifying costs 7 Expenditures on$1.00 in credit 20% Yes. State Emergency for every$1.00 Management in qualifying Programs expenditures
H. Estimates of Initial Credits
Based upon the preliminary research discussed above and interviews with key stakeholders and subject matter experts,
As with the rest of the SANPRM, all numbers, figures, criteria and processes detailed in this section are notional. They are intended to aid the public in understanding how a potential deductible program could operate and to spur discussion and feedback.
FEMA has used the information that it has available to estimate the amount of credit that each State might qualify for initially. In many cases, however,
FOOTNOTE 67 For example, given
Overall, based on this analysis,
This potential final deductible amount represents what each State would potentially need to satisfy if it experiences a disaster that results in disaster damages that exceed the amount of credits that
BILLING CODE 9111-23-P
See Illustration in Original Document.
See Illustration in Original Document.
See Illustration in Original Document.
I. Deductible Program Timeline and Procedures
FEMA is committed to developing a Public Assistance deductible program that is effective, but that also minimizes the cost and administrative burden required of our State partners.
As with the rest of the SANPRM all numbers, figures, criteria, timeframes, and processes detailed in this section are notional. They are intended to aid the public in understanding how a potential deductible program could operate and to spur discussion and feedback.
1. Model Timeline
On
Contemporaneously with the issuance of the Annual Notice,
Credit applications could be due to
The actual application could be minimal compared to other Federal applications, grant applications in particular.
For example, a State may request
FEMA would review the State's submission and make a determination of the amount of deductible credit to be approved.
FEMA envisions notifying each State individually by
Once FEMA has adjudicated any appeals and all credit has been approved,
FOOTNOTE 68 Activities undertaken after the cutoff date for applying for credits would be applied to the next year's deductible. For example, activities undertaken in October would not be applied to the deductible in effect 3 months later, but instead to the one in effect 15 months later. END FOOTNOTE
Table 10--Notional Deductible Program Annual Milestones Date Actor Activity . FEMA publishes Annual Notice of Public Assistance Deductible Amounts in the Federal Register. August 1 FEMA . FEMA publishes Application and Submission information for Public Assistance Deductible Credits in the Federal Register, which provides formal credit guidance and the credit application form. September States . Deadline for States to submit the Application for 1 Public Assistance Deductible Credits.(68M) October 1 States . Deadline for States to appeal FEMA's determination of the pre-credit deductible amounts. October 1 FEMA . FEMA completes review of the credit applications and notifies each State of the credit amounts approved and FEMA's proposed final deductible amount. November FEMA . FEMA notifies States of the outcome of any pre-credit 1 deductible amount appeals. December States . Deadline for States to appeal FEMA's approved credit 1 amounts and/or proposed final deductible amount. January 1 FEMA . FEMA notifies States of the outcome of any pending appeals and publishes each State's final deductible and credit amounts in the Federal Register. Beginning FEMA . FEMA provides supplemental Public Assistance for all of January 1 the credits that a State has earned in every disaster. . For any permanent work disaster costs exceeding the State's earned credits, FEMA applies the remaining final deductible amount, if any.
2. Post Disaster Deductible Procedures
FEMA believes it is important that for every major disaster, the States receive assistance for emergency protective measures and debris removal.
FEMA envisions applying the deductible amount (i.e., the portion of a State's deductible not fully satisfied by the credits earned, if any) on an annual basis and only to the provision of supplemental Federal assistance for permanent repair and replacement activities. For repair and replacement assistance, the State would receive supplemental Federal assistance only after it has satisfied its deductible requirement.
If in a given year the affected State has not fully satisfied its annual Public Assistance deductible with the credits that it earned and a major disaster is declared, after the declaration the State would be asked to identify projects that have a preliminary cost estimate (Federal and non-Federal share combined) equal to the unsatisfied deductible amount. With agreement by
FOOTNOTE 69 Stafford Act, supra FN4,
FOOTNOTE 70 Costs of satisfying the deductible, like cost share costs, would not qualify for credit towards the next year's deductible. END FOOTNOTE
After the State satisfies its deductible in any major disaster event, any remaining eligible repair and replacement projects resulting from disasters declared in that year could receive supplemental Federal assistance in accordance with the standard procedures of the Public Assistance program. If there are insufficient projects to satisfy the full remaining deductible requirement, the unsatisfied portion of the deductible could be carried forward to any additional major disasters declared within the State that year. Any deductible that is remaining unsatisfied at the end of the year would expire. Each year could start the deductible cycle anew with regards to the starting deductibles, credits earned, and final deductibles.
If a State has an unsatisfied deductible requirement remaining after a major disaster, and it receives a second major disaster declaration that year, pursuant to this initial version of the deductible concept, the State would be required to identify a project or grouping of projects that have a preliminary cost estimate (Federal and non-Federal share combined) equal to the unsatisfied deductible requirement. With agreement by
Consider a State that has a starting deductible of
If the State receives a second major disaster declaration in the same calendar year, the State would need to identify
Any deductible amount remaining unsatisfied due to lack of eligible disaster costs at the end of a year would be canceled. For example, consider a State with a starting deductible of
J. Validation Procedures
FEMA desires for the deductible program to recognize, reward, and incentivize mitigation and resilience building best practices.
As with the rest of the SANPRM all numbers, figures, criteria and processes detailed in this section are notional. They are intended to aid the public in understanding how a potential deductible program could operate and to spur discussion and feedback.
In order to ensure that the program is both effective in truly incentivizing risk reduction and is being continually improved,
FEMA believes that its analysis will ultimately show that reviewing a sample of credit approvals would be sufficient to ensure the fidelity of the approvals and ultimately, confidence in the credibility of the deductible program.
During the validation process,
In the event that
Once FEMA notifies the State that
For example, consider a State that has received a credit approval of
In this case, the State appeals the approval and is able to produce documentation of an additional
K. Possible Implementation Strategy
FEMA will gather the suggestions and concerns that have been expressed through the ANPRM and SANPRM and use them to determine whether it can design a deductible concept that achieves
Even if a final rule is published,
Consequently,
Specifically,
BILLING CODE 9111-23-P
See Illustration in Original Document.
See Illustration in Original Document.
See Illustration in Original Document.
See Illustration in Original Document.
FEMA believes that this approach would allow States the opportunity to adapt to the deductible concept and to take steps that would earn additional credits and begin to address their future disaster risk, without applying deductibles at levels that would be punitive.
Similar to the phased implementation of the deductible amounts,
Table 12 depicts each State's notional starting deductible for the first 9 years of the deductible program. It also depicts the model final deductibles that
These amounts are only estimates, however, and will be affected by many factors, including changes to the base deductible, changes to each State's relative risk or fiscal capacity, the amount of credit each State earns in the first year for activities already underway, and changes to those activities that result in more or less than 5 percent year-over-year credit increases. All shaded values are capped.
See Illustration in Original Document.
VI. Alternatives Considered
Over the course of developing this deductible model,
The following subsections detail a few of the alternatives and options that
FEMA has not made a final determination regarding the most appropriate approach moving forward. In addition to the potential deductible model described in this SANPRM,
A. Increasing the Per Capita Indicator
FEMA originally began consideration of the deductible concept in the context of repeated calls--by the GAO, DHS OIG,
FOOTNOTE 71 See GAO, supra note 28; OIG supra note 29; see also 44 CFR 206.48. END FOOTNOTE
However, recognizing that the status quo is unsustainable in the long term,
As was explained earlier in this SANPRM, the Public Assistance per capita indicator was initially set in 1986 at
FOOTNOTE 72 Per Capita Personal Income in 2015 was
Under this alternative
FOOTNOTE 73 Per State PCPI Adjusted Total =
FOOTNOTE 74 See GAO, supra FN28, at 50. END FOOTNOTE
Table 13--Current Per Capita Indicator Compared With National PCPI Growth Adjustments Data by state State 2010 Current TTR Current per population index capita indicator 2016 =$1.41 Current indicator total Alabama 4,779,736 75.9$6,739,428 Alaska 710,231 126.8 1,001,426 Arizona 6,392,017 70.7 9,012,744 Arkansas 2,915,918 75.9 4,111,444 California 37,253,956 104.9 52,528,078 Colorado 5,029,196 107.9 7,091,166 Connecticut 3,574,097 138.2 5,039,477 Delaware 897,934 115.3 1,266,087 Florida 18,801,310 82.2 26,509,847 Georgia 9,687,653 90.7 13,659,591 Hawaii 1,360,301 84.8 1,918,024 Idaho 1,567,582 70.9 2,210,291 Illinois 12,830,632 107.1 18,091,191 Indiana 6,483,802 90.7 9,142,161 Iowa 3,046,355 98.8 4,295,361 Kansas 2,853,118 93.3 4,022,896 Kentucky 4,339,367 78.6 6,118,507 Louisiana 4,533,372 97.6 6,392,055 Maine 1,328,361 77.6 1,872,989 Maryland 5,773,552 120.3 8,140,708 Massachusetts 6,547,629 133.3 9,232,157 Michigan 9,883,640 85.3 13,935,932 Minnesota 5,303,925 110.7 7,478,534 Mississippi 2,967,297 68.1 4,183,889 Missouri 5,988,927 89.6 8,444,387 Montana 989,415 75.8 1,395,075 Nebraska 1,826,341 105.5 2,575,141 Nevada 2,700,551 82.3 3,807,777 New Hampshire 1,316,470 106.9 1,856,223 New Jersey 8,791,894 129 12,396,571 New Mexico 2,059,179 75.8 2,903,442 New York 19,378,102 133.7 27,323,124 North Carolina 9,535,483 86.7 13,445,031 North Dakota 672,591 122.2 948,353 Ohio 11,536,504 92.3 16,266,471 Oklahoma 3,751,351 85.3 5,289,405 Oregon 3,831,074 95.2 5,401,814 Pennsylvania 12,702,379 98.1 17,910,354 Rhode Island 1,052,567 102.3 1,484,119 South Carolina 4,625,364 73.2 6,521,763 South Dakota 814,180 97.9 1,147,994 Tennessee 6,346,105 82.5 8,948,008 Texas 25,145,561 106.7 35,455,241 Utah 2,763,885 83.4 3,897,078 Vermont 625,741 87.1 882,295 Virginia 8,001,024 114.6 11,281,444 Washington 6,724,540 105.6 9,481,601 West Virginia 1,852,994 73.4 2,612,722 Wisconsin 5,686,986 95.1 8,018,650 Wyoming 563,626 128.9 794,713
Table 13--Current Per Capita Indicator Compared With National PCPI Growth Adjustments State Indicator Annual average Annualized adjusted for major disaster PCPI-Adjusted national PCPI declarations per capita growth 2016 = indicator$4.81 National PCPI adjusted total (with TTR adjustment) Alabama$17,449,812 1.6$27,919,700 Alaska 4,331,756 1.6 6,930,809 Arizona 21,737,140 0.9 19,563,426 Arkansas 10,645,404 1.9 20,226,268 California 187,971,913 1.5 281,957,870 Colorado 26,101,477 0.7 18,271,034 Connecticut 23,758,524 1.2 28,510,229 Delaware 4,979,879 0.6 2,987,927 Florida 74,336,996 1.6 118,939,193 Georgia 42,264,033 0.8 33,811,226 Hawaii 5,548,505 0.9 4,993,654 Idaho 5,345,909 0.6 3,207,546 Illinois 66,097,129 1.5 99,145,694 Indiana 28,286,688 1.2 33,944,026 Iowa 14,477,132 2.3 33,297,403 Kansas 12,804,023 2.3 29,449,253 Kentucky 16,405,671 1.5 24,608,507 Louisiana 21,282,187 1.2 25,538,624 Maine 4,958,187 2 9,916,374 Maryland 33,408,254 1 33,408,254 Massachusetts 41,981,629 1.7 71,368,770 Michigan 40,551,883 0.4 16,220,753 Minnesota 28,241,650 1.8 50,834,971 Mississippi 9,719,708 1.4 13,607,591 Missouri 25,810,838 2.4 61,946,011 Montana 3,607,387 0.8 2,885,910 Nebraska 9,267,859 2.3 21,316,075 Nevada 10,690,482 0.7 7,483,338 New Hampshire 6,769,144 2.2 14,892,117 New Jersey 54,552,823 1.4 76,373,952 New Mexico 7,507,725 1.3 9,760,043 New York 124,619,993 2.5 311,549,982 North Carolina 39,765,539 1.2 47,718,646 North Dakota 3,953,369 2 7,906,738 Ohio 51,217,809 1 51,217,809 Oklahoma 15,391,531 3 46,174,592 Oregon 17,542,948 1 17,542,948 Pennsylvania 59,937,573 1.1 65,931,330 Rhode Island 5,179,293 0.7 3,625,505 South Carolina 16,285,537 0.3 4,885,661 South Dakota 3,833,965 2.2 8,434,724 Tennessee 25,182,931 1.6 40,292,690 Texas 129,053,808 1.7 219,391,474 Utah 11,087,435 0.7 7,761,205 Vermont 2,621,548 1.6 4,194,477 Virginia 44,103,725 1.2 52,924,469 Washington 34,156,359 1.2 40,987,631 West Virginia 6,542,069 1.6 10,467,311 Wisconsin 26,014,037 0.9 23,412,633 Wyoming 3,494,532 0.2 698,906
FEMA believes that the deductible concept has the potential to result in a better outcome for the nation than increasing the per capita indicator as it promotes State investment in risk reduction that will ultimately reduce the financial impact of future disasters.
Compared with the alternative option of linking the Public Assistance per capita indicator to PCPI, the deductible model could deliver financial advantages to the States. These financial advantages could be even greater in the preliminary years over which the full deductible amount is phased in. Table 14 indicates the differences that
Table 14--Estimated Costs of the Notional Deductible Program Versus Adjusting the Per Capita Indicator for PCPI All amounts Full Full Final National Annualized in $M starting estimated deductible PCPI- PCPI- deductible credits Adjusted Adjusted per (current total capita activities (with TTR indicator only) adjustment) Average$22.20 $9.74 $12.46 $29.37 $43.00 State Median State 12.26 4.43 7.61 17.35 23.81 Minimum 6.23 1.17 1.58 2.59 0.69 <75> State Maximum 141.53 120.55 64.46 186.40 308.95 State
FEMA recognizes that increasing the Public Assistance per capita indictor will likely lower the amount the Federal government spends on disasters. It is also simple to communicate and uses processes that everyone is already familiar with. However,
FOOTNOTE 75 Although the application of the annualization calculation suggests a per capita indicator below
B. Alternative Deductible Approaches
In developing this potential deductible concept,
1. Calculation Alternatives
There are many different methods by which
While FEMA appreciates these values, the deductible concept, to be successful, must incentivize greater State resilience to future disasters. It is important, therefore, that the deductible amounts truly represent the States' individual characteristics that are relevant in the disaster context. Overall,
2. Fiscal Capacity Index
FEMA considered two additional financial indicators before selecting the four contained in the fiscal capacity index included in this model. Those additional indicators included Total Actual Revenue (TAR), /76/ which
FOOTNOTE 76
FOOTNOTE 77 The
FEMA believes that TTR, with its broad consideration of potential State revenue resources, was the best of these three indicators.
3. Risk Index
The model methodology for establishing the risk index utilizes AAL values produced from Hazus to evaluate each State's relative risk level. One feature of the AAL approach is that AAL reflects the total amount of the loss caused by the hazard. This includes losses by individuals, businesses, economic drivers, and insured losses. However, because of limitations in the types of assistance that
FEMA is willing to accept this attribute, however, because the intent of the deductible program is to reduce risk and build resilience to disasters overall.
One shortcoming of the AAL methodology, at least at present, is that Hazus does not currently produce loss estimates of any kind for severe storms or tornadoes. Overall, these types of incidents account for the most frequently declared major disasters and count for approximately 20 percent of Public Assistance obligations between 2005 and 2014. However, looking below the surface of the classification,
Nevertheless, it is likely that the AAL-based approach to calculating the risk index will somewhat undervalue the risk to locals that are particularly prone to these types of incidents, such as the Midwest for tornadoes and the Northeast for snow and ice storms.
FEMA also considered a completely different approach to assessing a State's relative risk that looks specifically at the likelihood that a State will require Public Assistance and the amount of assistance that will likely be needed.
Specifically, the CREATE model utilizes Public Assistance data from 1999 to 2015 (the broadest range for which reliable data is available). CREATE's model assumes that both the magnitude and frequency of disasters are random variables while simultaneously taking a State's characteristics into account, such as the amount of infrastructure. CREATE then developed statistical models, adjusting the modeling parameters so that the outputs best matched the frequency and magnitude of historical Public Assistance outlays. CREATE was then able to use those models to look forward and determine the likely frequency and amounts of Public Assistance that each State would require in the future, converting those amounts to an index of relative risk.
CREATE's approach advanced
First,
Likewise, it is also likely that the Public Assistance dataset will include incidents that are unlikely to occur again in the near future and that may be skewing the data. The costs associated with Hurricane Katrina is an example of this possibility. While the chances of the
FEMA was also concerned that because the CREATE approach is novel, it might not engender the same level of public confidence as the AAL-based methodology. AAL estimates are used by many organizations within the risk management and insurance industries and are generally accepted and defensible approaches to modeling future hazard costs. Additionally,
Finally,
In deciding between the Hazus-based AAL approach and the CREATE historical Public Assistance approach,
4. Additional Credits
FEMA carefully considered the credits included in the model described in this SANPRM.
When developing the model credit offerings,
One credit in particular that
A structure must be located within an NFIP community to be eligible for federally-backed NFIP coverage. NFIP communities may also elect to participate in the CRS program to receive a percentile reduction to the premiums for every NFIP policy within the community. As of
The CRS classifies each participating community on a scale from 10 to 1 based on multiple scoring criteria relating to floodplain management, investments, and enforcement. Each CRS class receives a corresponding percentile reduction to the premiums of all of the NFIP flood insurance policies covering property within those communities. The lower the community's CRS class, the larger the percentile premium reduction will be. For example, a CRS class 7 community would receive a 15 percent premium reduction on all policies covering property within the community's Special
As of
See Illustration in Original Document.
FEMA examined multiple ways by which it could potentially include such a credit in the deductible model. The major problem with creating a deductible credit in this instance is that the CRS program is administered exclusively at the community level, and
FEMA has considered calculating statewide CRS scores by utilizing population-weighted averages of the participating communities' CRS classes compared to the statewide population.
Consider for example the
Table 15--Example Statewide CRS Credit Score--Iowa CRS community Population CRS class Pop. x CRS class City of Cedar 39,260 5 196,300 Falls City of Cedar 126,326 6 757,956 Rapids City of Coralville 18,907 7 132,349 City of Davenport 99,685 8 797,480 City of Des Moines 203,433 7 1,424,031 City of Iowa City 67,862 7 475,034 Linn County(78M) 84,900 8 679,200 Sum 4,462,350 State of Iowa 3,046,355 7.5
FEMA has also considered multiplying the population of each community by the community's CRS class. For example, the
FOOTNOTE 78 The population of
Ultimately,
VII. Legal Authority
FEMA administers the Public Assistance program pursuant to the President's statutory authority conferred in Section 406 of the Stafford Act to "make contributions--(A) to a State or local government for the repair, restoration, reconstruction, or replacement of a public facility damaged or destroyed by a major disaster and for associated expenses incurred by the government." /79/ These contributions are limited to ". . . not less than 75 percent of the eligible costs of repair, restoration, reconstruction, or replacement carried out under this section"--known as the Federal share. /80/ The President has delegated this authority to the Administrator of
FOOTNOTE 79 42 U.S.C. 5172(a)(1)(A). END FOOTNOTE
FOOTNOTE 80 42 U.S.C. 5172(b)(1). END FOOTNOTE
FOOTNOTE 81 Executive Order 12148, 44 FR 43239 (
"Eligible" is a term of qualification indicating that not all resultant costs are automatically reimbursable. Because the Stafford Act does not define "eligible costs" within the text of the law itself, it is within
VIII. Conclusion
The concept for a deductible program responds to calls for
While FEMA seeks comment on all aspects of the deductible concept, in particular
Dated:
Administrator,
[FR Doc. 2017-00467 Filed 1-11-17;
BILLING CODE 9111-23-P


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