[Federal Register Volume 84, Number 55 (Thursday, March 21, 2019)]
[Rules and Regulations]
[Pages 10632-10664]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2019-05388]



[[Page 10631]]

Vol. 84

Thursday,

No. 55

March 21, 2019

Part III





Department of Homeland Security





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Federal Emergency Management Agency





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44 CFR Part 206





Factors Considered When Evaluating a Governor's Request for Individual 
Assistance for a Major Disaster; Final Rule

  Federal Register / Vol. 84 , No. 55 / Thursday, March 21, 2019 / 
Rules and Regulations  

[[Page 10632]]


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DEPARTMENT OF HOMELAND SECURITY

Federal Emergency Management Agency

44 CFR Part 206

[Docket ID FEMA-2014-0005]
RIN 1660-AA83


Factors Considered When Evaluating a Governor's Request for 
Individual Assistance for a Major Disaster

AGENCY: Federal Emergency Management Agency, DHS.

ACTION: Final rule.

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SUMMARY: FEMA is issuing a final rule to revise its regulations to 
comply with Section 1109 of the Sandy Recovery Improvement Act of 2013. 
The Act requires FEMA, in cooperation with State, local, and Tribal 
emergency management agencies, to review, update, and revise through 
rulemaking the Individual Assistance factors FEMA uses to measure the 
severity, magnitude, and impact of a disaster.

DATES: This final rule is effective on June 1, 2019.

FOR FURTHER INFORMATION CONTACT: Mark Millican, FEMA, Individual 
Assistance Division, 500 C Street SW, Washington, DC 20472-3100, 
(phone) 202-212-3221 or (email) [email protected].

SUPPLEMENTARY INFORMATION:

Table of Contents

I. Executive Summary
    A. Purpose of the Regulatory Action
    1. The Need for the Regulatory Action and How the Action Will 
Meet the Need
    2. Legal Authority
    B. Summary of Major Provisions
II. Background and Proposed Rule
III. Discussion of Public Comments on the Proposed Rule
    A. 44 CFR 206.48, Paragraph (b)(1)--State Fiscal Capacity and 
Resource Availability
    B. 44 CFR 206.48, Paragraph (b)(2)--Uninsured Home and Personal 
Property Losses
    C. 44 CFR 206.48, Paragraph (b)(3)--Disaster Impacted Population 
Profile
    D. 44 CFR 206.48, Paragraph (b)(4)--Impact to Community 
Infrastructure
    E. 44 CFR 206.48, Paragraph (b)(5)--Casualties
    F. 44 CFR 206.48, Paragraph (b)(6)--Disaster Related 
Unemployment
    G. Principal Factors for Evaluating the Need for the Individuals 
and Households Program
    H. Lack of Thresholds
    I. IA Declarations Factors Guidance
    J. Preliminary Damage Assessments
    K. Amount of Data Requested
IV. Final Rule
V. Regulatory Analysis
    A. Executive Order 12866, Regulatory Planning and Review and 
Executive Order 13563, Improving Regulation and Regulatory Review
    1. Executive Summary & A-4 Accounting Statement
    2. Need for Regulatory Action
    3. Affected Population
    4. Current Baseline and Impacts of Final Rule
    5. Impacts to Costs, Benefits, and Transfer Payments
    a. State Costs
    b. Federal Costs
    c. Benefits
    d. Transfer Payments
    6. Total Impact of the Final Rule
    7. Marginal Analysis of the Factors
    8. Regulatory Alternatives
    a. Voluntary, Faith, and Community Based Organizations Resources
    b. Maintain the 44 CFR 206.48(b) Table
    c. Automatically Trigger Contiguous Counties and States
    d. Considering Negative Impact on Businesses
    e. Linking Individual Assistance Cost Factor With Public 
Assistance (PA) Cost Factor
    f. Use of Factor Thresholds
    g. Homes in Foreclosure
    h. Do Not Include Fiscal Capacity Indicators
    B. Regulatory Flexibility Act
    C. Unfunded Mandates Reform Act of 1995
    D. National Environmental Policy Act
    E. Paperwork Reduction Act of 1995
    F. Privacy Act
    G. Executive Order 13175, Consultation and Coordination With 
Indian Tribal Governments
    H. Executive Order 13132, Federalism
    I. Executive Order 11988, Floodplain Management
    J. Executive Order 11990, Protection of Wetlands
    K. Executive Order 12898, Environmental Justice
    L. Congressional Review of Agency Rulemaking

I. Executive Summary

A. Purpose of the Regulatory Action

1. The Need for the Regulatory Action and How the Action Will Meet the 
Need
    On January 29, 2013, the Sandy Recovery Improvement Act of 2013 
(SRIA) was enacted into law (Pub. L. 113-2). Section 1109 of SRIA 
requires FEMA, in cooperation with State, local, and Tribal emergency 
management agencies, to review, update, and revise through rulemaking 
the factors found at 44 CFR 206.48 that FEMA uses to determine whether 
to recommend provision of Individual Assistance (IA) during a major 
disaster. These factors help FEMA measure the severity, magnitude, and 
impact of a disaster, as well as the capabilities of the affected 
jurisdictions.
    FEMA is issuing this final rule to comply with SRIA and to provide 
clarity on the IA declaration factors that FEMA currently considers in 
support of its recommendation to the President on whether a major 
disaster declaration authorizing IA is warranted. The additional 
clarity may reduce delays in the declaration process by decreasing the 
back and forth between States and FEMA during the declaration process. 
FEMA is also finalizing a factor on Fiscal Capacity to provide 
additional relevant information and context regarding potential 
disaster situations.
2. Legal Authority
    FEMA has authority for this final rule pursuant to the Robert T. 
Stafford Disaster Relief and Emergency Assistance Act (Stafford Act). 
42 U.S.C. 5121 et seq. Section 401 of the Stafford Act lays out the 
procedures for a declaration for FEMA's major disaster assistance 
programs when a catastrophe occurs in a State. The specific changes in 
this final rule comply with Section 1109 of the Sandy Recovery 
Improvement Act of 2013, Public Law 113-2.

B. Summary of Major Provisions

    FEMA is revising the factors found at 44 CFR 206.48 that FEMA uses 
to determine whether to recommend provision of Individual Assistance 
during a major disaster. The current factors found at 44 CFR 206.48 for 
Individual Assistance include the following factors: (1) Concentration 
of Damages, (2) Trauma, (3) Special Populations, (4) Voluntary Agency 
Assistance, (5) Insurance, and (6) Average Amount of Individual 
Assistance by State.
    FEMA is revising the current factors to provide additional clarity 
regarding the considerations that FEMA has evaluated in recent years 
when making a recommendation on whether Individual Assistance is 
warranted for a major disaster declaration. This final rule also adds 
new factors that will help FEMA more accurately and consistently 
determine whether the impact of an event is beyond State and local 
government capabilities. FEMA is revising 44 CFR 206.48(b) to identify 
the following factors: (1) State Fiscal Capacity and Resource 
Availability, (2) Uninsured Home and Personal Property Losses, (3) 
Disaster Impacted Population Profile, (4) Impact to Community 
Infrastructure, (5) Casualties, and (6) Disaster Related Unemployment. 
As is currently the practice, FEMA will continue to use a myriad of 
factors and data to formulate its recommendations to the President on 
major disaster

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declarations that authorize IA. No single data point or factor will be 
determinative of FEMA's recommendation nor will any single factor 
necessarily affect the President's ultimate determination of whether a 
major disaster declaration authorizing IA is warranted. FEMA purposely 
declined to be more restrictive in areas of the final rule because 
disaster events can vary greatly from incident to incident, and FEMA 
must retain the flexibility and discretion to properly advise the 
President regarding situations or circumstances that FEMA may not be 
able to fully predict or define in a rulemaking. Moreover, as a result 
of climatological and demographic changes, disaster trends are likely 
to continue to change in ways that may require policy shifts at the 
agency or Administration level. FEMA wants to ensure that we retain as 
much flexibility as possible. The final factors do not limit the 
President's discretion regarding major disaster declarations.

II. Background and Proposed Rule

    When a catastrophe occurs in a State, the State's Governor may 
request a Presidential declaration of a major disaster \1\ pursuant to 
Section 401 of the Robert T. Stafford Disaster Relief and Emergency 
Assistance Act (Stafford Act). 42 U.S.C. 5170; 44 CFR 206.36(a). Such a 
request must be based on a finding that the disaster is of such 
severity and magnitude that an effective response is beyond the 
capabilities of the State and the affected local governments and that 
Federal assistance is necessary. 42 U.S.C. 5170.
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    \1\ A major disaster is any natural catastrophe (including any 
hurricane, tornado, storm, high water, wind driven water, tidal 
wave, tsunami, earthquake, volcanic eruption, landslide, mudslide, 
snowstorm, or drought), or, regardless of cause, any fire, flood, or 
explosion, in any part of the United States, which in the 
determination of the President causes damage of sufficient severity 
and magnitude to warrant major disaster assistance under this Act to 
supplement the efforts and available resources of States, local 
governments, and disaster relief organizations in alleviating the 
damage, loss, hardship, or suffering caused thereby. 42 U.S.C. 5122; 
44 CFR 206.2(17).
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    The capability to respond to a catastrophe varies from State to 
State. The initial decision on whether to seek supplemental Federal 
assistance to help a State respond to and recover from a natural 
disaster lies with each State. The basis for any State request for a 
major disaster declaration must be a finding that (1) the situation is 
of such severity and magnitude that an effective response is beyond the 
capabilities of the State and affected local governments, and (2) 
Federal assistance under the Stafford Act is necessary to supplement 
the efforts and available resources of the State, local governments, 
disaster relief organizations, and compensation by insurance for 
disaster-related losses. 44 CFR 206.36(b)(1)-(2).
    A major disaster declaration will identify the types of assistance 
that are authorized under the declaration, 44 CFR 206.40(a), although 
other types may be authorized later, 44 CFR 206.40(c). The types of 
assistance authorized under the declaration are based upon whether the 
damage involved and its effects are of such severity and magnitude as 
to be beyond the response capabilities of the State, the affected local 
governments, and other potential recipients of supplemental Federal 
assistance. 44 CFR 206.40(a). A major disaster declaration may 
authorize all, or only particular types of, supplemental Federal 
assistance requested by the Governor. 44 CFR 206.40(a). As noted above, 
when evaluating requests for Individual Assistance, FEMA considers the 
factors under 44 CFR 206.48(b) to determine whether supplemental 
Federal Individual Assistance is warranted.
    A major disaster declaration authorizing Individual Assistance may 
include any or all of the following programs:
    Individuals and Households Program: The Individuals and Households 
Program (IHP) provides grants, direct assistance, or both to eligible 
disaster survivors who have necessary expenses and serious needs that 
they are unable to meet through other means, such as insurance. 44 CFR 
206.110-120. This help may be in the form of housing assistance 
(including Temporary Housing, Repair, Replacement, and Semi-Permanent 
or Permanent Housing Construction) as well as assistance to meet 
``other needs'' such as medical, dental, child care, funeral, personal 
property, and transportation costs.
    Crisis Counseling Program: The Crisis Counseling Program (CCP) 
assists individuals and communities recovering from the effects of a 
natural or human caused disaster through the provision of community 
based outreach and psycho-educational services. 44 CFR 206.171. 
Supplemental Federal funding for crisis counseling is available to the 
State through two grant mechanism: (1) Immediate Services Program, 
which provides funds for up to 60 days of services immediately 
following a disaster declaration; and (2) the Regular Services Program, 
which provides funds for up to nine months following a disaster 
declaration.
    Disaster Case Management Program: The Disaster Case Management 
Program (DCMP) is a program that involves a partnership between a 
disaster case manager and a survivor to develop and carry out a 
Disaster Recovery Plan. 42 U.S.C. 5189d. The process involves an 
assessment of the survivor's verified disaster caused unmet needs, 
development of a goal oriented plan that outlines the steps necessary 
to achieve recovery, organization and coordination of information on 
available resources that match the disaster caused unmet needs, 
monitoring of progress towards the recovery plan goals and, when 
necessary, client advocacy.
    Disaster Legal Services: Disaster Legal Services provides legal 
assistance to low income individuals who, prior to or as a result of 
the disaster, are unable to secure legal services adequate to meet 
their disaster related needs. 44 CFR 206.164. FEMA, through an 
agreement with the Young Lawyers Division of the American Bar 
Association, provides free legal help for disaster survivors.
    Disaster Unemployment Assistance: Disaster Unemployment Assistance 
(DUA) provides unemployment benefits and re-employment services to 
individuals who have become unemployed as a result of a major disaster 
and who are not eligible for regular State unemployment insurance. 44 
CFR 206.141.
    On January 29, 2013, SRIA was enacted into law. Public Law 113-2. 
Section 1109 of SRIA requires FEMA, in cooperation with State, local, 
and Tribal emergency management agencies, to review, update, and revise 
through rulemaking the factors found at 44 CFR 206.48 that FEMA uses to 
determine whether to recommend provision of Individual Assistance 
during a major disaster. These factors help FEMA measure the severity, 
magnitude, and impact of a disaster.
    Congress directed FEMA to review, update, and revise these factors, 
including 44 CFR 206.48(b)(2) related to trauma and the specific 
conditions or losses that contribute to trauma, to provide more 
objective criteria for evaluating the need for assistance to 
individuals, to clarify the threshold for eligibility, and to speed a 
declaration of a major disaster or emergency \2\ under

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the Stafford Act. SRIA required the completion of this rulemaking by 
January 29, 2014.
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    \2\ The factors that FEMA considers to evaluate the need for 
assistance to individuals under the Stafford Act are at 44 CFR 
206.48. FEMA uses these factors to evaluate a governor's request for 
a declaration of a major disaster, not an emergency. SRIA Section 
1109 states that FEMA must review, update, and revise the factors in 
44 CFR 206.48(b). The factors that FEMA uses to evaluate a 
governor's request for emergency assistance, however, are not 
provided in 44 CFR 206.48(b) or in FEMA's regulations. Therefore, 
the scope of this rulemaking will apply only to Individual 
Assistance factors that FEMA considers when evaluating a Governor's 
request for a major disaster declaration. Section 502 of the 
Stafford Act authorizes FEMA to provide IHP assistance as part of an 
emergency declaration. FEMA has previously considered some of the 
factors found at 206.48(b) when considering an emergency declaration 
request that includes IHP assistance. FEMA will continue to consider 
some of the factors, when applicable, at 44 CFR 206.48(b) when 
evaluating an emergency declaration request that includes IHP 
assistance.
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    On November 12, 2015, FEMA published a notice of proposed 
rulemaking pursuant to Section 1109 of SRIA. 80 FR 70116. FEMA proposed 
to revise 44 CFR 206.48(b) to include the following factors: (1) State 
Fiscal Capacity and Resource Availability, (2) Uninsured Home and 
Personal Property Losses, (3) Disaster Impacted Population Profile, (4) 
Impact to Community Infrastructure, (5) Casualties, and (6) Disaster 
Related Unemployment. A complete description of each factor can be 
found in the proposed rule. See 80 FR 70116. This final rule 
incorporates the reasoning of the proposed rule except as reflected 
elsewhere in this preamble. The final rule adopts proposed rule with 
two changes: removal of the sub-factors related to State Services and 
Planning After Prior Disasters. These changes are discussed below in 
III. Discussion of Public Comments on the Proposed Rule.

FEMA's Outreach Efforts Following Publication of the Notice of Proposed 
Rulemaking

    Section 1109 of SRIA requires FEMA to cooperate with State, local, 
and Tribal emergency management agencies during the process of 
reviewing, updating, and revising the factors found at 44 CFR 
206.48(b). FEMA conducted outreach prior to publication of the NPRM. 
See 80 FR 70119. In addition, following publication of the NPRM, on 
December 8 and 9, 2015, FEMA held two webinars for State governors' 
offices, State emergency managers, and national level State 
associations to explain the provisions of the proposed rule. At the end 
of both webinars, FEMA accepted comments from the listeners. FEMA 
considered these comments in the formulation of this final rule and 
summarizes and responds to these comments below. The webinar 
presentation itself can be found in the rulemaking docket at 
www.regulations.gov.

III. Discussion of Public Comments on the Proposed Rule

    FEMA received written comments from 35 commenters in response to 
the proposed rule. The majority of commenters were from State emergency 
management agencies, but commenters also included members of Congress, 
an emergency management association, charitable organizations, and 
private citizens. The commenters raised a variety of issues that are 
discussed below.

A. 44 CFR 206.48, Paragraph (b)(1)--State Fiscal Capacity and Resource 
Availability

Fiscal Capacity
    The proposed Fiscal Capacity factor defined fiscal capacity as a 
State's potential ability to raise revenue from its own sources to 
respond to and recover from a disaster. The proposed rule identified 
the following data points as sub-factors:
     Total Taxable Resources (TTR) of the State. TTR is the 
U.S. Department of Treasury's annual estimate of the relative fiscal 
capacity of a State. A low TTR may indicate a greater need for 
supplemental Federal assistance than a high TTR.
     Gross Domestic Product (GDP) by State. GDP by State is 
calculated by the Bureau of Economic Analysis. GDP by State may be used 
as an alternative or supplemental evaluation method to TTR.
     Per capita personal income by local area. Per capita 
personal income by local area is calculated by the Bureau of Economic 
Analysis. A low per capita personal income by local area may indicate a 
greater need for supplemental Federal assistance than a high per capita 
personal income by local area.
    FEMA received comments from 22 commenters regarding this proposed 
factor; a summary of these comments, and FEMA's responses, follows.
    Several commenters expressed concern that the use of fiscal 
capacity data would effectively penalize States with relatively greater 
fiscal capacity. Some comments expressed concern that because a high 
TTR is frequently correlated with a large state population (and 
correspondingly high operational expenses), the use of TTR could 
adversely impact States with larger populations. Along similar lines, 
one commenter suggested that the use of TTR with respect to California 
``would make it significantly more difficult for Californians to access 
individual disaster assistance'' than residents of other states, 
because California's TTR is significantly higher than the TTR of other 
states. The commenter suggested that as a result of this significant 
disparity between States in TTR, as well as the diverse geography, 
disaster vulnerability, and demographics of California, TTR ``is too 
broad of a factor to provide a useful assessment of [the] statutory 
requirement for a state's capacity--let alone a local government's 
capacity--to manage a disaster.'' \3\ The commenter encouraged FEMA to 
``find a factor other than [TTR] that is better representative of both 
state and local resources available to each specific disaster.''
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    \3\ Another commenter raised similar concerns with respect to 
the application of TTR to disaster declaration requests from Texas. 
The commenter wrote that ``In a state as large and diverse as Texas, 
[TTR and GDP by State] don't truly represent the state's or an 
affected individual's ability to recover from a disaster without 
federal assistance.'' FEMA agrees that TTR and GDP by State do not 
represent affected individuals' ability to recover from a disaster 
without Federal assistance. Instead, FEMA uses other information to 
determine individuals' needs. What TTR and GDP by State represent is 
the affected State's capacity to assist those individuals with 
recovering from a disaster. TTR and GDP by State also provide a 
starting point for evaluating when the affected State is indeed 
overwhelmed and in need of supplemental Federal assistance to aid in 
providing assistance to individuals.
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    FEMA notes that assistance provided by FEMA is intended to be 
supplemental in nature and FEMA must evaluate the fiscal capacity of 
the State to determine whether the State is overwhelmed or if the State 
has sufficient resources available to provide the needed disaster 
assistance without Federal assistance. FEMA's current approach, which 
largely relies on comparing level of damage to the population size of 
the affected State, essentially equates population with capacity. FEMA 
believes that a more direct way to evaluate a State's fiscal capacity 
is to use objective data such as U.S. Department of Treasury's TTR data 
or the Bureau of Economic Analysis' (BEA) GDP by State data. These are 
statistical measures of a State's economic activity, which can provide 
insight into changes in the general economic well-being of the State 
and its relative fiscal capacity. Although these measures are 
frequently strongly correlated with population size, they are more 
direct measures of fiscal capacity, and are therefore more appropriate 
for this purpose.
    FEMA notes that any factor could be framed as a ``penalty.'' The 
appropriate question is not whether any given factor operates as a 
penalty, but how such a factor relates to statutory requirements. Just 
as a State with ample fiscal capacity and resource availability could 
characterize as a ``penalty'' FEMA's determination that the State is 
able to use such capacity and resources to respond effectively to a 
disaster, a State that is struck by a relatively minor event could 
characterize as a ``penalty''

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FEMA's consideration of the lack of damage. In either case, the denial 
would simply flow from the President's determination, consistent with 
statutory requirements, that the State and affected local governments 
should be able to respond to the disaster effectively without 
supplemental Federal assistance. In other words, all of the factors in 
this final rule are intended to allow FEMA and the President to make 
informed decisions regarding whether or not an event was of the 
severity and magnitude to be beyond State and local capability.
    Commenters expressed concern that TTR data may not accurately 
capture the true fiscal capacity of a State because it calculates all 
of the things that a State could potentially tax, not what is actually 
taxed, and therefore may artificially inflate the perceived level of 
fiscal capability. Several commenters stated that FEMA should not 
consider a State's ability to pay based on potential revenues alone, 
without considering a State's expenses as well because it is a one-
sided assessment of a State's capacity to respond and does not 
necessarily fully consider a State's ability to provide adequate 
disaster assistance. Another commenter observed that a State that has a 
high TTR because of a high population is likely to have correspondingly 
high expenses as well.
    As discussed above, TTR is a value-neutral measure of a State's 
economic activity, which can provide insight into a State's relative 
fiscal capacity and changes in its economic wellbeing, regardless of 
the taxing choices and other constraints that may be imposed on it by 
State law, State constitution, or policy choices. TTR is also 
indicative of the overall economic and fiscal health of the people and 
the businesses within the State, which is relevant to the disaster 
impacted population's ability to recover (recognizing that there are 
poor communities in rich States and vice versa, FEMA will also consider 
per capita personal income at the local level).\4\ FEMA believes that 
States with a large TTR have a greater capability to respond to and 
recover from disaster events compared to States with a lower TTR. FEMA 
does not expect or require a State to exhaust its resources before 
supplemental Federal assistance would be appropriate. FEMA welcomes 
States to provide additional clarity on their fiscal capacity, and the 
fiscal capacity of local governments, by highlighting fiscal 
restrictions and expenditures that, though not captured in TTR, are 
relevant to the State and local government's capability to respond 
effectively to the disaster. In addition, FEMA fully recognizes that 
some disasters are so large and have such a serious impact that 
supplemental Federal assistance will be necessary no matter the State's 
available resources.
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    \4\ FEMA anticipates using per capita personal income when the 
disaster effects are concentrated to a specific area. An example 
would be a tornado that hits a town in a rural area. FEMA would 
evaluate the State's overall TTR to gain insight into the State's 
ability to respond. FEMA also would evaluate the locality's per 
capita income to gain insight into that specific population's 
ability to respond, i.e. is the per capita personal income for that 
area sufficient to support an independent response? How will that 
affect the survivors' resiliency?
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    Several commenters expressed concern that the fiscal capacity 
indicators capture the fiscal capacity of a State before the event 
without considering that a State's economy may have been impacted by 
the disaster event. As part of FEMA's evaluation of a State's request, 
FEMA will evaluate the impact of the disaster on the State. If a State 
believes that the disaster has negatively and significantly impacted 
its fiscal capacity to respond or the overall State economy, the State 
may discuss such impacts in its declaration request.
    Commenters expressed concern that the two-year lag in TTR data may 
result in the use of inaccurate data. Pursuant to Public Law 102-321, 
the U.S. Department of the Treasury produces annual estimates of total 
taxable resources (TTR) for all States. The TTR estimates are published 
by September 30th each year and have a two-year lag. For example, TTR 
for 2016 was published on September 28, 2018. The formula for 
calculating TTR uses Gross State Product (GSP) \5\ as its base, 
subtracts non-taxable components, then accounts for cross-border income 
flows. This calculation provides a ``comprehensive measure of all the 
income flows a state can potentially tax.'' \6\ The two-year lag in TTR 
data is a direct result of when income data becomes available. Raw 
income data is always one year behind. Tax filings for any given year 
are generally due by April 15 of the following year.\7\ This accounts 
for the first lag year. The second lag year is attributable to putting 
the vast amount of data into a usable format.\8\
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    \5\ The term Gross State Product (GSP) is used interchangeably 
herein with the term Gross Domestic Product for States (GDP by 
State). The U.S. Department of the Treasury uses the former, while 
the U.S. Department of Commerce, Bureau of Economic Analysis uses 
the latter. Published documents relating to TTR use GSP; thus, it is 
also used here.
    \6\ ``Treasury Methodology for Estimating Total Taxable 
Resources (TTR),'' revised November 2002, page 2. https://www.treasury.gov/resource-center/economic-policy/Documents/nmpubsum.pdf.
    \7\ IRS Publication 509--Main Content, General Tax Calendar, 
Topic: Individuals, Form 1040, https://www.irs.gov/publications/p509/ar02.html.
    \8\ ``TTR estimates for a given year will only be made when both 
GSP and SPI data are available for that year.'' ``Treasury 
Methodology for Estimating Total Taxable Resources (TTR),'' revised 
November 2002, page 5. https://www.treasury.gov/resource-center/economic-policy/Documents/nmpubsum.pdf.
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    FEMA reviewed a ten-year data set of TTR for each State in response 
to comments on the two-year lag.\9\ Based on that review, FEMA found 
that TTR is sufficiently reliable to serve as the principal indicator 
for each State from which the discussion about fiscal capacity can 
begin. For the 10 years FEMA reviewed, TTR generally increased from 
year to year in every State. The exceptions, when TTR dropped, were 
generally due to circumstances that would have been readily apparent at 
the time. For example, nearly every State saw year-to-year drops from 
2007-2008 and/or 2008-2009, coinciding with the financial crisis. While 
2008 TTR data would not have been available to analyze for requests 
made during that time, FEMA and the States would have been well aware 
that capability and fiscal capacity among all of the States was 
decreasing, and FEMA would have been able to take that decreased 
capacity into consideration. In addition, events such as significant 
falls in certain commodity prices, which may impact one or two States 
as opposed to the entire nation, will also generally be apparent and 
supported by other readily available data at the time of the request. 
FEMA recognizes that there is a two-year lag and encourages each State 
to provide additional information about its fiscal capacity, especially 
if there have been noteworthy economic impacts during the two-year lag 
which impact the State's ability to respond to and recover from the 
disaster.
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    \9\ The data set was comprised of the data contained in the TTR 
reports published between 09/26/2006 and 09/30/2015 (10 years of 
data). Although the reports are published and have titles ranging 
from 2006 through 2015, the data lags two years. For example, the 
report entitled ``2006 Total Taxable Resources Estimates'' was 
published on 09/26/2006 and contains TTR estimates for 2004.
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    A commenter raised concerns that TTR is considered experimental and 
thus should not be used to evaluate a State's fiscal capacity. The U.S. 
Department of the Treasury's website includes three papers explaining 
the methodology it uses to estimate TTR.\10\

[[Page 10636]]

Each of these papers refers to an ``experimental'' methodology 
developed in 1986.\11\ This ``experimental'' methodology was refined 
and finalized for use beginning in 1992.\12\ In 1997, the methodology 
was substantially improved and in 1998 that improved methodology was 
implemented. The methodology has remained unchanged since 1998. Based 
on approximately 20 years of use, FEMA does not consider TTR 
``experimental'' and believes TTR provides valuable insight into the 
fiscal capacity of States. Congress has recognized the utility of TTR 
by requiring its use in the formula used to allocate Federal funds for 
the Department of Health and Human Services' Community Mental Health 
Service and Substance Abuse Prevention and Treatment block grant.\13\
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    \10\ The three papers explaining the methodology for calculating 
TTR are ``Summary of Current Methodology for Estimating TTR,'' 
``Working Paper Review of Methodology for Estimating TTR,'' and 
``Summary of Previous Methodology for Estimating TTR.'' U.S. Dep't 
of the Treasury, Resource Center, Total Taxable Resources, https://home.treasury.gov/policy-issues/economic-policy/total-taxable-resources.
    \11\ Carnevale, John, ``Experimental Estimates of Total Taxable 
Resources, 1981-84,'' in the Federal State-Local Fiscal Relations: 
Technical Papers, Vol., 2, Office of State and Local Finance, 
Department of Treasury, September 1986.
    \12\ ``Summary of Current Methodology for Estimating TTR,'' U.S. 
Dep't of the Treasury, Resource Center, Total Taxable Resources, 
page 1, paragraph 2, https://www.treasury.gov/resource-center/economic-policy/Documents/nmpubsum.pdf.
    \13\ 42 U.S.C. 300x-7.
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    A commenter asked that FEMA clarify the process it will use to 
determine when a State can rely on GDP data instead of TTR. The 
commenter also asked FEMA to explain more thoroughly how per capita 
personal income by local area would be analyzed with TTR and GDP to 
determine a State's Fiscal Capacity. TTR is available for every State 
and FEMA will consider the relevant TTR for every State. If a State 
wants to use either GDP by State or Per Capita Personal Income data to 
supplement or highlight a differing fiscal health of the State then the 
State can submit the information to FEMA. However, FEMA will still 
consider TTR data for that request.
    Several commenters expressed concerns about FEMA focusing too much 
on the fiscal capacity of States as compared to the fiscal capacity of 
local governments. One commenter raised the concern that taxable 
revenue and wealth in many States is not evenly distributed throughout 
and impoverished areas would be hurt if the State's request for an IA 
declaration was judged by the overall state's fiscal capacity. FEMA 
notes that the State is the one who makes the determination to apply 
for a major disaster declaration that the State needs supplemental 
Federal assistance. FEMA must evaluate at the State level because a 
request for a disaster declaration must be based on a finding that the 
disaster is of such severity and magnitude that effective response is 
beyond the capabilities of the State and the affected local governments 
and that Federal assistance is necessary.\14\
---------------------------------------------------------------------------

    \14\ 42 U.S.C. 5170.
---------------------------------------------------------------------------

    Several commenters asked whether the ``Fiscal Capacity'' data will 
be shared with the States and expressed concern that they would be 
burdened by having to pre-identify their own Fiscal Capacity data. FEMA 
is planning on providing links on FEMA's website to the data sources 
for States to easily access their own fiscal capacity data if they wish 
to review it prior to a major disaster request being made. In addition, 
the fiscal capacity data is easily found using a web search. The States 
will simply list their current fiscal capacity data in their request. 
As discussed above, States may also gather and provide additional 
information to supplement or provide further context to the specified 
data points.
    A commenter asked how local area is defined for the ``Per Capita 
Personal Income by Local Area'' sub-factor of the ``Fiscal Capacity'' 
factor. The per capita personal income by local area data is produced 
by the Bureau of Economic Analysis for ``counties, micropolitan 
statistical areas, metropolitan statistical areas (MSAs), metropolitan 
divisions (parts of MSAs), combined statistical areas, states, and the 
metropolitan and nonmetropolitan portions of states. Counties consist 
of counties and county equivalents, such as the parishes of Louisiana, 
the boroughs, municipalities and Census areas of Alaska, the District 
of Columbia, and the independent cities of Maryland, Missouri, Nevada, 
and Virginia. The estimates ofr Kalawoa County, Hawaii and the small 
independent cities of Virginia-generally those with fewer than 100,000 
residents-are combined with estimates for adjacent counties.'' \15\
---------------------------------------------------------------------------

    \15\ Local Area Personal Income and Employment Methodology, 
November 2017, ``Geographic Detail,'' page I-7. https://www.bea.gov/sites/default/files/methodologies/lapi2016.pdf.
---------------------------------------------------------------------------

Resource Availability.
    The proposed Resource Availability factor called for FEMA to 
consider the availability of resources from State, Tribal, and local 
governments as well as non-governmental organizations and the private 
sector. The proposed rule identified the following sub-factors:
     State, Tribal, and local government; Non-Governmental 
Organizations (NGO); and private sector activity. State, Tribal, and 
local government, Non-Governmental Organizations, and private sector 
resources may offset the need for or reveal an increased need for 
supplemental Federal assistance. The State may provide information 
regarding the resources that have been and will be committed to meet 
the needs of disaster survivors such as housing programs, resources 
provided through financial and in-kind donations, and the availability 
of affordable (as determined by the U.S. Department of Housing and 
Urban Development's fair market rent standards) rental housing within a 
reasonable commuting distance of the impacted area.
     Cumulative effect of recent disasters. The cumulative 
effect of recent disasters may affect the availability of State, 
Tribal, local government, NGO, and private sector disaster recovery 
resources. The State should provide information regarding the disaster 
history within the last 24-month period, particularly those occurring 
within the current fiscal cycle, including both Presidential (public 
and individual assistance) and gubernatorial disaster declarations.
     State services. The State may provide information 
regarding the circumstances causing the State to lack the resources to 
provide sufficient services to its citizens.
     Planning after prior disasters. States are encouraged to 
develop and continuously improve their own disaster assistance 
programs. States should identify new and existing individual assistance 
programs as well as improvements to existing individuals assistance 
programs made as a result of previous disasters. A State's failure to 
address limitations and shortfalls identified by FEMA or the State 
after previous events will also be considered.
    FEMA received comments from 25 commenters regarding this proposed 
factor. The commenters stated that the proposed factor assumed the 
availability of volunteer and private sector resources that may not 
exist because voluntary and private sector resources vary from year to 
year based on donor funding; that FEMA should clarify the manner in 
which it will quantify potential resources of voluntary and faith-based 
organizations and limit the degree to which such resources will off-set 
Federal assistance; that FEMA should not limit the ``Cumulative Effect 
of Recent Disasters'' sub-factor to Presidential and gubernatorial 
disaster declarations, because such a limitation would result in States 
being unable to provide information on other types of Federal 
declarations that can show the level of recent hardship such as SBA, 
USDA, and Public Health Emergency declarations; that FEMA should better

[[Page 10637]]

define the ``State Services'' factor; and that the Resource 
Availability factor in general would force the States to develop a 
State-funded and administered IA program or be penalized in a State's 
request for a major disaster declaration.
    A number of commenters expressed concern that by considering the 
availability of volunteer and private sector resources, FEMA would 
assume the availability of resources that may not in fact exist, 
because voluntary and private sector resources vary from year to year 
based on donor funding and a State has no authority to direct NGOs or 
private organizations to provide funding or supplies post-disaster. In 
addition, commenters stated that it is difficult for States and 
communities to quickly assemble and report information about these 
resources in the immediate aftermath of a disaster, when impacted 
communities are in response mode. Commenters also asked FEMA to clarify 
how FEMA would request this data.
    The current regulations at 44 CFR 206.48(b)(4) state that FEMA will 
consider the extent to which voluntary agencies and State or local 
programs can meet the needs of the disaster victims and this 
information is already provided as part of the narrative aspects of a 
State's major disaster request for IA. The only new aspect of this 
factor, as compared to the current regulations, is a reference to 
private sector resources. While private sector resources were not 
previously specifically listed in the regulation, items such as 
significant private donations have always been relevant, and States 
have generally provided information on such donations when that 
information has been available at the time of the request. Assistance 
provided by State, Tribal, and local government, NGOs, and the private 
sector can include but is not limited to Emergency Management 
Assistance Compact (EMAC) resources, sheltering, housing programs, 
feeding, mental health services, child care, elder care, reunification 
services, clean up kits, blankets and cots, financial assistance, and 
other donations. To the extent that such resources are limited, 
unavailable, or otherwise unable to meet significant needs after a 
disaster, then the State should identify these limitations in its 
request, as that may indicate additional need for Federal assistance. 
FEMA understands that information will be imperfect after a disaster 
and all relevant data may not be immediately available. As is currently 
the practice, FEMA only asks that the State submit the best information 
reasonably available to it at the time of the request.
    In addition, section 401 of the Stafford Act, conditions that a 
request for a major disaster declaration must be based on a finding 
that the disaster is of such severity and magnitude that an effective 
response is beyond the capabilities of the State and the affected local 
governments and that Federal assistance is necessary. 42 U.S.C. 5170; 
44 CFR 206.36(a). In order for FEMA to evaluate whether a disaster is 
beyond the capabilities of a State and affected local governments, FEMA 
must evaluate what resources are available to the State and affected 
local governments.
    This factor is also in keeping with the ``Whole Community'' 
approach to emergency management that reinforces the fact that FEMA is 
only one part of our nation's emergency management team. Under the 
``Whole Community'' approach, emergency managers must account for all 
available resources, including non-governmental resources, in preparing 
for, protecting against, responding to, recovering from and mitigating 
against all hazards. This approach recognizes that a government-centric 
approach to emergency management is not enough to meet the challenges 
posed by a catastrophic incident. When the community is engaged in 
emergency management, it becomes empowered to identify its needs and 
the existing resources that may be used to address them. The ``Whole 
Community'' approach is an ongoing component of the nation's larger, 
coordinated effort to enhance emergency planning and strengthen the 
nation's overall level of preparedness.
    Commenters were concerned about FEMA limiting the Resource 
Availability factor related to past disaster declarations to only 
Presidential (both Public Assistance and Individual Assistance) and 
gubernatorial disaster declarations. The commenters stated that not all 
assistance provided by a State or its partners requires a gubernatorial 
declaration and there are other types of Federal declarations that can 
show the level of recent hardship endured by the State, such as a Small 
Business Administration Disaster declaration, United States Department 
of Agriculture disaster designation, and Department of Health and Human 
Services Public Health Emergency declaration. FEMA believes that taking 
information on past disaster activity and declarations is valuable, 
because multiple disasters in a 24-month period may significantly 
strain a State budget and reduce the State's capability to adequately 
respond to and recover from a disaster without supplemental Federal 
assistance; this final rule therefore includes such a factor. 
Consideration of recent disaster activity was previously only a 
consideration for a major disaster declaration that authorized Public 
Assistance. A State is always welcome to provide additional information 
beyond what FEMA is asking for in 44 CFR 206.48(b). If a State feels 
that recent disaster activity, as reflected in declarations through 
SBA, USDA, or HHS, have impacted their ability to respond to and 
recover from the event, then the State should include information on 
those declarations in their major disaster request for IA.
    Several commenters expressed significant concerns with the ``State 
Services'' and ``Planning After Prior Disasters'' factors. The 
commenters felt that FEMA appeared to be forcing the States to develop 
a State-funded and State-administered IA program or else risk being 
penalized for the lack of such a program. The commenters stated that a 
State IA program is not required by the Stafford Act in order to 
receive supplemental Federal assistance. Several commenters asked 
whether FEMA is currently evaluating States' limitations or shortfalls 
and communicating these with States. Also, States requested that FEMA 
clarify how it will determine that a State is or isn't addressing 
limitations or shortfalls. Overall these commenters felt that the 
proposed rule did not adequately explain how FEMA would apply these two 
factors. Another commenter supported these factors, and urged FEMA ``to 
also consider state effort to guard and mitigate against avoidable 
disaster damages, for example, with programs to regulate new 
development in flood hazard areas, adopt and enforce up to date state 
building codes, or incorporate resilience considerations into the 
location and construction of public infrastructure.'' A comment 
expressed concern that the proposed rule ``may unfairly penalize States 
that do not have robust IA programs.''
    Based on the overwhelmingly negative response and after further 
review FEMA decided to remove the ``State Services'' and ``Planning 
After Prior Disasters'' sub-factors from the final rule. FEMA strongly 
believes States are ultimately responsible for the well-being of their 
citizens and that States have a responsibility to plan for disasters, 
pre-identify funding and resources, and to provide assistance to their 
citizens after a disaster. This should include the establishment, 
funding, and improvement of State-level individual assistance programs. 
However, FEMA has not been able to develop a methodology which would 
effectively and consistently evaluate the

[[Page 10638]]

State Services and Planning After Prior Disasters sub-factors to 
incentivize States to establish individual assistance programs or to 
plan and implement lessons learned from previous disasters. As a 
result, at this time, FEMA is unable to effectively incentivize these 
activities through the declarations process, and specifically in the 
evaluation of disaster requests. FEMA will continue to explore 
opportunities to encourage States to develop their own individual 
assistance programs.

B. 44 CFR 206.48, Paragraph (b)(2)--Uninsured Home and Personal 
Property Losses

    The proposed Uninsured Home and Personal Property Losses factor 
included consideration of uninsured home and personal property losses, 
and identified the following sub-factors:
     The cause of damage.
     The jurisdictions impacted and concentration of damage.
     The number of homes impacted and degree of damage.
     The estimated cost of assistance.
     The homeownership rate of impacted homes.
     The percentage of affected households with sufficient 
insurance coverage appropriate to the peril.
     Other relevant preliminary damage assessment data.
    FEMA received comments from 16 commenters regarding this proposed 
factor. The comments received were related mainly to concerns regarding 
the sub-factors related to the jurisdictions impacted and concentration 
of damages, the estimated cost of assistance, the homeownership rate of 
impacted homes, and the percentage of affected households with 
sufficient insurance coverage appropriate to the peril.
    Several commenters were concerned that FEMA is not taking into 
consideration the effects of a disaster with widespread minimal damage 
spread across a large geographic area or the effects of a disaster on 
contiguous counties in different States. FEMA recognizes that as a 
practical matter, widespread minimal damage spread across a larger 
geographic area, can spread resources thin and overwhelm a State's 
capability to adequately respond to a disaster. This final rule 
continues to emphasize consideration of the estimated cost of 
assistance for a State; as a result, the true cumulative impact of the 
widespread minimal damage across a large geographic area within a State 
will continue to be considered by FEMA. Regarding the contiguous 
counties comments, the President will not declare a major disaster in 
an area that was not requested by a Governor and a Governor cannot 
request areas that are not within his or her State's jurisdiction. FEMA 
will not designate areas of the State or types of assistance beyond 
those that the governor requests.\16\ In addition, each State and local 
government has different capabilities to respond to, recover from, and 
mitigate the effects of a disaster and a disaster that crosses State 
lines may have differing impacts in the affected States. As such, not 
every event that impacts multiple States will necessarily be beyond 
each affected State's respective capabilities. Therefore, FEMA must 
continue to base its major disaster declaration recommendation on the 
capability of the affected State and local governments to respond to 
the event, in accordance with the requirements for a major disaster 
declaration in Section 401 of the Stafford Act and 44 CFR 206.37.
---------------------------------------------------------------------------

    \16\ 44 CFR 206.40(b).
---------------------------------------------------------------------------

    Several commenters expressed concern that neither FEMA nor the 
States are able to utilize an accurate estimated cost of assistance at 
this time. One commenter stated that most metrics used by FEMA or the 
States are based on taking the number of individuals and households 
impacted and the extent of those impacts and damages, and multiplying 
those totals by the maximum assistance that is available through FEMA's 
IA programs. Commenters stated that the IA program has statutory limits 
on the amount of relief available and that maximum IA grant award is 
not indicative of the overall potential cost to make a family whole 
after a disaster and does not truly articulate the ``whole community'' 
resources that are needed to bring the community back to pre-disaster 
condition.
    While FEMA recognizes that there are difficulties in accurately 
estimating the cost of assistance in the aftermath of an event, the 
estimated cost of assistance has to be part of the evaluation of 
whether a major disaster declaration authorizing IA is warranted 
because the cost of an event is an essential component in determining 
whether or not the disaster event is beyond the capabilities of a 
State. FEMA calculates the estimated cost of assistance at the 
conclusion of the Joint PDA and the estimated cost of the disaster is 
based on the data on uninsured damage to homes collected during the 
PDA. The calculation currently includes the following:
     Historical program costs for repair or replacement 
assistance for uninsured owner-occupied primary residences for each of 
the four dwellings assessment levels--affected, minor, major, 
destroyed.
     Cost of providing temporary housing assistance based on 
the U.S. Department of Housing and Urban Development (HUD) fair market 
rent for the area of impacted owners and renters for each of the four 
dwelling assessment levels--affected, minor, major, destroyed--as well 
as for those dwellings that are now inaccessible because of the 
disaster.
     Historical program costs for ONA awards.\17\
---------------------------------------------------------------------------

    \17\ Damage Assessment Operations Manual: A Guide to Assessing 
Damage and Impact, Page 59, Issued April 5, 2016 https://www.fema.gov/media-library-data/1459972926996-a31eb90a2741e86699ef34ce2069663a/PDAManualFinal6.pdf.
---------------------------------------------------------------------------

    When developing the estimated cost of assistance, because IHP 
repair and replacement assistance can only be awarded to homeowners, 
FEMA uses the homeownership rate to estimate the number of homeowners 
in the disaster affected area. Additionally, since IHP is only able to 
provide awards to uninsured individuals, FEMA also considers the number 
of insured versus the number of uninsured individuals when developing 
the estimated cost of IHP for the disaster.
    In this final rule, FEMA is not prescribing the methods to be used 
to estimate cost of assistance. FEMA believes attempting to do so would 
be overly restrictive in a manner that would prevent FEMA from using 
new technology, such as geographic information systems (GIS), or 
otherwise updating the process, such as by updating the joint FEMA-
State preliminary damage assessment instrument. FEMA is always working 
to improve the PDA process and methods of cost estimation. The 
estimated cost of assistance is necessarily limited by the maximum 
amount of IA grant award because the monetary amount of assistance that 
can be provided to individuals and households is limited by Section 
408(h) of the Stafford Act.\18\ 42 U.S.C. 5174. FEMA recognizes that 
because of the statutory cap on the maximum IA assistance, in many 
situations FEMA assistance will not bring the survivor back to their 
pre-disaster position. States are always welcome to provide additional 
estimates of the total impact of the disaster on individuals and 
households,

[[Page 10639]]

irrespective of the statutory caps, but in general, the estimated cost 
of assistance measure is useful to FEMA both for purposes of internal 
planning and for purposes of obtaining a preliminary (though sometimes 
incomplete) picture of total disaster impacts. To assist States, FEMA 
will share estimated cost of assistance data with the State throughout 
the PDA process, including final amounts.
---------------------------------------------------------------------------

    \18\ For disasters occurring in Fiscal Year 2019, the maximum 
amount of financial assistance provided to an individual or 
household under section 408 of the Stafford Act (IHP) with respect 
to any single emergency or major disaster is $34,900. See 83 FR 
53281, Oct. 22, 2018. This amount is adjusted annually based on the 
Consumer Price Index for All Urban Consumers as calculated by the 
Department of Labor, Bureau of Labor Statistics.
---------------------------------------------------------------------------

    One commenter expressed concern that U.S. Census data on the 
homeownership rate of impacted homes does not take into account that a 
renter may be occupying the owner-occupied home at the time of the 
disaster. In addition, some commenters stated that the homeownership 
rate is not readily available during preliminary damage assessments and 
the amount of time required to make a reliable estimate would cause 
delays in States' submitting their major disaster declaration requests. 
FEMA notes that this data point is used during the current process and 
estimates are available via Census.\19\ Estimates of homeownership 
rates are important because the level of needed assistance varies 
between rentals and owner-occupied residences. Renters typically do not 
require repair assistance because repairs are generally the 
responsibility of the landlord and the property must be owner occupied 
to be eligible to receive IHP assistance for repair or replacement. In 
addition, as part of the PDA process, FEMA, along with State and local 
partners, canvasses the disaster-impacted areas to validate the Census 
data on renters. As with all data points, States should submit, and 
FEMA will base its recommendation on, the best information available at 
the time.
---------------------------------------------------------------------------

    \19\ The Census Housing Vacancies and Homeownership website 
provides current information on homeownership rates and are 
available for the U.S., regions, states, and for the 75 largest 
Metropolitan Statistical Areas (MSAs). Data for all geographies are 
available both quarterly and annually. https://www.census.gov/housing/hvs/index.html.
---------------------------------------------------------------------------

    A commenter suggested adding a data point that compares the known 
homeowner insurance population with the actual population of a 
particular county or parish. The commenter stated that many rural 
residents who sustain damages from a disaster may not have homeowners 
insurance if they do not have a mortgage. FEMA notes that we do not 
prescribe the specific method of how to calculate the insurance 
penetration rate in this final rule but we will use the best method 
available. At this time, PDA teams may consider any relevant factors in 
estimating the insurance rate for the affected households, which may 
include, among other considerations, whether the affected area was 
rural, suburban, or urban.
    A commenter suggested comparing the average amount of homeowner 
insurance deductible in a given county or parish against the income for 
such county or parish, because often insurance deductibles are too high 
for residents to pay out of pocket after a disaster. In addition, a 
homeowner who cannot afford to pay the deductible will be unable to 
fully recover after the disaster. FEMA notes that the issue of high 
insurance deductibles has arisen in the past, often in earthquake 
events. FEMA considers a homeowner with a high deductible to be 
underinsured. States may provide information on deductible rates for 
the peril in the affected area and FEMA will utilize that information 
when evaluating the sufficiency of the insurance coverage in place and 
determining the number of underinsured homeowners who may require 
Federal assistance. FEMA did not make any changes based on this 
comment.
    A commenter stated that FEMA seems to believe that every Insurance 
Commissioner's Office keeps a record of every single policy issued in 
the State, along with limits, exclusions, and types of coverage. The 
commenter stated that they have never heard of a State Insurance 
Commissioner's Office that has access to such a database. FEMA fully 
recognizes that the availability and quality of insurance data varies 
widely from State to State. Some State Insurance Commissioner's Office 
have information that can be utilized to provide or contribute to 
estimates of insurance coverage. For certain States, the best option 
may be the State Insurance Commissioner's Office, but for other States 
it may be a different source. FEMA notes that it is important to 
develop an insurance coverage estimate because, under Section 320 of 
the Stafford Act (42 U.S.C. 5155), FEMA is statutorily prohibited from 
duplicating insurance coverage. If the vast majority of damage will be 
covered by insurance, a Presidential declaration may be unnecessary. As 
stated previously, States should make their requests based on the best 
information available to them at the time. In the final rule, FEMA has 
not prescribed a specific source for this data, because currently 
available sources have variable coverage, and more complete sources may 
become available in the future.
    One commenter recommended adding a data point to capture the number 
of uninsured or underinsured losses from individuals who were required 
to carry flood insurance as a result from previously accepting disaster 
assistance. FEMA does access this information during a disaster by 
looking at National Flood Insurance Program data. FEMA already 
considers this information when looking at the insurance component and 
we view it as a consideration that exists implicitly within the 
insurance coverage data point of the final rule.
    A commenter raised concerns that the amount of time it would take 
to determine damages, insurance, and specific insurance riders 
regarding whether specific disaster damages are covered would make the 
30 day window to request a major disaster declaration for IA 
unattainable. FEMA does not expect the States to provide an 
unreasonable level of detail or specificity for the insurance data 
point. FEMA expects a State to provide the best estimate of data within 
the time frame available. A State should make their major disaster 
declaration request in the timeframe appropriate to the size and impact 
of the event and should not delay in order to gather additional 
information, even if such information would be more precise or useful.
    A commenter stated that although they are encouraged that FEMA 
plans to pursue better data to inform its insurance penetration rate 
determinations, they raised concerns that FEMA previously promised to 
identify alternative insurance data sources in the past but has made 
little progress. FEMA continues to work to find the best information 
regarding insurance coverage and is committed to finding the most 
thorough and accurate sources for insurance data. However, at this 
point, such thorough and accurate sources either do not currently exist 
or are not currently available to FEMA. As such, FEMA cannot prescribe 
the method or source for obtaining insurance data in this final rule 
because we anticipate that there will be better methods in the future. 
FEMA has not made any changes based on this comment.

C. 44 CFR 206.48, Paragraph (b)(3)--Disaster Impacted Population 
Profile

    The proposed Disaster Impacted Population Profile factor related to 
the demographics of impacted communities, and identified the following 
data points as sub-factors:
     The percentage of the population for whom poverty status 
is determined.
     The percentage of the population already receiving 
government assistance such as Supplemental Security Income and 
Supplemental Nutrition Assistance Program benefits.

[[Page 10640]]

     The pre-disaster unemployment rate.
     The percentage of the population that is 65 years old and 
older.
     The percentage of the population 18 years old and younger.
     The percentage of the population with a disability.
     The percentage of the population who speak a language 
other than English and speak English less than ``very well.''
     Any unique considerations regarding American Indian and 
Alaskan Native Tribal populations raised in the State's request for a 
major disaster declaration that may not be reflected in the data points 
referenced in paragraphs (b)(3)(i)-(vii) of this section.
    FEMA received comments from 8 commenters regarding this factor. The 
commenters stated that consideration should be given to non-citizen 
populations that are affected by a disaster; that although special 
populations were already a factor of consideration, the expansion of 
this into 8 data points would be burdensome on States during response 
activities; that the proposed disaster impacted population data points 
would provide a better overall understanding of the community impacted 
and the resources needed; and that the proposed disaster impacted 
population profile data points are to be commended because the factor 
would better highlight the severity of impact to the community.
    Two commenters stated that in the Commonwealth of the Northern 
Mariana Islands, they face extenuating and unique situations because 
they have a relatively large population of aliens as compared to U.S. 
citizens and nationals. The commenters asked that FEMA consider 
allowing direct financial support for that specific population. FEMA is 
statutorily prohibited from providing certain types of Federal 
assistance to aliens who are not qualified aliens.\20\ Specifically, 
recipients of IHP and DUA must certify that they are U.S. citizens, 
non-citizen nationals of the United States, or qualified aliens. That 
prohibition is statutory and it cannot be altered through this final 
rule.
---------------------------------------------------------------------------

    \20\ The Personal Responsibility and Work Opportunity 
Reconciliation Act Of 1996, Title IV, Public Law 104-193, 110 Stat. 
2105 (Aug. 22, 1996). See 8 U.S.C., Chapter 14--Restricting Welfare 
and Public Benefits for Aliens, 8 U.S.C. 1611-1646.
---------------------------------------------------------------------------

    A commenter raised concerns that the proposed rule did not include 
any requests for information on indigent populations. FEMA notes that 
the proposed rule included a number of such requests, including 
specific sub-factors seeking information on the percentage of the 
population for whom poverty status is determined and the percentage of 
the population already receiving government assistance such as 
Supplemental Security Income and Supplemental Nutrition Assistance 
Program benefits. If a State believes, based on the circumstances of a 
disaster event, that there is additional population-related information 
that needs to be considered, the State should include such information 
in its request for a major disaster declaration authorizing IA.
    A commenter stated that, although special populations were already 
a factor of consideration, the expansion of this into 8 data points 
would be burdensome on States during response activities. FEMA notes 
that the State is not required to provide any of these data points. If 
the State wishes to provide such data points, they are publicly 
available.\21\ States commonly provide these data points to FEMA as 
part of a declaration request; FEMA is merely clarifying a common 
source for these data points going forward. The disaster impacted 
population profile data points can be found by the State prior to a 
disaster even occurring and will only need to be pulled once a year.
---------------------------------------------------------------------------

    \21\ Poverty data comes from the U.S. Census Small Area Estimate 
Branch, ``Poverty and Median Income Estimates for Counties.'' 
Supplemental Nutrition Assistance Program data is from the U.S. 
Census's American Community Survey (ACS) using the American 
FactFinder (https://factfinder.census.gov/faces/nav/jsf/pages/index.xhtml), Advanced Search, Geographies: ``All Counties within 
the United States,'' Topics: S2201, 5-year estimates. Supplemental 
Security Income data comes from ACS using the American FactFinder, 
Advanced Search, Geographies: ``All Counties within the United 
States,'' Topics: B19056, 5-year estimates. The unemployment data at 
the State and county level are available at https://www.bls.gov/lau/. Data on county populations of ``65 or Older'' and ``18 or 
Younger'' data comes from the ACS using the American FactFinder 
(https://factfinder.census.gov/faces/nav/jsf/pages/index.xhtml), 
Advanced Search, Geographies: ``All Counties within the United 
States,'' Topics: DP05, 5-year estimates. Data on populations with a 
disability comes from the ACS, American FactFinder (https://factfinder.census.gov/faces/nav/jsf/pages/index.xhtml), Advanced 
Search, Geographies: ``All Counties within the United States,'' 
Topics: S1810, 3-year estimates. Data on ``percent of population who 
speaks English less than very well'' comes from the ACS, American 
FactFinder (https://factfinder.census.gov/faces/nav/jsf/pages/index.xhtml), Advanced Search, Geographies: ``All Counties in the 
United States,'' Topics: B06007, 5-year estimates. Data on American 
Indian and Alaska Native populations comes from the ACS, American 
FactFinder (https://factfinder.census.gov/faces/nav/jsf/pages/index.xhtml), Advanced Search, Geographies: ``All Counties within 
the United States,'' Topics: DP05, 5-year estimates. FEMA may update 
these sources to account for future improvement and changes in the 
U.S. Census, BLS, BEA, and Treasury data reporting, and the sources 
are provided here for example.
     For definitions related to demographic data points, please 
refer to the associated organizations websites. For example, refer 
to U.S. Census Small Area Income and Poverty Estimates definitions 
at https://www.census.gov/topics/income-poverty/poverty/about/glossary.html for percentage of the population for whom poverty 
status is determined. For a definition of the pre-disaster 
unemployment rate, refer to Bureau of Labor Statics at http://www.bls.gov/bls/glossary.htm and search for the term ``unemployment 
rate''. The U.S. Census glossary at http://www.census.gov/glossary 
and American Community Survey also provide definitions related to 
demographic data points including the following terms: Assistance 
and Subsidies, Age, Disability, Language Spoken at Home, and Ability 
to Speak English.
---------------------------------------------------------------------------

    Two commenters noted that the proposed rule changes added several 
very beneficial factors, including the additional components to the 
Disaster Impacted Populations profile, the Impact to Community 
Infrastructure, and the separate consideration for Disaster Related 
Unemployment. The commenters stated that these proposed factors would 
better highlight the severity of a disaster's impact to the community 
and would provide a better overall understanding of the community 
impacted and the resources needed. The commenters also stated that the 
proposed factors would facilitate a more nuanced understanding and 
approach to the unique recovery needs of communities in the aftermath 
of a disaster.

D. 44 CFR 206.48, Paragraph (b)(4)--Impact to Community Infrastructure

    The proposed Impact to Community Infrastructure factor related to 
certain impacts to a community's infrastructure that may adversely 
affect a population's ability to safely and securely reside within the 
community. The proposed rule identified the following sub-factors:
     Lifesaving and life-sustaining services. The effects of a 
disaster may cause disruptions to or increase the demand for lifesaving 
and life-sustaining services, necessitate a more robust response, and 
may delay a community's ability to recover from a disaster. The State 
may provide information regarding the impact on life saving and life 
sustaining services for a period of greater than 72 hours. Such 
services include but are not limited to police, fire/EMS, hospital/
medical, sewage, and water treatment services.
     Essential community services. The effects of a disaster 
may cause disruptions to or increase the demand for essential community 
services and delay a community's ability to recover from a disaster. 
The State may provide information regarding the impact on essential 
community services for a period greater than 72 hours. Such services 
include but are not limited to schools, social services programs and 
providers, child care, and eldercare.

[[Page 10641]]

     Transportation infrastructure and utilities. 
Transportation infrastructure or utility disruptions may render housing 
uninhabitable or inaccessible. Such conditions may also affect the 
delivery of life sustaining commodities, provision of emergency 
services, ability to shelter in place, and efforts to rebuild. The 
State may provide information regarding the impact on transportation 
infrastructure and utilities for a period of greater than 72 hours.
    FEMA received comments from 9 commenters regarding this proposed 
factor. The commenters asked for more information regarding how FEMA 
expects States to provide this information; suggested that the 
additional requested data would be burdensome to collect; and requested 
that FEMA elaborate on the scope of the ``Impact to Community 
Infrastructure'' factor to include the effects of a cyber-event or 
other evolving threat.
    The information included in the ``Impact to Community 
Infrastructure'' factor is already typically provided, where relevant, 
in States' major disaster declaration requests for IA. States typically 
identify any critical infrastructure disruptions in their major 
disaster declaration requests for IA because it illustrates the impact 
of the disaster on the community as whole. FEMA recognizes that 
communication may be difficult after a disaster, and FEMA expects that 
State and local officials will provide the best information they have. 
None of this information is required, if the State does not wish to 
provide it. The information for major disaster declaration requests for 
IA is often based on initial assessments that allow both the State and 
FEMA to evaluate the situation. FEMA currently encourages States to do 
the IA PDA before the PA PDA, and encourages States to submit their 
requests even if they are still awaiting the completion of the PA PDA.
    A commenter raised concerns that the proposed ``Impact to Community 
Infrastructure'' factor could potentially lead to a disaster 
declaration that traditionally would be a PA-only major disaster 
declaration to now be an IA major disaster declaration as well. In 
addition, a commenter expressed concern about how the States would 
collect and deliver this information because many disaster events only 
receive a joint FEMA-State PDA for either PA or IA. As noted in the 
proposed rule, the ``Impact to Community Infrastructure'' factor is 
intended to help FEMA evaluate the disaster impacts on infrastructure 
and how it may affect the individuals in that community. PA PDA teams 
conduct assessments to estimate the costs to repair and replace 
infrastructure, but a major disaster declaration request for IA would 
not require that level of detail. For IA, FEMA is not evaluating how 
much it will cost to fix a bridge that was washed out during a flood; 
however, FEMA believes it is important to know how many people are 
impacted because that bridge is now unavailable. A bridge that is 
washed out could severely impact an individual's ability to remain in 
their home or to travel to and from work, which would necessitate IA.
    A commenter raised that FEMA should expand the scope of the 
``Impact to Community Infrastructure'' factor to ensure that 
application of the Stafford Act evolves at the pace of real-world 
threats, to include the effects of evolving threats, such as cyber-
attacks. FEMA encourages planning and preparing for potential cyber-
attacks. FEMA believes that the final rule is flexible enough to allow 
FEMA to evaluate whether IA programs would be appropriate and necessary 
following a cyber-event that affected individuals and households. It is 
important to note that some FEMA programs may not be well suited to 
address damage caused by cyber events and other evolving threats, and 
not all such events or threats will result in eligibility for a 
Stafford Act declaration.

E. 44 CFR 206.48, Paragraph (b)(5)--Casualties

    The proposed Casualties factor related to the number of individuals 
who are missing, injured, or deceased due to a disaster. FEMA received 
comments from 4 commenters regarding this proposed factor. The 
commenters noted that the change for this factor was an increase in 
specificity in the regulation because the proposed factor included a 
request for information on missing individuals in addition to injured 
and deceased individuals. In addition, commenters felt that a lack of 
casualties should not be used by FEMA to deny a major disaster 
declaration request for IA. FEMA has made no changes to the 
``Casualties'' factor in the final rule from what was proposed in the 
proposed rule. Data on the number of missing, injured, and deceased are 
currently provided by the State to FEMA and FEMA is clarifying in 
regulation the continued need for these data points. Casualties, or a 
lack thereof, will never be the only factor considered in a major 
disaster declaration authorizing IA determination. However, there may 
be events with borderline levels of damage to residences, but with a 
high number of casualties that point to a level of trauma warranting 
Federal assistance.

F. 44 CFR 206.48, Paragraph (b)(6) --Disaster Related Unemployment

    The proposed Disaster Related Unemployment factor called for 
consideration of the number of disaster survivors who lost work or 
became unemployed due to a disaster and who do not qualify for standard 
unemployment insurance. The proposed factor welcomed States to provide 
an estimate of the number of such unemployed disaster survivors as well 
as information regarding major employers affected.
    FEMA received comments from 8 commenters regarding this proposed 
factor. Some commenters applauded the proposal to continue to collect 
this information. Others expressed concerns that a State may not be 
able to gather the requested unemployment data within the 30 day 
declaration request period. Some commenters stated that a State 
typically uses potential disaster unemployment claims for a USDA 
agriculture related disaster request but adding this information to a 
major disaster request for IA may be worth the time and resources when 
many businesses are impacted. Others stated that FEMA should not use 
potential low level of unemployment claims due to a major disaster as a 
negative factor against a State in determining whether a declaration is 
warranted.
    FEMA understands that there are certain disaster situations where 
gathering certain types of information may be difficult. This 
information may not be necessary or relevant for the typical major 
disaster declaration request that is seeking IA. Generally, when a 
disaster event warrants IA, Disaster Unemployment Assistance is 
appropriate as well. This information is already provided by States 
when they request Disaster Unemployment Assistance as part of their 
major disaster declaration request. If needed, States may submit 
extension requests. This factor will primarily be relevant in instances 
where the effect of the disaster event is mainly economic and Disaster 
Unemployment Assistance is the only program that a State requests. FEMA 
will not use a low level of unemployment claims due to a major disaster 
as a negative factor in determining whether a request for other forms 
of disaster assistance is warranted. However, a low level of 
unemployment claims due to a major disaster may be indicative that 
Disaster Related Unemployment is unnecessary even though other IA 
programs are necessary to assist a community recover post-disaster 
event.

[[Page 10642]]

G. Principal Factors for Evaluating the Need for the Individuals and 
Households Program

    FEMA proposed that the principal factors it will consider in 
evaluation of any major disaster declaration request for IHP will be 
the fiscal capacity of the requesting State (44 CFR 206.48(b)(1)(i)) 
and the uninsured home and personal property losses (44 CFR 
206.48(b)(2)). FEMA found that the ratio of IA Cost to Capacity (ICC), 
which is the estimated cost of IA divided by a State's TTR in millions, 
was particularly indicative of the likelihood of a declaration. FEMA 
received comments from 4 commenters regarding this proposal. The 
commenters expressed general opposition to FEMA using the ICC 
calculation as an evaluation tool for whether IHP is warranted and 
suggested that the ICC calculation is a mathematical formula or 
``threshold'' that is prohibited by the Stafford Act.
    A commenter stated that the ICC calculation proposed by FEMA for 
determining whether IHP is warranted is a mathematical formula that is 
specifically prohibited by the Stafford Act. The commenter stated that 
the formulaic evaluation of a major disaster request does not meet the 
spirit and intent of the Stafford Act. Section 320 of the Stafford Act 
prohibits the denial of assistance to a geographic area based solely on 
the use of an arithmetic formula or a sliding scale based on income or 
population. 42 U.S.C. 5163. The ICC ratio compares the estimated of 
cost of assistance and the State's TTR. Although the ICC ratio is an 
arithmetic formula based in part on income flows, FEMA does not plan to 
deny assistance to any geographic area based solely on the results of 
this formula. Rather, the results are only one factor (albeit an 
important one) that FEMA will consider, in the totality of the 
circumstances, when making its recommendation to the President. The 
comparison of the principal factors will be considered in conjunction 
with the other factors that are provided in the final rule. FEMA has 
revised the regulatory text at 44 CFR 206.48(b) to make clear that FEMA 
will always consider all relevant information submitted as part of a 
declaration request.
    FEMA believes that it is appropriate to use ICC as a measure of the 
need for IHP because at its core, the determination of whether to 
recommend a major disaster declaration authorizing IHP depends on the 
impact of the event being beyond a State or local government's 
capability. Such a determination necessarily entails an assessment of 
the impact of the event in the context of a State's fiscal capacity and 
resources. FEMA recognizes that every disaster is different and 
circumstances vary among States. Ultimately, however, the ICC compares 
two factors that are undeniably relevant to FEMA's recommendation to 
the President. These factors will not be used to the exclusion of all 
others; FEMA will continue to evaluate each request on its own merits, 
including by reference to the other factors identified in this rule.
    A commenter opined that although FEMA states that the ICC is not a 
hard threshold, the practical result is that of a threshold. FEMA does 
not agree that the ICC will act as a threshold. The ICC statistics 
provided in the NPRM were based on historical declaration requests and 
they show levels of ICC for events that were approved at a high 
frequency, denied at a high frequency, and for events that fell in the 
middle. FEMA believes the ICC evaluation provides a more systematic way 
to look at the information and creates a more useful decision framework 
to evaluate a major disaster declaration request for IA than the 
current evaluation process. FEMA provided this historical data to help 
guide States for planning in future disaster situations, and FEMA will 
continue to update this data based on major disaster declaration 
request determinations in the future. FEMA is not planning to use the 
ICC calculation as a hard ``threshold.''

H. Lack of Thresholds

    FEMA received comments that expressed disappointment at a lack of 
clear thresholds or other guidance regarding what amount of damage 
would definitively warrant a major disaster declaration authorizing IA. 
FEMA will not be using a threshold because it would unnecessarily limit 
FEMA's ability to advise the President and would not allow FEMA to 
fully consider all factors that may be relevant for the unique 
circumstances of a disaster and its impact on the State. FEMA 
understands that some States prefer additional clarity for planning 
purposes, i.e., to help States decide whether they should or should not 
submit a major disaster declaration request for a given disaster event. 
While FEMA will not be establishing a threshold, FEMA issued an 
additional proposed guidance document for comment on September 22, 2016 
at 81 FR 65369 that further fleshed out the details of how FEMA will 
evaluate the factors. Following consideration of the comments received, 
FEMA is issuing the final guidance today; a notice of availability 
regarding that guidance document is published elsewhere in today's 
Federal Register along with this final rule. In addition, FEMA will 
periodically publish aggregate PDA data on FEMA's website which States 
can use to evaluate the likelihood of receiving a major disaster 
declaration for a specific event and to plan for future events.

I. IA Declarations Factors Guidance

    Several commenters raised concerns regarding the IA Declarations 
Factors Guidance which FEMA indicated would support the proposed rule. 
The commenters asked for information on when the guidance would be 
published, wanted clarity on how the factors will be weighted, and 
suggested that FEMA should develop appropriate guidance materials to 
train State and local partners, FEMA regional office staff, and the 
disaster workforce. FEMA published an additional proposed guidance 
document for comment on September 22, 2016 that further fleshed out the 
details of how FEMA would evaluate the factors. 81 FR 65369. The 
majority of comments received on the proposed guidance document were 
duplicative of what was already received on the proposed rule. The 
comments that were unique and specific to the guidance are addressed in 
the final IA Declarations Factors Guidance, notice of which is 
published elsewhere in today's Federal Register along with this final 
rule.
    Commenters asked for clarity on how the factors would be evaluated 
by FEMA. As stated above, FEMA intends to provide additional clarity 
regarding evaluation of the factors through guidance documents. These 
guidance documents will aid States and Territories in drafting requests 
for emergency and major disaster declarations including Individual 
Assistance. These documents will also provide additional clarity 
regarding the circumstances, in particular the severity and magnitude 
relative to State capacity, under which a major disaster declaration 
authorizing IA is likely to be approved or denied. This additional 
clarity should allow for improved planning by the States because they 
will have a better understanding of what type and size of event may 
exceed their capacity to support residents without Stafford Act 
assistance.
    A commenter stated that FEMA should develop appropriate guidance 
materials to train State and local partners, FEMA regional office 
staff, and the disaster workforce. FEMA has hosted and will continue to 
host internal and external trainings and webinars for the FEMA Regional 
Offices, States, Territories, and local

[[Page 10643]]

partners to help them become familiar with and understand the new IA 
major disaster declaration factors.

J. Preliminary Damage Assessments

    Several commenters raised concerns regarding the preliminary damage 
assessment process. The concerns raised include that nongovernmental 
organizations (NGOs) should be invited to participate in sharing 
information during the PDA process and initial response and recovery; 
that FEMA should simplify the PDA process for IA and coordinate with 
the Red Cross and Small Business Administration (SBA); that the 
timeframe for making a major disaster declaration for IA is unclear; 
and that a PDA conducted too early in certain events, such as a 
flooding disaster, will not result in accurate PDAs.
    A commenter raised a concern that non-governmental organizations 
need to be invited to participate in sharing information during the PDA 
process and initial response and recovery. FEMA notes that non-
governmental organizations are often involved in the disaster response 
in a community and provide information to the States. A State may 
coordinate with their local non-governmental organizations and to 
involve them in the PDA process, at the State's discretion.
    Two commenters suggested that FEMA, SBA and the American Red Cross 
should develop a single standardized PDA that would collect one set of 
data that all three entities can use. In general, FEMA believes that a 
wholesale revision of the PDA process is outside the scope of this 
rulemaking. Aside from revising a limited number of data points, this 
final rule does not affect the PDA process at all. In addition, FEMA 
and SBA currently do coordinate and complete PDA together when 
feasible.
    A commenter requested clarity about the deadline by which a State 
must request a major disaster declaration authorizing IA. States must 
submit their major disaster request (or request an extension) within 30 
days of the incident. 44 CFR 206.36(a). FEMA encourages States to 
identify the potential need for a joint FEMA-State PDA as quickly as 
possible if the State believes that a major disaster declaration is 
necessary. FEMA encourages States to collect and submit information as 
quickly as possible because it is important to provide assistance to 
disaster survivors as soon as possible after a disaster event.
    A commenter stated that FEMA must recognize that a PDA performed 
too early, particularly after a flood event, will not provide an 
accurate measure of the number of homes damaged. FEMA notes that a 
State is the entity that triggers the joint FEMA-State PDA, and that a 
State may request an extension of the 30 day deadline if additional 
time is needed to provide accurate results. For any major disaster 
declaration request including IA, FEMA will work with the State to 
complete the PDAs and process the declaration request as quickly as 
possible. FEMA will make a major disaster declaration recommendation to 
the President based on the best information available and we recognize 
that early after an event not all of the information is available or 
completely certain. FEMA also recognizes that the magnitude of some 
events may require the State and FEMA to move ahead based only on 
limited or uncertain information.

K. Amount of Data Requested

    Several commenters raised concerns that the proposed rule would 
create a significant increase in the amount of data required for a 
State's request for a major disaster declaration authorizing IA. The 
commenters shared that, although it is appreciated that States are 
being forewarned of these requirements in advance, they felt that many 
of the new data points would require significant effort to assemble 
which may impact expediency in submitting a major disaster request 
which is in direct contradiction to section 1109 of SRIA's requirement 
to ``speed a declaration of a major disaster.'' In addition, others 
raised concern that under the proposed rule, FEMA would require the 
States to compile a significant amount of information, regardless of 
whether such information had any bearing on whether a declaration will 
be declared.
    FEMA notes that most of the data points identified in the proposed 
rule are already provided by States as part of the current disaster 
declaration process because they are items that FEMA informally 
identified as relevant data points in the past. By clearly identifying 
these data points up front, the final rule will reduce the potential 
that FEMA will need to reach back to the State for additional 
information. In this way, FEMA believes that the rule will help speed 
the process. In addition, FEMA is not compelling the States to provide 
all of the data points included in this rulemaking. A State should 
submit enough information that they believe justifies the need for 
supplemental Federal assistance. However, it is in the State's interest 
to discuss the data points highlighted in this rule along with any 
other relevant information because it will illustrate to FEMA and the 
President why supplemental Federal disaster assistance is necessary for 
their State.

IV. Final Rule

    FEMA is finalizing the proposed rule with the two changes that are 
discussed in section III of this preamble. First, FEMA is removing the 
proposed ``State Services'' sub-factor. Second, FEMA is removing the 
proposed ``Planning After Prior Disasters'' sub-factor. FEMA has also 
revised introductory text at 44 CFR 206.48(b) to make clear that 
regardless of the ratio of estimated cost of assistance to TTR for any 
given event, FEMA will always consider all relevant information 
submitted as part of a declaration request.

V. Regulatory Analysis

A. Executive Order 12866, Regulatory Planning and Review and Executive 
Order 13563, Improving Regulation and Regulatory Review

1. Executive Summary & A-4 Accounting Statement
    Executive Orders 13563 (``Improving Regulation and Regulatory 
Review'') and 12866 (``Regulatory Planning and Review'') direct 
agencies to assess the costs and benefits of available regulatory 
alternatives and, if regulation is necessary, to select regulatory 
approaches that maximize net benefits (including potential economic, 
environmental, public health and safety effects, distributive impacts, 
and equity). Executive Order 13563 emphasizes the importance of 
quantifying both costs and benefits, of reducing costs, of harmonizing 
rules, and of promoting flexibility. Executive Order 13771 (``Reducing 
Regulation and Controlling Regulatory Costs'') directs agencies to 
reduce regulation and control regulatory costs and provides that ``for 
every one new regulation issued, at least two prior regulations be 
identified for elimination, and that the cost of planned regulations be 
prudently managed and controlled through a budgeting process.''
    The Office of Management and Budget (OMB) has designated this rule 
a ``significant regulatory action'' although not economically 
significant, under section 3(f) of Executive Order 12866. Accordingly, 
the rule has been reviewed by OMB. This rule is exempt from the 
requirements of Executive Order 13771 because it has de minimis costs 
spread across all states and territories. See OMB's Memorandum 
``Guidance Implementing Executive Order 13771, Titled `Reducing 
Regulation and Controlling Regulatory Costs''' (April 5, 2017).

[[Page 10644]]

    FEMA estimates the final rule will impose a cost burden of $28,040 
in the first year of implementation and $2,939 for each subsequent 
year. FEMA estimates the ten-year present value total cost to be 
$44,102 discounted at seven percent and $49,441 discounted at three 
percent. FEMA estimates the annualized cost of the final rule to be 
$6,279 at seven percent and $5,796 at three percent.\22\ The costs are 
for training (FEMA providing and States participating in), States 
becoming familiar with the regulation, both FEMA and States downloading 
and saving annual data, and States changing their existing files to 
account for the new factor. Benefits of the rule include clarifying 
FEMA's existing practices and reducing process time and effort (back 
and forth) between FEMA and States requesting a declaration.
---------------------------------------------------------------------------

    \22\ FEMA includes estimates of discounted present value costs 
and annualized costs according to guidance from OMB Circular A-4. 
Office of Management and Budget, Published September 17, 2003. 
Available at: https://www.whitehouse.gov/sites/whitehouse.gov/files/omb/circulars/A4/a-4.pdf.
---------------------------------------------------------------------------

    FEMA does not expect the rule to affect the amount of assistance to 
individuals and households for two primary reasons. First, codifying 
factors that are currently captured under the ``other relevant 
information'' prong of 44 CFR 206.48 provides clarity without 
necessarily changing current practice. Since 1999,\23\ FEMA has 
evaluated and improved its IA declarations practices continuously so 
that FEMA can incorporate consideration of new information sources as 
they have become available. This rule reflects the evolution of those 
efforts by codifying currently used factors, as well as adding one new 
factor to evaluate the fiscal capacity of States' abilities to respond 
to and recover from a declared disaster. Second, the new fiscal 
capacity factor is highly correlated to previously captured data on 
State population \24\ and is expected to result in comparable 
declaration recommendations. FEMA believes including the new fiscal 
capacity factor provides a more comprehensive picture of a State's 
ability to respond to and recover from a declared disaster.
---------------------------------------------------------------------------

    \23\ On September 1, 1999, 44 CFR 206.48 was finalized in 
regulation. See 64 FR 47698.
    \24\ The correlation is based on the new fiscal capacity sub-
factors. The primary sub-factor that will be used is Total Taxable 
Resources (TTR), which measures the unduplicated sum of the income 
flows produced within a State and income flows received by its 
residents that a State can potentially tax. See United States 
Department of the Treasury, ``Treasury Methodology for Estimating 
Total Taxable Resources (TTR),'' Revised November 2002, page 2, 
https://www.treasury.gov/resource-center/economic-policy/Documents/nmpubsum.pdf. Accessed and downloaded November 9, 2015. Because TTR 
is available at the State level only, Gross Domestic Product (GDP) 
by State will be used as the fiscal capacity indicator for 
territories and other areas when TTR is not available. In general, 
GDP by State is estimated using two procedures. The first one uses 
State-level Census Bureau value-added data for goods-producing 
industries to estimate GDP by State for those industries. The second 
procedure uses Census Bureau receipts and payroll data, or company 
financial data to estimate gross operating surplus for the services-
producing industries. Both procedures use income received by a 
State's residents as a primary component. See United States 
Department of Commerce, Bureau of Economic Analysis, ``GDP by State 
Estimation Methodology,'' page 2, https://www.bea.gov/sites/default/files/methodologies/0417_GDP_by_State_Methodology.pdf. Accessed and 
downloaded February 15, 2017.

                                          Table 1--A-4 Accounting Table
----------------------------------------------------------------------------------------------------------------
                                              Estimates                                  Units
                               ---------------------------------------------------------------------------------
           Category               Primary        Low          High         Year       Discount
                                  estimate     estimate     estimate      dollar     rate  (%)   Period  covered
----------------------------------------------------------------------------------------------------------------
Benefits:
    Annualized Monetized......          n/a          n/a          n/a          n/a            7  n/a.
                                        n/a          n/a          n/a          n/a            3  n/a.
    Annualized Quantified.....          n/a          n/a          n/a          n/a            7  n/a.
                                        n/a          n/a          n/a          n/a            3  n/a.
----------------------------------------------------------------------------------------------------------------
    Qualitative...............   The final rule more clearly identifies declaration factors FEMA considers when
                                 making its recommendation to the President on a major disaster declaration that
                                authorizes IA than current regulations. The rule codifies factors FEMA currently
                                  considers, but are not specified in 44 CFR 206.48(b) and adds one new factor
                                  that will provide additional information on fiscal capacity. FEMA anticipates
                                 that this final rule will result in regulatory efficiencies due to reduced back
                                    and forth between FEMA and the State that is requesting the declaration.
                                    Currently, the amount of back and forth between FEMA and the State is not
                                                                    tracked.
----------------------------------------------------------------------------------------------------------------
Costs:
    Annualized Monetized......       $6,279          n/a          n/a         2015            7  10 years.
                                     $5,796          n/a          n/a         2015            3  10 years.
    Annualized Quantified.....          n/a          n/a          n/a  ...........            7  10 years.
                                        n/a          n/a          n/a  ...........            3  10 years.
                               ---------------------------------------------------------------------------------
    Qualitative...............  None.
----------------------------------------------------------------------------------------------------------------
Transfers:
    Federal Annualized                  n/a          n/a          n/a          n/a            7  n/a.
     Monetized.
                                        n/a          n/a          n/a          n/a            3  n/a.
                                            --------------------------             -----------------------------
    From/To...................        From:             n/a                    To:              n/a.
                                            --------------------------             -----------------------------
    Other Annualized Monetized          n/a          n/a          n/a          n/a            7  n/a.
                                        n/a          n/a          n/a          n/a            3  n/a.
                                            --------------------------             -----------------------------
    From/To...................        From:             n/a                    To:              n/a.
----------------------------------------------------------------------------------------------------------------
Effects:

[[Page 10645]]

 
    State, Local, and/or        State governments are the only entities directly affected by this rule. Benefits
     Indian Tribal Governments.  include expected regulatory efficiencies due to reduced back and forth between
                                 FEMA and the State requesting the major disaster declaration that includes IA.
----------------------------------------------------------------------------------------------------------------
                                  Increased costs resulting from the rule are from training, becoming familiar
                                  with the new rule, downloading the fiscal capacity factor data, and changing
                                   existing templates and files to account for the new factor. These costs are
                                  expected to occur in year 1. Costs in subsequent years from updating the data
                                                            are expected to be small.
----------------------------------------------------------------------------------------------------------------
    Small Business............                                     No Impact.
    Wages.....................                                    Not Measured.
    Growth....................                                    Not Measured.
----------------------------------------------------------------------------------------------------------------

2. Need for Regulatory Action
    This final rule provides clarity on the declaration factors that 
FEMA currently considers in support of its recommendation to the 
President on whether a major disaster declaration authorizing IA is 
warranted. FEMA expects the additional clarity will reduce delays in 
the declaration process by decreasing back and forth between States and 
FEMA. FEMA also is adding one new factor--Fiscal Capacity--to provide 
additional context on States' capacity to respond to and recover from 
disaster situations. Finally, the rule will satisfy the requirements 
outlined in Section 1109 of SRIA.
3. Affected Population
    A request for a Federal major disaster declaration authorizing IA 
must come from a State's Governor or designated equivalent. 44 CFR 
206.36(a). Therefore, the rule directly affects all States that are 
eligible to request a Federal major disaster declaration authorizing 
IA. States are defined in 44 CFR 206.2(a)(22) and include any State of 
the United States, the District of Columbia, Puerto Rico, the Virgin 
Islands, Guam, American Samoa, and the Commonwealth of the Northern 
Mariana Islands.\25\
---------------------------------------------------------------------------

    \25\ There are 56 States, as defined by 44 CFR 44 CFR 
206.2(a)(22). Throughout this analysis, ``States'' means the total 
number of governmental jurisdictions that include the 50 U.S. 
States, District of Columbia, and the 5 territories listed.
---------------------------------------------------------------------------

    Although Section 1110 of SRIA amended the Stafford Act to allow 
federally recognized Indian Tribal governments to submit requests for 
emergency or major disaster declarations, SRIA charged FEMA to 
implement that authority separately by rulemaking. Declarations 
requested by Tribal governments will be covered by a separate process 
and are not included in this rule. For this reason, Tribal governments 
are not directly affected by this rule. Local governments also are not 
directly affected by the rule because the disaster-related information 
local governments provide to the State is part of their current 
disaster response process, which is to provide situational awareness 
and ascertain the need for further emergency assistance.\26\
---------------------------------------------------------------------------

    \26\ The National Response Framework defines the roles and 
responsibilities of key partners at the local, tribal, State, and 
Federal levels. Local governments/jurisdictions are responsible for 
ensuring the public safety and welfare of their residents. Local 
police, fire, emergency medical services, public health and medical 
providers, emergency management, public works, environmental 
response professionals, and other in the community are often the 
first to detect a threat or hazard, or respond to an incident. As 
first responders, local governments provide situational awareness on 
the incident and request immediate emergency relief to ensure public 
safety and welfare, i.e. debris removal and/or emergency protective 
measures. See National Response Framework, Third Edition, pages 11-
12, https://www.fema.gov/media-library-data/1466014682982-9bcf8245ba4c60c120aa915abe74e15d/National_Response_Framework3rd.pdf. 
Accessed and downloaded February 15, 2017.
---------------------------------------------------------------------------

4. Current Baseline and Impacts of Final Rule
    The rule largely codifies many considerations that FEMA has used 
for several years under the ``other relevant information'' prong of 44 
CFR 206.48, but were not specifically identified in FEMA regulations. 
FEMA conducted a retrospective review of State major disaster 
declaration letters that requested IA and found that States typically 
included more information and data than what is specifically identified 
in the current regulations and listed at 44 CFR 206.48(b).\27\
---------------------------------------------------------------------------

    \27\ FEMA reviewed all 85 State major disaster declaration 
request letters submitted between January 1, 2012 and December 31, 
2016, and found that each letter was unique and provided many of the 
data points and information that will be explicitly included under 
the regulation. The information submitted varied depending on the 
disaster, the scope of damages, and the need for assistance. FEMA 
does not require every data point to be submitted when a State makes 
a declaration request. FEMA found that some requests had more data 
and/or information, while other requests had less. For instance, in 
more severe events in less resilient areas, the States did not need 
to provide a large amount of information to be recommended for a 
declaration. In these instances, the individual assistance needs 
were clearly outside the capacity of the requesting State.
---------------------------------------------------------------------------

    FEMA's review examined the 85 major disaster declaration requests 
for IA that States submitted between January 1, 2012 and December 31, 
2016. All were examined, whether the declaration was granted or denied. 
FEMA found that the four new Fiscal Capacity sub-factors had not been 
provided previously by States; however, when States provided 
qualitative information on the State's economic health, they may also 
have provided median household income. FEMA found that out of the 
remaining 23 sub-factors, 19 were provided in at least 80 percent of 
the requests and only 4 were provided in less than 20 percent of the 
request letters. All 4 are sub-factors of the Disaster Impacted 
Population Profile factor. Specifically, the percentage of population 
already receiving government assistance such as Supplemental Security 
Income and Supplemental Nutrition Program benefits appeared in only 5 
percent of the requests (4 occurrences in 85 total requests); the 
percentage of the population who speak a language other than English 
and speak English less than ``very well' in only 7 percent of the 
requests (6 occurrences in 85 total requests); the percentage of 
population 18 years old and younger in only 18 percent (15 occurrences 
in 85 total

[[Page 10646]]

requests); and any unique considerations regarding American Indian and 
Alaskan Native Tribal populations that may not be reflected in the U.S. 
Census Bureau data in only 18 percent of the requests (15 occurrences 
in 85 requests). FEMA found that these specific sub-factors of 
population were specifically included by States when they believed the 
disaster adversely affected and heighted the vulnerability of these 
particular segments of the population. This is consistent with FEMA's 
long-standing practice of considering how any given disaster affects 
populations that are 65 years and greater or have a disability. The 
detailed findings are presented in Table 5, and in the marginal 
analysis table posted in the docket at www.regulations.gov. These 
findings established the baseline from which the costs of this rule 
were estimated.
    Because FEMA and States already are gathering and providing much of 
this information, FEMA anticipates minimal impact to States. FEMA does 
not expect or require States to include every factor in every 
declaration request. FEMA expects that States will continue to provide 
a comparable level of information in their request letters, based on 
their respective circumstances and disaster effects.
    Indian Tribal governments (requesting assistance through the State) 
and local governments currently provide the State with specified factor 
information for their local area and affected residents. Therefore, 
FEMA anticipates Indian Tribal governments (requesting assistance 
through the State) and local governments will not directly incur 
additional costs from the rule.
    As previously discussed, the new factor FEMA is adding is Fiscal 
Capacity. Both FEMA and States will be affected by the addition of this 
factor. For FEMA, the increase in burden will result from annually 
collecting the information and providing it to the States. This 
increase in burden is expected to begin in year 1 and remain the same 
for each subsequent year. FEMA also will incur a cost for providing IA 
declaration factors training. For States, an increase in burden will be 
realized in the first year when States download the fiscal capacity 
data, adjust their templates and files to accommodate the new Fiscal 
Capacity factor, and attend IA declaration factor training. In each 
subsequent year, the burden for States is expected to decrease from 
year 1 because it will be for downloading and storing the fiscal 
capacity data only. FEMA will provide a link on its website to the data 
in addition to downloading and storing the information for its own 
reference. FEMA assumes that States will download and store the data in 
subsequent years prior to any major disaster so that the information is 
readily available if they need to request IA. In addition, once a State 
has downloaded and stored this data for one disaster, the State is 
likely to keep the data on hand for future reference and to meet 
administrative records retention policies.
    FEMA does not expect the new Fiscal Capacity factor to affect the 
number of IA declaration requests made by States or change the amount 
of IA assistance provided. The new factor is highly correlated to data 
previously used; thus, would have likely resulted in comparable 
declaration recommendations had it been used. For this reason, the 
final rule is expected to result in comparable recommendations in the 
future and the rule is not expected to affect transfer payments.
    Fiscal Capacity. FEMA recognizes that each State's capacity to 
respond and recover varies based on the circumstances of the disaster 
and the State's resources. FEMA includes fiscal capacity data to better 
evaluate a State's ability to adequately respond to a disaster with or 
without supplemental Federal assistance. The GAO suggested in multiple 
reports that FEMA should incorporate States' fiscal capacity into its 
considerations when recommending disaster declarations to the 
President. All of the GAO reports focused on including fiscal capacity 
in FEMA's PA declaration factor criteria. FEMA believes there also is a 
need to assess a State's capacity to respond and recover on its own 
when determining whether a major disaster declaration that authorizes 
IA is warranted.
    To evaluate a State's fiscal capacity for response to a major 
disaster, FEMA will review data on a State's TTR.\28\ The U.S. 
Department of Treasury (Treasury) calculates the TTR of each State, 
which is used as a measure of a State's fiscal capacity.\29\ TTR is 
based on Gross Domestic Product (GDP) by State, measuring the 
unduplicated sum of the income flows produced within a State, but makes 
adjustments for additional, potentially taxable income flows earned by 
residents from out-of-state sources such as capital gains and commuter 
income.\30\ FEMA acknowledges that TTR does not capture a State's 
actual tax revenue or expenditures and cannot be viewed as a financial 
accounting of a State's budget. The GAO supports the use of TTR as a 
measure of a State's fiscal capacity because it provides a more 
comprehensive measure of a State's fiscal capacity when compared to 
other options, which do not include the additional, potentially taxable 
income flows earned by residents from out-of-state sources such as 
capital gains and commuter income.\31\
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    \28\ Pursuant to Public Law 102-321, the U.S. Department of the 
Treasury produces annual estimates of total taxable resources (TTR) 
for all States. The TTR estimates are published by September 30th 
each year and have a two-year lag. For example, TTR for 2016 was 
published on September 28, 2018. The formula for calculating TTR 
uses gross state product as its base, subtracts non-taxable 
components, then accounts for cross-border income flows. This 
calculation provides a ``. . . comprehensive measure of all the 
income flows a state can potentially tax.''
    \29\ GAO Report 12-838 stated that other Federal departments and 
agencies have used TTR data to determine a jurisdiction's fiscal 
capacity and the extent to which a jurisdiction should be eligible 
for Federal assistance; specifically the Department of Health and 
Human Services' Substance Abuse and Mental Health Services 
Administration's block grant program and Community Mental Health 
Service use TTR. Federal Disaster Assistance, Improved Criteria 
Needed to Assess a Jurisdiction's Capability to Respond and Recover 
on Its Own, GAO-12-838, September 2012, pages 31-32. http://www.gao.gov/products/GAO-12-838. Accessed and downloaded November 9, 
2015.
    \30\ United States Department of the Treasury, ``Treasury 
Methodology for Estimating Total Taxable Resources (TTR),'' Revised 
November 2002, page 2, https://www.treasury.gov/resource-center/economic-policy/Documents/nmpubsum.pdf. Accessed and downloaded 
November 9, 2015.
    \31\ United States Government Accountability Office, FEDERAL 
DISASTER ASSISTANCE: Improved Criteria Needed to Assess a 
Jurisdiction's Capability to Respond and Recover on Its Own, GAO-12-
838, September 2012, page 31. http://www.gao.gov/products/GAO-12-838. Accessed and downloaded November 9, 2015.
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    Further, FEMA is removing the ``Average Amount of Assistance per 
Disaster'' table that is found at the current 44 CFR 206.48(b)(6) which 
was based on outdated (1990 Census Data) population numbers and 
simplistic size categories that grouped States into only three 
categories: Small, medium, and large. Removing this table and instead 
using TTR will allow a State and FEMA to include a State-specific 
assessment of that State's fiscal capability when responding to a major 
disaster.
    FEMA conducted a retrospective analysis of its recommendations and 
major disaster declarations by the President and confirmed they are 
correlated to the fiscal capacity of the requesting State, as 
represented by State TTR data. Historically, FEMA captured an aspect of 
fiscal capacity when evaluating the damage caused by each disaster in 
relation to the population of the affected State. States with the 
highest State TTRs tended to have the highest population. Based on this 
analysis, FEMA found that major disaster declarations authorizing IA 
have a correlation to the fiscal capacity

[[Page 10647]]

of the requesting State, as represented by the State TTR data.
    FEMA reviewed 220 major disaster declaration requests that included 
IA and were submitted between January 2008 and December 2016.\32\ The 
purpose of the review was to determine if there would have been any 
impact on a disaster determination from using State TTR to assess a 
State's need for a major disaster declaration authorizing IA. Each 
State request included an estimate of the costs from the damages 
attributed to the disaster event. FEMA retrieved the TTR data that was 
available for that State at the time of the request. For each request, 
FEMA used estimated IA costs and the State's TTR to calculate a ratio 
of IA Cost to (fiscal) Capacity (ICC). For example, assume a State 
estimated $2,000,000 in IA costs and the State's TTR was 
$30,000,000,000. FEMA then divided $30,000,000,000 by $1,000,000 to get 
the State's TTR in millions, which is $30,000. ($30,000,000,000 / 
$1,000,000 = $30,000) FEMA divided the estimated cost of IA, which was 
$2,000,000, by $30,000 to get the ICC ratio 66.7. ($2,000,000 / $30,000 
= 66.66)
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    \32\ For the analysis on TTR, FEMA excluded disaster declaration 
requests that did not include a request for IA. FEMA also excluded 
duplicate requests, U.S. territories' requests (because there is no 
TTR data available), requests without summaries of the PDA data or 
with insufficient data, and requests that involved an expedited 
decision. However, expedited disaster declarations that included PDA 
data and a request for IA were included. For example, the disaster 
declaration request from New York for Hurricane Irene (2008, DR 
4020) was included in the data set even though the declaration was 
expedited because the request included an estimate for PDA. See 
``New York--Hurricane Irene, FEMA-4020-DR,'' Summary of Damage 
Assessment Information Used in Determining Whether to Declare a 
Major Disaster, Accessed and downloaded April 11, 2017. https://www.fema.gov/pdf/news/pda/4020.pdf. FEMA will use data related to 
personal income and GDP for territories. The estimated cost to 
States and to FEMA for downloading and providing fiscal capacity 
data are included in the analysis. See section, ``5. Impacts to 
Costs, Benefits, and Transfers.''
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    Based on the ICC calculation for all 220 State requests, FEMA's 
analysis shows the greater the ICC ratio for a major disaster 
declaration request that included IA, especially those with ICCs above 
25, the more likely the request for IA was granted. Conversely, the 
lower the ICC ratio for a major disaster declaration request that 
included IA, especially those with ICCs below 10, the more likely the 
request for IA was denied. The following table displays the total 
number of major disaster declaration requests and the total of the IA 
requests that were granted by ICC ratio size. The table also shows the 
percentage of granted major disaster declaration requests within each 
respective ICC group.

                       Table 2--Number of IA Requests and Granted IA Requests by ICC Ratio
----------------------------------------------------------------------------------------------------------------
                                                                     Number of       Number of    Percentage  of
                                                                     requests        requests        requests
       ICC ratio (estimated cost of IHP/(TTR/$1 million))         received (2008- approved (2008- approved (2008-
                                                                       2016)           2016)           2016)
----------------------------------------------------------------------------------------------------------------
>25.............................................................              65              55              85
10-25...........................................................              71              32              45
<10.............................................................              84               8              10
                                                                 -----------------------------------------------
    Total.......................................................             220              95              43
----------------------------------------------------------------------------------------------------------------

    Based on the above data, there were 71 major disaster declaration 
requests that included IA with ICC ratios between 10 and 25; and 32 of 
these requests were declared major disasters that included IA. Hence, 
45 percent of major disaster declaration requests with ICC ratios 
between 10 and 25 that included IA were granted. FEMA believes this 
approval rate helps illustrate that a number of factors are taken into 
consideration when determining FEMA's recommendation, especially in 
borderline events.
    In addition, FEMA's above analysis shows that the higher the 
estimated cost of IA damages and the lower the State TTR, the more 
likely a major disaster declaration request authorizing IA was granted 
in the past. In the past, States generally provided qualitative 
discussions on the effects of previous disasters, State median 
household income data, and population data as indicators of their 
economic health. In response to recommendations in GAO Report 12-838, 
FEMA examined the effect of using TTR, rather than median household 
income and population data as indicators of a State's economic ability 
to support itself in the event of a major disaster and whether using 
TTR would have changed FEMA's past recommendations.\33\ FEMA is 
including TTR to introduce a more direct measure of State fiscal 
capacity than the qualitative information already being provided by the 
States.\34\ FEMA will continue to consider, when provided, information 
from States on the effects of previous disasters and State median 
household income and population data.
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    \33\ Although GAO Report 12-838 largely related to the Public 
Assistance disaster declaration process, FEMA decided to evaluate 
whether TTR could also improve the IA major disaster declaration 
process.
    \34\ FEMA recognizes that TTR does not perfectly capture a 
State's fiscal capacity and encourages States to provide any 
information they believe support their IA declaration request.
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    FEMA found that TTR and population are highly correlated (0.984). 
Although these measures are highly correlated, FEMA chose State TTR as 
its preferred data point as a more direct measure of fiscal capacity 
for several reasons. TTR more accurately reflects a State's ability to 
respond to a disaster because TTR is a measure of fiscal capacity which 
takes into consideration the population of the State and the income 
flows, not just an estimate of the number of people in the State. In 
addition, TTR includes much of the business income that does not become 
part of the income flow to jurisdiction residents, undistributed 
corporate profits, and rents and interest payments made by businesses 
to out-of-jurisdiction real estate owners and lenders. FEMA concludes 
that its consideration of State TTR would not have affected past 
recommendations based on the above analysis that shows that TTR and 
population are highlight correlated.\35\ Accordingly, FEMA anticipates 
that using State TTR when making future major disaster declaration 
recommendations will not reduce the number of IA declaration requests 
made by States or change the amount of IA assistance provided.
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    \35\ FEMA also reviewed using per capita TTR and found per 
capita TTR and population are not highly correlated (0.099) and that 
as a result, the use of per capita TTR may have affected past 
recommendations.
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    FEMA recognizes that some disasters cause enough damage to 
overwhelm even the most fiscally capable States and that disasters may 
result in special circumstances. For example, a special

[[Page 10648]]

circumstance would be if a State has experienced several major 
disasters in a very short time or if a particular disaster included 
widespread and extensive damage. Another special circumstance would be 
if the disaster affected a small geographic area. If a disaster request 
is for a small area, FEMA will review per capita personal income by 
local area data to ascertain a local government's fiscal capacity. FEMA 
previously evaluated data on median household income per county. FEMA 
expects that the shift from median household income per county to per 
capita personal income by local area will have minimal impact and no 
new costs because one is replacing the other.
    FEMA's intent in this final rule is to continue to take multiple 
factors into consideration, including the fiscal capacity factor 
whether it be State TTR, GDP by State, or per capita personal income. 
The addition of the fiscal capacity factor will provide State-specific 
information that will assist FEMA in determining whether the State is, 
in fact, overwhelmed and in need of supplemental Federal assistance.
    FEMA will continue to use multiple factors and relevant data to 
formulate its recommendations to the President on major disaster 
declarations that authorize IA.\36\ No single data point or factor will 
singularly affect FEMA's recommendation or the President's ultimate 
determination of whether to issue a major disaster declaration 
authorizing IA.
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    \36\ An in-depth discussion of the factors and relevant data 
considered is presented herein. See ``III. Discussion of Public 
Comments on Proposed Rule.'' With the exception of TTR, the proposed 
factors have been taken into consideration by FEMA in the past when 
making past recommendations for major disaster declarations 
including IA. The factors were covered, but not specified, 
previously under the ``other relevant information'' prong of 44 CFR 
206.48. FEMA continues to emphasize that no single factor would be 
used to determine if a recommendation is warranted.
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5. Impacts to Costs, Benefits, and Transfer Payments
    In the following section, FEMA will discuss the rule's quantified 
costs, qualitative benefits, and why there are no expected effects to 
transfer payments.
a. State Costs
    FEMA received multiple comments questioning whether the full costs 
to States had been captured in the NPRM. In general, commenters 
questioned whether the additional burden resulting from the new Fiscal 
Capacity Factor was accurate; pointed out that the cost of State 
personnel attending training was omitted; and voiced concern that the 
final rule would slow the declaration process because key decision 
makers might not be familiar with the final rule. FEMA considered each 
of the comments and adjusted its estimated costs accordingly by 
incorporating new training costs, familiarization costs, updated data 
retrieval costs, and new costs associated with States incorporating the 
new Fiscal Capacity data into existing files and processes. FEMA also 
more descriptively presented the baseline data on which its cost 
estimates are based.\37\ A more detailed summary of these comments, and 
FEMA's responses, follows.
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    \37\ Baseline data estimates were presented qualitatively in the 
NPRM, but have been included quantitatively in the Final Rule.
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    Additional Burden from Fiscal Capacity Factor. Four commenters 
questioned whether the estimate of the additional burden resulting from 
the new Fiscal Capacity Factor was accurate. Specifically, three States 
(Indiana, Florida, New York) and one emergency management association 
(NEMA) pointed out that incorporating new data points into the IA 
declaration request will increase staff time.
    FEMA concurs with these comments and adjusted its cost estimates 
associated with States downloading the new Fiscal Capacity factor data 
and incorporating the data into existing files and processes. FEMA did 
not include an additional burden for reviewing the data because review 
and analysis of this data occurs when the declaration request is being 
formulated by the State. The costs of reviewing any data included in 
the request is already embedded in the process. As shown by FEMA's 
baseline analysis, many of the factors and sub-factors listed in the 
rule have previously been submitted or requested subsequent to a State 
request for a major disaster declaration that includes IA, and 
codifying them will not increase costs. FEMA does not expect or require 
States to include every factor in every disaster declaration request. 
FEMA anticipates that States will continue to provide a comparable 
level of information in their request letters, based upon their 
respective circumstances and disaster effects. However, fiscal capacity 
in the form of TTR (States), GDP by State (Territories), or Per Capita 
Personal Income (PCPI) (small areas) typically has not been provided by 
States or considered by FEMA and it will impose a new cost. Data 
related to fiscal capacity is available from publicly accessible 
databases and websites. For this reason, States can access and download 
the data without incurring any costs for the data itself.
    However, FEMA recognizes that there will be an additional burden to 
States resulting from downloading the relevant Fiscal Capacity data 
annually and adjusting their templates and files in year 1. The 
estimated cost for all States is $8,935 in year 1 and $1,787 in each 
subsequent year. FEMA has included these costs in the final rule as a 
result of public comments received on the NPRM.
    FEMA estimates that in year 1 each State will spend approximately 
four hours on downloading the new fiscal capacity data and adjusting 
files and templates to incorporate the new Fiscal Capacity factor.\38\ 
To estimate the additional activity time, FEMA performed a ``dry run'' 
retrieval and storage of the fiscal capacity data for 13 randomly 
chosen States.\39\ FEMA estimates it will take 10 to 15 minutes to 
retrieve and store Treasury's TTR data (including all State data in a 
single retrieval). The average of this range, 12.5 minutes, is used in 
this analysis. FEMA estimated it would take the equivalent amount of 
time for the BEA's GDP by State data, and uses 12.5 minutes for that 
retrieval and storage. FEMA estimated it would take 15 to 30 minutes to 
retrieve BEA's per capita personal income data and used the average of 
22.5 minutes for that retrieval and storage. FEMA summed these three 
time burdens to calculate a total burden of 47.5 minutes (12.5 + 12.5 + 
22.5 = 47.5). The total burden of 47.5 minutes was divided by 60 
minutes, for an estimated increased burden of approximately 0.8 hours 
((12.5 + 12.5 + 22.5) / 60 = 0.7917).
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    \38\ FEMA will provide links to the relevant data on its 
website, www.FEMA.gov. In addition, to maintain records and support 
FEMA's work, the data likely will be stored by FEMA's IA Program. 
FEMA assumes that States will use the links to the data sources 
provided by FEMA.
    \39\ The times listed for data retrieval represent the time it 
took FEMA to pull the information directly from the Treasury and BEA 
sources. FEMA will provide links to the data sources on its website, 
www.FEMA.gov to facilitate access to the data sources for States.
---------------------------------------------------------------------------

    FEMA's ``dry run'' example analysis took approximately 3.2 hours 
and included formatting the tables into a useable format for analysis 
(1.6 hours) and creating tables and graphs (1.6 hours). FEMA estimates 
it will take a similar amount of time for States to update their 
current templates to incorporate the new fiscal capacity data. Based on 
this experience, FEMA estimates that downloading the data and adjusting 
files and templates will take each State approximately 4.0 hours in 
year 1 (0.8 hours + 1.6 hours + 1.6 hours = 4.0 hours). The total time 
for all 56

[[Page 10649]]

States \40\ is 224 hours (4.0 hours x 56 States = 224 hours).
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    \40\ There are 56 States, as defined by 44 CFR 44 CFR 
206.2(a)(22). Throughout this analysis, ``States'' includes the 50 
U.S. States, District of Columbia, and the 5 territories listed 
(Puerto Rico, the Virgin Islands, Guam, American Samoa, and the 
Commonwealth of the Northern Mariana Islands).
---------------------------------------------------------------------------

    FEMA anticipates a State Government First-Line Supervisor of Office 
and Administrative Support Workers (1st Line Supervisor), or 
equivalent, will download the data and adjust the templates and files. 
The fully-loaded wage rate for the 1st Line Supervisor is $39.89 \41\ 
per hour.\42\ To estimate the total costs for States, FEMA multiplied 
the fully-loaded hourly rate for a 1st Line Supervisor by the total 
hours for all States resulting in total costs to download the data and 
update templates and files in year 1 of $8,935 ($39.89 per hour x 224 
hours = $8,935.36). In subsequent years, only downloading and data 
entry into files and templates is expected. As stated previously, FEMA 
estimates this will take 0.8 hours. Using the same methodology, FEMA 
multiplied 0.8 hours by 56 States and then multiplied by the fully-
loaded hourly rate of $39.89 for a total of $1,787 per year beginning 
in year 2 (0.8 hour x 56 States x $39.89 per hour = $1,787.07).
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    \41\ Bureau of Labor Statistics, Employer Costs for Employee 
Compensation, Table 1. Employer Costs Per Hour Worked for Employee 
Compensation and Costs as a Percent of Total Compensation: Civilian 
Workers, by Major Occupational and Industry Group, June 2016.'' 
Calculated by dividing total compensation for all workers of $34.05 
by wages and salaries for all workers of $23.35 per hour (yields a 
benefits multiplier of approximately 1.46 x wages). https://www.bls.gov/web/ecec/ececqrtn.pdf. Accessed and downloaded, October 
12, 2016.
    \42\ Base hourly wage rate of $27.32 multiplied by a 1.46 
benefits factor. ($27.32 x 1.46 = $39.89). U.S. Department of Labor, 
Bureau of Labor Statistics, Occupational Employment Statistics, May 
2016, All Data (XLS), National Industry-Specific Occupational 
Employment and Wage Estimates, NAICS code 999200, State Government 
excluding schools and hospitals, and Standard Occupational 
Classification (SOC) code 43-1011 for First-Line Supervisors of 
Office and Administrative Support Workers. https://www.bls.gov/oes/tables.htm. Accessed and downloaded, October 12, 2016.
---------------------------------------------------------------------------

    Training Costs. FEMA received two comments that noted there would 
be time and expense involved for States in training employees. FEMA has 
added a cost for States to attend FEMA-provided training on the final 
rule.\43\ Training attendance is voluntary, but FEMA has estimated 
costs based on the assumption that all States will attend training.
---------------------------------------------------------------------------

    \43\ FEMA provided two outreach webinars for the NPRM and plans 
to have four training webinars for the final rule. The total 
training costs included herein represent the aggregate training 
costs for the NPRM and the final rule. States' costs are for 
attending the FEMA-provided training; FEMA costs are for developing 
and presenting the training.
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    Given that the intent of the rule is to provide clarity, FEMA will 
offer training for all States on the changes included in the rule. FEMA 
included the costs associated with States attending training on the 
rule in year 1. Outreach webinars were offered by FEMA following the 
publication of the NPRM. To estimate the cost of the training to States 
and capture the costs associated with the outreach webinars, FEMA used 
the participation data from the NPRM outreach webinars. They were 
presented via webinar, lasted one hour, and generally were attended by 
two \44\ individuals per State, no matter the size of the State or if 
the State was prone to experience disasters.
---------------------------------------------------------------------------

    \44\ FEMA anticipates that one of the positions would be a State 
Government Chief Executive, or equivalent, and the other would be a 
State Government 1st Line Supervisor, or equivalent.
---------------------------------------------------------------------------

    FEMA calculated the cost of the training to the States by adding 
the fully-loaded hourly wage rate for both State staff and multiplying 
by the number of States. The estimated total cost of States attending 
the training is $13,340.\45\
---------------------------------------------------------------------------

    \45\ The calculation uses a base of 56 States, which includes 
the 50 U.S. States, the District of Columbia, and 5 territories. The 
result is multiplied by 2, once for outreach webinars that have 
already been completed and once for the final rule training. {[2 
webinars x ($79.22 + $38.89) x 1 hour x 56 States = 
$6,670.16]{time} =$13,340.32
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    Familiarization Costs. Three comments were received that noted 
States, local emergency management divisions, or impacted jurisdictions 
would have to become familiar with the final rule. In response, FEMA 
added familiarization costs for States, but not for local emergency 
management divisions or jurisdictions. FEMA chose not to include new 
costs for locals because the final rule applies to States, which is the 
level from which a major disaster declaration request is made. Further, 
FEMA assumes States regularly update their emergency response networks 
and local emergency management divisions on changes in the field. FEMA 
believes that States will continue to disseminate the new information 
through each State's respective process.
    To estimate the time for States to understand changes made to the 
regulations, FEMA included time for State employees to familiarize 
themselves with the regulations. FEMA estimates States will spend 0.5 
hours to familiarize themselves and understand the new factor data 
requirements.\46\ FEMA assumes a State Government Chief Executive, a 
senior level government official, or equivalent, familiar with State 
emergency assistance programs, will read the existing and new 
regulations to understand the changes. The fully-loaded wage rate for a 
State Government Chief Executive is $79.22 \47\ per hour.\48\ The 
hourly rate of $79.22 is multiplied by 0.5 hour and 56 States to 
calculate a State cost in year 1 of $2,218 to familiarize themselves 
with the new rule ($79.22 x 0.5 x 56 = $2,218.16). FEMA also assumes 
that each State will review the supplemental guidance materials at 
least once in year 1 and once each subsequent year. The estimated cost 
for each subsequent year uses the same method as above, but reduces the 
time needed from 0.5 hours to 0.25 hours, for the Chief Executive to 
refresh his or her understanding. The resulting cost for each 
subsequent year is estimated at $1,109. ($79.22 x 0.25 x 56 = 
$1,109.08)
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    \46\ To estimate the time for States to familiarize themselves 
and understand the new factor data requirements, FEMA surveyed its 
own employees who formerly worked for State governments. Thirteen 
employees were identified who worked for various States, 
representing multiple regions, State sizes, and a range in years of 
service in State government and FEMA. These employees were asked to 
read the proposed and existing regulations and answer questions to 
test their understanding of the changes. The employees also were 
provided a copy of excerpts of this regulatory preamble if they 
needed further information to answer the test. Approximately 40 
percent of the employees referred back to the preamble to answer the 
questions. It took an average of 17 minutes to read the existing and 
proposed regulatory text and 11 minutes to answer the questions, 
including referring back to the preamble. FEMA rounded 28 minutes 
(11 minutes +17 minutes) to 30 minutes and used 0.5 hours to 
calculate the costs.
    \47\ Bureau of Labor Statistics, Employer Costs for Employee 
Compensation, Table 1. Employer Costs Per Hour Worked for Employee 
Compensation and Costs as a Percent of Total Compensation: Civilian 
Workers, by Major Occupational and Industry Group, June 2016.'' 
Calculated by dividing total compensation for all workers of $34.05 
by wages and salaries for all workers of $23.35 per hour (yields a 
benefits multiplier of approximately 1.46 x wages). https://www.bls.gov/web/ecec/ececqrtn.pdf. Accessed and downloaded, October 
12, 2016.
    \48\ Base hourly wage rate of $54.26 multiplied by a 1.46 
benefits factor. ($54.26 x 1.46 = $79.22)
    U.S. Department of Labor, Bureau of Labor Statistics, 
Occupational Employment Statistics, May 2016, All Data (XLS), 
National Industry-Specific Occupational Employment and Wage 
Estimates, NAICS code 999200, State Government excluding schools and 
hospitals, and Standard Occupational Classification (SOC) code 11-
1011 for Chief Executives. https://www.bls.gov/oes/tables.htm. 
Accessed and downloaded, October 12, 2016.
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    Potential Delay in Submitting the Declaration Request. Seven 
commenters were concerned that this final rule requires so much 
additional information and will result in increased workload while a 
disaster is unfolding that future major disaster requests would be 
delayed. FEMA contends that this final rule will not delay the major 
disaster request process, based on its review of the 85 major disaster 
declaration

[[Page 10650]]

requests for IA that States submitted between January 1, 2012 and 
December 31, 2016. All were examined, whether the declaration was 
granted or denied.
    FEMA found that the four new Fiscal Capacity sub-factors had not 
been provided previously by States. FEMA found that out of the 
remaining 23 sub-factors, 19 were provided in at least 80 percent of 
the requests and only 4 were provided in less than 20 percent of the 
request letters. All four are sub-factors of the Disaster Impacted 
Population Profile factor. Specifically, the four sub-factors are the 
percentage of population already receiving government assistance such 
as Supplemental Security Income and Supplemental Nutrition Program 
benefits appeared in only 5 percent of the requests (4 occurrences in 
85 total requests); the percentage of the population who speak a 
language other than English and speak English less than ``very well' in 
only 7 percent of the requests (6 occurrences in 85 total requests); 
the percentage of population 18 years old and younger in only 18 
percent (15 occurrences in 85 total requests); and any unique 
considerations regarding American Indian and Alaskan Native Tribal 
populations that may not be reflected in the U.S. Census Bureau data in 
only 18 percent of the requests (15 occurrences in 85 requests). FEMA 
found that these specific sub-factors were included by States when they 
believed the disaster adversely affected and heighted the vulnerability 
of these particular segments of the population. This is consistent with 
to FEMA's long-standing consideration of how any given disaster affects 
the population that is 65 years and greater, as well as the percentage 
of the population with a disability. The detailed findings are 
presented in Table 5, and in the marginal analysis table posted in the 
docket at www.regulations.gov.
    The 23 sub-factors being codified were previously captured under 
the ``other relevant information'' prong of 44 CFR 206.48. FEMA does 
not expect or require States to include every factor in every disaster 
declaration request. FEMA expects that States will continue to provide 
a comparable level of information in their request letters based on 
their respective circumstances and disaster effects; thus, FEMA does 
not include a cost for codifying this information and does not expect 
any delays to the major disaster declaration request process.
    FEMA notes that if a State is unable to provide information for a 
particular factor, or factors, FEMA will evaluate and provide a 
recommendation on the State's need for Federal assistance based on the 
information submitted and data available from other sources, as 
appropriate. The only required elements of a State's major disaster 
declaration request appear at 44 CFR 206.36. FEMA's intent, through 
this rule, is to clearly identify the considered data points that 
previously have been captured under the ``other relevant information'' 
prong of 44 CFR 206.48. In some instances, certain pieces of 
information identified in the rule may not be applicable, may be 
unavailable, or the circumstances of the disaster may not allow a State 
to collect some information identified within the rule. In these 
instances, pursuant to 44 CFR 206.36, States must provide some 
information that supports their request for a major disaster 
declaration authorizing IA, but will not have to address every data 
point in 44 CFR 206.48 to be granted the request. For example, for 
certain catastrophic events, preliminary damage assessments are not 
necessary to determine the requirement for Federal assistance. In these 
instances, States may submit an abbreviated request pursuant to 44 CFR 
206.36(d). These requests need only contain limited information as 
specified by that provision.
    Large scale disasters may not need as much detail or data to 
support a major disaster declaration request. However, under other 
circumstances, such as when the disaster affects a smaller geographic 
area, it may be more difficult to determine if a need for Federal 
disaster assistance exists without the State providing sufficient 
information. This rule identifies the factors that FEMA will consider 
in its review of a major disaster declaration request that includes IA, 
and allows States to supplement their submissions with additional 
information. It is important to note that ultimately, the amount and 
type of data provided by the State is voluntary. In addition, FEMA 
confirmed that the Fiscal Capacity factor and its sub-factors are 
updated at least annually and are publicly available on Treasury's and 
BEA's websites at no cost to States.49 50 Given that these 
data are updated at least annually, States are encouraged to download 
the data when they are updated.
---------------------------------------------------------------------------

    \49\ Treasury's website provides current and past TTR 
information for all States. Data has been provided annually in mid- 
to late September since 1999. The only exception was in 2010, when 
the data was provided on September 30, 2010, and again on December 
13, 2010, which was a research series. See Treasury, Resource 
Center, Total Taxable Resources, https://home.treasury.gov/policy-issues/economic-policy/total-taxable-resources.
    \50\ BEA's website provides current and past GDP by State and 
Local Area Personal Income. Annual GDP by State data are updated 
quarterly with the final published in May, following the calendar 
year the data represents. For example, the final GDP by State in 
2015 was published in May 2016. This data has been published 
annually since May 1988. For Local Area Personal income, BEA updates 
the data quarterly a final for each year provided in November, 
following the calendar year the data represents. For example, the 
final data Local Are Personal Income in 2015 was published in 
November 2016. BEA first published personal income for States, 
counties, and metropolitan areas in 1975. See BEA, Local Area 
Personal Income Methodology at I-2 (Nov. 2016), available at https://www.bea.gov/sites/default/files/methodologies/0417_GDP_by_State_Methodology.pdf.
---------------------------------------------------------------------------

    FEMA estimates total State costs in the first year to be $24,494 
and costs in subsequent years to be $2,896. The following table 
presents the ten-year costs for States (undiscounted, discounted at 7 
percent and discounted at 3 percent).

                                       Table 3--Total Costs to the States
----------------------------------------------------------------------------------------------------------------
                                                    Downloading       Cost to
                      Year                         and updating     familiarize      Training          Total
                                                       files         with rule
----------------------------------------------------------------------------------------------------------------
1...............................................          $8,935          $2,218         $13,340         $24,494
2...............................................           1,787           1,109               0           2,896
3...............................................           1,787           1,109               0           2,896
4...............................................           1,787           1,109               0           2,896
5...............................................           1,787           1,109               0           2,896
6...............................................           1,787           1,109               0           2,896
7...............................................           1,787           1,109               0           2,896
8...............................................           1,787           1,109               0           2,896
9...............................................           1,787           1,109               0           2,896

[[Page 10651]]

 
10..............................................           1,787           1,109               0           2,896
                                                 ---------------------------------------------------------------
    Total.......................................          25,019          12,199          13,340          50,558
    Discounted at 7%............................          19,232           8,826          12,468          40,525
    Annualized at 7%............................           2,738           1,257           1,775           5,770
    Discounted at 3%............................          22,184          10,537          12,952          45,673
    Annualized at 3%............................           2,601           1,235           1,518           5,354
----------------------------------------------------------------------------------------------------------------

b. Federal Costs
    FEMA anticipates the Federal government will incur small additional 
costs resulting from the final rule. As noted above, FEMA already 
considers most of these factors under the ``other relevant 
information'' prong of the regulation when reviewing major disaster 
declaration requests. FEMA already had begun changing the way it 
collects information internally for major disaster declaration 
recommendations, which did not require regulatory action. Therefore, 
these increased costs already had been internalized without this 
regulation. For this reason, the only expected increased costs are due 
to the new Fiscal Capacity factor. FEMA believes this additional 
activity will be accomplished with existing personnel; thus, the costs 
are considered the opportunity cost of the activities that would have 
otherwise been performed. No increase in Federal expenditures is 
expected to result from this final rule.
    In the past, FEMA would review pre-disaster data about a disaster 
location. This pre-disaster data provided FEMA with information that 
helped to illustrate the population and geographic area that was 
affected by a disaster. The pre-disaster data came from Federal 
sources, such as the United States Census Bureau and Bureau of Economic 
Analysis (BEA). Independent of the regulation, FEMA began to streamline 
how pre-disaster data is collected and disseminated, as well as collect 
and transmit information for the PDA process more quickly.
    One of the areas where FEMA will incur costs is for the retrieval 
of fiscal capacity data from the United States Department of the 
Treasury (Treasury) and BEA. FEMA used the same information on 
estimated additional activity time that was presented previously: Time 
to retrieve, store, and update the data from Treasury (12.5 minutes); 
BEA's GDP by State (12.5 minutes); and BEA's per capita personal income 
by local area (22.5 minutes). FEMA summed these three time burdens to 
calculate a total burden of 47.5 minutes (12.5 + 12.5 + 22.5 = 47.5). 
The total burden of 47.5 minutes was divided by 60 minutes, for an 
estimated increased burden of 0.8 hours ([12.5 + 12.5 + 22.5] / 60 = 
0.7917).
    FEMA expects the data retrieval will take place once annually. The 
retrieval will be completed by a Federal employee in the DC area at the 
General Schedule 12, step 1 level, earning an hourly wage rate of 
$36.60.\51\ These positions have a fully-loaded wage rate of 
$53.44.\52\ FEMA multiplied the time per year, 0.8 hours, by the fully-
loaded wage rate of $53.44, to get an annual Federal cost increase of 
$43 (0.8 x $53.44 = $42.75).
---------------------------------------------------------------------------

    \51\ The General Schedule (GS) 12 (Step 1) hourly wage of $37.13 
is taken from the Office of Personnel Management; 2015 General 
Schedule (GS) salaries & wages tables; locality pay tables 
(Washington-Baltimore- Northern Virginia, DC-MD-VA-WV-PA). Retrieved 
April 4, 2016, from https://www.opm.gov/policy-data-oversight/pay-leave/salaries-wages/salary-tables/pdf/2015/salhrl.pdf.
    \52\ Base hourly wage rate of $36.60 multiplied by a 1.46 
benefits factor. ($36.60 x 1.46 = $53.44)
     Bureau of Labor Statistics, Employer Costs for Employee 
Compensation, Table 1. Employer Costs Per Hour Worked for Employee 
Compensation and Costs as a Percent of Total Compensation: Civilian 
Workers, by Major Occupational and Industry Group, June 2016.'' 
Calculated by dividing total compensation for all workers of $34.05 
by wages and salaries for all workers of $23.35 per hour (yields a 
benefits multiplier of approximately 1.46 x wages). https://www.bls.gov/oes/tables.htm. Accessed and downloaded, October 12, 
2016.
---------------------------------------------------------------------------

    FEMA also included costs in year 1 associated with providing 
training on the rule. FEMA received a public comment requesting FEMA to 
provide adequate training on the rule once finalized. As a result of 
this comment, and because the intent of the rule is to provide clarity, 
FEMA provided outreach seminar to States after the NPRM and will offer 
training for all States on the changes included in the final rule. 
Thus, FEMA has added the cost for these events to the analysis of this 
final rule. To estimate the costs of the rule and capture the cost of 
developing both the NPRM outreach and the final rule training to 
States, FEMA used the time data from developing and presenting the NPRM 
training.
    The NPRM outreach materials will be modified to reflect the content 
of the final rule. FEMA anticipates this activity will be accomplished 
by a Federal employee in the DC area at the General Schedule 15, step 5 
level, earning an hourly wage rate of $68.56.\53\ These positions have 
a fully-loaded wage rate of $100.10.\54\ FEMA estimates it will spend a 
total of 5 hours preparing training materials, including the time spent 
developing the original training materials and updating the existing 
materials,\55\ which results in a one-time cost of $500 ($100.10 x 5 
hours = $500.50).\56\ In addition, the training materials are reviewed 
by two Federal employees in the DC area at the General Schedule 13, 
step 5, earning an hourly wage rate of $49.32. FEMA multiplied this 
wage rate by 1.46 to account for benefits, resulting in a fully-loaded 
wage rate of $72.01. FEMA estimates spending approximately 0.5 hours 
for each employee to review each set of training materials.\57\ The 
resulting

[[Page 10652]]

review time is estimated at $144 ($72.01 x 2 staff x 0.5 hours x 2 
reviews = $144.02).
---------------------------------------------------------------------------

    \53\ The General Schedule (GS) 15 (Step 5) hourly wage of $37.13 
is taken from the Office of Personnel Management; 2015 General 
Schedule (GS) salaries & wages tables; locality pay tables 
(Washington-Baltimore- Northern Virginia, DC-MD-VA-WV-PA). Retrieved 
April 4, 2016 from https://www.opm.gov/policy-data-oversight/pay-leave/salaries-wages/salary-tables/pdf/2015/salhrl.pdf.
    \54\ Base hourly wage rate of $68.56 multiplied by a 1.46 
benefits factor. ($68.56 x 1.46 = $100.10)
     Bureau of Labor Statistics, Employer Costs for Employee 
Compensation, Table 1. Employer Costs Per Hour Worked for Employee 
Compensation and Costs as a Percent of Total Compensation: Civilian 
Workers, by Major Occupational and Industry Group, June 2016.'' 
Calculated by dividing total compensation for all workers of $34.05 
by wages and salaries for all workers of $23.35 per hour (yields a 
benefits multiplier of approximately 1.46 x wages). https://www.bls.gov/oes/tables.htm. Accessed and downloaded, October 12, 
2016.
    \55\ FEMA took 3 hours to develop the NPRM outreach webinar and 
expects to take 2 hours to update that same material for training on 
the final rule.
    \56\ Although commonly held rounding methods hold that $500.50 
is rounded up to $501, FEMA did not round up at this step. The 
calculation method used in this analysis rounds up to the nearest 
dollar at the final calculation.
    \57\ The FEMA employees who review the materials will do so two 
times--once for the NPRM outreach materials and once for the final 
rule materials.
---------------------------------------------------------------------------

    FEMA presented one-hour outreach sessions two times for the NPRM 
via webinar and anticipates the same format for the final rule 
training, but will increase the number of times the training will be 
offered to four for the final rule. The set-up and technical monitoring 
of the webinars is expected to be accomplished by two General Schedule 
12, step 1 level, with a fully-loaded wage rate of $53.44. Based on its 
previous experience, FEMA estimates it will take 0.5 hours to set up 
and take down the webinar plus an additional 1 hour to monitor. FEMA 
estimates the one-time cost to set up and monitor the webinars is $962 
($53.44 x 1.5 hours x 2 staff x 6 webinars \58\ = $961.92).
---------------------------------------------------------------------------

    \58\ The total number of webinars reflects two conducted to 
support the NPRM and four for the final rule.
---------------------------------------------------------------------------

    The training is presented by four FEMA staff located in the DC 
area, one GS 15, step 5 level and three GS 13, step 5 level with fully-
loaded hours wage rates of $100.10 and $72.01, respectively. To present 
six, one-hour webinars, the estimated total costs for presenters is 
$1,897 [($100.10 x 1 GS-15 staff x 6 hours) + ($72.01 x 3 GS-13 staff x 
6 hours) = $1,896.78].
    FEMA estimates the Federal Government's total costs in the first 
year to be $3,546, which includes $43 to retrieve fiscal capacity data; 
$500 to develop and update the training; $144 to review the updates; 
$962 to set-up and monitor the webinars; and $1,897 to present the 
training ($42.75 + $500.50 + $144.02 + $961.92 + $1,896.78 = 
$3,545.97). Costs in subsequent years are estimated to be $43 for 
retrieving the fiscal capacity data. The following table presents the 
total ten-year costs for both FEMA and States (undiscounted, discounted 
at 7 percent and discounted at 3 percent).

                                                            Table 4--Total Costs of the Rule
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                              States                                   FEMA
                                                         --------------------------------------------------------------------------------
                          Year                              Downloading                                                                        Total
                                                             data and       Familiarize      Training       Downloading      Training
                                                          updating files     with rule                         data
--------------------------------------------------------------------------------------------------------------------------------------------------------
1.......................................................          $8,935          $2,218         $13,340             $43          $3,503         $28,040
2.......................................................           1,787           1,109               0              43               0           2,939
3.......................................................           1,787           1,109               0              43               0           2,939
4.......................................................           1,787           1,109               0              43               0           2,939
5.......................................................           1,787           1,109               0              43               0           2,939
6.......................................................           1,787           1,109               0              43               0           2,939
7.......................................................           1,787           1,109               0              43               0           2,939
8.......................................................           1,787           1,109               0              43               0           2,939
9.......................................................           1,787           1,109               0              43               0           2,939
10......................................................           1,787           1,109               0              43               0           2,939
                                                         -----------------------------------------------------------------------------------------------
    Total...............................................          25,019          12,199          13,340             430           3,503          54,494
    Discounted at 7%....................................          19,232           8,826          12,468             302           3,274          44,102
    Annualized at 7%....................................           2,738           1,257           1,775              43             466           6,279
    Discounted at 3%....................................          22,184          10,537          12,952             367           3,401          49,441
    Annualized at 3%....................................           2,601           1,235           1,518              43             399           5,796
--------------------------------------------------------------------------------------------------------------------------------------------------------

c. Benefits
    Benefits of the final rule include clarifying FEMA's existing 
practices and reducing processing time for requests, while maintaining 
the States' ability to assess and determine what information best 
supports a major declaration request. This rule does not preclude that 
flexibility for States. Rather, the rule provides clarity by 
specifically identifying factors considered in the IA declarations 
process, including many factors that FEMA previously considered under 
the ``other relevant information'' prong of the regulation but are not 
currently specified in 44 CFR 206.48(b).
    As noted above, most of the information included in the factors was 
previously captured under the ``other relevant information'' prong of 
the 44 CFR 206.48. FEMA used this information, when appropriate, in 
evaluating requests for a major disaster declaration that authorized 
IA. In some instances, FEMA has had to reach back to the State to 
obtain additional information \59\ on major disaster declaration 
requests which would better support FEMA's recommendation on a major 
disaster declaration authorizing IA. By clearly identifying information 
considered in the rule, FEMA anticipates that delays in the declaration 
process will be reduced. The changes in the final rule will improve 
clarity regarding relevant information that can be used to substantiate 
a declaration request. States are encouraged to include the additional 
information in the original request because it may reduce follow-up 
correspondence and speed up the determination of a major disaster 
declaration request. Currently, FEMA does not track the number of times 
FEMA has had to reach back to the State for additional information and 
the reduction cannot be quantified at present. However, FEMA subject 
matter experts believe that greater clarity will promote understanding, 
resulting in less back-and-forth.\60\
---------------------------------------------------------------------------

    \59\ Historically, FEMA has attempted to increase clarity by 
providing States with major disaster declaration request template 
letters, which provided a suggested organizational structure for 
States to follow when making their request for a major disaster 
declaration.
    \60\ In making past determinations, FEMA has not tracked the 
length of time or the number of written or oral correspondence with 
the State to retrieve additional data. Therefore FEMA cannot 
quantify the potential savings from the clarifications provided in 
the regulation.
---------------------------------------------------------------------------

    FEMA believes inclusion of the new Fiscal Capacity factor will 
further inform and strengthen FEMA's recommendations to the President 
with regard to major disaster declarations that authorize IA. TTR is 
sufficiently reliable to serve as the principal indicator for each 
State from which the discussion about fiscal capacity can begin. TTR 
provides a general picture of how a State's economy is changing over 
time. FEMA recognizes there is a two-year lag in TTR data and 
encourages

[[Page 10653]]

each State to provide additional information about its fiscal capacity, 
especially if there have been noteworthy changes during the two-year 
period. In addition, the new information considered provides more 
context about a State's capacity to respond than information FEMA 
previously considered. For example, although FEMA previously considered 
median household income for States, this measure does not necessarily 
reflect the State's capacity to respond, because it is based on the 
individuals' earnings. Certainly, individual household incomes within a 
State can affect the State's capacity to respond, but TTR provides a 
more direct measurement. The new information also may be more objective 
compared to other ways of assessing a State's capacity to respond for 
the same reasons.
d. Transfer Payments
    FEMA intends the rule to specify and codify factors it will use 
when making recommendations to the President. FEMA already considers 
the majority of these factors described in the rule and has done so 
during previous deliberations on whether to recommend a major disaster 
declaration authorizing IA to the President. The only information FEMA 
has not specifically considered in the past are the new measures of 
fiscal capacity.
    Based on FEMA's retrospective analysis on the effect of using ICC 
ratios in past declaration decisions, FEMA concludes that even though 
State TTR is a new factor, it will not have an impact on the overall 
number of major disaster declarations granted each year that authorize 
IA because FEMA previously used similar economic data and takes 
multiple factors into account when making its recommendation. FEMA 
finds including the fiscal capacity factor (State TTR for States; GDP 
by State for Territories, and per capita personal income for areas 
smaller than States and Territories) to be additional objective 
information because it captures income flows that a State can 
potentially tax.
    The ultimate determination regarding whether or not to grant a 
State's request for a major disaster declaration resides with the 
President of the United States. FEMA neither anticipates nor intends 
for this rule to affect the number of major disaster declarations 
authorizing IA that are granted each year. Rather, FEMA believes this 
rule clarifies FEMA's regulations consistent with the statutory mandate 
in a cost-effective manner. The majority of the factors included in the 
rule have previously been considered by FEMA when it made its 
recommendation to the President on past declaration requests for IA. 
Based on these reasons, FEMA anticipates this rule will not have an 
effect on transfer payments, which are payments from the Federal 
government to States and individuals.
6. Total Impact of the Final Rule
    FEMA estimates the impact of all the factors together will result 
in a small burden increase for States and FEMA. The additional burden 
results from States having to provide the Fiscal Capacity factor in 
their requests, to attend training, and to become familiar with the 
regulatory change. For FEMA, the additional costs result from 
retrieving data for its consideration of major disaster declaration 
requests and providing training on the rule to States. The net 
quantified impact is a ten-year total cost of $44,102 discounted at 7 
percent and $49,441 discounted at 3 percent. These are considered 
opportunity costs and are not expected to increase staffing needs or 
have an effect on Federal or State expenditures. FEMA anticipates no 
impact to average annual transfer payments due to codifying the 
existing factors or including the new factor. Based on the above 
analysis, FEMA estimates the rule will impose a total additional annual 
burden to States and FEMA of $28,040 in year 1 and $2,939 in each 
subsequent year.
7. Marginal Analysis of the Factors
    The following table provides a breakdown of each IA declaration 
factor included in the final rule, its baseline, and the marginal 
effect of the rule. Activity costs per year \61\ and associated 
benefits also are included. The rule would not change the total amount 
of Federal assistance available to individuals and households.
---------------------------------------------------------------------------

    \61\ FEMA based the proportional distribution of the fiscal 
capacity factor costs in Table 6 on the estimated time it takes to 
retrieve, store, and update the data, as shown in section ``5.a. 
State Costs.'' FEMA estimated a total burden of 47.5 minutes (0.8 
hours). Specifically, costs are apportioned to TTR data from 
Treasury (12.5 minutes or 26 percent of the total); BEA's GDP by 
State (12.5 minutes or 26 percent of the total); and BEA's per 
capita personal income by local area (22.5 minutes or 48 percent of 
the total). For example, FEMA estimates the total cost to FEMA for 
providing the IA declaration factor training is $3,503. In Table 5 
FEMA apportions 26 percent of the total ($911) to TTR, 26 percent of 
the total ($911) to GDP by State, and 48 percent of the total 
($1,682) to per capita personal income by local area.

                                             Table 5--IA Declarations Factor Baseline and Marginal Analysis
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                    Baseline: factors previously included in States'    Marginal analysis activity cost per year
                                                      Dec. requests                  ----------------------------------------------
              Factor               --------------------------------------------------                                                     Benefits
                                             Number of times              Percent              FEMA                  States
--------------------------------------------------------------------------------------------------------------------------------------------------------
Fiscal Capacity:
    Total Taxable Resources (TTR)   New.............................             n/a  Training: $911--In     Training: $3,464--In   Informs States that
     of the State, 44 CFR Sec.                                                         year 1, FEMA will      year 1, States will    FEMA may assess
     206.48(b)(1)(i)(A).                                                               spend approximately    spend a total of       State's taxable
                                                                                       12.7 hours to          approximately 58       resources based on
                                                                                       develop, review, and   hours participating    TTR and will use
                                                                                       conduct training on    in the IA              TTR as the basis
                                                                                       the new factor and 0   declaration factor     for calculating the
                                                                                       hours and $0 in        training, and 0        ICC ratio to depict
                                                                                       subsequent years.      hours and $0 in        State economic
                                                                                                              subsequent years.      growth or decline
                                                                                                                                     and relative fiscal
                                                                                                                                     capacity with
                                                                                                                                     comparably-sized
                                                                                                                                     States or the
                                                                                                                                     Nation.
                                                                                      Download Data: $11--   Download Data and
                                                                                       In year 1, FEMA will   Update Files:
                                                                                       spend 10-15 minutes    $2,323--In year 1,
                                                                                       retrieving and         States will spend a
                                                                                       storing Treasury       total of
                                                                                       data (including all    approximately 58
                                                                                       State data in one      hours retrieving and
                                                                                       retrieval).            storing Treasury
                                                                                                              data and updating
                                                                                                              templates to
                                                                                                              accommodate the new
                                                                                                              data.

[[Page 10654]]

 
                                                                                      $11--In subsequent     $464--In subsequent
                                                                                       years, FEMA will       years, States will
                                                                                       spend 10-15 minutes    spend a total of
                                                                                       retrieving and         approximately 12
                                                                                       storing Treasury       hours retrieving and
                                                                                       data (including all    storing Treasury
                                                                                       State data in one      data for their
                                                                                       retrieval).            respective state.
                                                                                      No new costs are       No new costs are
                                                                                       included for           included for
                                                                                       reviewing the data.    reviewing the data.
                                                                                       FEMA review of this    FEMA assumes that
                                                                                       data is offset by no   State review of this
                                                                                       longer having to       data is offset by no
                                                                                       review median          longer having to
                                                                                       household income.      review median
                                                                                                              household income.
                                                                                                             Familiarization:
                                                                                                              $577--In year 1,
                                                                                                              States will spend a
                                                                                                              total of
                                                                                                              approximately 7.3
                                                                                                              hours reading the
                                                                                                              new rule as it
                                                                                                              relates to Treasury
                                                                                                              data.
                                                                                                             $288--In subsequent
                                                                                                              years, States will
                                                                                                              spend a total of
                                                                                                              approximately 3.6
                                                                                                              hours re-reading the
                                                                                                              rule.
    Gross Domestic Product (GDP)    New.............................             n/a  Training: $911--In     Training: $3,468--In   Informs States that
     by State 44 CFR Sec.                                                              year 1, FEMA will      year 1, States will    FEMA may assess
     206.48(b)(1)(i)(B).                                                               spend approximately    spend a total of       State fiscal
                                                                                       12.7 hours to          approximately 58       capacity with this
                                                                                       develop, review, and   hours participating    data point when TTR
                                                                                       conduct training on    in the fiscal          data is not
                                                                                       the new factor and 0   capacity factor        available or if the
                                                                                       hours and $0 in        training, and 0        TTR data don't
                                                                                       subsequent years.      hours and $0 in        reflect current
                                                                                                              subsequent years.      fiscal capacity due
                                                                                                                                     to the two-year lag
                                                                                                                                     in the data.
                                                                                      Download Data: $11--   Download Data and
                                                                                       FEMA will spend 10-    Update Files:
                                                                                       15 minutes a year      $2,323--In year 1,
                                                                                       for retrieving and     States will spend a
                                                                                       storing BEA GDP data   total of
                                                                                       (including all State   approximately 58
                                                                                       and Territory data     hours retrieving and
                                                                                       in one retrieval).     storing BEA GDP data
                                                                                                              and updating
                                                                                                              templates to
                                                                                                              accommodate the new
                                                                                                              data.
                                                                                      $11--In subsequent     $464--In subsequent
                                                                                       years, FEMA will       years, States will
                                                                                       spend 10-15 minutes    spend a total of
                                                                                       retrieving and         approximately 12
                                                                                       storing BEA GDP data   hours a year for
                                                                                       (including all State   retrieving and
                                                                                       and Territory data     storing BEA GDP data
                                                                                       in one retrieval).     for their respective
                                                                                                              state.
                                                                                      No new costs are       No new costs are
                                                                                       included for           included for
                                                                                       reviewing the data.    reviewing the data.
                                                                                       FEMA review of this    FEMA assumes that
                                                                                       data is offset by no   State review of this
                                                                                       longer having to       data is offset by no
                                                                                       review median          longer having to
                                                                                       household income.      review median
                                                                                                              household income.
                                                                                                             Familiarization:
                                                                                                              $577--In year 1,
                                                                                                              States will spend a
                                                                                                              total of
                                                                                                              approximately 7.3
                                                                                                              hours reading the
                                                                                                              new rule as it
                                                                                                              relates to BEA GDP
                                                                                                              data.
                                                                                                             $288--In subsequent
                                                                                                              years, States will
                                                                                                              spend a total of
                                                                                                              approximately 3.6
                                                                                                              hours re-reading the
                                                                                                              rule.
    Per Capita Personal Income by   New.............................             n/a  Training: $1,682--In   Training: $6,403--In   Provides FEMA the
     Local Area, 44 CFR Sec.                                                           year 1, FEMA will      year 1, States will    flexibility to use
     206.48(b)(1)(i)(C).                                                               spend approximately    spend a total of       information on the
                                                                                       24 hours to develop,   approximately 108      local fiscal
                                                                                       review, and conduct    hours participating    capacity
                                                                                       training on the new    in the fiscal          characteristics to
                                                                                       factor and 0 hours     capacity factor        judge IA needs in
                                                                                       and $0 in subsequent   training and 0 hours   disaster affected
                                                                                       years.                 and $0 in subsequent   areas.
                                                                                                              years.

[[Page 10655]]

 
                                                                                      Download Data: $21--   Download Data and
                                                                                       In year 1, and         Update Files:
                                                                                       subsequent years,      $4,289--In year 1,
                                                                                       FEMA will spend        States will spend a
                                                                                       approximately 15-30    total of
                                                                                       minutes to             approximately 108
                                                                                       retrieving and         hours retrieving and
                                                                                       storing BEA Per        storing BEA Per
                                                                                       Capita Personal        Capita Personal
                                                                                       Income data            Income data and
                                                                                       (including data on     updating templates
                                                                                       all local areas in     to accommodate the
                                                                                       one retrieval).        new data.
                                                                                      No new costs are       $858--In subsequent
                                                                                       included for           years, States will
                                                                                       reviewing the data.    spend a total of
                                                                                       FEMA review of this    approximately 21.5
                                                                                       data is offset by no   hours a year for
                                                                                       longer having to       retrieving and
                                                                                       review median          storing BEA Per
                                                                                       household income.      Capita Personal
                                                                                                              Income data for
                                                                                                              their respective
                                                                                                              state.
                                                                                                             No new costs are
                                                                                                              included for
                                                                                                              reviewing the data.
                                                                                                              FEMA assumes that
                                                                                                              the review of this
                                                                                                              data is offset by no
                                                                                                              longer having to
                                                                                                              review median
                                                                                                              household income.
                                                                                                             Familiarization:
                                                                                                              $1,065--In year 1,
                                                                                                              States will spend a
                                                                                                              total of
                                                                                                              approximately 13.4
                                                                                                              hours reading the
                                                                                                              new rule as it
                                                                                                              relates to BEA PCPI
                                                                                                              data.
                                                                                                             $532--In subsequent
                                                                                                              years, States will
                                                                                                              spend a total of
                                                                                                              approximately 6.7
                                                                                                              hours re-reading the
                                                                                                              rule.
    Other Factors, 44 CFR Sec.      New.............................             n/a  FEMA's time will vary  State time will vary   Provides flexibility
     206.48(b)(1)(i)(D).                                                               and data will be       and data will be       to use any other
                                                                                       used on a case-by-     used on a case-by-     data or information
                                                                                       case basis as          case basis as          on a State or local
                                                                                       needed. Costs not      needed. Costs not      area's fiscal
                                                                                       estimated.             estimated.             capacity to judge
                                                                                                                                     disaster needs in
                                                                                                                                     affected areas.
Resource Availability:
    State Tribal and Local          76 of 85 total..................              89  $0--No change in time  $0--No change in time  Clarification of
     Governmental Organizations                                                        burden due to          burden due to          current practice in
     (NGO) and Private Sector                                                          current compliance.    current compliance.    regulation.
     Activity, 44 CFR Sec.
     206.48(b)(1)(ii)(A).
    Cumulative Effect of Recent     77 of 85 total..................              91  $0--No change in time  $0--No change in time  Clarification of
     Disasters, 44 CFR Sec.                                                            burden due to          burden due to          current practice in
     206.48(b)(1)(ii)(B).                                                              current compliance.    current compliance.    regulation.
Uninsured Home and Personal
 Property Losses:
    The cause of damage, 44 CFR     85 of 85 total..................             100  $0--No change in time  $0--No change in time  Clarification of
     Sec.   206.48(b)(2)(i).                                                           burden due to          burden due to          current practice in
                                                                                       current compliance.    current compliance.    regulation.
    The jurisdictions impacted and  84 of 85 total..................              99  $0--No change in time  $0--No change in time  Clarification of
     concentration of damage, 44                                                       burden due to          burden due to          current practice in
     CFR Sec.   206.48(b)(2)(ii).                                                      current compliance.    current compliance.    regulation.
    The number of homes impacted    76 of 85 total..................              89  $0--No change in time  $0--No change in time  Clarification of
     and degree of damage, 44 CFR                                                      burden due to          burden due to          current practice in
     Sec.   206.48(b)(2)(iii).                                                         current compliance.    current compliance.    regulation.
    The estimated cost of           73 of 85 total..................              86  $0--No change in time  $0--No change in time  Clarification of
     assistance, 44 CFR Sec.                                                           burden due to          burden due to          current practice in
     206.48(b)(2)(iv).                                                                 current compliance.    current compliance.    regulation.
    The homeowner-ship rate of      54 of 85 total..................              64  $0--No change in time  $0--No change in time  Clarification of
     impacted homes, 44 CFR Sec.                                                       burden due to          burden due to          current practice in
     206.48(b)(2)(v).                                                                  current compliance.    current compliance.    regulation.
    The percentage of affected      68 of 85 total..................              80  $0--No change in time  $0--No change in time  Clarification of
     households with insurance                                                         burden due to          burden due to          current practice in
     coverage appropriate to the                                                       current compliance.    current compliance.    regulation.
     peril, 44 CFR Sec.
     206.48(b)(2)(vi).
                                   --------------------------------------------------========================

[[Page 10656]]

                                                                                     -----------------------                       ---------------------
    The percentage of the           71 of 85 total..................              84  $0--No change in time  $0--No change in time  Clarification of
     population for whom poverty                                                       burden due to          burden due to          current practice in
     status is determined, 44 CFR                                                      current compliance,    current compliance,    regulation.
     Sec.   206.48(b)(3)(i).                                                           data collected in      data collected in
                                                                                       PDA process.           PDA process.
    The percentage of the           **4 of 85 total.................               5  $0--No change in time  $0--No change in time  Clarification of
     population already receiving                                                      burden due to          burden due to          current practice in
     government assistance such as                                                     current compliance,    current compliance,    regulation.
     Supplemental Security Income                                                      data collected in      data collected in
     and Supplemental Nutrition                                                        PDA process.           PDA process.
     Assistance Program benefits,
     44 CFR Sec.
     206.48(b)(3)(ii).
    The pre-disaster unemployment   58 of 85 total..................              68  $0--No change in time  $0--No change in time  Clarification of
     rate, 44 CFR Sec.                                                                 burden due to          burden due to          current practice in
     206.48(b)(3)(iii).                                                                current compliance,    current compliance,    regulation.
                                                                                       data collected in      data collected in
                                                                                       PDA process.           PDA process.
    The percentage of the           69 of 85 total..................              81  $0--No change in time  $0--No change in time  Clarification of
     population that is 65 years                                                       burden due to          burden due to          current practice in
     old and older, 44 CFR Sec.                                                        current compliance,    current compliance,    regulation.
     206.48(b)(3)(iv).                                                                 data collected in      data collected in
                                                                                       PDA process.           PDA process.
    The percentage of the           **15 of 85 total................              18  $0--No change in time  $0--No change in time  Clarification of
     population 18 years old and                                                       burden due to          burden due to          current practice in
     younger, 44 CFR Sec.                                                              current compliance,    current compliance,    regulation.
     206.48(b)(3)(v).                                                                  data collected in      data collected in
                                                                                       PDA process.           PDA process.
    The percentage of the           57 of 85 total..................              67  $0--No change in time  $0--No change in time  Clarification of
     population with a disability,                                                     burden due to          burden due to          current practice in
     44 CFRSec.   206.48(b)(3)(vi).                                                    current compliance,    current compliance.    regulation.
                                                                                       data collected in
                                                                                       PDA process.
    The percentage of the           **6 of 85 total.................               7  $0--No change in time  $0--No change in time  Clarification of
     population who speak a                                                            burden due to          burden due to          current practice in
     language other than English                                                       current compliance,    current compliance,    regulation.
     and speak English less than                                                       data collected in      data collected in
     ``very well'', 44 CFR Sec.                                                        PDA process.           PDA process.
     206.48(b)(3)(vii).
    Any unique considerations       **15 of 85 total................              18  $0--No change in time  $0--No change in time  Clarification of
     regarding American Indian and                                                     burden due to          burden due to          current practice in
     Alaskan Native Tribal                                                             current compliance.    current compliance.    regulation.
     populations that may not be
     reflected in the U.S. Census
     Bureau data, 44 CFR Sec.
     206.48(b)(3)(viii).
Impact to Community
 Infrastructure:
    Life Saving and Life            71 of 85 total..................              84  $0--No change in time  $0--No change in time  Clarification of
     Sustaining Services, 44 CFR                                                       burden due to          burden due to          current practice in
     Sec.   206.48(b)(4)(i).                                                           current compliance.    current compliance.    regulation.
    Essential Community Services,   70 of 85 total..................              82  $0--No change in time  $0--No change in time  Clarification of
     44 CFR Sec.                                                                       burden due to          burden due to          current practice in
     206.48(b)(4)(ii).                                                                 current compliance.    current compliance.    regulation.
    Transportation Infrastructure   73 of 85 total..................              86  $0--No change in time  $0--No change in time  Clarification of
     and Utilities, 44 CFR Sec.                                                        burden due to          burden due to          current practice in
     206.48(b)(4)(iii).                                                                current compliance.    current compliance.    regulation.
Casualties: The number of missing,  59 of 85 total..................              69  $0--No change in time  $0--No change in time  Clarification of
 injured, or deceased individuals,                                                     burden due to          burden due to          current practice in
 44 CFR Sec.   206.48(b)(5).                                                           current compliance.    current compliance.    regulation.

[[Page 10657]]

 
Disaster Related Unemployment: The  **34 of 85 total................              40  $0--No change in time  $0--No change in time  Clarification of
 number of disaster survivors who                                                      burden due to          burden due to          current practice in
 lost work or became unemployed                                                        current compliance.    current compliance.    regulation.
 due to a disaster and who do not
 qualify for standard unemployment
 insurance, 44 CFR Sec.
 206.48(b)(6).
Summary of All Factors, 44 CFR      ................................  ..............  $3,546 in year 1 and   $24,494 in year 1 and  Informs States with
 Sec.   206.48(b).                                                                     $43 in subsequent      $2,896 in subsequent   the information
                                                                                       annual reoccurring     annual reoccurring     that FEMA considers
                                                                                       costs--Increased       costs--Increased       when deciding
                                                                                       time burden due to     time burden due to     whether to
                                                                                       the new factor,        the new factor,        recommend an IA
                                                                                       downloading and        downloading and        declaration to the
                                                                                       storing data, and      storing data and       President
                                                                                       training (year 1       updating files,
                                                                                       only).                 familiarization, and
                                                                                                              training (year 1
                                                                                                              only).
                                   --------------------------------------------------
                                         Baseline: 85 total declaration requests
                                                        examined.
                                       Marginal Effect of Final Rule: 4 New and 23
                                                  Previously Considered
--------------------------------------------------------------------------------------------------------------------------------------------------------
* Activity Cost per Year captures training costs (development and presentation by FEMA; attendance by States) for both the NPRM outreach webinars and
  the final rule training webinars. FEMA is providing outreach and training webinars in response to a public comment requesting training on the new rule
  once finalized. Thus, FEMA has added the cost for these webinars to the analysis of this final rule. An Activity Cost per Year that is listed as
  ``$0'' represents the incremental cost associated with codifying the factor in the final rule. As stated throughout, these factors were previously
  considered; thus, there is $0 new cost, i.e. no marginal cost associated with codifying the factor.
** These factors are specific to demographic components that States do not frequently include in their disaster declaration requests. FEMA believes that
  when these factors are included in a request, it is because the affected State focuses on the vulnerability of that demographic component and its
  needs. For example, the population under 18 years of age is often included when schools have been damaged and special assistance is requested. Tribal
  concerns and the population that speaks English less than ``very well'' often are not included because these populations were not specifically focused
  on by the State. Post-disaster unemployment is often not included unless a specific industry which is key in the disaster impact area was severely
  affected. FEMA does not expect States to include every factor in every request, and anticipates States will continue to include these factors only
  where appropriate for the type and level of disaster.

8. Regulatory Alternatives
    FEMA includes the regulatory alternatives to the rule and FEMA's 
reasons for not choosing each alternative in the following discussion. 
FEMA's decision on each alternative was based on qualitative factors 
and not on a quantitative analysis of these alternatives. When 
possible, FEMA acknowledges if a given alternative could have an impact 
on transfer payments or costs.
a. Voluntary, Faith and Community Based Organizations Resources
    FEMA considered removing the factor under which FEMA would consider 
the availability of resources from voluntary, faith-based, and 
community-based organizations during disasters. Commenters suggested 
removing this factor because the available data about these resources 
may not accurately reflect actual resource availability for any given 
disaster. For instance, the availability of voluntary, faith-based, and 
community-based organizations may be limited by such organizations' 
financial circumstances, their donors' economic situations, and the 
circumstances of their volunteers. FEMA recognizes this concern, but 
believes that information on the activities of these organizations is 
generally valuable because it can enhance the picture of disaster needs 
at a local level and may offset or reveal a need for supplemental 
Federal assistance. FEMA also recognizes that these organizations have 
limited resources and considers this point when determining the need 
for an IA declaration.
    FEMA anticipates there could be impacts on transfer payments due to 
changes in the number of disaster declarations if resources available 
from voluntary, faith, and community based organizations were no longer 
considered. If FEMA were to remove this factor from consideration in 
major disaster declaration requests for IA, it could potentially result 
in either a decrease or an increase in transfer payments, depending on 
the situation. For example, if a State's voluntary agencies are 
overwhelmed, but the State declines to provide this information to FEMA 
as part of its declaration request, then FEMA might be less likely to 
find that Federal assistance is warranted. And if a State's voluntary 
agencies are providing ample assistance but the State declines to 
provide this information to FEMA as part of its declaration request, 
FEMA might be more likely than it otherwise would to find that Federal 
assistance is warranted.
b. Maintain the 44 CFR 206.48(b)(6) Table
    FEMA evaluated the usefulness of the table at current 44 CFR 
206.48(b)(6), which lists the average amount of IA based on State size. 
FEMA ultimately determined that the table causes confusion with 
stakeholders, sometimes resulting in the misimpression that the 
averages function as a threshold for whether a State should request IA. 
FEMA never intended the table to set a threshold of eligibility for IA. 
Rather, it is intended as guidance to States and voluntary agencies as 
they develop plans and programs to meet the needs of disaster 
survivors. Furthermore, the table has been interpreted by States to 
suggest that State population is the main factor, or the only factor, 
in determining State capability or fiscal capacity. Under this rule, 
FEMA will continue to consider various factors when making its 
recommendation. FEMA did not quantify the potential impacts of 
implementing this alternative, but assumed there would not be economic 
impacts from maintaining the table because other factors are already 
considered. FEMA has chosen to remove the table for clarification 
purposes.

[[Page 10658]]

c. Automatically Trigger Contiguous Counties and States
    Based on public comments, FEMA considered whether to include a 
provision that would allow contiguous affected counties and States to 
be automatically eligible for assistance under a major disaster 
declaration after an event that crosses the borders of a declared 
State, county, or parish. FEMA recognizes that governmental boundaries 
do not bind disaster events geographically. When considering whether to 
recommend a declaration in a particular area, FEMA must consider the 
damages in the area, as well as the capabilities of the jurisdictional 
governments. The Stafford Act requires that a Governor's request for a 
major disaster declaration be based on a finding that the disaster is 
of such severity and magnitude to be beyond the capabilities of the 
State and affected local governments to effectively respond. 42 U.S.C. 
5170(a). Thus, FEMA is maintaining the requirement that each State must 
request a major disaster declaration after determining that the 
disaster damages and impacts are beyond the capabilities of the 
affected area's State or local government. FEMA cannot automatically 
grant a major disaster declaration based on a request from the State's 
Governor and an area's proximity to other declared areas without 
evidence that the disaster damage and impacts are beyond the affected 
area's capabilities.
    FEMA did not quantify the potential impacts of implementing this 
alternative, but acknowledges there could be an increase in transfer 
payments if FEMA automatically declared affected counties and States 
contiguous to a declared State or county. FEMA believes this 
alternative would increase transfer payments because specifics about 
damage information and resource capabilities of nearby counties would 
not be considered and contiguous counties could be provided assistance 
based on geographic proximity rather than demonstrated need.
d. Considering Negative Impact on Businesses
    Commenters also recommended that FEMA consider including the impact 
of an incident on businesses in affected areas due to the potential 
loss of family income and the direct correlation to communities' 
recovery. Consistent with the proposed rule, FEMA included a factor in 
this rule that considers the impact to businesses by capturing the 
negative impacts to employers and employees who are disaster survivors. 
See 44 CFR 206.48(b)(6). As part of information provided under this 
factor, the State may provide an estimate of the number of disaster 
survivors who lost work or became unemployed due to a disaster and who 
do not qualify for standard unemployment insurance, as well as 
information regarding major employers affected. The negative impact on 
the survivors may affect a community's ability to recover. This impact 
is captured in the Disaster Unemployment Assistance (DUA) factor, which 
provides information on the potential need for unemployment benefits 
and re-employment services to individuals who have become unemployed as 
a result of a major disaster and who are not eligible for regular State 
unemployment insurance. See id.; see also 44 CFR 206.141.
    Business losses alone will not result in a Presidential major 
disaster declaration that authorizes IA because the IA grant programs 
do not provide assistance to businesses. Instead, FEMA considers the 
effect that business disruptions have on disaster survivors. For 
example, if disaster survivors lose work or become unemployed due to 
business impacts from a disaster, this information may highlight an 
increased need for DUA. In addition, the SBA has separate statutory 
authority and programs, which may be available to assist businesses 
regardless of whether the President has issued a major disaster 
declaration.
    FEMA did not quantify the impacts of the alternative considering 
business losses separately from business impacts to disaster survivors 
because FEMA cannot provide assistance for business losses.
e. Linking Individual Assistance Cost Factor With Public Assistance 
(PA) Cost Factor
    Commenters also recommended that FEMA consider aligning the 
financial indicators for IA and PA major disaster declarations. 
Commenters asked why a financial indicator could not be used for IA 
since FEMA evaluates whether a State is eligible for PA based on a 
financial indicator. Currently, FEMA evaluates the need for a PA major 
disaster declaration using the estimated cost of Federal and non-
Federal public assistance per capita (i.e., against the statewide 
population). 44 CFR 206.48(a)(1). That factor also establishes a $1 
million threshold, based on the proposition that even States with the 
smallest populations have the capability to cover that level of 
infrastructure damage. Under FEMA's current regulations, there is no 
corresponding IA single indicator designed to evaluate the total cost 
of the disaster against the capability of a requesting State.
    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, per capita personal income (PCPI) in the United 
States was $11,687. By 2015, PCPI had risen to $48,112, an increase of 
over 300 percent. FEMA has applied inflation adjustments since 1999, 
and the per capita indicator has risen by just 41 percent over that 
same period.
    The Public Assistance per capita indicator has also fallen short of 
keeping pace with State general fund expenditures. According to the 
National Association of State Budget Officers (NASBO), State general 
fund spending in 2015 totaled $759.4 billion. Collectively, the States' 
per capita indicators equaled $435.3 million in 2015. Consequently, the 
relation of the per capita indicator to State general fund expenditures 
is just 57 percent of what it was in 1986.
    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 FEMA to find ways to decrease the frequency of disaster 
declarations and Federal disaster costs, by increasing the per capita 
indicator to transfer costs back to State and local jurisdictions. 
These have included recommendations from GAO, reports of the DHS OIG, 
and proposed legislation. FEMA is currently evaluating possible 
alternatives to the per capita indicator. See, e.g., 82 FR 4064 (Jan. 
12, 2017).
    FEMA chose not to use the PA per capita indicator measure and 
instead chose to use the fiscal capacity factor as the indicator of a 
State's fiscal capability to meet the needs of individuals after an 
event. FEMA considers multiple factors and does not believe a set 
limit, even based on estimated damages and population, is an 
appropriate indicator for IA due to the varying needs and circumstances 
of disaster survivors. FEMA did not quantify the impact of this 
alternative, but assumes it could have an impact on transfer payments 
given that it could potentially change the number of major disaster 
declarations that authorize IA.
f. Use of Factor Thresholds
    Some stakeholders indicated they would prefer specific ``hard'' 
thresholds that indicate whether a State would be eligible to receive a 
major disaster declaration authorizing IA. The

[[Page 10659]]

stakeholders felt established thresholds give States a clear idea of 
what level of damage and need the State must have before requesting 
assistance. Further, the stakeholders believed thresholds would prevent 
States from spending the time compiling the data and requesting a 
declaration when they have not sustained enough damage to qualify for a 
major disaster declaration that authorizes IA.
    FEMA rejected a threshold indicator because it is inconsistent with 
the principles of Section 320 of the Stafford Act which prohibits the 
denial of assistance to a geographic area based solely on the use of an 
arithmetic formula or a sliding scale based on income or population. 42 
U.S.C. 5163. FEMA believes that a systematic and objective approach 
using standardized factors is important for making informed and 
consistent recommendations to the President as well as enhancing 
predictability for a State when they request IA. FEMA also decided to 
not pursue using thresholds because they are too restrictive for 
determining whether disaster survivors need assistance after an event 
and are not flexible enough to assess the various scenarios that 
demonstrate the State's need for a declaration authorizing IA. FEMA 
assumes this alternative could have an impact on transfer payments due 
to changes in the number of declarations and could reduce States' costs 
if they chose not to pursue a declaration request for IA.
g. Homes in Foreclosure
    Some stakeholders expressed concern that if an area with a high 
foreclosure rate is affected by a disaster, then these homes would be a 
greater burden to the State during the recovery process. Stakeholders 
believed that homes in foreclosure (either abandoned or owned by the 
bank) are not taken care of as well as homes that are owner-occupied. 
When the home is owned by the bank, there may be little incentive to 
quickly make the repairs. When it is abandoned, there is no incentive 
to make the repairs and the properties are often abated by the 
community through code enforcement, which likely translates to 
additional costs and time burden on the community.
    FEMA recognizes that high levels of foreclosure may be associated 
with economic difficulties in the affected area and this could 
negatively impact a community's ability to recover. However, FEMA's IA 
programs do not provide any form of assistance for foreclosed homes; 
repair assistance is available only for owner-occupied primary 
residences. If a State believes the number of homes in foreclosure will 
impact their capability to respond to the disaster, then the State may 
articulate this concern in the narrative portion of its declaration 
request. FEMA considers all relevant information provided in a State's 
request. See 44 CFR 206.48. However, FEMA believes other factors, 
including poverty level, pre-disaster unemployment, and per capita 
personal income are adequate indicators of economic health. For this 
reason, FEMA chose to not include home foreclosure rates as an 
evaluation factor.
h. Do Not Include Fiscal Capacity Indicators
    FEMA considered the alternative of not including fiscal capacity 
indicators. FEMA chose to include the fiscal capacity indicators for 
the reasons set forth above. The Stafford Act is premised upon State 
and local governments handling response and recovery to disasters that 
are within their capability, with the Federal government only stepping 
in with supplemental assistance for events that are beyond local and 
then State capability. This necessarily requires an examination of the 
capability of the State government. Given that the supplemental 
assistance that FEMA provides is overwhelmingly in the form of 
financial assistance, it is important to determine whether a given 
event is within, or should be within, the State's fiscal capacity. If 
FEMA were not to include the fiscal capacity indicators it would be 
forced to rely on population as a proxy. In addition, FEMA would 
continue to utilize the inadequate and outdated table found at 44 CFR 
206.48(b)(6) which divides States into three buckets (small, medium, 
and large) based solely on population size instead of a more 
individualized look at each State's fiscal resources and capability. In 
this alternative, the Federal cost of the final rule is estimated to 
decrease by approximately $43 a year, based on FEMA no longer having to 
retrieve BEA and Treasury data. The cost to States is estimated to 
decrease by approximately $8,935 in year 1 and $1,787 in each 
subsequent year for the same reason.

B. Regulatory Flexibility Act

    Under the Regulatory Flexibility Act (RFA), 5 U.S.C. 601 et seq., 
as amended by the Small Business Regulatory Enforcement Fairness Act of 
1996 (Pub. L. 104-121, 110 Stat. 857), FEMA must consider the impact of 
this rule on small entities. The term ``small entities'' includes small 
businesses; not-for-profit organizations that are independently owned 
and operated and are not dominant in their fields; and governmental 
jurisdictions with populations of less than 50,000. When the 
Administrative Procedure Act requires an agency to publish a notice of 
proposed rulemaking under 5 U.S.C. 553, the RFA requires a regulatory 
flexibility analysis for both the proposed rule and the final rule. 
This requirement does not apply if the head of the agency certifies 
that the rule will not, if promulgated, have a significant economic 
impact on a substantial number of small entities. 5 U.S.C. 605(b). Such 
certification must include a statement providing the factual basis for 
such certification.
    This final rule provides States with factors FEMA will consider 
when making a recommendation on a major disaster declaration that 
authorizes IA. The rule codifies many factors that are currently 
considered, but are not adequately captured in 44 CFR 206.48(b). This 
rule will not directly impact small businesses, small not-for-profit 
organizations, or small governmental jurisdictions. States are not 
considered small entities under the RFA because they have populations 
of more than 50,000.\62\ Hence, FEMA certifies under 5 U.S.C. 605(b) 
that this final rule will not have a significant economic impact on a 
substantial number of small entities.
---------------------------------------------------------------------------

    \62\ The District of Columbia, Puerto Rico, the Virgin Islands, 
Guam, American Samoa, and the Commonwealth of the Northern Mariana 
Islands, which are considered States under 44 CFR 206.2(a)(22), all 
have populations greater than 50,000.
---------------------------------------------------------------------------

C. Unfunded Mandates Reform Act of 1995

    The Unfunded Mandates Reform Act of 1995, 2 U.S.C. 658, 1501-1504, 
1531-1536, 1571, pertains to any notice of proposed rulemaking which 
implements any rule that includes a Federal mandate that may result in 
the expenditure by State, local, and Tribal governments, in the 
aggregate, or by the private sector, of $100 million (adjusted annually 
for inflation) or more in any one year. If the rulemaking includes a 
Federal mandate, the Act requires an agency to prepare an assessment of 
the anticipated costs and benefits of the Federal mandate. FEMA has 
determined this rule can be excluded from this assessment because the 
rule meets the criteria set forth in 2 U.S.C. 1503(4), which states, 
``This chapter shall not apply to . . . any provision in a proposed or 
final Federal regulation that . . . (4) provides for emergency 
assistance or relief at the request of any State, local, or tribal 
government or any official of a State, local, or tribal

[[Page 10660]]

government.'' Therefore, no actions are deemed necessary under the 
provisions of the Unfunded Mandates Reform Act of 1995.

D. National Environmental Policy Act

    Under the National Environmental Policy Act of 1969 (NEPA), as 
amended, 42 U.S.C. 42 U.S.C. 4321 et. seq., an agency must prepare an 
environmental assessment or environmental impact statement for any 
rulemaking that significantly affects the quality of the human 
environment. FEMA has determined that this rulemaking does not 
significantly affect the quality of the human environment and 
consequently has not prepared an environmental assessment or 
environmental impact statement.
    Rulemaking is a major Federal action subject to NEPA. Categorical 
exclusion A3 included in the list of exclusion categories at Department 
of Homeland Security Instruction Manual 023-01-001-01, Revision 01, 
Implementation of the National Environmental Policy Act, Appendix A, 
issued November 6, 2014, covers the promulgation of rules, issuance of 
rulings or interpretations, and the development and publication of 
policies, orders, directives, notices, procedures, manuals, and 
advisory circulars if they meet certain criteria provided in A3(a-f). 
This final rule amends an existing regulation without changing its 
environmental effect, which meets Categorical Exclusion A3(d).
    In addition, this final rule revises the criteria that FEMA 
considers when recommending an area eligible for IA under a major 
disaster declaration. This activity amounts to information and data 
gathering and reporting in support of emergency and disaster response 
and recovery activities. Therefore, the activity this final rule 
applies to meets Categorical Exclusion M11 in Department of Homeland 
Security Instruction Manual 023-01-001-01, Revision 01, Implementation 
of the National Environmental Policy Act, Appendix A, issued November 
6, 2014. Because no other extraordinary circumstances have been 
identified, this rule does not require the preparation of either an EA 
or an EIS as defined by NEPA. See Department of Homeland Security 
Instruction Manual 023-01-001-01, Revision 01, Implementation of the 
National Environmental Policy Act, section (V)(B)(2).

E. Paperwork Reduction Act of 1995

    As required by the Paperwork Reduction Act of 1995 (PRA), Public 
Law 104-13, 109 Stat. 163, (May 22, 1995) (44 U.S.C. 3501 et seq.), 
FEMA may not conduct or sponsor, and a person is not required to 
respond to, a collection of information unless the collection of 
information displays a valid control number.
    In this final rule, FEMA is seeking a revision to the already 
existing collection of information, OMB Control Number 1660-0009, 
because FEMA has refined its estimate of the paperwork burden 
associated with 1660-0009. FEMA submitted the information collection 
abstracted below to the Office of Management and Budget for review and 
clearance.
Collection of Information
    Title: The Declaration Process: Requests for Preliminary Damage 
Assessment (PDA), Requests for Supplemental Federal Disaster 
Assistance, Appeals, and Requests for Cost Share Adjustments.
    Type of information collection: Revision of a currently approved 
collection.
    OMB Number: 1660-0009.
    Form Titles and Numbers: FEMA Form 010-0-13, Request for 
Presidential Disaster Declaration Major Disaster or Emergency; FEMA 
Form 009-0-140.
    Abstract: When a disaster occurs in a State, the Governor of the 
State or the Acting Governor in his/her absence, may request a major 
disaster declaration or an emergency declaration. The Governor should 
submit the request to the President through the appropriate Regional 
Administrator to ensure prompt acknowledgement and processing. The 
information obtained by joint Federal, State, and local preliminary 
damage assessments will be analyzed by FEMA regional senior level 
staff. The regional summary and the regional analysis and 
recommendation will include a discussion of State and local resources 
and capabilities, and other assistance available to meet the disaster 
related needs. The Administrator of FEMA provides a recommendation to 
the President and also provides a copy of the Governor's request. In 
the event the information required by law is not contained in the 
request, the Governor's request cannot be processed and forwarded to 
the White House. In the event the Governor's request for a major 
disaster declaration or an emergency declaration is not granted, the 
Governor may appeal the decision.
    Affected Public: State, local, or Tribal Government.
    Estimated Number of Respondents: 623.
    Estimated Number of Responses: 356.
    Estimated Total Annual Burden Hours: 11,792.8.
    The previously approved Total Annual Burden Hours was 11,748 hours. 
Based on the final rule's minor increase in burden, the new estimated 
Total Annual Burden Hours is 11,792.8 hours. This increase of 44.8 
hours is attributed to the additional fiscal capacity information FEMA 
anticipates States may provide to help evaluate the need for a major 
disaster declaration that authorizes IA.
    Table A.12 provides estimates of annualized cost to respondents for 
the hour burdens for the collection of information.

                                              Table A.12--Estimated Annualized Burden Hours and Costs \63\
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                             Number of        Average
                                       Form name/form        Number of     responses per    burden per     Total annual       Average      Total annual
        Type of respondent                 number           respondents     respondent     response  (in    burden  (in     hourly wage     respondent
                                                                               \64\           hours)          hours)         rate \65\         cost
--------------------------------------------------------------------------------------------------------------------------------------------------------
State, Local or Tribal Government.  Request for                      623            .571               9           3,204          $79.22     $253,820.88
                                     Presidential
                                     Disaster
                                     Declaration Major
                                     Disaster or
                                     Emergency/FEMA Form
                                     010-0-13.

[[Page 10661]]

 
State, Local or Tribal Government.  Initial Data                     623            .571          24.126         8,588.8           39.89      342,607.23
                                     Gathering for
                                     Governor's Request/
                                     No Form.
                                                         -----------------------------------------------------------------------------------------------
    Total.........................  ....................             623  ..............  ..............        11,792.8  ..............      596,428.11
--------------------------------------------------------------------------------------------------------------------------------------------------------
Note: The ``Avg. Hourly Wage Rate'' for each respondent includes a 1.46 multiplier to reflect a fully-loaded wage rate.
Note: Numbers in the table are rounded up due to rounding in ROCIS. Also ``Initial Data Gathering for Governor's Request/No Form'' total burden hours is
  rounded to 8,588.8 to align with Factors Considered When Evaluating a Governor's Request for Individual Assistance for a Major Disaster Final Rule.

    Estimated Cost: $596,428.11.
---------------------------------------------------------------------------

    \63\ Note: Numbers rounded due to rounding in ROCIS.
    \64\ Note: The number of responses per respondent for entering 
in Request for Presidential Disaster Declaration Major Disaster or 
Emergency/FEMA Form 010-0-13 has been updated to 0.571. FEMA 
recalculated this number to more accurately reflect the change in 
the final rule. FEMA calculated 0.571 based on the previous 
supporting statement's total number of response hours, 3,195, 
divided by the number of hours, 9.062, resulting in 356, and then 
divided by 623.
    \65\ Note: The ``Avg. Hourly Wage Rate'' for each respondent 
includes a 1.46 multiplier to reflect a fully-loaded wage rate.
---------------------------------------------------------------------------

    Estimated Respondents' Operation and Maintenance Costs: FEMA does 
not anticipate that there will be any annual costs to respondents' 
operations and maintenance costs for technical services.
    Estimated Respondents' Capital and Start-Up Costs: There are no 
annual start-up or capital costs.
    Estimated Total Annual Cost to the Federal Government: The cost to 
the Federal government is $3,188,919.80.

F. Privacy Act

    Under the Privacy Act of 1974, 5 U.S.C. 552a, an agency must 
determine whether implementation of a proposed regulation will result 
in a system of records. A ``record'' is any item, collection, or 
grouping of information about an individual that is maintained by an 
agency, including, but not limited to, his/her education, financial 
transactions, medical history, and criminal or employment history and 
that contains his/her name, or the identifying number, symbol, or other 
identifying particular assigned to the individual, such as a finger or 
voice print or a photograph. See 5 U.S.C. 552a(a)(4). A ``system of 
records'' is a group of records under the control of an agency from 
which information is retrieved by the name of the individual or by some 
identifying number, symbol, or other identifying particular assigned to 
the individual. An agency cannot disclose any record which is contained 
in a system of records except by following specific procedures.
    FEMA completed a Privacy Threshold Analysis for this final rule. 
Any information will be collected in existing FEMA Forms 010-0-13 and 
009-0-140 and will still only include the Governor's point of contact 
and general office phone number as well as other State specific and 
disaster specific information of a non-personally[hyphen]identifiable 
nature. The information received through the form is neither retrieved 
nor retrievable by personally identifiable information (PII). Any 
retrieval would be done by utilizing State specific or disaster 
specific information of a non[hyphen]identifiable nature. FEMA Form 
010-0-13 is currently covered under the DHS/FEMA/PIA-013 Grants 
Management PIA. This rulemaking does not impact FEMA's collection of 
PII in the disaster declarations process and form and no System of 
Records Notice is required at this time.

G. Executive Order 13175, Consultation and Coordination With Indian 
Tribal Governments

    Executive Order 13175, ``Consultation and Coordination with Indian 
Tribal Governments,'' 65 FR 67249, November 9, 2000, applies to agency 
regulations that have Tribal implications, that is, regulations that 
have substantial direct effects on one or more Indian tribes, on the 
relationship between the Federal Government and Indian Tribes, or on 
the distribution of power and responsibilities between the Federal 
Government and Indian Tribes.
    FEMA has reviewed this final rule under Executive Order 13175 and 
has determined that this rule does not have a substantial direct effect 
on one or more Indian tribes, on the relationship between the Federal 
Government and Indian Tribes, or on the distribution of power and 
responsibilities between the Federal Government and Indian Tribes. The 
disaster assistance granted by a major disaster declaration addressed 
by this final rule is provided to individuals and families, and would 
not have tribal implications.
    Moreover, this rule finalizes revisions to regulations intended to 
address a State's request for an IA declaration. Although Section 1110 
of SRIA authorizes Indian Tribal governments to request a declaration 
directly, SRIA charged FEMA to implement that authority separately by 
rulemaking. FEMA is implementing Section 1110 through a separate 
process, which involves extensive consultation with Tribes, issuance of 
pilot guidance, see 82 FR 3016 (Jan. 10, 2017), and eventually, 
regulations.

H. Executive Order 13132, Federalism

    Executive Order 13132, ``Federalism,'' 64 FR 43255, August 10, 
1999, sets forth principles and criteria that agencies must adhere to 
in formulating and implementing policies that have federalism 
implications, that is, regulations that have ``substantial direct 
effects on the States, on the relationship between the national 
government and the States, or on the distribution of power and 
responsibilities among the various levels of government.'' Federal 
agencies must closely examine the statutory authority supporting any 
action that would limit the policymaking discretion of the States, and 
to the extent practicable, must consult with State and local officials 
before implementing any such action.
    As we noted in the proposed rule, FEMA has determined that this 
rule does not have a substantial direct effects on the States, on the 
relationship between the national government and the States, or on the 
distribution of power and responsibilities among the various levels of 
government, and therefore does not have federalism implications as 
defined by the Executive

[[Page 10662]]

Order. The disaster assistance granted by a major disaster declaration 
addressed by this final rule is provided to individuals and families, 
and would not have federalism implications. No commenters disagreed 
with our determination.

I. Executive Order 11988, Floodplain Management

    Pursuant to Executive Order 11988, as amended by Executive Order 
13690, ``each agency must provide leadership and take action to reduce 
the risk of flood loss and to minimize the impact of floods on human 
safety, health and welfare. In addition, each agency must restore and 
preserve the natural and beneficial values served by floodplains in 
carrying out its responsibilities for (1) acquiring, managing, and 
disposing of Federal lands and facilities; (2) providing Federally 
undertaken, financed, or assisted construction and improvements; and 
(3) conducting Federal activities and programs affecting land use, 
including but not limited to water and related land resources planning, 
regulating, and licensing activities. In carrying out these 
responsibilities, each agency must evaluate the potential effects of 
any actions it may take in a floodplain; ensure that its planning 
programs and budget requests reflect consideration of flood hazards and 
floodplain management; and prescribe procedures to implement the 
policies and requirements of the Executive Order.
    Before promulgating any regulation, an agency must determine 
whether the proposed regulations will affect a floodplain(s), and if 
so, the agency must consider alternatives to avoid adverse effects and 
incompatible development in the floodplain(s). If the head of the 
agency finds that the only practicable alternative consistent with the 
law and with the policy set forth in Executive Order 11988 is to 
promulgate a regulation that affects a floodplain(s), the agency must, 
prior to promulgating the regulation, design or modify the regulation 
in order to minimize potential harm to or within the floodplain, 
consistent with the agency's floodplain management regulations and 
prepare and circulate a notice containing an explanation of why the 
action is proposed to be located in the floodplain.
    The requirements of Executive Order 11988 apply in the context of 
the provision of Federal financial assistance relating to, among other 
things, construction and property improvement activities, as well as 
conducting Federal programs affecting a floodplain(s). The changes in 
this final rule will not have an effect on floodplain management. This 
final rule revises the criteria that FEMA considers when recommending 
an area eligible for IA under a major disaster declaration. A major 
disaster declaration recommendation to the President is an 
administrative action for FEMA's IA Program. When FEMA undertakes 
specific actions in administering IA that may have effects on 
floodplain management (e.g., placement of manufactured housing units on 
FEMA-constructed group sites; permanent or semi-permanent housing 
construction; Multi-Family Lease and Repair; financial assistance for 
privately owned roads and bridges), FEMA follows the procedures set 
forth in 44 CFR part 9 to assure compliance with this Executive Order. 
The notice that is required by the E.O. is provided separately at the 
time FEMA undertakes the specific action.

J. Executive Order 11990, Protection of Wetlands

    Executive Order 11990, ``Protection of Wetlands,'' 42 FR 26961, May 
24, 1977, sets forth that each agency must provide leadership and take 
action to minimize the destruction, loss or degradation of wetlands, 
and to preserve and enhance the natural and beneficial values of 
wetlands in carrying out the agency's responsibilities for (1) 
acquiring, managing, and disposing of Federal lands and facilities; and 
(2) providing Federally undertaken, financed, or assisted construction 
and improvements; and (3) conducting Federal activities and programs 
affecting land use, including but not limited to water and related land 
resources planning, regulating, and licensing activities. Each agency, 
to the extent permitted by law, must avoid undertaking or providing 
assistance for new construction located in wetlands unless the head of 
the agency finds (1) that there is no practicable alternative to such 
construction, and (2) that the proposed action includes all practicable 
measures to minimize harm to wetlands which may result from such use. 
In making this finding the head of the agency may take into account 
economic, environmental and other pertinent factors.
    In carrying out the activities described in Executive Order 11990, 
each agency must consider factors relevant to a proposal's effect on 
the survival and quality of the wetlands. Among these factors are: 
Public health, safety, and welfare, including water supply, quality, 
recharge and discharge; pollution; flood and storm hazards; and 
sediment and erosion; maintenance of natural systems, including 
conservation and long term productivity of existing flora and fauna, 
species and habitat diversity and stability, hydrologic utility, fish, 
wildlife, timber, and food and fiber resources; and other uses of 
wetlands in the public interest, including recreational, scientific, 
and cultural uses.
    The requirements of Executive Order 11990 apply in the context of 
the provision of Federal financial assistance relating to, among other 
things, construction and property improvement activities, as well as 
conducting Federal programs affecting land use. The changes in this 
final rule will not have an effect on land use or wetlands. This final 
rule revises the criteria that FEMA considers when recommending an area 
eligible for IA under a major disaster declaration. A major disaster 
declaration recommendation to the President is an administrative action 
for FEMA's IA Program. When FEMA undertakes specific actions in 
administering IA that may have such effects (e.g., placement of 
manufactured housing units on FEMA-constructed group sites; permanent 
or semi-permanent housing construction; Multi-Family Lease and Repair; 
financial assistance for privately owned roads and bridges), FEMA 
follows the procedures set forth in 44 CFR part 9 to assure compliance 
with this Executive Order.

K. Executive Order 12898, Environmental Justice

    Under Executive Order 12898, ``Federal Actions to Address 
Environmental Justice in Minority Populations and Low-Income 
Populations,'' 59 FR 7629, February 16, 1994, as amended by Executive 
Order 12948, 60 FR 6381, February 1, 1995, FEMA incorporates 
environmental justice into its policies and programs. The Executive 
Order requires each Federal agency to conduct its programs, policies, 
and activities that substantially affect human health or the 
environment in a manner that ensures that those programs, policies, and 
activities do not have the effect of excluding persons from 
participation in programs, denying persons the benefits of programs, or 
subjecting persons to discrimination because of race, color, or 
national origin. FEMA has incorporated environmental justice into its 
programs, policies, and activities, as well as this rulemaking. This 
final rule contains provisions that ensure that FEMA's activities will 
not have a disproportionately high or adverse effect on human health or 
the environment or subject persons to discrimination because of race, 
color, or national origin. This final rule adds a provision 
specifically related to the

[[Page 10663]]

demographics of a disaster impacted population. FEMA is requesting 
information relating to the demographics of a disaster impacted area 
because the demographics may identify additional needs that require a 
more robust community response and might otherwise delay a community's 
ability to recover from a disaster.
    No action that FEMA can anticipate under this rule will have a 
disproportionately high and adverse human health or environmental 
effect on any segment of the population.

L. Congressional Review of Agency Rulemaking

    Under the Congressional Review of Agency Rulemaking Act (CRA), 5 
U.S.C. 801-808, before a rule can take effect, the Federal agency 
promulgating the rule must submit to Congress and to the Government 
Accountability Office (GAO) a copy of the rule, a concise general 
statement relating to the rule, including whether it is a major rule, 
the proposed effective date of the rule, a copy of any cost-benefit 
analysis, descriptions of the agency's actions under the Regulatory 
Flexibility Act and the Unfunded Mandates Reform Act, and any other 
information or statements required by relevant executive orders.
    FEMA has sent this rule to the Congress and to GAO pursuant to the 
CRA. The rule is not a ``major rule'' within the meaning of the CRA. It 
will not have an annual effect on the economy of $100,000,000 or more, 
it will not result in a major increase in costs or prices for 
consumers, individual industries, Federal, State, or local government 
agencies, or geographic regions, and it will not have significant 
adverse effects on competition, employment, investment, productivity, 
innovation, or on the ability of United States-based enterprises to 
compete with foreign-based enterprises in domestic and export markets.

List of Subjects in 44 CFR Part 206

    Administrative practice and procedure, Coastal zone, Community 
facilities, Disaster assistance, Fire prevention, Grant programs-
housing and community development, Housing, Insurance, 
Intergovernmental relations, Loan programs-housing and community 
development, Natural resources, Penalties, and Reporting and 
recordkeeping requirements.

    For the reasons stated in the preamble, the Federal Emergency 
Management Agency amends 44 CFR part 206, subpart B, as follows:

PART 206--FEDERAL DISASTER ASSISTANCE

0
1. The authority citation for part 206 continues to read as follows:

    Authority: Robert T. Stafford Disaster Relief and Emergency 
Assistance Act, 42 U.S.C. 5121 through 5207; Homeland Security Act 
of 2002, 6 U.S.C. 101 et seq.; Department of Homeland Security 
Delegation 9001.1; sec. 1105, Pub. L. 113-2, 127 Stat. 43 (42 U.S.C. 
5189a note).

0
 2. In Sec.  206.48, revise paragraph (b) to read as follows:


Sec.  206.48  Factors considered when evaluating a Governor's request 
for a major disaster declaration.

* * * * *
    (b) Factors for the Individual Assistance Program. The following 
factors are used to evaluate the need for supplemental Federal 
assistance to individuals under the Stafford Act, as Federal assistance 
may not supplant the combined capabilities of a State, Tribal, or local 
government. Federal Individual Assistance, if authorized, is intended 
to assist eligible individuals and families when State, Tribal, and 
local government resources and assistance programs are overwhelmed. 
State fiscal capacity (44 CFR 206.48(b)(1)(i)) and uninsured home and 
personal property losses (44 CFR 206.48(b)(2)) are the principal 
factors that FEMA will consider when evaluating the need for 
supplemental Federal assistance under the Individuals and Households 
Program but FEMA will always consider all relevant information 
submitted as part of a declaration request. If the need for 
supplemental Federal assistance under the Individuals and Households 
Program is not clear from the evaluation of the principal factors, FEMA 
will turn to the other factors to determine the level of need.
    (1) State fiscal capacity and resource availability. FEMA will 
evaluate the availability of State resources, and where appropriate, 
any extraordinary circumstances that contributed to the absence of 
sufficient resources.
    (i) Fiscal capacity (principal factor for individuals and 
households program). Fiscal capacity is a State's potential ability to 
raise revenue from its own sources to respond to and recover from a 
disaster. The following data points are indicators of fiscal capacity.
    (A) Total taxable resources (TTR) of the State. TTR is the U.S. 
Department of Treasury's annual estimate of the relative fiscal 
capacity of a State. A low TTR may indicate a greater need for 
supplemental Federal assistance than a high TTR.
    (B) Gross domestic product (GDP) by State. GDP by State is 
calculated by the Bureau of Economic Analysis. GDP by State may be used 
as an alternative or supplemental evaluation method to TTR.
    (C) Per capita personal income by local area. Per capita personal 
income by local area is calculated by the Bureau of Economic Analysis. 
A low per capita personal income by local area may indicate a greater 
need for supplemental Federal assistance than a high per capita 
personal income by local area.
    (D) Other factors. Other limits on a State's treasury or ability to 
collect funds may be considered.
    (ii) Resource availability. Federal disaster assistance under the 
Stafford Act is intended to be supplemental in nature, and is not a 
replacement for State emergency relief programs, services, and funds. 
FEMA evaluates the availability of resources from State, Tribal, and 
local governments as well as non-governmental organizations and the 
private sector.
    (A) State, tribal, and local government; non-governmental 
organizations (NGO); and Private Sector Activity. State, Tribal, and 
local government, Non-Governmental Organizations, and private sector 
resources may offset the need for or reveal an increased need for 
supplemental Federal assistance. The State may provide information 
regarding the resources that have been and will be committed to meet 
the needs of disaster survivors such as housing programs, resources 
provided through financial and in-kind donations, and the availability 
of affordable (as determined by the U.S. Department of Urban and 
Housing Development's fair market rent standards) rental housing within 
a reasonable commuting distance of the impacted area.
    (B) Cumulative effect of recent disasters. The cumulative effect of 
recent disasters may affect the availability of State, Tribal, local 
government, NGO, and private sector disaster recovery resources. The 
State should provide information regarding the disaster history within 
the last 24-month period, particularly those occurring within the 
current fiscal cycle, including both Presidential (public and 
individual assistance) and gubernatorial disaster declarations.
    (2) Uninsured home and personal property losses (principal factor 
for individuals and households program). Uninsured home and personal 
property losses may suggest a need for supplemental Federal assistance. 
The State may provide the following preliminary damage assessment data:
    (i) The cause of damage.

[[Page 10664]]

    (ii) The jurisdictions impacted and concentration of damage.
    (iii) The number of homes impacted and degree of damage.
    (iv) The estimated cost of assistance.
    (v) The homeownership rate of impacted homes.
    (vi) The percentage of affected households with sufficient 
insurance coverage appropriate to the peril.
    (vii) Other relevant preliminary damage assessment data.
    (3) Disaster impacted population profile. The demographics of a 
disaster impacted population may identify additional needs that require 
a more robust community response and delay a community's ability to 
recover from a disaster. FEMA will consider demographics of the 
impacted communities for the following data points as reported by the 
U.S. Census Bureau or other Federal agencies:
    (i) The percentage of the population for whom poverty status is 
determined.
    (ii) The percentage of the population already receiving government 
assistance such as Supplemental Security Income and Supplemental 
Nutrition Assistance Program benefits.
    (iii) The pre-disaster unemployment rate.
    (iv) The percentage of the population that is 65 years old and 
older.
    (v) The percentage of the population 18 years old and younger.
    (vi) The percentage of the population with a disability.
    (vii) The percentage of the population who speak a language other 
than English and speak English less than ``very well.''
    (viii) Any unique considerations regarding American Indian and 
Alaskan Native Tribal populations raised in the State's request for a 
major disaster declaration that may not be reflected in the data points 
referenced in paragraphs (b)(3)(i) through (vii) of this section.
    (4) Impact to community infrastructure. The following impacts to a 
community's infrastructure may adversely affect a population's ability 
to safely and securely reside within the community.
    (i) Life saving and life sustaining services. The effects of a 
disaster may cause disruptions to or increase the demand for life-
saving and life-sustaining services, necessitate a more robust 
response, and may delay a community's ability to recover from a 
disaster. The State may provide information regarding the impact on 
life saving and life sustaining services for a period of greater than 
72 hours. Such services include but are not limited to police, fire/
EMS, hospital/medical, sewage, and water treatment services.
    (ii) Essential community services. The effects of a disaster may 
cause disruptions to or increase the demand for essential community 
services and delay a community's ability to recover from a disaster. 
The State may provide information regarding the impact on essential 
community services for a period greater than 72 hours. Such services 
include but are not limited to schools, social services programs and 
providers, child care, and eldercare.
    (iii) Transportation infrastructure and utilities. Transportation 
infrastructure or utility disruptions may render housing uninhabitable 
or inaccessible. Such conditions may also affect the delivery of life 
sustaining commodities, provision of emergency services, ability to 
shelter in place, and efforts to rebuild. The State may provide 
information regarding the impact on transportation infrastructure and 
utilities for a period of greater than 72 hours.
    (5) Casualties. The number of individuals who are missing, injured, 
or deceased due to a disaster may indicate a heightened need for 
supplemental Federal disaster assistance. The State may report the 
number of missing, injured, or deceased individuals.
    (6) Disaster related unemployment. The number of disaster survivors 
who lost work or became unemployed due to a disaster and who do not 
qualify for standard unemployment insurance may indicate a heightened 
need for supplemental Federal assistance. This usually includes the 
self-employed, service industry workers, and seasonal workers such as 
those employed in tourism, fishing, or agriculture industries. The 
State may provide an estimate of the number of disaster survivors 
impacted under this paragraph as well as information regarding major 
employers affected.

Peter Gaynor,
Deputy Administrator, Federal Emergency Management Agency.
[FR Doc. 2019-05388 Filed 3-20-19; 8:45 am]
BILLING CODE 9111-23-P