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pdfAppendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
1
Date of
Comment
4/17/2024
Organization
2
4/23/2024
3
4/23/2024
Evernorth
Rural Ventures
Beth
Boutin
Community
Outcomes
Application
LILA/Healthy
Foods
4
4/23/2024
Evernorth
Rural Ventures
Beth
Boutin
Community
Outcomes
Application
Medically
Underserved
Areas
5
4/23/2024
Evernorth
Rural Ventures
Beth
Boutin
Community
Outcomes
Application
Medically
Underserved
Areas
6
4/23/2024
Evernorth
Rural Ventures
Beth
Boutin
Community
Outcomes
Application
7
4/23/2024
Evernorth
Rural Ventures
Beth
Boutin
Community
Outcomes
Application
Commitment
to Areas of
Higher
Distress
Quality Jobs
St Mary's
Center for
Women and
Children
Evernorth
Rural Ventures
Author
Name
Alexis
Steel
Section
Category
Topic
Comment
NMTC Response
Community
Outcomes
Application
Concerns about changes to
Question 25(b).
Beth
Boutin
Community
Outcomes
Application
Commitment
to Areas of
Higher
Distress
Community
Accountabilit
y&
Involvement
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
1
Delete new bullet asking
about use of data or
suggest alternate wording
because it disadvantages
rural CDEs or CDEs that
serve rural areas.
Revert back to the Healthy
Food Financing Initiative
(HFFI) definition.
Suggest adding Medically
Underserved Population to
Medically Underserved
Areas designated by
HRSA.
Support adding Healthcare
Professional Shortage
Areas (HPSAs).
Recommend clarifying
types of care projects will
increase availability for.
Suggest alternate changes
to Question 25(b).
Remove requirement to
discuss
temporary/construction
jobs for "Quality Jobs."
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund is
maintaining the
current
requirements.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
8
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
Evernorth
Rural Ventures
Author
Name
Beth
Boutin
Community
Outcomes
Application
Community
Goods and
Services
Exempt MCOS projects
from providing third-party
metrics.
4/23/2024
Evernorth
Rural Ventures
Beth
Boutin
Community
Outcomes
Application
Community
Goods and
Services
10
4/23/2024
Evernorth
Rural Ventures
Beth
Boutin
Community
Outcomes
Application
11
4/23/2024
Evernorth
Rural Ventures
Beth
Boutin
Capitalizati
on Strategy
Application
Track Record
Alignment
with
Community or
Eco Dev
Strategies
Investor
Letters
Remove third-party
metrics requirement for
community goods and
services.
Restore previous Question
27(c) track record of
alignment with
Community or economic
development strategies.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider changes in
future application
rounds.
9
12
4/23/2024
Evernorth
Rural Ventures
Beth
Boutin
Capitalizati
on Strategy
Application
Investor
Letters
Confirm that document is
only required per Question
37(a).
13
4/23/2024
Evernorth
Rural Ventures
Beth
Boutin
Exhibits
Application
Business Type
Add "childcare" as
business type in Table A5.
14
4/23/2024
Evernorth
Rural Ventures
Beth
Boutin
Managemen
t Capacity
Application
Management
Experience
Revert changes in
character limits within the
Management Capacity
section.
2
Clarify when a prior
allocatee is required to
provide investor letters.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund
made revisions
based on public
comments.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
15
Date of
Comment
4/23/2024
Author
Name
Beth
Boutin
Section
Category
Topic
Comment
NMTC Response
Glossary of
Terms
Application
Disadvantage
Business
The CDFI Fund
made revisions
based on public
comments.
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
Brad
Elphick
Business
Strategy
Application
Innovative
Investments
Support inclusion of
nonprofit businesses but
want to maintain "a
business that has
inadequate access to
investment capital."
Alternately suggest "a
business that has
inadequate access to
conventional investment
capital."
Clarify in FAQ that
Question 19 does not
impact scoring.
16
4/23/2024
17
4/23/2024
Brad
Elphick
Business
Strategy
Application
Innovative
Investments
18
4/23/2024
Brad
Elphick
Business
Strategy
FAQ
Innovative
Investments
19
4/23/2024
NMTC
Working
Group Novogradac
Brad
Elphick
Business
Strategy
Application
Track Record
of
Investments
Evernorth
Rural Ventures
3
Increase character limit for
Question 19 narrative
when multiple innovative
activities are selected.
Add new FAQ to clarify
that advanced loan
purchases qualify as
investments in QALICBs.
Allow individual
experience to be included
in Question 21 and scored
in Phase 1.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund is
maintaining the
current
requirements.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
20
Date of
Comment
4/23/2024
21
4/23/2024
22
4/23/2024
23
4/23/2024
24
4/23/2024
25
4/23/2024
26
4/23/2024
27
4/23/2024
Organization
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
Author
Name
Brad
Elphick
Section
Category
Topic
Comment
NMTC Response
Community
Outcomes
Application
Persistent
Poverty
Counties
Add "Persistent Poverty
Census Tracts" to
Question 25(b).
Brad
Elphick
Community
Outcomes
Application
Brad
Elphick
Community
Outcomes
Application
Brad
Elphick
Capitalizati
on Strategy
Application
New
Community
Outcomes
Category
New
Community
Outcomes
Category
Track Record
of Raising
Capital
Add “Other” back as a
community outcome
category in Question
26(a).
Add “Microlending and
Nonprofit Support” as a
new community outcome
in Question 26(a).
Restore Question 35 as
one question.
Brad
Elphick
Previous
Awards
Application
Prior NMTC
Investments
Clarify instructions for
Question 44(a) through
FAQ# 133.
Brad
Elphick
Business
Strategy
Application
Financial
Products
Brad
Elphick
Business
Strategy
Application
Additional
Flexibility for
Debt
Remove requirement to
list percentage of financial
products when more than
one financial product is
offered.
Correct typo in Question
15(a).
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund is
maintaining the
current
requirements.
Brad
Elphick
Business
Strategy
Application
Track Record
of
Investments
4
Revert change to Question
20(c) back to numerical.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
28
Date of
Comment
4/23/2024
29
4/23/2024
30
4/23/2024
31
4/23/2024
32
4/23/2024
33
4/23/2024
34
4/23/2024
Organization
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
Author
Name
Brad
Elphick
Section
Category
Topic
Comment
NMTC Response
Business
Strategy
Application
Track Record
of
Investments
Brad
Elphick
Business
Strategy
Application
Track Record
of
Investments
Allow the Controlling
Entity to report discrete
NMTC activities as
opposed to all activities.
Revert change to Question
21(c) back to numerical.
Brad
Elphick
Community
Outcomes
Application
Federal/State/
Local Zones
Restore
"federal/state/local zones"
as an area of distress.
Brad
Elphick
Community
Outcomes
Application
Persistent
Poverty
Counties
Add "Persistent Poverty
Census Tracts" to
Question 25(b).
Brad
Elphick
Community
Outcomes
Application
LILA/Healthy
Foods
Revert back to the Healthy
Food Financing Initiative
(HFFI) definition.
Brad
Elphick
Community
Outcomes
Application
Medically
Underserved
Areas
Brad
Elphick
Community
Outcomes
Application
Commitment
to Areas of
Higher
Distress
Support adding Healthcare
Professional Shortage
Areas (HPSAs) but
request that the CDFI
Fund clarify qualified
projects. Suggest adding
Medically Underserved
Population to Medically
Underserved Areas
designated by HRSA.
Revert changes to
Question 25(b). Suggest
moving question to
Innovative Activity.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund
made revisions
based on public
comments.
5
The CDFI Fund
made revisions
based on public
comments.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
35
Date of
Comment
4/23/2024
36
4/23/2024
37
4/23/2024
38
4/23/2024
39
4/23/2024
40
4/23/2024
41
4/23/2024
42
4/23/2024
Organization
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
Author
Name
Brad
Elphick
Section
Category
Topic
Comment
NMTC Response
Community
Outcomes
Application
Quality Jobs
Clarify the definition of
"Quality Jobs."
Brad
Elphick
Community
Outcomes
Application
Quality Jobs
Brad
Elphick
Community
Outcomes
Application
Accessible
Jobs
Brad
Elphick
Community
Outcomes
Application
Community
Goods and
Services
Brad
Elphick
Community
Outcomes
Application
Housing
Brad
Elphick
Community
Outcomes
Application
Brad
Elphick
Community
Outcomes
Application
Brad
Elphick
Community
Outcomes
Application
Community
Accountabilit
y&
Involvement
Community
Accountabilit
y&
Involvement
Community
Accountabilit
y&
Involvement
Remove requirement to
discuss
temporary/construction
jobs for "Quality Jobs."
Change the "limited
language proficiency"
reference to "limited
English language
proficiency" for
Accessible Jobs
Remove third-party
metrics requirement for
community goods and
services.
Update the language in
affordable housing to also
specify the percentage that
is considered low income.
Using data to qualify need
would disadvantage LICs
and Native communities
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund
made revisions
based on public
comments.
6
Proposed alternate
wording to qualify "data"
used to demonstrate need.
Clarify if we are looking
for engagement directly
with LIPs/LIC residents or
with stakeholders.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
43
Date of
Comment
4/23/2024
44
4/23/2024
45
4/23/2024
46
4/23/2024
47
4/23/2024
48
4/23/2024
49
4/23/2024
50
4/23/2024
Organization
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
Author
Name
Brad
Elphick
Section
Category
Topic
Comment
NMTC Response
Community
Outcomes
Application
Revert changes to
Question 27(c) to discuss
track record.
Brad
Elphick
Managemen
t Capacity
Application
Community
Accountabilit
y&
Involvement
Key Personnel
Brad
Elphick
Managemen
t Capacity
Application
Organization
Capacity/Key
Personnel
Propose no or modest
decrease to character limit
in Question 31(b).
Brad
Elphick
Managemen
t Capacity
Application
Fee Structure
Brad
Elphick
Business
Strategy
Application
Maximize
Efficiency and
Financial
Impact
Brad
Elphick
Exhibits
Application
Brad
Elphick
Exhibits
Application
Total QEI
from
Unaffiliated
CDEs
Fee Structure
Clarify if Applicants
should include fees that
are conditional or
contingent.
Add new question in
Business Strategy to
discuss Applicant's
strategy to maximize
efficiency and financial
impact.
Change Row J to
“Estimated Total QEIs
from unaffiliated CDEs.”
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider changes in
future application
rounds.
Brad
Elphick
Glossary of
Terms
Application
7
Enforcement
Action
Definition
Rephrase term
"subordinates."
Increase character limit to
"Description of the Fee”
field in Table D2.
Add "formal" to glossary
term.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund
made revisions
based on public
comments.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
51
Date of
Comment
4/23/2024
52
4/23/2024
53
4/23/2024
54
4/23/2024
55
4/23/2024
56
4/23/2024
Organization
Author
Name
Brad
Elphick
Section
Category
Topic
Comment
NMTC Response
Glossary of
Terms
Application
Propose changes to
"Minority-owned or
Minority-controlled."
Brad
Elphick
General
Review
Process
Minority
Owned or
Controlled
Definition
Scoring
Process
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
Brad
Elphick
NOAA
NOAA
CDE
Certification
Brad
Elphick
Glossary of
Terms
IT
Enhancement
Online
Application
Portal
Concerns/suggestions
regarding requiring CDEs
be certified by the NOAA
publication date.
Suggest IT enhancement
to display glossary term
within online Application.
Brad
Elphick
Post Award
Compliance
General
Consistency
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider additional
guidance based on
this comment.
This comment is
related to Allocatee
reporting/complianc
e and will be
considered in the
future.
NMTC
Working
Group Novogradac
Brad
Elphick
Post Award
Debriefing
Debriefing
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
8
Various ideas for
increasing scoring
variability.
Update Compliance FAQ
to clarify that CDES will
not be evaluated
unfavorably if no more
than 15% of their
allocation is used to
finance investments
inconsistent w/ its
application strategy.
Give more robust
feedback in debriefing.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
57
Date of
Comment
4/23/2024
Organization
58
4/23/2024
59
4/23/2024
NMTC
Working
Group Novogradac
Brad
Elphick
NOAA
NOAA
QEI Issuance
Requirements
60
4/23/2024
NMTC
Working
Group Novogradac
Brad
Elphick
Glossary of
Terms
Application
Disadvantage
Business
61
4/23/2024
Brad
Elphick
Managemen
t Capacity
Application
Fee Structure
62
4/23/2024
NMTC
Working
Group Novogradac
CAHEC
Community
Capital
Brian
Oxford
Community
Outcomes
Application
Question Note
63
4/23/2024
CAHEC
Community
Capital
Brian
Oxford
Business
Strategy
Application
Financial
Products
NMTC
Working
Group Novogradac
NMTC
Working
Group Novogradac
Author
Name
Brad
Elphick
Section
Category
Topic
Comment
NMTC Response
Glossary of
Terms
Application
Disadvantage
Business
Oppose <$100,000
revenue limitation.
Brad
Elphick
General
Application
Instructions,
FAQ
Integrate
Application
Material
Add Notice of Allocation
Availability (NOAA) to
online Application.
Incorporate FAQ guidance
into Application Notes.
Reduce QEI issuance
threshold requirement for
non-rural CDEs from 20%
to 0%.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund will
consider additional
guidance based on
this comment.
9
Clarify "primarily" in part
4 of definition revision;
clarification on whether
businesses need to be in
LICs before or after
investment; add non-profit
and socially disadvantaged
persons to part 2.
Make sure fee guidance is
consistent between
Question 43 and the
CDE's fee disclosure.
Clarify percentage of
commitments in Questions
25(a) and (b).
Support comparing
NMTC product with other
financial institutions or
investors.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund
made revisions
based on public
comments.
Comment in support
of proposed or
existing text. No
action necessary.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
64
Date of
Comment
4/23/2024
Author
Name
Brian
Oxford
Section
Category
Topic
Comment
NMTC Response
Business
Strategy
Application
Additional
Flexibility for
Debt
Correct typo in Question
15(a).
CAHEC
Community
Capital
Brian
Oxford
Business
Strategy
Application
Question Note
Third
Paragraph
4/23/2024
CAHEC
Community
Capital
Brian
Oxford
Business
Strategy
Application
Question Note
First
Paragraph
67
4/23/2024
CAHEC
Community
Capital
Brian
Oxford
Community
Outcomes
Application
68
4/23/2024
CAHEC
Community
Capital
Brian
Oxford
Community
Outcomes
Application
69
4/23/2024
CAHEC
Community
Capital
Brian
Oxford
Community
Outcomes
Application
70
4/23/2024
CAHEC
Community
Capital
Brian
Oxford
Community
Outcomes
Application
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Community
Goods and
Services
Clarify level of specificity
required for business type
description in Question
17(c).
Clarify level of specificity
required for business type
description in Question
17(c).
Suggest moving question
to Innovative Activity.
71
4/23/2024
CAHEC
Community
Capital
Brian
Oxford
Community
Outcomes
Application
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider additional
guidance based on
this comment.
65
4/23/2024
66
CAHEC
Community
Capital
10
Community or
Economic
Development
Strategies
Concerns with tracking
commitments to areas of
distress.
Concerns with revised
areas of distress.
Remove third-party
metrics requirement for
community goods and
services.
Revise wording or clarify
instructions for Question
27(d) to "discuss the
portion…."
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
72
Date of
Comment
4/23/2024
Author
Name
Brian
Oxford
Section
Category
Topic
Comment
NMTC Response
Capitalizati
on Strategy
Application
Part IV
instructions
Correct typo in Part IV
description.
CAHEC
Community
Capital
Brian
Oxford
Managemen
t Capacity
Application
Consistency
of Personnel
Names
4/23/2024
CAHEC
Community
Capital
Brian
Oxford
Exhibits
Application
Add "Project
Name" answer
field
Clarify if names in Table
C2 and Question 28(a)
should be identical to
Question 28(b).
Add a separate answer
field for project name.
75
4/23/2024
CAHEC
Community
Capital
Brian
Oxford
Combined
Rounds
NOAA
Combining
Rounds
Do not support combining
CY 2024 & CY 2025
rounds.
76
4/23/2024
CAHEC
Community
Capital
Brian
Oxford
Glossary of
Terms
Application
Disadvantage
Business
Revert definition of
"Disadvantage Business."
77
4/23/2024
CAHEC
Community
Capital
Brian
Oxford
General
Review
Process
Phase 1
reviewers
Revert back to three
reviewers for Phase 1
review.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund will
consider changes in
future application
rounds.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
73
4/23/2024
74
CAHEC
Community
Capital
11
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#
Organization
78
Date of
Comment
4/23/2024
Author
Name
Calvin
Holmes
Section
Category
Topic
Comment
NMTC Response
Allocation
Request
Application
Total QEI
Needs
Chicago
Community
Loan Fund
Calvin
Holmes
Allocation
Request
Application
Total QEI
Needs
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Business
Strategy
Application
Due Diligence
Comment in support
of proposed or
existing text. No
action necessary.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund is
maintaining the
current
requirements.
81
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Business
Strategy
Application
Due Diligence
Aligning allocation
request with total QEI is
more consistent and
realistic.
Describing detailed
investment strategy based
on community input
increase burden.
Due diligence
documentation requires
applicants to maintain
extensive records which
may exceed the assumed
preparation hours.
Provide checklist for due
diligence.
79
4/23/2024
80
82
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Business
Strategy
Application
Due Diligence
Support changes to
Question 18.
83
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Community
Outcomes
Application
Describing the
involvement of LIC
representatives takes time.
84
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Business
Strategy
Application
Community
Accountabilit
y&
Involvement
Financial
Products
Chicago
Community
Loan Fund
12
Articulate distinction
between descriptions for
multiple financial
products. Provide
examples.
The CDFI Fund will
consider additional
guidance based on
this comment.
Comment in support
of proposed or
existing text. No
action necessary.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider additional
guidance based on
this comment.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
85
Date of
Comment
4/23/2024
Author
Name
Calvin
Holmes
Section
Category
Topic
Comment
NMTC Response
Business
Strategy
Application
Financial
Products
Support requiring distinct
narratives for financial
products.
Chicago
Community
Loan Fund
Calvin
Holmes
Business
Strategy
Application
Financial
Products
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Business
Strategy
Application
Financial
Products
88
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Business
Strategy
Application
Financial
Products
89
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Business
Strategy
Application
Financial
Products
Providing distinct
narratives for each
financial product and
detailed description of
product structuring
increases burden and cost
to prepare application.
Requirement to describe
circumstances dictating
rates and terms adds
burden.
Provide example or
template for Question
14(b). Simplify
requirements or provide
calculation tools.
Describing circumstances
of terms and rates increase
burden.
Comment in support
of proposed or
existing text. No
action necessary.
The CDFI Fund will
consider additional
guidance based on
this comment.
86
4/23/2024
87
90
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Business
Strategy
Application
Invest in
Other CDEs
Revert changes to
instructions for Question
14(c).
91
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Business
Strategy
Application
Invest in
Other CDEs
Provide an example for
how benefits are passed on
when investing in other
CDEs.
Chicago
Community
Loan Fund
13
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider additional
guidance based on
this comment.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
92
Date of
Comment
4/23/2024
Author
Name
Calvin
Holmes
Section
Category
Topic
Comment
NMTC Response
Business
Strategy
Application
Calvin
Holmes
Business
Strategy
Application
Explain criteria used to
assess the quality and
alignment of community
input with investment
strategies.
Support changes to
Question 17(c).
The CDFI Fund will
consider additional
guidance based on
this comment.
Chicago
Community
Loan Fund
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Community
Outcomes
Application
Detailing investment
strategies based on
community input could
further increase burden.
The CDFI Fund will
consider additional
guidance based on
this comment.
95
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Community
Outcomes
IT
Enhancement
Provide mapping tool or
database for qualified
distressed areas.
96
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Community
Outcomes
Application
97
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Community
Outcomes
Application
98
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Community
Outcomes
Application
Align
Investment
with
Community
Input
Align
Investment
with
Community
Input
Align
Investment
with
Community
Input
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
93
4/23/2024
94
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
Chicago
Community
Loan Fund
14
Provide guideline, scoring
rubric and scoring metric
for Question 25(b).
Analyzing data on areas of
distress will increase
costs.
Commitment to invest in
specific distress areas
increase admin burden and
costs.
Comment in support
of proposed or
existing text. No
action necessary.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
99
Date of
Comment
4/23/2024
Author
Name
Calvin
Holmes
Section
Category
Topic
Comment
NMTC Response
Community
Outcomes
Application
Chicago
Community
Loan Fund
Calvin
Holmes
Community
Outcomes
IT
Enhancement
Commitment to invest in
specific distress areas
increase admin burden and
costs.
Request for questions to
be reformatted or add a
table.
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Community
Outcomes
Application
Commitment
to Areas of
Higher
Distress
Community
Accountabilit
y&
Involvement
Community
Accountabilit
y&
Involvement
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
100
4/23/2024
101
102
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Managemen
t Capacity
Application
Organization
Capacity/Key
Personnel
103
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Managemen
t Capacity
Application
Organization
Capacity/Key
Personnel
104
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Managemen
t Capacity
Application
Organization
capacity/Key
Personnel
105
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Managemen
t Capacity
Application
Organization
capacity/Key
Personnel
Chicago
Community
Loan Fund
15
Consider updates to allow
more flexibility in how
accountability,
engagement and
involvement is
demonstrated.
Ensure consideration is
not limited to experienced
CDEs.
Incorporate dropdown
menus or autofill options
based on prior year
submissions to minimize
repetitive data entry.
Support collecting detailed
descriptions of org
structure, key personnel
and experience providing
QLICIs.
Information required adds
complexity requiring
additional resources. This
will increase operational
costs.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider additional
guidance based on
this comment.
Comment in support
of proposed or
existing text. No
action necessary.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
106
Date of
Comment
4/23/2024
Author
Name
Calvin
Holmes
Section
Category
Topic
Comment
NMTC Response
Managemen
t Capacity
Application
Organization
Capacity/Key
Personnel
Provide clarification on
expectations for key
personnel.
Chicago
Community
Loan Fund
Calvin
Holmes
Managemen
t Capacity
Application
Organization
Capacity/Key
Personnel
Provide clarification on
expectations for key
personnel.
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Capitalizati
on Strategy
Application
Raising
Capital
109
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Capitalizati
on Strategy
Application
Capitalization
Consider incorporating
CDE overarching goals
and impact into
strategy/track record of
raising capital.
Add or integrate digital
templates for these
questions.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider changes in
future application
rounds.
107
4/23/2024
108
110
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Capitalizati
on Strategy
Application
Raising
Capital
111
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Capitalizati
on Strategy
Application
Raising
Capital
112
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Business
Strategy
Application
Innovation in
financial
product
Chicago
Community
Loan Fund
16
Documenting track record
of capital raising and
investment partnership is
challenging and could
increase cost.
Do not focus exclusively
on ability or track record
of raising capital. Add
consideration for
CDFI/CDEs and Minority
CDEs that demonstrate
growth potential and
community impact.
Provide space for CDEs to
discuss any innovative
features of their financial
products.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider changes in
future application
rounds.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
113
Date of
Comment
4/23/2024
Author
Name
Calvin
Holmes
Section
Category
Topic
Comment
NMTC Response
AMIS
IT
Enhancement
Online
Application
Portal
The CDFI Fund will
consider additional
guidance based on
this comment.
Chicago
Community
Loan Fund
Calvin
Holmes
Post Award
Debriefing
Debriefing
Suggest various format
updates, functionality
improvements to the
online application
interface for Applicants.
Give more robust
feedback in debriefing.
114
4/23/2024
115
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Estimated
Hours of
Burden
PRA
CDFI Fund
Burden
Estimate
(hours)
Review and potentially
increase burden estimate.
116
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Capitalizati
on Strategy
Application
Raising
Capital
Describing history and
strategies to raise capital
require additional
expertise/burden.
117
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Provide
Feedback
PRA
Review Draft
Application
Various ideas for
providing feedback,
financial rewards, or
advantages to certain
Applicants.
Chicago
Community
Loan Fund
17
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
118
Date of
Comment
4/23/2024
Author
Name
Calvin
Holmes
Section
Category
Topic
Comment
NMTC Response
Customer
Service
Capacity
Building
Consistency
of Personnel
Names
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
Chicago
Community
Loan Fund
Calvin
Holmes
Provide
Feedback
PRA
Review Draft
Application
Conduct research to
review participation and
successes of Minority
CDEs and understand
barriers to entry and
success.
Allow early access to
application drafts and
provide feedback allowing
Applicants to revisit their
responses.
119
4/23/2024
120
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Estimated
Hours of
Burden
PRA
CDFI Fund
Burden
Estimate
(hours)
Current burden estimate
may underrepresent true
cost of burden.
121
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Community
Outcomes
Application
Align
Investment
with
Community
Input
Substantiating impacts for
LICs/LIPs increase
burden.
Chicago
Community
Loan Fund
18
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
122
Date of
Comment
4/23/2024
Author
Name
Calvin
Holmes
Section
Category
Topic
Comment
NMTC Response
Provide
Feedback
PRA
Review Draft
Application
Allow early access to
application drafts and
provide feedback allowing
Applicants to revisit their
responses.
Chicago
Community
Loan Fund
Calvin
Holmes
Customer
Service
Capacity
Building
Provide
Technical
Assistance
Develop partnerships with
organizations to provide
capacity building
assistance for Minority
CDEs.
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Managemen
t Capacity
Application
Organization
Capacity/Key
Personnel
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Capitalizati
on Strategy
Application
Raising
Capital
Detailed information
requested may increase
burden for new Applicants
or those with recent
structural changes.
Request for additional
instructions and guidance
regarding data reported
and sharing preferred
format for Commitment
Letters and Letters of
Intent.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
123
4/23/2024
124
125
Chicago
Community
Loan Fund
19
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
126
Date of
Comment
4/23/2024
Author
Name
Calvin
Holmes
Section
Category
Topic
Comment
NMTC Response
Business
Strategy
Application
Sustainability
and Viability
of
Investments
The CDFI Fund will
consider changes in
future application
rounds.
Chicago
Community
Loan Fund
Calvin
Holmes
Business
Strategy
Application
Social &
economic
Impact
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
General
Regulations
Set-Aside
Add a question that
encourages CDEs to
discuss their strategies for
ensuring the sustainability
and long-term viability of
their investments
(reinvestments, additional
capital, lasting benefits).
Add a question focused on
anticipated social and
economic impact of the
proposed investments.
Create a set aside for
Minority CDEs.
127
4/23/2024
128
129
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Customer
Service
Capacity
Building
Provide
Technical
Assistance
Provide technical
assistance to Minority
CDEs.
130
4/23/2024
Chicago
Community
Loan Fund
Calvin
Holmes
Community
Outcomes
Review
Process
Bonus Points
Give bonus points for
CDFIs.
Chicago
Community
Loan Fund
20
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
131
Date of
Comment
4/23/2024
Author
Name
Calvin
Holmes
Section
Category
Topic
Comment
NMTC Response
General
Review
Process
Minority-led
CDEs
Revise review process to
evaluate experience and
performance of Minority
CDEs.
Chicago
Community
Loan Fund
Calvin
Holmes
Business
Strategy
Application
Total QEI
Needs
Request calculator tool to
align QEI needs with
business type.
4/23/2024
Urban Action
Community
Development
Carl
Struever
Community
Outcomes
Application
MBE/WBE
business
Consider adding
MBE/WBE participation.
134
4/23/2024
Urban Action
Community
Development
Carl
Struever
Community
Outcomes
Application
Restore question about
"catalytic impact."
135
4/23/2024
Urban Action
Community
Development
Carl
Struever
Managemen
t Capacity
Application
Catalytic
Impact in
Neighborhood
Transformatio
n
Fee Structure
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
132
4/23/2024
133
136
4/23/2024
Urban Action
Community
Development
Carl
Struever
General
Application
NMTC
Pricing
Propose ways to increase
NMTC pricing.
Chicago
Community
Loan Fund
21
Support requirement to
disclose fees.
Comment in support
of proposed or
existing text. No
action necessary.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
137
Date of
Comment
4/23/2024
Author
Name
Carl
Struever
Section
Category
Topic
Comment
NMTC Response
Community
Outcomes
Application
Commitment
to Areas of
Higher
Distress
Distress criteria does not
consider collapse of
offices and commercial
properties in downtowns.
Urban Action
Community
Development
Carl
Struever
Community
Outcomes
Application
Do not support targeting
"deep distress"
4/23/2024
Urban Action
Community
Development
Carl
Struever
General
Application
Commitment
to Areas of
Higher
Distress
Reduce Cost
140
4/23/2024
Urban Action
Community
Development
Carl
Struever
General
Other
Expand
Eligible
Leverage
Loan Sources
Expand sources of
leverage loans.
141
4/23/2024
Urban Action
Community
Development
Carl
Struever
General
Other
Fee Structure
Expressed concern about
escrowing asset
management fees.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund
made revisions
based on public
comments.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
138
4/23/2024
139
Urban Action
Community
Development
22
Suggested alternates to
escrowed funds.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
142
Date of
Comment
4/23/2024
Author
Name
Carl
Struever
Section
Category
Topic
Comment
NMTC Response
Regulation
Other
Financial
Products
Structure "put" as a loan at
the initial NMTC
investment.
Urban Action
Community
Development
Carl
Struever
General
Other
Reduce Cost
Made suggestions to
reduce transaction cost.
4/23/2024
Urban Action
Community
Development
Carl
Struever
General
Federal
Coordination
Streamline
NMTC with
Federal
programs
145
4/23/2024
Urban Action
Community
Development
Carl
Struever
General
Federal
Coordination
Reference
Justice40
White House
Initiative
Minimize requirements
from other federal and
public programs to
maximize impact of
NMTC.
Make references to
Justice40 (White House
Initiative).
146
4/23/2024
Urban Action
Community
Development
Carl
Struever
General
Application
Environmenta
l Impact
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
consider changes in
future application
rounds.
143
4/23/2024
144
Urban Action
Community
Development
23
Utilize language from
other federal programs to
generate environmental
impact.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
147
Date of
Comment
4/23/2024
Author
Name
Carl
Struever
Section
Category
Topic
Comment
NMTC Response
General
Other
Potential
Impact
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
Urban Action
Community
Development
Carl
Struever
General
Other
Fee Structure
Use NMTC as vehicles for
"defense dividend", local
and state using
federal/defense
investments to grow local
economy.
Cost of fees, bridge loans,
and escrowed accounts
devalues benefits of
NMTC.
148
4/23/2024
291
4/23/2024
The Rose
Urban Green
Fund
Charles
Perry
Community
Outcomes
Application
Federal/State/
Local Zones
Restore
"federal/state/local zones"
as an area of distress.
150
4/23/2024
The Rose
Urban Green
Fund
Charles
Perry
Community
Outcomes
Application
Revert changes to
Question 25(b).
151
4/23/2024
The Rose
Urban Green
Fund
Charles
Perry
Glossary of
Terms
Application
Commitment
to Areas of
Higher
Distress
Disadvantage
Business
152
4/23/2024
National New
Markets Fund
Deborah
La Franchi
Business
Strategy
Application
Market
Comparison
153
4/23/2024
National New
Markets Fund
Deborah
La Franchi
Business
Strategy
Application
Proposed
Pipeline
Urban Action
Community
Development
24
Revert definition of
"Disadvantage Business"
or add nonprofit
businesses servicing LIC
residents and LIPs.
Support comparing
NMTC product with other
financial institutions or
investors.
Clarify whether
deployment timeline is
required. Add project
readiness and financing
status to Question 17(c)
text or question note.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
Comment in support
of proposed or
existing text. No
action necessary.
The CDFI Fund is
maintaining the
current
requirements.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
154
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
National New
Markets Fund
Author
Name
Deborah
La Franchi
Business
Strategy
Application
Due Diligence
Increase character limit for
Question 18.
4/23/2024
National New
Markets Fund
Deborah
La Franchi
Business
Strategy
Application
Track Record
of
Investments
Allow Applicants to report
their track record, and not
their Controlling Entity's.
156
4/23/2024
National New
Markets Fund
Deborah
La Franchi
Community
Outcomes
Application
Add "Persistent Poverty
Counties" to Question
25b.
157
4/23/2024
National New
Markets Fund
Deborah
La Franchi
Community
Outcomes
Application
158
4/23/2024
National New
Markets Fund
Deborah
La Franchi
Community
Outcomes
Application
159
4/23/2024
National New
Markets Fund
Deborah
La Franchi
Exhibits
Application
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Track Record
of
Investments
160
4/23/2024
National New
Markets Fund
Deborah
La Franchi
Managemen
t Capacity
Application
Fee Structure
161
4/23/2024
National New
Markets Fund
Deborah
La Franchi
Glossary of
Terms
Application
Disadvantage
Business
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
Comment in support
of proposed or
existing text. No
action necessary.
Comment in support
of proposed or
existing text. No
action necessary.
The CDFI Fund
made revisions
based on public
comments.
155
25
Revert changes to
Question 25(b).
Remove "higher" or
quantify "higher" in
Question 25(b).
Support allowing
applicants to report their
track record, and not their
Controlling Entity's.
Support requirement to
disclose fees.
Align definition of
"Disadvantage Business"
with SBA.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
162
Date of
Comment
4/18/2024
Author
Name
Dominik
Mjartan
Section
Category
Topic
Comment
NMTC Response
Post Award
Debriefing
Debriefing
Give detailed scoring in
debriefing.
Optus Bank
Dominik
Mjartan
Community
Outcomes
Review
Process
Bonus Points
Give bonus points for
CDFIs.
4/18/2024
Optus Bank
Dominik
Mjartan
Post Award
Debriefing
Debriefing
Give detailed comments in
debriefing.
165
4/17/2024
Smith NMTC
Associates
Donna
Aronoff
Smith
Community
Outcomes
Application
Community
Engagement
166
4/17/2024
Smith NMTC
Associates
Donna
Aronoff
Smith
Business
Strategy/Co
mmunity
Outcome
Application
Housing
Question on community
engagement implies
engagement with local
residents and/or local
economic development
agencies, which create
burden for CDEs serving a
national or large service
area.
Add high housing need as
severe distress criteria or
innovative activities.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund will
consider additional
guidance based on
this comment.
163
4/18/2024
164
Optus Bank
26
The CDFI Fund will
consider changes in
future application
rounds.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
167
Date of
Comment
4/17/2024
Author
Name
Donna
Aronoff
Smith
Section
Category
Topic
Comment
NMTC Response
Community
Outcomes
Application
Revert changes to
Question 25(b).
Smith NMTC
Associates
Donna
Aronoff
Smith
Community
Outcomes
Application
Commitment
to Areas of
Higher
Distress
Housing
4/17/2024
Smith NMTC
Associates
Donna
Aronoff
Smith
Glossary of
Terms
Application
Disadvantage
Business
170
4/17/2024
Smith NMTC
Associates
Donna
Aronoff
Smith
NOAA
NOAA
QEI Issuance
Requirements
Revert definition of
"Disadvantage Business"
or add nonprofit
businesses servicing LIC
residents and LIPs.
Reduce QEI issuance
threshold requirement for
non-rural CDEs from 20%
to 0%.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund
made revisions
based on public
comments.
168
4/17/2024
169
171
4/23/2024
Dwayne
Lee
Community
Outcomes
Application
Commitment
to Areas of
Higher
Distress
Revert changes to
Question 25(b).
172
4/23/2024
Dwayne
Lee
Glossary of
Terms
Application
Disadvantage
Business
Revert definition of
"Disadvantage Business."
The CDFI Fund
made revisions
based on public
comments.
173
4/23/2024
504
Corporation/A
dvance
CapAccess
(ACA)
504
Corporation/A
dvance
CapAccess
(ACA)
Homeownershi
p Alliance
Elizabeth
Coats
Business
Strategy/Co
mmunity
Outcome
Application
Housing
Add high housing need as
severe distress criteria or
innovative activities.
The CDFI Fund will
consider changes in
future application
rounds.
Smith NMTC
Associates
27
Increase character limit to
Question 26(a)(8).
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund
made revisions
based on public
comments.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
174
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
Homeownershi
p Alliance
Author
Name
Elizabeth
Coats
Community
Outcomes
Application
Revert changes to
Question 25(b).
4/23/2024
Homeownershi
p Alliance
Elizabeth
Coats
Community
Outcomes
Application
Commitment
to Areas of
Higher
Distress
Housing
176
4/23/2024
Homeownershi
p Alliance
Elizabeth
Coats
General
Review
Process
External
Reviewers
Hire external reviewers
with housing experience.
177
4/23/2024
Homeownershi
p Alliance
Elizabeth
Coats
FAQ
Application
Instructions
Housing
Incorporate housing
examples in Phase 1
training & FAQ.
178
4/23/2024
Michigan
Community
Capital
Eric Hanna
Community
Outcomes
Application
Revert changes to
Question 27(c) to discuss
track record.
179
4/23/2024
Michigan
Community
Capital
Eric Hanna
Capitalizati
on Strategy
Application
Community
Accountabilit
y&
Involvement
Capitalization
180
4/23/2024
Michigan
Community
Capital
Eric Hanna
Community
Outcomes
Application
LILA/Healthy
Foods
Revert back to the Healthy
Food Financing Initiative
(HFFI) definition.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund will
consider changes in
future application
rounds.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund is
maintaining the
current
requirements.
175
28
Increase character limit to
Question 26(a)(8).
Restore Question 35 as
one question.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
181
Date of
Comment
4/23/2024
Author
Name
Eric Hanna
Section
Category
Topic
Comment
NMTC Response
Community
Outcomes
Application
Suggest alternate changes
to Question 25(b).
Michigan
Community
Capital
Eric Hanna
Community
Outcomes
Application
4/23/2024
Michigan
Community
Capital
Eric Hanna
Business
Strategy
Application
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Maximize
Efficiency and
Financial
Impact
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund will
consider changes in
future application
rounds.
182
4/23/2024
183
184
4/23/2024
Michigan
Community
Capital
Eric Hanna
Community
Outcomes
Review
Process
Bonus Points
185
4/18/2024
Dallas
Development
Fund
Heather
Lepeska
Community
Outcomes
Application
Revert changes to
Question 25(b).
186
4/23/2024
JarredMichael
Erickson
Community
Outcomes
Application
187
4/23/2024
Confederated
Tribes of the
Colville
Reservation
Confederated
Tribes of the
Colville
Reservation
Commitment
to Areas of
Higher
Distress
Federal
Native Areas
JarredMichael
Erickson
Community
Outcomes
Application
Community
Accountabilit
y&
Involvement
Adopt holistic definition
of data in Question 27(b).
Michigan
Community
Capital
29
Revert changes to
Question 25(b).
Add new question in
Business Strategy to
discuss Applicant's
strategy to maximize
efficiency and financial
impact.
Give bonus points to
CDFIs as Applicants or
Controlling Entities.
Support wording change
to "Federal Native Areas."
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
The CDFI Fund
made revisions
based on public
comments.
Comment in support
of proposed or
existing text. No
action necessary.
The CDFI Fund will
consider additional
guidance based on
this comment.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
188
Date of
Comment
4/23/2024
Organization
189
4/23/2024
190
4/23/2024
Community
Development
Bankers
Association
Jeannine
Jacokes
Community
Outcomes
Application
Commitment
to Areas of
Higher
Distress
191
4/23/2024
Jeannine
Jacokes
Community
Outcomes
Application
Community
Goods and
Services
192
4/23/2024
Jeannine
Jacokes
Community
Outcomes
Application
193
4/23/2024
Community
Development
Bankers
Association
Community
Development
Bankers
Association
Community
Development
Bankers
Association
Jeannine
Jacokes
Community
Outcomes
Application
Community
Accountabilit
y&
Involvement
LIC
Involvement
in Past
Investments
Community
Development
Bankers
Association
Community
Development
Bankers
Association
Author
Name
Jeannine
Jacokes
Section
Category
Topic
Comment
NMTC Response
Business
Strategy
Application
Due Diligence
Jeannine
Jacokes
Business
Strategy
Application
Innovative
Investments
Provide some additional
flexibility for Applicants
when responding to this
question.
Support adding 'Investing
in Unrelated Minorityowned or Native
American-owned or
controlled CDEs."
Concerns that new distress
areas may not accurately
reflect need due to data
limitations and may result
in incentivizing different
outcomes than what's
desired.
Remove third-party
metrics requirement for
community goods and
services.
Using data to qualify need
would disadvantage LICs
and Native communities
The CDFI Fund is
maintaining the
current
requirements.
Comment in support
of proposed or
existing text. No
action necessary.
30
The CDFI Fund should be
more flexible in its
evaluation until the
impacts of the change in
Question 27(b) are fully
understood.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund is
maintaining the
current
requirements.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
194
Date of
Comment
4/23/2024
Author
Name
Jeannine
Jacokes
Section
Category
Topic
Comment
NMTC Response
Managemen
t Capacity
Application
Organization
Capacity/Key
Personnel
The CDFI Fund will
consider additional
guidance based on
this comment.
Community
Development
Bankers
Association
Jeannine
Jacokes
Capitalizati
on Strategy
Application
Management
Experience
Community
Development
Bankers
Association
Community
Development
Bankers
Association
Community
Development
Bankers
Association
Jeannine
Jacokes
Capitalizati
on Strategy
Application
Investor
Letters
Concerns that limiting
Table C2 to leadership
positions will
disadvantage smaller
CDFIs.
Maintain current space
limitations/character
lengths. Do not reduce
character limits or
combine question
responses.
Clarify when a prior
allocatee is required to
provide investor letters.
195
4/23/2024
196
4/23/2024
197
4/23/2024
Jeannine
Jacokes
Exhibits
Application
Business Type
Add "childcare" as
business type in Table A5.
198
4/23/2024
Jeannine
Jacokes
Capitalizati
on Strategy
Application
Management
Experience
4/23/2024
Community
Development
Bankers
Association
Jeannine
Jacokes
Community
Outcomes
Review
Process
Bonus Points
Allow Question 35
narrative to describe track
record raising capital to
offset character count lost
by consolidating Exhibit
E.
Give bonus points for
CDFIs.
199
200
4/23/2024
Community
Development
Bankers
Association
Jeannine
Jacokes
Glossary of
Terms
Application
Disadvantage
Business
Community
Development
Bankers
Association
31
Revisit updates to
definition.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
The CDFI Fund
made revisions
based on public
comments.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
201
Date of
Comment
4/23/2024
Author
Name
Jeannine
Jacokes
Section
Category
Topic
Comment
NMTC Response
Post Award
Debriefing
Debriefing
Give more robust
feedback in debriefing.
Community
Development
Bankers
Association
Community
Development
Bankers
Association
Native
American Bank
Jeannine
Jacokes
Glossary of
Terms
Application
Disadvantage
Business
Increase maximum
revenue level to $500k.
Jeannine
Jacokes
Glossary of
Terms
Application
Disadvantage
Business
Delay implementation of
definition change and
allow transition period.
Joel Smith
Community
Outcomes
Application
Targeted
Population
Include Indian
Reservation in definition
of "targeted population".
4/23/2024
Native
American Bank
Joel Smith
Community
Outcomes
Application
Federal
Native Areas
Support wording change
to "Federal Native Areas."
4/23/2024
Native
American Bank
Joel Smith
Community
Outcomes
Application
Community
Accountabilit
y&
Involvement
Adopt holistic definition
of data in Question 27(b).
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
Targeted
Populations are
defined in IRS
Regulations, not by
the CDFI Fund
Application
materials.
Comment in support
of proposed or
existing text. No
action necessary.
The CDFI Fund will
consider additional
guidance based on
this comment.
202
4/23/2024
203
4/23/2024
204
4/23/2024
205
206
Community
Development
Bankers
Association
32
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
207
Date of
Comment
4/23/2024
Author
Name
Joel Smith
Section
Category
Topic
Comment
NMTC Response
General
Review
Process
Set-Aside
Create a set aside for
Native CDEs.
Advantage
Capital
Jonathan
Goldstein
Business
Strategy
Application
Due Diligence
Increase character limit for
Question 18.
4/23/2024
Advantage
Capital
Jonathan
Goldstein
Business
Strategy
Review
Process
Innovative
Investments
Assign scores to Question
19 as incentive for
innovative activities.
210
4/23/2024
Advantage
Capital
Jonathan
Goldstein
Business
Strategy
Application
Innovative
Investments
Add "non-use of affiliate
leverage" as a category of
innovative activity.
211
4/23/2024
Advantage
Capital
Jonathan
Goldstein
Business
Strategy
Application
Financial
Products
Increase character limit for
Question 14.
212
4/23/2024
Advantage
Capital
Jonathan
Goldstein
Business
Strategy,
Exhibits
Application
Track Record
vs Pipeline
213
4/23/2024
Advantage
Capital
Jonathan
Goldstein
Community
Outcomes
Application
Commitment
to Areas of
Higher
Distress
Focus on track record
instead pipeline,
alternatively evaluate
track record for past
awardees and pipeline
projects for new
allocatees.
Revert changes to
Question 25(b).
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund is
maintaining the
current
requirements.
208
4/23/2024
209
Native
American Bank
33
The CDFI Fund
made revisions
based on public
comments.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
214
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
Advantage
Capital
Author
Name
Jonathan
Goldstein
Exhibits
Application
Operating
businesses
Add "business services" as
business type.
4/23/2024
Advantage
Capital
Jonathan
Goldstein
Glossary of
Terms
Application
Disadvantage
Business
Revert definition of
"Disadvantage Business."
216
4/22/2024
District Honor
Joseph
Crugnale
General
Application
Environmenta
l, Social and
Governance
indicators
Utilize Environmental,
Social, and Governance
indicators in investments.
217
4/23/2024
Southern
Bancorp Bank
Kenya
Davenport
Post Award
Debriefing
Debriefing
Give detailed comments in
debriefing.
218
4/23/2024
Southern
Bancorp Bank
Kenya
Davenport
Post Award
Debriefing
Debriefing
Give detailed scoring in
debriefing.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
215
34
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
219
Date of
Comment
4/23/2024
Author
Name
Kenya
Davenport
Section
Category
Topic
Comment
NMTC Response
Community
Outcomes
Review
Process
Bonus Points
Give bonus points for
CDFIs.
Illinois
Facilities Fund
- IFF
Kirby
Burkholder
Post Award
Debriefing
Debriefing
Give detailed comments in
debriefing.
4/23/2024
Illinois
Facilities Fund
- IFF
Kirby
Burkholder
Post Award
Debriefing
Debriefing
Give detailed scoring in
debriefing.
222
4/23/2024
Illinois
Facilities Fund
- IFF
Kirby
Burkholder
Community
Outcomes
Review
Process
Bonus Points
Give bonus points for
CDFIs.
223
4/23/2024
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Business
Strategy
Application
Due Diligence
Due diligence
documentation requires
applicants to maintain
extensive records which
may exceed the assumed
preparation hours.
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
The CDFI Fund is
maintaining the
current
requirements.
220
4/23/2024
221
Southern
Bancorp Bank
35
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
224
Date of
Comment
4/23/2024
225
4/23/2024
226
4/23/2024
227
4/23/2024
228
4/23/2024
229
4/23/2024
230
4/23/2024
Organization
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
Author
Name
Lenwood
Long
Section
Category
Topic
Comment
NMTC Response
Business
Strategy
Application
Total QEI
Needs
Lenwood
Long
Business
Strategy
Application
Due Diligence
Describing detailed
investment strategy based
on community input
increase burden.
Support changes to
Question 18.
Lenwood
Long
Community
Outcomes
Application
Lenwood
Long
Managemen
t Capacity
Application
Community
Accountabilit
y&
Involvement
Organization
Capacity/Key
Personnel
Lenwood
Long
Business
Strategy
Application
Financial
Products
The CDFI Fund is
maintaining the
current
requirements.
Comment in support
of proposed or
existing text. No
action necessary.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider additional
guidance based on
this comment.
Lenwood
Long
Business
Strategy
Application
Financial
Products
Lenwood
Long
Business
Strategy
Application
Financial
Products
36
Describing the
involvement of LIC
representatives takes time.
Information required adds
complexity that requires
additional resources which
increases costs.
Articulate distinction
between descriptions for
multiple financial
products. Provide
examples.
Provide examples of
financial product
narratives or scoring
rubric.
Support revision in
Questions 14(a) & 14(b)
The CDFI Fund will
consider additional
guidance based on
this comment.
Comment in support
of proposed or
existing text. No
action necessary.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
231
Date of
Comment
4/23/2024
Author
Name
Lenwood
Long
Section
Category
Topic
Comment
NMTC Response
Business
Strategy
Application
Financial
Products
The CDFI Fund will
consider additional
guidance based on
this comment.
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Business
Strategy
Application
Financial
Products
Providing distinct
narratives for each
financial product and
detailed description of
product structuring
increases burden and cost
to prepare application.
Simplify requirements or
provide tool to calculate
blended interest rate.
232
4/23/2024
233
4/23/2024
Lenwood
Long
Business
Strategy
Application
Financial
Products
234
4/23/2024
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Business
Strategy
Application
Financial
Products
318
4/23/2024
Lenwood
Long
Business
Strategy
Application
Invest in
Other CDEs
Provide example or
template for Question
14(c).
236
4/23/2024
Lenwood
Long
Business
Strategy
Application
Invest in
Other CDEs
Provide example or
template for Question
14(c).
237
4/23/2024
Lenwood
Long
Business
Strategy
Application
Invest in
Other CDEs
Revert changes to
instructions for Question
14(c).
African
American
Alliance of
CDFI CEOs
37
Provide example or
template for Question
14(b). Simplify
requirements or provide
calculation tools.
Describing circumstances
of terms and rates increase
burden.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund is
maintaining the
current
requirements.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
238
Date of
Comment
4/23/2024
Author
Name
Lenwood
Long
Section
Category
Topic
Comment
NMTC Response
Community
Outcomes
Application
Lenwood
Long
Business
Strategy
Application
Explain criteria used to
assess the quality and
alignment of community
input with investment
strategies.
Provide tool to calculate
and align QEI needs with
allocation request.
The CDFI Fund will
consider additional
guidance based on
this comment.
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
Align
Investment
with
Community
Input
Total QEI
Needs
239
4/23/2024
240
4/23/2024
Lenwood
Long
Business
Strategy
Application
Support changes to
Question 17(c).
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Community
Outcomes
IT
Enhancement
Lenwood
Long
Community
Outcomes
Application
Lenwood
Long
Community
Outcomes
Application
Lenwood
Long
Community
Outcomes
Application
Lenwood
Long
Community
Outcomes
Application
Align
Investment
with
Community
Input
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
241
4/23/2024
242
4/23/2024
243
4/23/2024
244
4/23/2024
245
4/23/2024
African
American
Alliance of
CDFI CEOs
38
Provide mapping tool or
database for qualified
distressed areas.
Provide guideline, scoring
rubric and scoring metric
for Question 25(b).
Analyzing data on areas of
distress will increase
costs.
Commitment to invest in
specific distress areas
increase admin burden and
costs.
Commitment to invest in
specific distress areas
increase admin burden and
costs.
The CDFI Fund will
consider changes in
future application
rounds.
Comment in support
of proposed or
existing text. No
action necessary.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
246
Date of
Comment
4/23/2024
Organization
Author
Name
Lenwood
Long
Section
Category
Topic
Comment
NMTC Response
Community
Outcomes
Application
Request for questions to
be reformatted or add a
table.
Lenwood
Long
Community
Outcomes
Application
Community
Accountabilit
y&
Involvement
Community
Engagement
Lenwood
Long
Managemen
t Capacity
Application
Key Personnel
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund is
maintaining the
current
requirements.
247
4/23/2024
248
4/23/2024
249
4/23/2024
250
4/23/2024
251
4/23/2024
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Managemen
t Capacity
Application
Organization
capacity/Key
Personnel
Make sure to consider
wide range of CDEs, not
just those with
experienced management
structures.
Add dropdown menu or
autofill option to
incorporate prior year
submissions.
Support collecting detailed
descriptions of org
structure, key personnel
and experience providing
QLICIs.
Need to possibly hire
additional staff will
increase operational cost.
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Managemen
t Capacity
IT
Enhancement
management
experience
Lenwood
Long
Managemen
t Capacity
Application
management
experience
252
4/23/2024
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Managemen
t Capacity
Application
Organization
Capacity/Key
Personnel
Provide clarification on
expectations for key
personnel.
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
39
Make sure engagement is
flexible and reflects
unique communities.
The CDFI Fund will
consider additional
guidance based on
this comment.
Comment in support
of proposed or
existing text. No
action necessary.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
253
Date of
Comment
4/23/2024
Author
Name
Lenwood
Long
Section
Category
Topic
Comment
NMTC Response
Capitalizati
on Strategy
Application
Capitalization
The CDFI Fund will
consider changes in
future application
rounds.
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Capitalizati
on Strategy
Application
Raising
Capital
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Capitalizati
on Strategy
IT
Enhancement
Capitalization
Consider incorporating
CDE overarching goals
and impact into
strategy/track record of
raising capital.
Documenting track record
of capital raising and
investment partnership is
challenging and could
increase cost.
Add or integrate digital
templates for these
questions.
254
4/23/2024
255
4/23/2024
256
4/23/2024
Lenwood
Long
Capitalizati
on Strategy
Application
Capitalization
257
4/23/2024
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Capitalizati
on Strategy
Application
Capitalization
258
4/23/2024
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Business
Strategy
Application
Innovation in
Financial
Product
African
American
Alliance of
CDFI CEOs
40
Provide instructions and
formats for Questions 3537. Share preferred format
for Commitment Letters
and Letters of Intent.
Do not focus exclusively
on ability or track record
of raising capital. Add
consideration for
CDFI/Minority-CDEs that
demonstrate growth
potential and community
impact.
Provide space for CDEs to
discuss any innovative
features of their financial
products.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider changes in
future application
rounds.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
259
Date of
Comment
4/23/2024
Author
Name
Lenwood
Long
Section
Category
Topic
Comment
NMTC Response
Community
Outcomes
Application
Sustainability
and Viability
of
Investments
The CDFI Fund will
consider changes in
future application
rounds.
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Community
Outcomes
Application
Lenwood
Long
AMIS
IT
Enhancement
Anticipated
Social and
Economic
Impact
Online
Application
Portal
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Provide
Feedback
PRA
Add a question that
encourages CDEs to
discuss their strategies for
ensuring the sustainability
and long-term viability of
their investments
(reinvestments, additional
capital, lasting benefits).
Add a question focused on
anticipated social and
economic impact of the
proposed investments.
Suggest various format
updates, functionality
improvements to the
online application
interface for Applicants.
Provide incentives for
CDEs to actively provide
feedback to draft
application.
260
4/23/2024
261
4/23/2024
262
4/23/2024
African
American
Alliance of
CDFI CEOs
Review Draft
Application
41
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
263
Date of
Comment
4/23/2024
Author
Name
Lenwood
Long
Section
Category
Topic
Comment
NMTC Response
Customer
Service
Capacity
Building
Provide
Technical
Assistance
Provide technical
assistance grants for
smaller CDEs.
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Provide
Feedback
PRA
Review Draft
Application
Add a process for CDEs to
receive feedback on draft
applications.
4/23/2024
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Capitalizati
on Strategy
Application
Raising
Capital
Describing history and
strategies to raise capital
require additional
expertise/burden.
4/23/2024
African
American
Alliance of
CDFI CEOs
Lenwood
Long
General
Application
Streamline
Application
Streamline application to
essential info will be more
cost efficient for smaller
or resource-constrained
CDEs.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
264
4/23/2024
265
266
African
American
Alliance of
CDFI CEOs
42
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
267
Date of
Comment
4/23/2024
Author
Name
Lenwood
Long
Section
Category
Topic
Comment
NMTC Response
Estimated
Hours of
Burden
PRA
CDFI Fund
Burden
Estimate
(hours)
Current burden estimate
may underrepresent true
cost of burden.
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Post Award
Debriefing
Debriefing
Give more robust
feedback in debriefing.
4/23/2024
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Customer
Service
Capacity
Building
Provide
Technical
Assistance
Provide technical
assistance for revised
application sections.
270
4/23/2024
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Customer
Service
Capacity
Building
Conduct
Research
271
4/23/2024
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Customer
Service
Capacity
building
Develop
Partnerships
Conduct research to
review participation and
successes of Minority
CDEs and understand
barriers to entry and
success.
Develop partnerships with
organizations to provide
capacity building
assistance for Minority
CDEs.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
268
4/23/2024
269
African
American
Alliance of
CDFI CEOs
43
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
272
Date of
Comment
4/23/2024
Author
Name
Lenwood
Long
Section
Category
Topic
Comment
NMTC Response
Managemen
t Capacity
Application
Organization
Capacity/Key
Personnel
African
American
Alliance of
CDFI CEOs
African
American
Alliance of
CDFI CEOs
Lenwood
Long
General
Application
Instructions
Cost to Apply
Lenwood
Long
Customer
Service
Capacity
Building
Provide
Technical
Assistance
Detailed information
requested may increase
burden for new Applicants
or those with recent
structural changes.
Provide guidance and
clarification so CDEs can
better estimate cost to
apply.
Provide technical
assistance to Minority
CDEs.
4/23/2024
African
American
Alliance of
CDFI CEOs
Lenwood
Long
Community
Outcomes
Review
Process
Bonus Points
Give bonus points for
CDFIs.
276
4/23/2024
African
American
Alliance of
CDFI CEOs
Lenwood
Long
General
Review
Process
Minority-led
CDEs
Revise review process to
evaluate experience and
performance of Minority
CDEs.
277
4/23/2024
Mid-City
Community
CDE
Lois Fried
Community
Outcomes
Application
Federal/State/
Local Zones
Restore
"federal/state/local zones"
as an area of distress.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund is
maintaining the
current
requirements.
273
4/23/2024
274
4/23/2024
275
African
American
Alliance of
CDFI CEOs
44
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
278
Date of
Comment
4/23/2024
Author
Name
Lois Fried
Section
Category
Topic
Comment
NMTC Response
Community
Outcomes
Application
Revert changes to
Question 25(b).
Mid-City
Community
CDE
Lois Fried
Glossary of
Terms
Application
Commitment
to Areas of
Higher
Distress
Disadvantage
Business
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
279
4/23/2024
280
4/18/2024
Primary Care
Development
Corporation
Louise
Cohen
Community
Outcomes
Application
281
4/18/2024
Primary Care
Development
Corporation
Louise
Cohen
Community
Outcomes
Application
282
4/22/2024
Low Income
Investment
Fund
Makenzi
Sumners
Post Award
Debriefing
Mid-City
Community
CDE
45
Commitment
to Areas of
Higher
Distress
Medically
Underserved
Areas
Debriefing
Revert definition of
"Disadvantage Business"
or provide clarification to
include for-profit
businesses that create
benefits for LIC residents
or LIPs, or postpone
changes apply to
transactions closed after
1/1/25.
Concern about changes to
Question 25(b).
Support adding Healthcare
Professional Shortage
Areas (HPSAs).
Give detailed scoring in
debriefing.
The CDFI Fund
made revisions
based on public
comments.
Comment in support
of proposed or
existing text. No
action necessary.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
283
Date of
Comment
4/22/2024
Author
Name
Makenzi
Sumners
Section
Category
Topic
Comment
NMTC Response
Community
Outcomes
Review
Process
Bonus Points
Give bonus points for
CDFIs.
Low Income
Investment
Fund
Makenzi
Sumners
Post Award
Debriefing
Debriefing
Give detailed comments in
debriefing.
4/23/2024
Invest Detroit
Marcia
Ventura
Community
Outcomes
Application
Commitment
to Areas of
Higher
Distress
286
4/23/2024
Invest Detroit
Marcia
Ventura
General
Review
Process
Scoring
Process
Revert changes to
Question 25(b). Suggest
moving question to
Innovative Activity or
Phase 2.
Request changes to
increase scoring
variability.
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund
made revisions
based on public
comments.
284
4/22/2024
285
287
4/23/2024
Invest Detroit
Marcia
Ventura
Post Award
Debriefing
Debriefing
Low Income
Investment
Fund
46
Give more robust
feedback in debriefing.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
288
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
The Housing
Fund
Author
Name
Marshall
Crawford
Business
Strategy
Application
Total QEI
Needs
4/23/2024
The Housing
Fund
Marshall
Crawford
Business
Strategy
Application
Due Diligence
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund is
maintaining the
current
requirements.
290
4/23/2024
The Housing
Fund
Marshall
Crawford
Business
Strategy
Application
Due Diligence
Describing detailed
investment strategy based
on community input
increase burden.
Due diligence
documentation requires
applicants to maintain
extensive records which
may exceed the assumed
preparation hours.
Support due diligence
requirement.
289
319
4/23/2024
The Housing
Fund
Marshall
Crawford
Business
Strategy
Application
Due Diligence
Provide checklist for due
diligence.
292
4/23/2024
The Housing
Fund
Marshall
Crawford
Community
Outcomes
Application
Describing the
involvement of LIC
representatives takes time.
293
4/23/2024
The Housing
Fund
Marshall
Crawford
Business
Strategy
Application
Community
Accountabilit
y&
Involvement
Financial
Products
294
4/23/2024
The Housing
Fund
Marshall
Crawford
Business
Strategy
Application
47
Financial
Products
Articulate distinction
between descriptions for
multiple financial
products. Provide
examples.
Support requiring distinct
narratives for financial
products.
Comment in support
of proposed or
existing text. No
action necessary.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider additional
guidance based on
this comment.
Comment in support
of proposed or
existing text. No
action necessary.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
295
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
The Housing
Fund
Author
Name
Marshall
Crawford
Business
Strategy
Application
Financial
Products
The CDFI Fund will
consider additional
guidance based on
this comment.
4/23/2024
The Housing
Fund
Marshall
Crawford
Business
Strategy
Application
Financial
Products
297
4/23/2024
The Housing
Fund
Marshall
Crawford
Business
Strategy
Application
Financial
Products
Providing distinct
narratives for each
financial product and
detailed description of
product structuring
increases burden and cost
to prepare application.
Provide example or
template for Question
14(b). Simplify
requirements or provide
calculation tools.
Describing circumstances
of terms and rates increase
burden.
296
298
4/23/2024
The Housing
Fund
Marshall
Crawford
Business
Strategy
Application
Invest in
Other CDEs
Revert changes to
instructions for Question
14(c).
299
4/23/2024
The Housing
Fund
Marshall
Crawford
Business
Strategy
Application
Invest in
Other CDEs
Provide example or
template for Question
14(c).
300
4/23/2024
The Housing
Fund
Marshall
Crawford
Community
Outcomes
Application
301
4/23/2024
The Housing
Fund
Marshall
Crawford
Business
Strategy
Application
Align
Investment
with
Community
Input
Total QEI
Needs
Explain criteria used to
assess the quality and
alignment of community
input with investment
strategies.
Provide tool to calculate
and align QEI needs with
allocation request.
48
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider changes in
future application
rounds.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
302
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
The Housing
Fund
Author
Name
Marshall
Crawford
Business
Strategy
Application
Support changes to
Question 17(c).
Comment in support
of proposed or
existing text. No
action necessary.
4/23/2024
The Housing
Fund
Marshall
Crawford
Community
Outcomes
IT
Enhancement
Provide mapping tool or
database for qualified
distressed areas.
304
4/23/2024
The Housing
Fund
Marshall
Crawford
Community
Outcomes
Application
305
4/23/2024
The Housing
Fund
Marshall
Crawford
Community
Outcomes
Application
306
4/23/2024
The Housing
Fund
Marshall
Crawford
Community
Outcomes
Application
307
4/23/2024
The Housing
Fund
Marshall
Crawford
Community
Outcomes
Application
308
4/23/2024
The Housing
Fund
Marshall
Crawford
Community
Outcomes
Application
Align
Investment
with
Community
Input
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Community
Accountabilit
y&
Involvement
303
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
49
Provide guideline, scoring
rubric and scoring metric
for Question 25(b).
Analyzing data on areas of
distress will increase
costs.
Commitment to invest in
specific distress areas
increase admin burden and
costs.
Make sure definition of
distress indicators are
clear.
Maintain flexibility to
acknowledge differences
in local governance,
organization type, and
approaches to engage
feedback.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
309
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
The Housing
Fund
Author
Name
Marshall
Crawford
Community
Outcomes
Application
Request for questions to
be reformatted or add a
table.
4/23/2024
The Housing
Fund
Marshall
Crawford
Managemen
t Capacity
Application
Community
Accountabilit
y&
Involvement
Organization
Capacity/Key
Personnel
311
4/23/2024
The Housing
Fund
Marshall
Crawford
Managemen
t Capacity
Application
management
experience
312
4/23/2024
The Housing
Fund
Marshall
Crawford
Managemen
t Capacity
Application
Organization
capacity/Key
Personnel
313
4/23/2024
The Housing
Fund
Marshall
Crawford
Managemen
t Capacity
Application
Organization
Capacity/Key
Personnel
Add dropdown menu or
autofill option to
incorporate prior year
submissions.
Information required adds
complexity that requires
additional resources which
increases costs.
Provide clarification on
expectations for key
personnel.
314
4/23/2024
The Housing
Fund
Marshall
Crawford
Capitalizati
on Strategy
Application
Capitalization
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider changes in
future application
rounds.
310
315
4/23/2024
The Housing
Fund
Marshall
Crawford
Capitalizati
on Strategy
Application
Raising
Capital
316
4/23/2024
The Housing
Fund
Marshall
Crawford
Capitalizati
on Strategy
Application
Capitalization
50
Ensure consideration is
not limited to experienced
CDEs.
Ensure expectations for
leveraging non-equity
investments are grounded
in current and potential
capabilities.
Documenting track record
of capital raising and
investment partnership is
challenging and could
increase cost.
Add or integrate digital
templates for these
questions.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
The CDFI Fund will
consider changes in
future application
rounds.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
317
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
The Housing
Fund
Author
Name
Marshall
Crawford
Capitalizati
on Strategy
Application
Capitalization
The CDFI Fund will
consider additional
guidance based on
this comment.
4/23/2024
The Housing
Fund
Marshall
Crawford
Business
Strategy
Application
innovation in
financial
product
321
4/23/2024
The Housing
Fund
Marshall
Crawford
Community
Outcomes
Application
Sustainability
and Viability
of
Investments
322
4/23/2024
The Housing
Fund
Marshall
Crawford
AMIS
IT
Enhancement
Online
Application
Portal
149
4/23/2024
The Housing
Fund
Marshall
Crawford
Provide
Feedback
PRA
Review Draft
Application
Provide instructions and
formats for Questions 3537. Share preferred format
for Commitment Letters
and Letters of Intent.
Provide space for CDEs to
discuss any innovative
features of their financial
products.
Add a question that
encourages CDEs to
discuss their strategies for
ensuring the sustainability
and long-term viability of
their investments
(reinvestments, additional
capital, lasting benefits).
Suggest various format
updates, functionality
improvements to the
online application
interface for Applicants.
Provide incentives for
CDEs to actively provide
feedback to draft
application.
320
51
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
235
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
The Housing
Fund
Author
Name
Marshall
Crawford
Provide
Feedback
PRA
Review Draft
Application
Add a process for CDEs to
receive feedback on draft
applications.
4/23/2024
The Housing
Fund
Marshall
Crawford
Capitalizati
on Strategy
Application
Raising
Capital
Describing history and
strategies to raise capital
require additional
expertise/burden.
324
4/23/2024
The Housing
Fund
Marshall
Crawford
Customer
Service
Capacity
Building
Conduct
Research
325
4/23/2024
The Housing
Fund
Marshall
Crawford
Community
Outcomes
Application
Impact of
investments
on LIPs/LICs
326
4/23/2024
The Housing
Fund
Marshall
Crawford
Estimated
Hours of
Burden
PRA
CDFI Fund
Burden
Estimate
(hours)
Conduct research to
review participation and
successes of Minority
CDEs and understand
barriers to entry and
success.
Substantiating impact for
LICs/LIPs requires
additional analyst, which
might increase burden.
Current burden estimate
may underrepresent true
cost of burden.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
323
52
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
327
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
The Housing
Fund
Author
Name
Marshall
Crawford
Customer
Service
Capacity
Building
Provide
Technical
Assistance
Provide technical
assistance for revised
application sections.
4/23/2024
The Housing
Fund
Marshall
Crawford
Customer
Service
Capacity
building
Develop
Partnerships
329
4/23/2024
The Housing
Fund
Marshall
Crawford
Managemen
t Capacity
Application
Management
Experience
330
4/23/2024
The Housing
Fund
Marshall
Crawford
General
Application
Instructions
Cost to Apply
331
4/23/2024
The Housing
Fund
Marshall
Crawford
Business
Strategy
Application
Social &
economic
Impact
Develop partnerships with
organizations to provide
capacity building
assistance for Minority
CDEs.
Revisions could increase
burden and cost,
especially for new CDEs
or those with recent
changes.
Provide guidance and
clarification so CDEs can
better estimate cost to
apply.
Add a question focused on
anticipated social and
economic impact of the
proposed investments.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund is
maintaining the
current
requirements.
328
53
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
332
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
The Housing
Fund
Author
Name
Marshall
Crawford
Customer
Service
Capacity
building
Provide
Technical
Assistance
Provide technical
assistance to Minority
CDEs.
4/23/2024
The Housing
Fund
Marshall
Crawford
Community
Outcomes
Review
Process
Bonus Points
Give bonus points for
CDFIs.
334
4/23/2024
The Housing
Fund
Marshall
Crawford
General
Review
Process
Minority-led
CDEs
Revise review process to
evaluate experience and
performance of Minority
CDEs.
335
4/23/2024
The Housing
Fund
Marshall
Crawford
Post Award
Debriefing
Debriefing
Give detailed comments in
debriefing.
336
4/16/2024
Opportunity
Finance
Network
Mary Scott
Balys
Community
Outcomes
Review
Process
Bonus Points
Give bonus points for
CDFIs.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
333
54
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
337
Date of
Comment
4/16/2024
Author
Name
Mary Scott
Balys
Section
Category
Topic
Comment
NMTC Response
Glossary of
Terms
Application
Disadvantage
Business
Opportunity
Finance
Network
Mary Scott
Balys
Post Award
Debriefing
Debriefing
Have concerns about
$100K revenue limit.
Propose revisions to
glossary term.
Give detailed comments in
debriefing.
4/23/2024
Local
Initiatives
Support
Corporation
Matthew
Josephs
Business
Strategy
Application
Innovative
Investments
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund will
consider changes in
future application
rounds.
338
4/16/2024
339
340
4/23/2024
Local
Initiatives
Support
Corporation
Matthew
Josephs
Community
Outcomes
Application
Community
Outcomes
341
4/23/2024
Local
Initiatives
Support
Corporation
Matthew
Josephs
Community
Outcomes
Application
Commitment
to Areas of
Higher
Distress
Opportunity
Finance
Network
55
Recommend that the
determination of what
qualifies as an
underserved state be
reconsidered.
Request a comprehensive
list of metrics for each
community outcome and
the elimination of the
menu approach to
selecting community
outcomes.
Suggest moving question
to Innovative Activity.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund is
maintaining the
current
requirements.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
342
Date of
Comment
4/23/2024
Author
Name
Matthew
Josephs
Section
Category
Topic
Comment
NMTC Response
Managemen
t Capacity
Application
Board/Key
Personnel/Staf
fing
The CDFI Fund is
maintaining the
current
requirements.
Local
Initiatives
Support
Corporation
Matthew
Josephs
Managemen
t Capacity
Application
Organization
Capacity/Key
Personnel
Local
Initiatives
Support
Corporation
Local
Initiatives
Support
Corporation
Local
Initiatives
Support
Corporation
Matthew
Josephs
Capitalizati
on Strategy
Application
Track Record
of Raising
Capital
Matthew
Josephs
Capitalizati
on Strategy
Application
Investor
Letters
Management capacity
narratives are time
consuming and should not
be necessary for prior
Allocatees. Consider only
requiring the Tables C1 &
C2.
Only require narratives for
past allocatees that have
experienced changes in its
key personnel or had
issues with prior
allocation.
Streamline questions for
Applicants that have a
track record of raising and
deploying capital.
Do away with requiring
investor letters or letters of
intent.
343
4/23/2024
344
4/23/2024
345
4/23/2024
346
4/23/2024
Matthew
Josephs
Managemen
t Capacity
Application
Fee Structure
Local
Initiatives
Support
Corporation
56
Concerned that the
question and table do not
capture all fees, which
might favor CDEs who are
banks.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider additional
guidance based on
this comment.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
347
Date of
Comment
4/23/2024
Author
Name
Matthew
Josephs
Section
Category
Topic
Comment
NMTC Response
Managemen
t Capacity
Application
Fee Structure
The CDFI Fund will
consider changes in
future application
rounds.
Local
Initiatives
Support
Corporation
Local
Initiatives
Support
Corporation
Matthew
Josephs
NOAA
NOAA
CDE
Certification
Matthew
Josephs
General
Review
Process
Scoring
Process
Consider (1) moving
Question 34 and Table D3
to Business Strategy so
that they are scored: (2)
factor into scoring whether
the Applicant is relying on
third-party entities to
support the bulk of their
NMTC deployment
activities; and (3) reduce
burden for prior allocatees
by reviewing fee data
already collected in the
TLR.
Concerns/suggestions
regarding requiring CDEs
be certified by the NOAA
publication date.
Various ideas for
increasing scoring
variability.
348
4/23/2024
349
4/23/2024
350
4/23/2024
Local
Initiatives
Support
Corporation
Matthew
Josephs
NOAA
NOAA
QEI Issuance
Requirements
Local
Initiatives
Support
Corporation
57
Reduce QEI issuance
threshold requirement for
non-rural CDEs from 20%
to 0%.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
351
Date of
Comment
4/23/2024
Author
Name
Matthew
Josephs
Section
Category
Topic
Comment
NMTC Response
Post Award
Review
Process
Increased
Transparency
Clarify what causes
successful Applicants to
receive reductions in their
award amount.
Local
Initiatives
Support
Corporation
Matthew
Josephs
Post Award
Debriefing
Debriefing
Give more robust
feedback in debriefing.
4/23/2024
Local
Initiatives
Support
Corporation
Matthew
Josephs
Previous
Awards
Application
Information
on Previous
Awards
Part V should be scored.
354
4/23/2024
Community
Reinvestment
Fund
Matthew
Roth
Community
Outcomes
Application
Propose moving area of
deeper distress to Question
19.
355
4/23/2024
Community
Reinvestment
Fund
Matthew
Roth
Community
Outcomes
Application
Commitment
to Areas of
Higher
Distress
Quality Jobs
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund will
consider additional
guidance based on
this comment.
352
4/23/2024
353
Local
Initiatives
Support
Corporation
58
Propose standardizing
definition of "Quality
Jobs."
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
356
Date of
Comment
4/23/2024
Author
Name
Matthew
Roth
Section
Category
Topic
Comment
NMTC Response
Post Award
Debriefing
Debriefing
Give detailed comments in
debriefing.
Community
Reinvestment
Fund
Matthew
Roth
General
Review
Process
Phase 1
Review
Instructions
Share instructions given to
Phase 1 reviewers.
4/23/2024
Community
Reinvestment
Fund
Matthew
Roth
Post Award
Debriefing
Debriefing
Give detailed scoring in
debriefing.
4/23/2024
Community
Reinvestment
Fund
Matthew
Roth
Community
Outcomes
Review
Process
Bonus Points
Give bonus points for
CDFIs.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
357
4/23/2024
358
359
Community
Reinvestment
Fund
59
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
360
Date of
Comment
4/23/2024
Author
Name
Matthew
Roth
Section
Category
Topic
Comment
NMTC Response
Glossary of
Terms
Application
Disadvantage
Business
The CDFI Fund
made revisions
based on public
comments.
Peoples Bank
Michael
Tolleson
Post Award
Debriefing
Debriefing
Suggest alternate revision
for "Disadvantage
Business", and to postpone
implementation until CY
2026 round.
Give detailed scoring in
debriefing.
361
4/17/2024
362
4/17/2024
Peoples Bank
Michael
Tolleson
Community
Outcomes
Review
Process
Bonus Points
Give bonus points for
CDFIs.
363
4/17/2024
Peoples Bank
Michael
Tolleson
Post Award
Debriefing
Debriefing
Give detailed comments in
debriefing.
364
4/23/2024
River Gorge
Capital
Monica
Blanton
Community
Outcomes
Application
Federal/State/
Local Zones
Restore
"federal/state/local zones"
as an area of distress.
365
4/23/2024
River Gorge
Capital
Monica
Blanton
Community
Outcomes
Application
Commitment
to Areas of
Higher
Distress
Revert changes to
Question 25(b).
Community
Reinvestment
Fund
60
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund
made revisions
based on public
comments.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
366
Date of
Comment
4/23/2024
Author
Name
Monica
Blanton
Section
Category
Topic
Comment
NMTC Response
Glossary of
Terms
Application
Disadvantage
Business
The CDFI Fund
made revisions
based on public
comments.
COPAL
(Communidade
s Organizando
el Poder y la
Accion Latina)
NMTC
Coalition Rapoza
Associates
NMTC
Coalition Rapoza
Associates
Moriah
O'Malley
Community
Outcomes
Application
Commitment
to Areas of
Higher
Distress
Revert definition of
"Disadvantage Business"
or add nonprofit
businesses servicing LIC
residents and LIPs.
Revert changes to
Question 25(b).
367
4/16/2024
368
4/23/2024
Paul
Anderson
Business
Strategy
Application
Additional
Flexibility for
Debt
Correct typo in Question
15(a).
Paul
Anderson
Business
Strategy
Application
Innovative
Investments
NMTC
Coalition Rapoza
Associates
NMTC
Coalition Rapoza
Associates
Paul
Anderson
Community
Outcomes
Application
Community
Goods and
Services
Support adding 'Investing
in Unrelated Minorityowned or Native
American-owned or
controlled CDEs."
Add "childcare" as
example in Question 26.
The CDFI Fund
made revisions
based on public
comments.
Comment in support
of proposed or
existing text. No
action necessary.
369
4/23/2024
370
4/23/2024
371
4/23/2024
Paul
Anderson
Community
Outcomes
Application
Community
Accountabilit
y&
Involvement
372
4/23/2024
NMTC
Coalition Rapoza
Associates
Paul
Anderson
Community
Outcomes
Application
LILA/Healthy
Foods
River Gorge
Capital
61
Delete new bullet asking
about use of data or
suggest alternate wording
because it disadvantages
rural CDEs or CDEs that
serve rural areas.
Support changes from
"Food Desert" to "Low
Income Low Access."
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
Comment in support
of proposed or
existing text. No
action necessary.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
373
Date of
Comment
4/23/2024
374
4/23/2024
375
4/23/2024
376
4/23/2024
377
4/23/2024
378
4/23/2024
379
4/23/2024
Organization
NMTC
Coalition Rapoza
Associates
NMTC
Coalition Rapoza
Associates
NMTC
Coalition Rapoza
Associates
NMTC
Coalition Rapoza
Associates
NMTC
Coalition Rapoza
Associates
NMTC
Coalition Rapoza
Associates
NMTC
Coalition Rapoza
Associates
Author
Name
Paul
Anderson
Section
Category
Topic
Comment
NMTC Response
Community
Outcomes
Application
Medically
Underserved
Areas
Support adding Healthcare
Professional Shortage
Areas (HPSAs).
Paul
Anderson
Community
Outcomes
Application
Persistent
Poverty
Counties
Add "Persistent Poverty
Census Tracts" to
Question 25(b).
Paul
Anderson
Community
Outcomes
Application
Paul
Anderson
Community
Outcomes
Application
Revert changes to
Question 25(b). Suggest
moving question to
Innovative Activity.
Revisit definition; very
narrow and limiting
Paul
Anderson
Community
Outcomes
Application
Paul
Anderson
Community
Outcomes
Application
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Community
Goods and
Services
Paul
Anderson
Exhibits
Application
Comment in support
of proposed or
existing text. No
action necessary.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider additional
guidance based on
this comment.
62
Business Type
Consider capping the
percentage of commitment
that will impact scoring.
Remove third-party
metrics requirement for
community goods and
services.
Add "childcare" as
business type in Table A5.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
380
Date of
Comment
4/23/2024
381
4/23/2024
382
4/23/2024
383
4/23/2024
NMTC
Coalition Rapoza
Associates
NMTC
Coalition Rapoza
Associates
NMTC
Coalition Rapoza
Associates
NMTC
Coalition Rapoza
Associates
Author
Name
Paul
Anderson
Section
Category
Topic
Comment
NMTC Response
Combined
Rounds
NOAA
Combining
Rounds
Support combining CY
2024 & CY 2025 rounds.
Paul
Anderson
Managemen
t Capacity
Application
Fee Structure
Support requirement to
disclose fees.
Paul
Anderson
Glossary of
Terms
Application
Disadvantage
Business
Revisit definition of
"Disadvantage Business."
Paul
Anderson
General
Review
Process
Phase 1
Review
Instructions
Share instructions given to
Phase 1 reviewers.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
Comment in support
of proposed or
existing text. No
action necessary.
The CDFI Fund
made revisions
based on public
comments.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
63
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
384
Date of
Comment
4/23/2024
Author
Name
Paul
Anderson
Section
Category
Topic
Comment
NMTC Response
Managemen
t Capacity
Application
Board/Key
Personnel/Staf
fing
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
NMTC
Coalition Rapoza
Associates
Paul
Anderson
General
Review
Process
Scoring
Process
Support the reduction in
character particularly for
prior allocatees. Only
required narrative from
prior allocatees' when
they've experienced an
issue.
Various ideas for
increasing scoring
variability.
385
4/23/2024
386
4/23/2024
NMTC
Coalition Rapoza
Associates
NMTC
Coalition Rapoza
Associates
Paul
Anderson
Capitalizati
on Strategy
Application
Investor
Letters
Clarify when a prior
allocatee is required to
provide investor letters.
387
4/23/2024
Paul
Anderson
NOAA
NOAA
QEI Issuance
Requirements
Reduce QEI issuance
threshold requirement for
non-rural CDEs from 20%
to 0%.
388
4/3/2024
Native CDFI
Network,
NAFOA
Native
American
Finance
Officers
Association
Pete
Upton;
Susan
Maston
Glossary of
Terms
FAQ
Targeted
Population
Confirm that American
Indians, Alaska Natives,
and Native Hawaiians are
included in "targeted
population" definition.
NMTC
Coalition Rapoza
Associates
64
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
Targeted
Populations are
defined in IRS
Regulations, not by
the CDFI Fund
Application
materials.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
389
Date of
Comment
4/3/2024
390
4/3/2024
391
4/3/2024
392
4/3/2024
Organization
Native CDFI
Network,
NAFOA
Native
American
Finance
Officers
Association
Native CDFI
Network,
NAFOA
Native
American
Finance
Officers
Association
Native CDFI
Network,
NAFOA
Native
American
Finance
Officers
Association
Native CDFI
Network,
NAFOA
Native
American
Finance
Officers
Association
Author
Name
Pete
Upton;
Susan
Maston
Section
Category
Topic
Comment
NMTC Response
Customer
Service
Capacity
Building
Develop
training for
federal and
private
investors
Work with Native CDEs
and national Native
Organizations to design a
training explaining
complications of
developing and financing
projects on tribal lands.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
Pete
Upton;
Susan
Maston
Customer
Service
Capacity
Building
Compatibility
of Other
Federal
Funding
Work with other federal
agencies to streamline
guidelines and approval
process using NMTC with
other federal funding and
loan guarantee programs.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
Pete
Upton;
Susan
Maston
Community
Outcomes
Application
General
Add qualitative outcomes
to quantitative community
outcomes.
The CDFI Fund is
maintaining the
current
requirements.
Pete
Upton;
Susan
Maston
Business
Strategy
Application
Track Record
of
Investments
Consider other ways of
evaluating track record
aside from dollars.
The CDFI Fund is
maintaining the
current
requirements.
65
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
393
Date of
Comment
4/3/2024
Author
Name
Pete
Upton;
Susan
Maston
Section
Category
Topic
Comment
NMTC Response
Customer
Service
Capacity
Building
Provide
Technical
Assistance
Provide technical
assistance grants for
Native CDEs.
Native CDFI
Network,
NAFOA
Native
American
Finance
Officers
Association
Travois New
Markets
Pete
Upton;
Susan
Maston
General
Regulations
Set-Aside
Create a set aside for
Native CDEs or give
substantial priority points
to Native CDEs.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
394
4/3/2024
395
3/15/2024
Phil Glynn
Community
Outcomes
Application
Federal
Native Areas
Support wording change
to "Federal Native Areas."
396
3/15/2024
Travois New
Markets
Phil Glynn
Community
Outcomes
Application
Adopt holistic definition
of data in Question 27(b).
4/19/2024
Travois New
Markets
Phil Glynn
Community
Outcomes
Application
Community
Accountabilit
y&
Involvement
Federal
Native Areas
397
Native CDFI
Network,
NAFOA
Native
American
Finance
Officers
Association
66
Support wording change
to "Federal Native Areas."
Comment in support
of proposed or
existing text. No
action necessary.
The CDFI Fund will
consider additional
guidance based on
this comment.
Comment in support
of proposed or
existing text. No
action necessary.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
398
Date of
Comment
4/19/2024
Author
Name
Phil Glynn
Section
Category
Topic
Comment
NMTC Response
Community
Outcomes
Application
Community
Accountabilit
y&
Involvement
The CDFI Fund will
consider additional
guidance based on
this comment.
River City
Capital
Ron
Brooks
Community
Outcomes
Application
Total QEI
Needs
4/23/2024
River City
Capital
Ron
Brooks
Business
Strategy
Application
Due Diligence
401
4/23/2024
River City
Capital
Ron
Brooks
Business
Strategy
Application
Due Diligence
Include tribal data in
CDFI Fund's definition of
"data." Make it clear that
such data are sufficient
response in FAQ.
Describing detailed
investment strategy based
on community input
increase burden.
Due diligence
documentation requires
applicants to maintain
extensive records which
may exceed the assumed
preparation hours.
Provide checklist for due
diligence.
399
4/23/2024
400
402
4/23/2024
River City
Capital
Ron
Brooks
Community
Outcomes
Application
LIC
representative
s
Describing the
involvement of LIC
representatives takes time.
403
4/23/2024
River City
Capital
Ron
Brooks
Community
Outcomes
Application
Community
Accountabilit
y&
Involvement
404
4/23/2024
River City
Capital
Ron
Brooks
Business
Strategy
Application
Financial
Products
Maintain flexibility to
acknowledge differences
in local governance,
organization type, and
approaches to engage
feedback.
Articulate distinction
between descriptions for
multiple financial
products. Provide
examples.
Travois New
Markets
67
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
405
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
River City
Capital
Author
Name
Ron
Brooks
Business
Strategy
Application
Financial
Products
Support revision in
Questions 14(a) & 14(b)
4/23/2024
River City
Capital
Ron
Brooks
Business
Strategy
Application
Financial
Products
407
4/23/2024
River City
Capital
Ron
Brooks
Business
Strategy
Application
Financial
Products
Provide example or
template for Question
14(b). Simplify
requirements or provide
calculation tools.
Describing circumstances
of terms and rates increase
burden.
Comment in support
of proposed or
existing text. No
action necessary.
The CDFI Fund will
consider additional
guidance based on
this comment.
406
408
4/23/2024
River City
Capital
Ron
Brooks
Business
Strategy
Application
Invest in
Other CDEs
Revert changes to
instructions for Question
14(c).
409
4/23/2024
River City
Capital
Ron
Brooks
Business
Strategy
Application
Invest in
Other CDEs
Provide example or
template for Question
14(c).
410
4/23/2024
River City
Capital
Ron
Brooks
Community
Outcomes
Application
411
4/23/2024
River City
Capital
Ron
Brooks
Business
Strategy
Application
Align
Investment
with
Community
Input
Total QEI
Needs
Explain criteria used to
assess the quality and
alignment of community
input with investment
strategies.
Provide tool to calculate
and align QEI needs with
allocation request.
68
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider changes in
future application
rounds.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
412
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
River City
Capital
Author
Name
Ron
Brooks
Business
Strategy
Application
Support changes to
Question 17(c).
Comment in support
of proposed or
existing text. No
action necessary.
4/23/2024
River City
Capital
Ron
Brooks
Community
Outcomes
IT
Enhancement
Provide mapping tool or
database for qualified
distressed areas.
414
4/23/2024
River City
Capital
Ron
Brooks
Community
Outcomes
Application
415
4/23/2024
River City
Capital
Ron
Brooks
Community
Outcomes
Application
416
4/23/2024
River City
Capital
Ron
Brooks
Community
Outcomes
Application
417
4/23/2024
River City
Capital
Ron
Brooks
Community
Outcomes
Application
418
4/23/2024
River City
Capital
Ron
Brooks
Managemen
t Capacity
Application
Align
Investment
with
Community
Input
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Commitment
to Areas of
Higher
Distress
Community
Accountabilit
y&
Involvement
Organization
Capacity/Key
Personnel
413
419
4/23/2024
River City
Capital
Ron
Brooks
Managemen
t Capacity
Application
management
experience
Add dropdown menu or
autofill option to
incorporate prior year
submissions.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund will
consider additional
guidance based on
this comment.
69
Provide guideline, scoring
rubric and scoring metric
for Question 25(b).
Commitment to invest in
specific distress areas
increase admin burden and
costs.
Make sure definition of
distress indicators are
clear.
Request for questions to
be reformatted or add a
table.
Ensure consideration is
not limited to experienced
CDEs.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
420
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
River City
Capital
Author
Name
Ron
Brooks
Managemen
t Capacity
Application
Organization
Capacity/Key
Personnel
Provide clarification on
expectations for key
personnel.
4/23/2024
River City
Capital
Ron
Brooks
Capitalizati
on Strategy
Application
Raising
Capital
422
4/23/2024
River City
Capital
Ron
Brooks
Capitalizati
on Strategy
Application
Raising
Capital
423
4/23/2024
River City
Capital
Ron
Brooks
Capitalizati
on Strategy
Application
Capitalization
Consider incorporating
CDE overarching goals
and impact into
strategy/track record of
raising capital.
Documenting track record
of capital raising, and
investment partnership is
challenging and could
increase cost.
Add or integrate digital
templates for these
questions.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
consider changes in
future application
rounds.
421
424
4/23/2024
River City
Capital
Ron
Brooks
Capitalizati
on Strategy
Application
Capitalization
425
4/23/2024
River City
Capital
Ron
Brooks
Capitalizati
on Strategy
Application
Raising
Capital
70
Provide instructions and
formats for Questions 3537. Share preferred format
for Commitment Letters
and Letters of Intent.
Do not focus exclusively
on ability or track record
of raising capital. Add
consideration for
CDFI/CDEs and Minority
CDEs that demonstrate
growth potential and
community impact.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund is
maintaining the
current
requirements.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
426
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
River City
Capital
Author
Name
Ron
Brooks
Business
Strategy
Application
Innovation in
Financial
Product
4/23/2024
River City
Capital
Ron
Brooks
Community
Outcomes
Application
Sustainability
and Viability
of
Investments
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider changes in
future application
rounds.
428
4/23/2024
River City
Capital
Ron
Brooks
Community
Outcomes
Application
429
4/23/2024
River City
Capital
Ron
Brooks
AMIS
IT
Enhancement
Anticipated
Social and
Economic
Impact
Online
Application
Portal
430
4/23/2024
River City
Capital
Ron
Brooks
Provide
Feedback
PRA
Provide space for CDEs to
discuss any innovative
features of their financial
products.
Add a question that
encourages CDEs to
discuss their strategies for
ensuring the sustainability
and long-term viability of
their investments
(reinvestments, additional
capital, lasting benefits).
Add a question focused on
anticipated social and
economic impact of the
proposed investments.
Suggest various format
updates, functionality
improvements to the
online application
interface for Applicants.
Provide incentives for
CDEs to actively provide
feedback to draft
application.
427
Review Draft
Application
71
The CDFI Fund will
consider changes in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
431
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
River City
Capital
Author
Name
Ron
Brooks
Customer
Service
Capacity
Building
Provide
Technical
Assistance
Provide technical
assistance grants for
smaller CDEs.
4/23/2024
River City
Capital
Ron
Brooks
Provide
Feedback
PRA
Review Draft
Application
Add a process for CDEs to
receive feedback on draft
applications.
433
4/23/2024
River City
Capital
Ron
Brooks
Capitalizati
on Strategy
Application
Raising
Capital
Describing history and
strategies to raise capital
require additional
expertise/burden.
434
4/23/2024
River City
Capital
Ron
Brooks
Customer
Service
Capacity
Building
Conduct
Research
Conduct research to
review participation and
successes of Minority
CDEs and understand
barriers to entry and
success.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
432
72
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
435
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
River City
Capital
Author
Name
Ron
Brooks
Community
Outcomes
Application
Impact of
investments
on LIPs/LICs
4/23/2024
River City
Capital
Ron
Brooks
Managemen
t Capacity
Application
management
experience
Substantiating impact for
LICs/LIPs requires
additional analyst, which
might increase burden.
Provide clarification on
compliance measures
expected from Applicants.
437
4/23/2024
River City
Capital
Ron
Brooks
General
Application
Streamline
Application
438
4/23/2024
River City
Capital
Ron
Brooks
Customer
Service
Capacity
Building
Provide
Technical
Assistance
439
4/23/2024
River City
Capital
Ron
Brooks
Customer
Service
Capacity
Building
Develop
Partnerships
The CDFI Fund is
maintaining the
current
requirements.
This comment is
related to Allocatee
reporting/complianc
e and will be
considered in the
future.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
This comment is not
related to burden in
completing the
NMTC Program
Application. The
CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
436
73
Streamline application to
essential info will be more
cost efficient for smaller
or resource-constrained
CDEs.
Provide technical
assistance for revised
application sections.
Develop partnerships with
organizations to provide
capacity building
assistance for Minority
CDEs.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
440
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
River City
Capital
Author
Name
Ron
Brooks
Managemen
t Capacity
Application
Management
Experience
4/23/2024
River City
Capital
Ron
Brooks
General
Application
Instructions
Cost to Apply
442
4/23/2024
River City
Capital
Ron
Brooks
Estimated
Hours of
Burden
PRA
CDFI Fund
Burden
Estimate
(hours)
Revisions could increase
burden and cost,
especially for new CDEs
or those with recent
changes.
Provide guidance and
clarification so CDEs can
better estimate cost to
apply.
Consider that changes will
increase burden especially
for smaller CDEs.
443
4/23/2024
River City
Capital
Ron
Brooks
General
Regulations
Set-Aside
Create a set aside for
Minority CDEs.
444
4/23/2024
River City
Capital
Ron
Brooks
Post Award
Debriefing
Debriefing
Give more robust
feedback in debriefing.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
The CDFI Fund will
consider additional
guidance based on
this comment.
The CDFI Fund will
continue its efforts
to reduce burden in
future application
rounds.
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
441
74
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
445
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
River City
Capital
Author
Name
Ron
Brooks
Post Award
Debriefing
Debriefing
Give more robust
feedback in debriefing.
4/23/2024
River City
Capital
Ron
Brooks
Community
Outcomes
Review
Process
Bonus Points
Give bonus points for
CDFIs.
447
4/23/2024
River City
Capital
Ron
Brooks
General
Review
Process
Minority-led
CDEs
Revise review process to
evaluate experience and
performance of Minority
CDEs.
448
4/23/2024
AltCap
Ruben
Alonso
Post Award
Debriefing
Debriefing
Give detailed scoring in
debriefing.
449
4/23/2024
AltCap
Ruben
Alonso
Community
Outcomes
Review
Process
Bonus Points
Give bonus points for
CDFIs.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
446
75
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
450
Date of
Comment
4/23/2024
Author
Name
Ruben
Alonso
Section
Category
Topic
Comment
NMTC Response
Post Award
Debriefing
Debriefing
Give detailed comments in
debriefing.
PIDC
Community
Capital
Sam
Rhoads
Community
Outcomes
Application
Federal/State/
Local Zones
Restore
"federal/state/local zones"
as an area of distress.
4/23/2024
PIDC
Community
Capital
Sam
Rhoads
Community
Outcomes
Application
Revert changes to
Question 25(b).
453
4/23/2024
PIDC
Community
Capital
Sam
Rhoads
Glossary of
Terms
Application
Commitment
to Areas of
Higher
Distress
Disadvantage
Business
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
451
4/23/2024
452
454
4/23/2024
Advanced
CapAccess
Stephanie
Koenen
Community
Outcomes
Application
455
4/23/2024
Advanced
CapAccess
Stephanie
Koenen
Glossary of
Terms
Application
456
4/23/2024
Black Hawk
Economic
Development
Stephen
Brustkern
Glossary of
Terms
Application
AltCap
76
Commitment
to Areas of
Higher
Distress
Disadvantage
Business
Disadvantage
Business
Revert definition of
"Disadvantage Business”
or postpone changing
definition to after
1/1/2025.
Revert changes to
Question 25(b).
Revert definition of
"Disadvantage Business."
Revert change to
"Disadvantage Business."
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
The CDFI Fund
made revisions
based on public
comments.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
457
Date of
Comment
4/23/2024
Organization
458
4/23/2024
459
4/22/2024
460
4/22/2024
AMCREF
Community
Capital
Susan
Seagren
Community
Outcomes
Application
Disadvantage
Business
Add "Persistent Poverty
Counties" in Question
25(a) or 25(b).
461
4/22/2024
AMCREF
Community
Capital
Susan
Seagren
Community
Outcomes
Application
Commitment
to Areas of
Higher
Distress
462
4/22/2024
AMCREF
Community
Capital
Susan
Seagren
NOAA
NOAA
QEI Issuance
Requirements
Revert changes to
Question 25(b). Suggest
moving question to
Innovative Activity or
Phase 2.
Reduce QEI issuance
threshold requirement for
non-rural CDEs from 20%
to 0%.
Native
American
Finance
Officers
Association NAFOA
Native
American
Finance
Officers
Association NAFOA
AMCREF
Community
Capital
Author
Name
Susan
Masten
Section
Category
Topic
Comment
NMTC Response
Community
Outcomes
Other
Federal
Native Areas
Support wording change
to "Federal Native Areas."
Comment in support
of proposed or
existing text. No
action necessary.
Susan
Masten
Community
Outcomes
Other
Community
Accountabilit
y&
Involvement
Qualify "data" with
respect to Tribal data
sovereignty
The CDFI Fund will
consider additional
guidance based on
this comment.
Susan
Seagren
Community
Outcomes
Application
Federal/State/
Local Zones
Restore
"federal/state/local zones"
as an area of distress.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund is
maintaining the
current
requirements.
The CDFI Fund
made revisions
based on public
comments.
77
The CDFI Fund will
continue to evaluate
the issues raised in
making future
policy decisions.
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
Organization
463
Date of
Comment
4/23/2024
Section
Category
Topic
Comment
NMTC Response
Beneficial
State Bank
Author
Name
Terra
Neilson
Post Award
Debriefing
Debriefing
Give detailed comments in
debriefing.
4/23/2024
Beneficial
State Bank
Terra
Neilson
Post Award
Debriefing
Debriefing
Give detailed scoring in
debriefing.
465
4/23/2024
Beneficial
State Bank
Terra
Neilson
Community
Outcomes
Review
Process
Bonus Points
Give bonus points for
CDFIs.
466
5/2/2024
Native
American Bank
Thomas
Ogaard
Post Award
Debriefing
Debriefing
Give detailed scoring in
debriefing.
467
5/2/2024
Native
American Bank
Thomas
Ogaard
Community
Outcomes
Review
Process
Bonus Points
Give bonus points for
CDFIs.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
The CDFI Fund
does not have
statutory authority
to implement this
recommendation.
464
78
Appendix A. CY 2024-26 NMTC Program Application PRA - Summary of Public Comments and CDFI Fund Responses
#
468
Date of
Comment
5/2/2024
Organization
Native
American Bank
Author
Name
Thomas
Ogaard
Section
Category
Topic
Comment
NMTC Response
Post Award
Debriefing
Debriefing
Give detailed comments in
debriefing.
The CDFI Fund will
consider ways to
provide more
detailed information
in the debriefing
document for
unsuccessful
applicants.
79
File Type | application/pdf |
File Title | CY 2024-2026 NMTC Application PRA Appendix A Supporting Statement |
Author | Leung, Karen |
File Modified | 2024-08-23 |
File Created | 2024-08-23 |