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There is a generational opportunity to improve the homes of some of the 44 million households who live in multifamily housing through the $8.8 billion Home Energy Rebates programs that were authorized by the Inflation Reduction Act (IRA). Multifamily housing is significant because of the outsized role it plays, both in providing affordable housing and in reducing energy costs of housing. The new rebate programs recognize the significance of multifamily housing, requiring states to serve both single-family and multifamily housing types, and requiring that a portion of the funds benefit low-income multifamily properties.
These federal funds flow through State Energy Offices (SEOs), and states and territories across the U.S. are busy standing up their programs to deliver the rebates. The U.S. Department of Energy (DOE), which administers the new programs, has put out guidance intended to create an easier path for certain types of subsidized affordable housing and for households enrolled in means-tested programs. The affordable housing programs that can benefit from this “categorical eligibility” are typically administered by state housing finance agencies (HFAs) and public housing authorities (PHAs). For this reason, the potential to maximize the impact of these funds may rely on new collaborations. By understanding the opportunities to harness categorical eligibility for affordable housing, states may be able to more effectively deploy their rebate funds quickly and in a way that reaches low-income households and buildings with the most significant energy footprints.
Sections 50121 & 50122 of the IRA include descriptions of the two home energy rebate programs: Home Efficiency Rebates Program (HOMES), and Home Electrification and Appliance Rebates Program (Electrification). States and territories must apply, or convey an intention to apply, for funds before August 16, 2024. Application documents and guidance were published by DOE in July 2023. SEOs can use up to 20% of program funds for administrative expenses, and 80% must go for investments in home energy efficiency projects.
The Electrification program provides rebates for qualified electrification projects, with varying rebate amounts for different products—heat pumps, electric appliances, electric load service center, insulation, air sealing, and ventilation, and electric wiring. The rebate amount covers 100% of the project if the household income is under 80% of Area Median Income (AMI) as established annually by the U.S. Department of Housing and Urban Development (HUD), or where at least 50% of the residents of a multifamily building have incomes under 80% AMI. Otherwise, the rebate covers 50% of the eligible project cost. The maximum benefit per dwelling unit is $14,000.
The HOMES program must be used for energy efficiency upgrades that are predicted to save at least 20% of the home’s energy use. The guidance provides for two methods for making this energy use calculation—a modeled pathway and a measured pathway. The modeled pathway requires using calibrated home energy models consistent with the BPI-2400 standard. The measured pathway is based on energy usage data collected nine to 12 months post installation. In the modeled pathway, the rebate amount is between $2,000 and $8,000 per unit based on the amount of the modeled savings and the household income. In the measured pathway the rebate is between $2,000 and $4,000 based on household income and achieving the target energy savings.
Both the HOMES and Electrification programs require that states and territories provide access to rebates for both single-family and multifamily properties. Both programs also require that at least 10% of rebate funds benefit low-income multifamily homes. In addition, low-income multifamily properties may be eligible for the maximum benefits in both programs. And finally, both programs provide categorical eligibility for certain types of subsidized affordable housing. Specifically, the program requires that each state:
Based on these requirements, it is important that states design an efficient delivery system for ensuring that funds can reach low-income households and owners of low-income multifamily buildings. SEOs may benefit from taking advantage of categorical eligibility, understanding existing programs for affordable multifamily housing, and forging stronger partnerships with HFAs and PHAs.
DOE requires that states, “allow categorical eligibility determinations based on other federal programs that meet the income thresholds.” Categorical eligibility means that by participating in certain other federal programs, applicants can avoid having to demonstrate that they are income eligible, and under certain circumstances a whole low-income multifamily building can automatically qualify as eligible without having to income-verify every tenant in the building.
It is also significant that categorically eligible low-income multifamily buildings may qualify for the maximum rebate amounts in both programs. In the case that buildings have both low-income and non-low-income tenants, if the property qualifies for whole-building categorical eligibility, all units in the building will qualify for the maximum rebate.
DOE provides building-wide eligibility for the following types of properties that are supported by existing sources of capital and operating affordable housing subsidy:
These types of multifamily buildings relate to established affordable housing programs that are typically administered by HFAs and PHAs:
While the four categories listed above are the options for whole-building eligibility, there is another set of programs that can allow households to be categorically eligible. These are a set of means-tested programs, most of which are administered by state agencies: LIHEAP, Medicaid, SNAP, Head Start, Lifeline, Food Distribution Program on Indian Reservations, National School Lunch Program, HIP, Housing Opportunities for Persons With AIDS, Supplemental Security Income, Weatherization Assistance Program, Special Supplemental Nutrition Program for Women, Infants, and Children.
This provision to allow categorical eligibility could significantly reduce barriers to entry and create a more streamlined approach for states to meet and exceed their 10% low-income multifamily requirement.
DOE requires owners of low-income multifamily buildings to comply with certain requirements for two years after receiving rebates. The specific requirements are:
DOE does not currently specify the means of enforcing these requirements, nor do they specify the recourse and penalties for noncompliance.
An important consideration here is that building owners who already participate in the affordable housing programs that are options for categorical eligibility are likely already following more stringent compliance requirements than the ones required by DOE for the home energy rebates.
DOE has contemplated states combining these programs and issued a case study to help states and property owners navigate the challenges and opportunities related to combining HOMES and LIHTC. DOE also issued a FAQ that clarified a key question in the industry, stating that any member of the multifamily building’s ownership entity can “apply for and receive a rebate as the building’s owner” so long as the ownership entity authorizes the applicant in writing to apply for and receive the rebate, that the applicant will be the sole recipient of the rebate on behalf of the entity, and that the applicant is authorized to carry out the work on behalf of the ownership entity.
One important consideration is the fact that DOE does not permit SEOs or their subgrantees to loan the rebate funds to a rebate recipient. This may create a challenge because federal grants within a LIHTC-supported project can reduce the project’s eligible tax credit basis. Parties seeking rebate funds within a LIHTC project should consult with their tax accountant to understand the project impacts and tax impacts of the rebate funds.
As mentioned earlier, SEOs are the recipients of the Home Energy Rebate funds; however, in order to maximize the impact of these funds for low-income multifamily properties, and for low-income households more generally, SEOs may wish to partner with HFAs and PHAs, among other partners, in order to create the collaboration necessary to bridge the nexus between energy efficiency and affordable housing.
Due to their key function of financing the construction and rent subsidy on low-income multifamily homes, HFAs and PHAs are key stakeholders in providing access to properties that are categorically eligible. HFAs and PHAs frequently hold relationships with affordable housing developers and landlords. For this reason, they are important entities to help SEOs identify and access eligible developers, landlords, and households. They can also help design rebate programs that successfully coordinate with other affordable housing financing programs.
If implemented properly, these state programs have enormous potential. However, program design and delivery will be complex, and as discussed here, effective program delivery requires multidisciplinary coordination.
Guidehouse is a proven leader in federal grants, energy programs, and affordable housing. We look forward to the opportunity to help states and territories design effective programs that can move the needle on energy affordability and market transformation across the country. Our combined capabilities make Guidehouse uniquely positioned to serve public-sector and commercial clients alike as they seek to navigate the complex web of federal programs.
Guidehouse is a global consultancy providing advisory, digital, and managed services to the commercial and public sectors. Purpose-built to serve the national security, financial services, healthcare, energy, and infrastructure industries, the firm collaborates with leaders to outwit complexity and achieve transformational changes that meaningfully shape the future.