The Appeals Manual requires FEMA regions to compile an administrative record for all first appeals.RP 9526.1, Hazard Mitigation Funding Under Section 406, at Appendix A.DAP9580.6, Electric Utility Repair (Public and Private Nonprofit), at 3-5 (Sept.Recovery Directorate Manual (Appeals Manual), Public Assistance Program Appeals Procedures, at 13-15 (Apr.In the second appeal, the Applicant requests $4,725,310.00 to reconductor its facility, increase, where necessary, the size of some of the conductors, and bury the lines underground. § 206.226(d) in its entirety and DAP9580.6, Electric Utility Repair (Public and Private Nonprofit). The first appeal determination, however, denied the appeal on a basis different from that explained in the Final RFI, including 44 C.F.R. The Applicant responded in a timely manner. FEMA Region V sent an email Final Request for Information (RFI) to the Applicant to request documentation to determine if the codes and standards proffered by the Applicant comply with 44 C.F.R. In the first appeal, the Applicant requested $1,224,787.57 to reconductor its facility and asserted that it followed codes and standards promulgated by the Rural Utilities Service, National Electrical Safety Code, and Minnesota statutes. FEMA prepared Project Worksheet 163 to reconductor the Applicant’s facility, but found the project ineligible because the Applicant did not identify a code or standard for conductor replacement that complies with 44 C.F.R. In April 2013, a severe winter storm affecting Southwest Minnesota caused extensive damage to electrical distribution systems owned and operated by the Applicant-a Rural Electric Cooperative.
0 Comments
Leave a Reply. |
AuthorWrite something about yourself. No need to be fancy, just an overview. ArchivesCategories |