The Department of Housing & Urban Development (HUD) recently entered into a Conciliation/Voluntary Compliance Agreement with an owner and management company in Sacramento, CA resolving allegations that they violated the Fair Housing Act (FHA) and Title VI of the Civil Rights Act of 1964. The respondents allegedly failed to provide language access services to Vietnamese residents and retaliated against a property employee for advocating for residents with limited English proficiency to receive oral interpretation services and translated vital documents.
The FHA prohibits housing providers from discriminating against persons based on their national origin. This includes aiding others in the exercise or enjoyment of their fair housing rights. Additionally, Title VI of the Civil Rights Act of 1964 prohibits discrimination on the basis of national origin by recipients of federal financial assistance and requires such recipients to take reasonable steps to ensure meaningful access for limited English proficient (LEP) persons.
The case came to HUD’s attention when an agent at the Apartment Community, which receives HUD funding, filed a complaint alleging that the owners and managers of the property failed to provide language access services to the complex’s Vietnamese residents and retaliated against an employee because she advocated for the housing providers to provide language services to LEP residents.
Under the terms of the settlement, the management agent agreed to the following:
This case is a reminder to all owners and property managers of the requirement to have LEP policies at all properties that receive federal assistance (primarily HUD and properties assisted by the Rural Housing Service).
Owners and managers of non-federally assisted properties should also remember that the Fair Housing Act, which applies to nearly all housing owners and operators, protects individuals based on national origin, which makes it illegal to discriminate because of a person’s birthplace, ancestry, culture, or language.
What is Limited English Proficient (LEP)?
HUD’s Title VI LEP Guidance
Properties with HUD assistance are required to conduct a "Four Factor Analysis" relating to LEP persons:
Determining if there is Meaningful Access
What is "Meaningful Access?"
Where should the analysis begin?
Minimum Essential Elements of LEP Services
Recipients of federal assistance, no matter how small, must provide essential elements of LEP services, including:
LEP Summary
LEP Resources
HUD LEP Page: http://portal.hud.gov/hudportal/HUD/pro gram_offices/fair_housing_equal_opp/pr omotingfh/lep
Inter-Agency LEP Page: www.lep.gov
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