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CI.,.V OF SAN BERNARDINO - REQUe~T FOR COUNCIL AC""ON
From:
. REC.D.-AOMUi. OFF.
Kenneth J. Henderson, D1rector Subject: RENTAL REHABILITATION PROGRAM
1988 DEe -8 f1! J: 19
~
It:
Community Development
Date:
December 7, 1988
Synopsis of Previous Council action:
The Mayor and Common Council have previously authorized the issuance of
a Request for Proposals for escrow services for the City's Rental
Rehabilitation Program and selected CD Financial, Inc., as the RRP
escrow services company.
Recommended motion:
That the conflict of interest between CD Financial, Inc., City of San
Bernardino Rental Rehabilitation escrow services company, and John
Rampello, part owner of CD Financial, Inc., property owner and Rental
Rehabilitation participant, be publicly disclosed in accordance with
Section 570.11 of the federal regulations and that the City Clerk be
directed to provide the U.S. Department of Housing and Urban Develop-
ment written confirmation and documentation of such public disclosure.
~~ G. ~~u~
Contact person:
Ken Henderson
Phone:
5065
Supporting data attached:
Staff Report
Ward:
1-7
FUNDING REQUIREMENTS:
Amount:
N/A
Source: (AcCL No.)
N/A
(Acct. DescriPtion)
N/A
Finance:
Council Notes:
75.0262
Agenda Item No.
~1
CIT-. OF SAN BERNARDI"~~ - REQUI'---T FOR COUNCIL ACt )N
STAFF REPORT
On August 28, 1987, Community Development Financial (CD
Financial) submitted a response to a City-issued RFP for escrow
services along with four (4) other firms. The Mayor and Common
Council eventually selected CD Financial, Inc., to provide
escrow services for the City's Rental Rehabilitation Program
(RRP)~ During staff's background check of CD Financial, it was
determined that one of the investors in CD Financial, Mr. John
Rampello, had previously requested financial assistance in
order to rehabilitate property located in the City. Accord-
ingly, staff forwarded its concerns to the City Attorney's
office and asked whether a potential conflict of interest
existed if the City were to contract for escrow services for
the RRP with CD Financial and also provide RRP financial
assistance to an owner of the company. In order to enable the
City to resolve this issue, it was determined that the escrow
service for Mr. Rampello would be conducted internally by the
City and not by CD Financial or staff associated with the
firm.
Subsequently, staff requested the City Attorney's office to
prepare an appropriate agreement regarding escrow services for
the RRP and to render an opinion regarding the legality and
sufficiency of the proposed agreement.
On July 8, 1988, the Community Development Department was
advised by the u.S. Department of Housing and Urban Development
(HUD) that monitoring of the City's RRP had been scheduled for
July 13, 1988. The result of the monitoring performed by HUD
reflected only one (1) concern as follows: the possible
conflict of interest between the City of San Bernardino and CD
Financial (see attached correspondence from HUD dated October
26,1988).
On November 9, 1988, the City Attorney's office advised staff,
in accordance with HUD's letter dated October 26, 1988, to make
a public disclosure of the conflict of interest between the
City, Mr. Rampello and CD Financial.
In order for the City to apply to HUD for an exemption to
Section 570.11 of the federal regulations, the conflict of
interest must be publicly disclosed and documentation of such
disclosure provided to HUD.
I recommend adoption of the form motion.
Development
KJH/NN/lab/2060
December 7, 1988
75-0264
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LoI'AngIIII, CllbnilIOOI5-BI
October 26, 1988
Mr. Kenneth Henderson, Director
Community Development Department
City of San Bernardino
City Hall 300 North .0. Street
San Bernardino, California 92401
Dear Mr. Henderson:
SUBJECT: Monitoring - City of San Bernardino
RRP No. R-84/85/86/87 MC-06-0539
This is a follow-up to our letter of September 30, 1988, Concern No.1.
We have received our Area Counsel's comments pertaining to the
possible Conflict of Interest between the City of San Bernardino and CD
Financial (CO), Those comments follow:
Governing Regulation
Any conflict of interest between CO's contract with the City and the
RRP grants to the principal investor of CD, Mr. Rampello, is governed by 24
CFR 511.11(e). The relevant language states: -No person: who is
a(n)...consultant... of the grantee...who is in a position to...gain inside
information with regard to such (RRP) activities. may obtain a personal or
financial interest or benefit from the activity, or have an interest in any
contract...with respect thereto...either for themselves or those with whom
they have...business ties, during their tenure or for one year thereafter....
Application of the Regulation
While Mr. Rampello is not involved in the day to day activities of CO
under their agreement with the City. he falls within the prohibition of the
regulation by virtue of his business ties with Ms. Bloomingdale and Mr.
Nickerson~ the active partners of the company. Through their work in pro-
viding financial services under the agreement, the active partners of CO are
privy to inside information regarding the City's RRP and its administration;
whether or not their work actually places them in a position to influence
decision-making of the RRP.
"
2
From the ..terials reviewed, it appears that the active partners of CO
do not participate or influence the decision-making process for the City's
RRP. If they did, it is the City Attorney's opinion that a conflict of
interest of that type would violate State law. However, nothing leads us
to believe that such is the case here.
Regulatory Exception
Despite the existence of a conflict of interest, the regulation does
allow for an exception. The exception is also found at 24 CFR Sll.ll(e).
The granting of an exception is at the descretion of HUD.
Before HUD may consider an exception to the conflict of interests
provision, the City must make a public disclosure of the conflict and
provide HUD with assurances that such a disclosure has been made.
If you have any questions regarding these comments, please contact
Debra L. Loya, Attorney-Advisor at (213) 251-7100.
Sincerely,
/;}/
F ank Talask , Supervisory
ehab Management Specialist, 9.4CMC
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