June 14, 2019
Senators Demand HUD Continue To Protect Housing Rights For Transgender Individuals
WASHINGTON,
D.C. —
U.S. Sens. Patty Murray (D-WA) – ranking
member of the Senate HELP Committee, Sherrod
Brown (D-OH) – ranking member of the U.S. Senate Banking, Housing, and Urban
Affairs Committee, Elizabeth Warren (D-MA)
and Robert Menendez (D-NJ) along with 8 senators are demanding
that the Department of Housing and Urban Development (HUD) rescind its proposal
that would weaken discrimination protections in HUD-funded emergency and
temporary homeless shelters based on sex, including sexual orientation and
gender identity.
In
opposition to the proposal, the senators wrote, “Transgender
individuals in the United States face significant barriers to accessing
essential services – including housing. HUD’s proposal puts homeless
transgender people, a population already facing enormous stigma, at risk of further
discrimination. We demand the Department immediately withdraw the proposal and
cease any action to reduce protections for transgender individuals.
Further, “This effort to
reverse the Equal Access Rule and its enforcement mechanisms is cruel and unacceptable.
It will essentially give HUD’s backing to shelters that willfully discriminate
against transgender individuals – putting thousands of homeless youth and
adults at risk. We urge you to rescind the proposed rule and maintain the
necessary protections to keep safe the many transgender individuals who are
experiencing homelessness.”
Joining
the letter are Senators Catherine Cortez Masto (D-NV), Brian Schatz (D-HI),
Tina Smith (D-MN), Tammy Baldwin (D-WI), Kyrsten Sinema (D-AZ), Jack Reed
(D-RI), Doug Jones (D-AL), Chris Van Hollen (D-MD).
Full
text of letter here and
below:
June 13, 2019
The
Honorable Benjamin S. Carson, Sr., M.D.
Secretary
United
States Department of Housing and Urban Development
451
Seventh Street S.W.
Washington,
DC 20410
Dear
Secretary Carson:
We
write to oppose and request additional information about the Department of
Housing and Urban Development’s (“HUD” or “the Department”) recently released
proposal weakening discrimination protections in HUD-funded emergency and
temporary homeless shelters based on sex, including sexual orientation and
gender identity.[1] Transgender
individuals in the United States face significant barriers to accessing
essential services – including housing. HUD’s proposal puts homeless
transgender people, a population already facing enormous stigma, at risk of
further discrimination. We demand the Department immediately withdraw the
proposal and cease any action to reduce protections for transgender
individuals.
In
its spring 2019 unified regulatory agenda, HUD announced a proposed rule that
would allow Shelter Providers to consider an individual’s sex assigned at
birth, rather than their gender identity, in determining accommodation within
shelters and whether to admit an individual at all.[2]
This is a significant change from the Department’s current policy, set by the
2016 Equal Access Rule. That rule ensures that all shelters receiving HUD
funding afford equal access to shelter facilities, programs, benefits, and
services to individuals in accordance with their gender identity.[3] This proposed change would weaken
protections for transgender people experiencing homelessness and would likely
result in federally-funded shelters denying access to transgender people or
forcing transgender people into accommodations that do not align with their
gender. It also could subject people to invasive inquiries into their
gender identity or anatomy – which are barred by the current rule – when they
attempt to access shelter services.
Access
to shelter is a fundamental human right, and any effort to discriminate against
transgender people in federally-funded shelters, housing, and facilities
benefits no one. According to the Report of the 2015 U.S. Transgender Survey,
nearly one-in-four transgender adults report experiencing some kind of housing
discrimination, including being evicted or denied a home.[4]
Almost one-third of transgender individuals report experiencing homelessness at
some point in their lives, and transgender women of color experience especially
high rates of homelessness. Seven-in-ten transgender individuals who accessed
shelter services faced mistreatment, including being kicked out, harassed, or
assaulted, because of their gender identity.[5]
In
developing the 2016 Equal Access Rule, HUD found that transgender and gender
nonconforming persons experience “significant violence, harassment, and
discrimination in attempting to access programs, benefits, services, and
accommodations.”[6] In 2016, HUD reported
that transgender persons are often discriminatorily excluded from shelters or
face perilous conditions in shelters that correspond to their sex assigned at
birth. According to some homeless service providers, if given the choice
between a shelter designated for their sex assigned at birth or sleeping on the
streets, many transgender individuals without homes will choose to sleep on the
street.[7]
Homelessness
and discrimination causing a lack of access to shelter have a particularly
significant impact on transgender and gender non-conforming youth. Family
rejection, discrimination, and violence have contributed to the disproportionately
large number of LGBTQ young people who experience homelessness in the United
States.[8] LGBTQ youth have a 120% increased
risk of experiencing homelessness compared to youth who identify as
heterosexual and cisgender.[9] Nearly one in four young Black men,
ages 18 to 25, identifying as LGBTQ reported homelessness in the last 12
months.[10]
This proposed rule would have a particularly harmful and disproportionate
impact on transgender young people who are most in need of safe shelters.
There
is broad consensus – voiced by hundreds of national, state, and local service
providers and organizations – that full and equal access to shelters for
transgender people is critical for their safety and security.[11] This consensus must be backed by
strong federal rules. In April, you pointed to the Equal Access Rule as
evidence that HUD takes seriously the discrimination and harassment transgender
people face in shelters.[12] Even
more troubling, the day before the Department released its proposal, you told
Congress: “I’m not currently anticipating changing the rule” and explained,
“the rules from 2012 and 2016 adequately provide fairness for all communities.”[13] Yet despite the national consensus
and your previous statements, HUD announced its proposal to gut the rule and
undermine critical protections for transgender people on May 22, 2019.
HUD’s
announcement is also just one piece of the Administration’s ongoing and
extensive efforts to undermine the civil rights of transgender individuals. The
Departments of Justice and Education have retracted guidance protecting
transgender students under Title IX.[14]
The Department of Health and Human Services is currently working to roll back a
rule barring discrimination against transgender individuals in health care
settings.[15] The Administration
has put into effect a policy of discrimination against transgender service
members.[16] And HUD itself has
removed LGBTQ resources from its website and impeded research into housing
discrimination and homelessness among LGBTQ individuals.[17]
This
effort to reverse the Equal Access Rule and its enforcement mechanisms is cruel
and unacceptable. It will essentially give HUD’s backing to shelters that
willfully discriminate against transgender individuals – putting thousands of
homeless youth and adults at risk. We urge you to rescind the proposed
rule and maintain the necessary protections to keep safe the many transgender
individuals who are experiencing homelessness. To help us understand HUD’s
inexplicable actions on this issue, and the clear disparity between your stated
intention not to disturb the Equal Access Rule and HUD’s action the next day to
undermine that rule, we ask that you provide written answers to the following
questions no later than June 27, 2019. We also ask that you provide us with a
briefing for Congressional staff no later than July 11, 2019, and that this
briefing be conducted by David Woll, Principal Deputy Assistant Secretary for
Community Planning and Development.
1. When
did HUD begin discussions regarding the “Revised Requirements Under Community
Planning and Development Housing Program” announced in its spring 2019 unified
regulatory agenda? Which specific political appointees have been involved
in drafting and directing the drafting of this proposed rule?
2. When
did you first become aware of this proposal? If you were aware of this proposal
before May 21, 2019, why did you – in your testimony before the House Financial
Services Committee on May 21, 2019 – say that HUD is “not currently
anticipating changing” the Equal Access Rules?
3. Did
HUD staff conduct any analysis to assess the impact of the proposal on LGBTQ
individuals, including youth and individuals of color? If so, what did these
analyses find? Please provide copies of all such analyses.
4. Did
HUD contract an independent analysis to assess the impact of the proposal on
LGBTQ individuals, including youth and individuals of color? If so, what did
these analyses find? Please provide copies of all such analyses.
5. Following
an intensive, years-long study of the issue, HUD concluded in 2016 that “all
individuals, including transgender persons and other gender nonconforming
persons, can be safely accommodated in shelters and other buildings and
facilities in accordance with their gender identity,” and that “[p]rivacy
concerns can be addressed through policy adjustments.”[18] Does HUD now dispute these findings?
If so, what new evidence leads it to do so?
6. Did
HUD consult with any outside entities either before or during the drafting and
publishing of this proposal? If so, please provide the list of all outside
entities or consulted.
7. Please
provide all documents and communications referring or relating to HUD’s
deliberations for the “Revised Requirements Under Community Planning and
Development Housing Program” announced in its spring 2019 unified regulatory
agenda.
Thank
you in advance for your attention to this matter. If you have any questions, or
would like to further discuss this issue, then please contact Michael Huggins,
Democratic staff for the Committee on Health, Education, Labor, and Pensions at
(202) 224-0767, or Beth Cooper, Democratic staff for the Committee on Banking,
Housing, and Urban Affairs at (202) 224-2336.
Sincerely,
[1]
“Revised Requirements Under Community Planning and Development Housing Programs
(FR-6152),” https://www.reginfo.gov/public/do/eAgendaViewRule?pubId=201904&RIN=2506-AC53.
[2]
Id.
[3]
Federal Register, “Equal Access in Accordance With an Individual's Gender
Identity in Community Planning and Development Programs,” September 21, 2016, https://www.federalregister.gov/documents/2016/09/21/2016-22589/equal-access-in-accordance-with-an-individuals-gender-identity-in-community-planning-and-development.
[4]
National Center for Transgender Equality, “The Report of the 2015 U.S.
Transgender Survey,” December 2016, https://transequality.org/sites/default/files/docs/usts/USTS-Full-Report-Dec17.pdf.
[6]
Federal Register, “Equal Access in Accordance With an Individual's Gender
Identity in Community Planning and Development Programs,” September 21, 2016, https://www.govinfo.gov/content/pkg/FR-2016-09-21/pdf/2016-22589.pdf.
[7]
Id.
[8]
The Williams Institute, “Serving Our Youth: Findings from a National Survey of
Services Providers Working with Lesbian, Gay, Bisexual and Transgender Youth
Who are Homeless or At Risk of Becoming Homeless,” 2012, https://williamsinstitute.law.ucla.edu/wp-content/uploads/Durso-Gates-LGBT-Homeless-Youth-Survey-July-2012.pdf.
[9] Morton, M.H.,
Dworsky, A., & Samuels, G.M. (2017). Missed opportunities: Youth
homelessness in America. National estimates. Chicago, IL: Chapin Hall at the
University of Chicago. https://voicesofyouthcount.org/wp-content/uploads/2017/11/VoYC-National-Estimates-Brief-Chapin-Hall-2017.pdf.
[10] Morton, M.H., Samuels, G.M.,
Dworsky, A, & Patel, S. (2018). Missed opportunities: LGBTQ youth
homelessness in America. Chicago, IL: Chapin Hall at the University of Chicago.
https://www.chapinhall.org/wp-content/uploads/VoYC-LGBTQ-Brief-FINAL.pdf.
[11]
The National Task Force to End Sexual and Domestic Violence, “National
Consensus Statement of Anti-Sexual Assault and Domestic Violence Organizations
in Support of Full and Equal Access for the Transgender Community,” April 13,
2018, http://www.4vawa.org/ntf-action-alerts-and-news/2018/4/12/national-consensus-statement-of-anti-sexual-assault-and-domestic-violence-organizations-in-support-of-full-and-equal-access-for-the-transgender-community.
[12]
NBC News, “Ben Carson questioned on HUD’s lack of LGBTQ nondiscrimination
guidance,” Eileen Street, April 4, 2019, https://www.nbcnews.com/feature/nbc-out/ben-carson-questioned-hud-s-lack-lgbtq-nondiscrimination-guidance-n990821.
[13]
Washington Post, “Rep. Jennifer Wexton says ‘inept’ Ben Carson should resign as
HUD secretary,” Justin Wm. Moyer, May 23, 2019, https://www.washingtonpost.com/local/virginia-politics/rep-jennifer-wexton-says-inept-ben-carson-should-resign-as-hud-secretary/2019/05/23/45f8d9f0-7d84-11e9-a3dd-d481bcdabfe6_story.html?utm_term=.dcac512a80c2; House Committee on Financial
Services, “Housing and Urban Development Department Oversight Hearing,” May 21,
2019, https://www.c-span.org/video/?460930-1/housing-urban-development-department-oversight-hearing&start=0.
[14]
Sandra Battle, Acting Assistant Secretary for Civil Rights, U.S. Dep’t of Ed.,
and T.E. Wheeler, II, Acting Assistant Attorney General for Civil Rights, U.S.
Dep’t of Justice, Dear Colleague Letter, Feb. 22, 2017, https://www.justice.gov/opa/press-release/file/941551/download.
[15]
New York Times, “Trump Administration Proposes Rollback of Transgender
Protections,” Abby Goodnough, Erica L. Green and Margot Sanger-Katz, May 24,
2019, https://www.nytimes.com/2019/05/24/us/politics/donald-trump-transgender-protections.html?rref=collection%2Ftimestopic%2FHealth%20and%20Human%20Services%20Department.
[16]
Associated Press, “New Pentagon Transgender Rule Sets Limits for Troops,”
Lolita C. Baldor, March 12, 2019, https://apnews.com/ae07308b29c342429c3c627b7fc0b404.
[17]
ProPublica and New York Magazine, “Is Anybody Home at HUD?”, Alec MacGillis,
August 22, 2017, https://www.propublica.org/article/is-anybody-home-at-hud-secretary-ben-carson.
[18]
Federal Register, “Equal Access in Accordance With an Individual's Gender
Identity in Community Planning and Development Programs,” September 21, 2016, https://www.govinfo.gov/content/pkg/FR-2016-09-21/pdf/2016-22589.pdf.
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