HUD issued Notice 2010-26 on December 20, 2010, which sets some procedures for reviewing requests to subordinate Section 202 direct loans in cases where refinancing these loans under Notice H 04-21 (post-1974 Section 202 projects) is not feasible. HUD says that subordination of Section 202 direct loans may assist owners and developers of housing for the elderly that use low income housing tax credits (LIHTC) for substantial rehabilitation.
Requests to subordinate Section 202 direct loans are reviewed by Hub/Program Center staffs. Applicants can include: single-purpose private nonprofit organizations with tax-exempt status under Section 501(c)(3) or Section 501(c)(4) of the Internal Revenue Code of 1986; a nonprofit consumer cooperative; or for-profit limited partnerships with a nonprofit entity that want to develop mixed-finance projects.
An owner requesting a loan subordination must be in compliance with all HUD business agreements and project operations must meet HUD standards. These include, but are not limited to: