Hawaii 2022 Regular Session

Hawaii House Bill HB2080 Compare Versions

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1-HOUSE OF REPRESENTATIVES H.B. NO. 2080 THIRTY-FIRST LEGISLATURE, 2022 H.D. 1 STATE OF HAWAII A BILL FOR AN ACT RELATING TO STATE FUNDS. BE IT ENACTED BY THE LEGISLATURE OF THE STATE OF HAWAII:
1+HOUSE OF REPRESENTATIVES H.B. NO. 2080 THIRTY-FIRST LEGISLATURE, 2022 STATE OF HAWAII A BILL FOR AN ACT RELATING TO STATE FUNDS. BE IT ENACTED BY THE LEGISLATURE OF THE STATE OF HAWAII:
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33 HOUSE OF REPRESENTATIVES H.B. NO. 2080
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3131 A BILL FOR AN ACT
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3737 RELATING TO STATE FUNDS.
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4343 BE IT ENACTED BY THE LEGISLATURE OF THE STATE OF HAWAII:
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47- SECTION 1. The legislature finds that the Hawaii housing finance and development corporation has legacy funds within the rental housing revolving fund that are derived from tax-exempt general obligation bond proceeds. These tax-exempt funds have limited usefulness for affordable rental housing development because under United States Treasury regulations, tax-exempt funds cannot be used to finance projects that also use low-income housing tax credits, as there can only be one tax-exempt financing source per project. Under United States Treasury regulations, tax-exempt bond proceeds can be used for public infrastructure projects. Financing of public infrastructure projects is an allowable use of the Hawaii housing finance and development corporation's dwelling unit revolving fund, but not the rental housing revolving fund. The legislature further finds that the tax-exempt general obligation bond proceeds in the rental housing revolving fund can be utilized if the funds are transferred to the dwelling unit revolving fund. Therefore, the purpose of this Act is to transfer tax-exempt general obligation bond funds from the rental housing revolving fund to the dwelling unit revolving fund for the purposes of the dwelling unit revolving fund. SECTION 2. The director of finance is authorized to transfer tax-exempt general obligation bond proceeds and accrued interest from the rental housing revolving fund to the dwelling unit revolving fund up to the sum of $ for fiscal year 2022-2023. SECTION 3. This Act shall take effect on July 1, 2050.
47+ SECTION 1. The legislature finds that the Hawaii housing finance and development corporation has legacy funds within the rental housing revolving fund derived from tax-exempt general obligation bond proceeds. These tax-exempt funds have limited usefulness for affordable rental housing development because under United States Treasury regulations, tax-exempt funds cannot be used to finance projects that also use low-income housing tax credits. There can only be one tax-exempt financing source per project. Under United States Treasury regulations, tax-exempt bond proceeds can be used for public infrastructure projects. Financing of public infrastructure projects is an allowable use of the corporation's dwelling unit revolving fund, but not the rental housing revolving fund. The legislature further finds that the tax-exempt general obligation bond proceeds in the rental housing revolving fund could be utilized if they are transferred to the dwelling unit revolving fund. Therefore, the purpose of this Act is to transfer tax-exempt funds from the rental housing revolving fund to the dwelling unit revolving fund for the purposes of the dwelling unit revolving fund. SECTION 2. The director of finance is authorized to transfer tax-exempt general obligation bond proceeds and accrued interest from the rental housing revolving fund to the dwelling unit revolving fund up to the sum of $_____________ for fiscal year 2022-2023. SECTION 3. This Act, upon its approval, shall take effect on July 1, 2022. INTRODUCED BY: _____________________________ BY REQUEST
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49- SECTION 1. The legislature finds that the Hawaii housing finance and development corporation has legacy funds within the rental housing revolving fund that are derived from tax-exempt general obligation bond proceeds. These tax-exempt funds have limited usefulness for affordable rental housing development because under United States Treasury regulations, tax-exempt funds cannot be used to finance projects that also use low-income housing tax credits, as there can only be one tax-exempt financing source per project. Under United States Treasury regulations, tax-exempt bond proceeds can be used for public infrastructure projects. Financing of public infrastructure projects is an allowable use of the Hawaii housing finance and development corporation's dwelling unit revolving fund, but not the rental housing revolving fund.
49+ SECTION 1. The legislature finds that the Hawaii housing finance and development corporation has legacy funds within the rental housing revolving fund derived from tax-exempt general obligation bond proceeds. These tax-exempt funds have limited usefulness for affordable rental housing development because under United States Treasury regulations, tax-exempt funds cannot be used to finance projects that also use low-income housing tax credits. There can only be one tax-exempt financing source per project. Under United States Treasury regulations, tax-exempt bond proceeds can be used for public infrastructure projects. Financing of public infrastructure projects is an allowable use of the corporation's dwelling unit revolving fund, but not the rental housing revolving fund.
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51- The legislature further finds that the tax-exempt general obligation bond proceeds in the rental housing revolving fund can be utilized if the funds are transferred to the dwelling unit revolving fund.
51+ The legislature further finds that the tax-exempt general obligation bond proceeds in the rental housing revolving fund could be utilized if they are transferred to the dwelling unit revolving fund.
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53- Therefore, the purpose of this Act is to transfer tax-exempt general obligation bond funds from the rental housing revolving fund to the dwelling unit revolving fund for the purposes of the dwelling unit revolving fund.
53+ Therefore, the purpose of this Act is to transfer tax-exempt funds from the rental housing revolving fund to the dwelling unit revolving fund for the purposes of the dwelling unit revolving fund.
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55- SECTION 2. The director of finance is authorized to transfer tax-exempt general obligation bond proceeds and accrued interest from the rental housing revolving fund to the dwelling unit revolving fund up to the sum of $ for fiscal year 2022-2023.
55+ SECTION 2. The director of finance is authorized to transfer tax-exempt general obligation bond proceeds and accrued interest from the rental housing revolving fund to the dwelling unit revolving fund up to the sum of $_____________ for fiscal year 2022-2023.
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57- SECTION 3. This Act shall take effect on July 1, 2050.
57+ SECTION 3. This Act, upon its approval, shall take effect on July 1, 2022.
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61- Report Title: State Funds; Rental Housing Revolving Fund; Dwelling Unit Revolving Fund Description: Authorizes the transfer of excess tax-exempt general obligation bond proceeds from the rental housing revolving fund to the dwelling unit revolving fund. Effective 7/1/2050. (HD1) The summary description of legislation appearing on this page is for informational purposes only and is not legislation or evidence of legislative intent.
61+INTRODUCED BY: _____________________________
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74+ Report Title: State Funds; Rental Housing Revolving Fund; Dwelling Unit Revolving Fund Description: Authorizes the transfer of excess moneys from the rental housing revolving fund to the dwelling unit revolving fund. The summary description of legislation appearing on this page is for informational purposes only and is not legislation or evidence of legislative intent.
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6782 State Funds; Rental Housing Revolving Fund; Dwelling Unit Revolving Fund
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73-Authorizes the transfer of excess tax-exempt general obligation bond proceeds from the rental housing revolving fund to the dwelling unit revolving fund. Effective 7/1/2050. (HD1)
88+Authorizes the transfer of excess moneys from the rental housing revolving fund to the dwelling unit revolving fund.
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8196 The summary description of legislation appearing on this page is for informational purposes only and is not legislation or evidence of legislative intent.