Federal Advocacy Materials

NAA and NMHC Submit Comments on Flood Risk Management Standard Rescission

NAA and Partners Submit Comments on HUD's Proposed Rescission of the Federal Flood Risk Management Standard (FFRMS)

NAA, NMHC, and RETTC Share Insights Regarding the AI for Secure Networks Act and the PLAN for Broadband Act

Housing Coalition Highlight Tools for Closing the Digital Divide

NAA, NMHC and RETTC Highlight Opportunities of AI Technology to Ranking Member Maxine Waters

NAA, NMHC and RETTC Contend that AI Tools are Necessary to Solve Today's Housing Affordability Crisis

NAA Joins Broad Coalition to Support Extending the Terrorism Risk Insurance Act (TRIA)

Organizations from the National Apartment Association to Major League Baseball Band Together to Support This Essential Public-Private Risk-Sharing Mechanism

NAA & NMHC Submit Comments on Proposed Rulemaking Enterprise Duty to Serve Underserved Markets

Organizations Provide Comments on RIN 2590-AB64 to the Federal Housing Finance Agency

Multifamily Housing Coalition Shares Insights for "Legislative Hearing on Protecting Communications Networks and Improving Connectivity"

NAA, NMHC and RETTC Comment on Bulk Billing and AI Practices for the House Subcommittee on Communications and Technology

Multifamily Housing Organizations Write to the U.S. Department of the Treasury Regarding Build-to-Rent Housing Language in the 21st Century ROAD to Housing Act

Industry Associations Highlight Congressional Intent and Executive Order Language Regarding Build-to-Rent Housing

NAA and Industry Coalition Submit Comments on OMB Proposed Rule That Would Potentially Disrupt the Affordable Housing Sector.

Industry Associations Comment on Proposed OMB Rule Establishing a Uniform Grants Regulation

NAA and Other National Associations Applaud HUD for Removing Environmental Clearance Officer Review

NAA Signs onto Letter Supporting the Most Recent Steps from the U.S. Department of Housing and Urban Development

NAA Signs Onto Letter Regarding Proposed Revisions to the Risk-Based Capital Framework

NAA and Undersigned Organizations Provide Comments on the Basel III Proposal