

Bay Ave., Beach Haven NJ, 512 Stone Harbor Ave., Ocean Gate NJ, 12 Cindy Dr., Manahawkin NJ, 67 Stockton Ave., 1st Fl., Seaside Park NJĢ/1/17 UPDATE: Notice about Completing All Scope of Work before Scheduling a Final Inspection

2nd St., Port Reading NJ Ocean County: 1510 S. Brighton Ave., Atlantic City NJ, 4135 Winchester Ave., Atlantic City NJ Bergen County: 86 Main St., Little Ferry, NJ, 51 Eckel Rd., Little Ferry NJ, 35 Pickens St., Little Ferry, NJ Essex County: 64 Huntington Terr., 3rd Fl., Newark NJ Hudson County: 16 Colonial Dr., Bayonne NJ Middlesex County: 27 E. If you are a tenant who occupied one of the following properties at the time of Superstorm Sandy, please contact DCA Program Specialist Tanja Silver at or 60:Ītlantic County: 101 N. In instances where a Homeowner/Landlord in the RREM Program has been unable to make contact with a displaced tenant(s), DCA initiates additional outreach to locate the tenant(s) to inform them that they may be eligible for possible relocation benefits under the Uniform Relocation Assistance and Real Property Acquisition Policies Act of 1970. The policy adopted by the New Jersey Department of Community Affairs (DCA) to implement the provisions of Section 414 of the Stafford Act includes a requirement that Homeowners/Landlords who are participating in the RREM Program must make an effort to notify any tenants who were residents of their home at the time of Superstorm Sandy that they may be eligible for relocation benefits. Stafford Relief and Emergency Assistance Act of 1974, which is commonly referred to as the “Stafford Act”. One of the conditions of the use of CDBG-DR funds is that the State of New Jersey complies with Section 414 of the Robert T. The Reconstruction, Rehabilitation, Elevation, and Mitigation (RREM) Program provides up to $150,000 of Community Development Block Grant Disaster Recovery (CDBG-DR) funds to Sandy-impacted homeowners for activities necessary to restore their storm-damaged homes. For additional information, a RREM homeowner can contact their Project Manager. Should they proceed with construction work prior to contractor validation, they are at risk of forfeiting payment if the contractor is not program-eligible. RREM homeowners are advised that if they have changed builders during the construction process, they must contact their Project Manager to validate their new contractor. The process ensures that their selected contractor has the appropriate state licenses and is not debarred from working on federal or state programs. It is highly recommended that they complete the RREM contractor validation process prior to signing a contract. RREM homeowners are encouraged to conduct thorough research and obtain several estimates before selecting any contractors.

6/1/17: Notice About Validating a Contractor Before Signing a Contract
