The Department of Housing and Urban Development (HUD) recently is seeking public feedback regarding whether its 2013 Disparate Impact Regulation is consistent with the 2015 U.S. Supreme Court ruling in Texas Department of Housing and Community Affairs v. Inclusive Communities Project, Inc.
The regulation details a framework for establishing legal liability for facially neutral practices – those that do not discriminate against a particular group of people – that that do not adhere to the Fair Housing Act.
Find out what the agency is hoping to learn from commenters.