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U.S. DEPARTMENT Op THE TREASURY <br /> ~ Explanation oƒwhy o capitol expenditure isappropriate. For example, recipients should include <br /> an explanation of why existing equipment and facilities, or policy changes or additional funding <br /> to pertinent programs or services, would beinadequate. <br /> � Comparison ofproposed capital project against at least two alternative capital expenditures and <br /> demonstration of why the proposed capital expenditure is superior. Recipients should consider <br /> the effectiveness of the capital expenditure in addressing the harm identified and the expected <br /> total cost (including pre-development costs) against at least two alternative capital <br /> expenditures. <br /> Where relevant, recipients should consider the alternatives of improving existing capital assets already <br /> owned or leasing other capital assets. <br /> Treasury presumes that the following capital projects are generally ineligible: <br /> * Construction of new correctional <br /> x Construction of convention centers, <br /> facilities as a response to an increase in <br /> stadiums, or other large capital projects <br /> rate ofcrime <br /> intended for general economic <br /> * Construction of new congregate <br /> development orto aid impacted <br /> facilities to decrease spread of[OV|D'l9 <br /> industries <br /> /n the facility <br /> In undertaking capital expenditures,Treasury encourages recipients to adhere to strong labor standards, <br /> including project labor agreements and community benefits agreements that offer wages at or above <br /> the prevailing rate and include local hire provisions.Treasury also encourages recipients to prioritize in <br /> their procurements employers with high labor standards and to prioritize employers without recent <br /> violations of federal and state labor and employment laws. <br /> Coronavirus State& Local RscolRecovery Funds:Overview of the Final Rule <br /> L/S. Department of theTreosmr 31 <br />