
The picture with MHARR emblem is of a contemporary HUD Code manufactured house constructed by a MHARR member firm. Manfactured Home Production Growth Continues In September 2022 per Manufactured Housing Association for Regulatory Reform’s November 2022 Report.

Septemer 2022 Manufactured Housing Shipment Data Top 10 Manufactured Home States Totals, per Manufactured Housing Association for Regulatory Reform (MHARR) 9.2022 Data printed Nov 4, 2022. Note: Click to Enlarge Images.

MHARR leaders contend that manufactured housing may do much better. ‘To overcome zoning & financing woes post-production commerce group should do extra.’ Interviews : https://manufacturedhousingassociationregulatoryreform.org/mhpronews-qa-with-danny-ghorbani/duty-to-serve-mh

‘Abject Failure to Implement Duty To Serve (DTS) Manufactured Housing Industry by Govt Sponsored Enterprises of Fannie Mae Freddie Mac by FHFA abetted by Manufactured Home Industry Members huge conglomorates. Mark Weiss, JD, Pres-CEO-MHARR-Manufactured Hou

Manufactured Housing Improvement Act of2000-2000 Reform Law Enhanced Federal Preemption Authority for HUD Code Manufactured Homes Manufactured Housing Enhanced Preemption per Mark Weiss, J.D., President & CEO-MHARR-Manufactured Housing Assoc for Regulatory Reform.
The Manufactured Housing Association for Regulatory Reform (MHARR) 11.2022 information launch gives newest details on inexpensive HUD Code manufactured houses=9.2022.
— Mark Weiss, J.D., President and CEO of MHARR.
WASHINGTON, D.C. , U.S.A., November 7, 2022 /EINPresswire.com/ — Washington, D.C., November 3, 2022 – The Manufactured Housing Association for Regulatory Reform (MHARR) studies that in accordance with official statistics compiled on behalf of the U.S. Department of Housing and Urban Development (HUD), HUD Code manufactured housing trade year-over-year manufacturing elevated in September 2022. Just-released statistics point out that HUD Code producers produced 9,381 houses in September 2022, a 3.9% improve over the 9,025 new HUD Code houses produced in September 2021. Cumulative manufacturing for 2022 now totals 89,812 houses, a 13% improve over the 79,435 houses produced throughout the identical interval in 2021.
An additional evaluation of the official trade statistics reveals that the highest ten cargo states from the start of the trade manufacturing rebound in August 2011 by way of September 2022 — with cumulative, month-to-month, present 12 months (2022) and prior 12 months (2021) shipments per class as indicated — are as proven in the graphic posted.
The September 2022 knowledge outcomes in no adjustments to the cumulative top-ten cargo listing.
The Manufactured Housing Association for Regulatory Reform is a Washington, D.C.-based nationwide commerce affiliation representing the views and pursuits of impartial producers of federally-regulated manufactured housing. ##
About MHARR
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MHARR News
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MHARR Monthly Manufactured Home Shipment Data
https://manufacturedhousingassociationregulatoryreform.org/category/manufactured-home-shipments/
MHARR’s Objectives
Brief History and Objectives of the Manufactured Housing Association for Regulatory Reform (MHARR)
From the above: The Manufactured Housing Association for Regulatory Reform (MHARR) was established on July 3, 1985 because the “Association for Regulatory Reform” (ARR). The Association modified to its present title in the summer time of 1997.
Based in Washington D.C. since its founding, MHARR was shaped to signify the views and pursuits of producers of manufactured housing. A significant supply of the nation’s provide of non-subsidized inexpensive houses, the manufactured housing trade is federally regulated by the U.S. Department of Housing and Urban Development (HUD) — the one phase of the housing trade to be regulated on the federal degree. MHARR is devoted to sustaining a regulatory framework which promotes each the supply and affordability of manufactured housing — an goal now enshrined in federal legislation due to the Manufactured Housing Improvement Act of 2000, which MHARR efficiently sought, promoted and superior to enactment. Its major and enduring mission is to guard, defend and advance the pursuits of its members and the manufactured housing way of life for American customers of inexpensive housing.
Since MHARR’s institution, the manufacturing of manufactured housing has change into more and more aggressive and complicated. As the trade has matured, quite a few state and federal companies have sought to impose guidelines and rules that would considerably impression its value and availability as a chief non-subsidized housing useful resource for Americans at each rung of the monetary ladder.
Within the trade, the voice of producers — the phase of the trade most straight affected by federal regulation — has tended to be merged with that of different segments of the trade, together with retailers, suppliers, finance corporations and group builders. Each such phase has its personal particular pursuits and perspective, however until producers’ views might be articulated, printed and advocated independently, the illustration of these views is unavoidably weakened by being merged into an “umbrella” illustration, which essentially should be the bottom frequent denominator amongst numerous numerous segments of the trade.
The trade has additionally witnessed the emergence of a brand new kind of producer with giant retailer and financing associates. That phase of the trade might also have totally different wants than smaller and medium-sized impartial manufactures. Consequently, the first goal of the Manufactured Housing Association for Regulatory Reform is to enunciate the consensus view of producers, in order that their expertise, understanding and method might be thought-about in the formulation of any legislation, rule normal or regulation that’s imposed on the trade.
Necessarily, although, the pursuits of producers – and customers – are unavoidably impacted by exercise and developments affecting the post-production sector of the trade (i.e., exercise and developments affecting manufactured houses and customers as soon as such houses depart the manufacturing unit). Such exercise – by authorities or quasi-governmental actors – can negatively impression each the utilization and availability of manufactured houses for giant segments of the general public and may considerably constrain that availability, to the intense detriment of all involved. Current examples of this phenomenon embody the failure of the Government Sponsored Enterprises (GSEs) to supply securitization and secondary market assist for manufactured house loans in accordance with current legislation and discriminatory and exclusionary zoning and placement restrictions on manufactured houses in many extra densely-populated areas of the United States. Because of this indeniable actuality and the truth that the long-term absence of any kind of impartial, devoted nationwide illustration for the trade’s post-production sector has allowed such issues to multiply and fester, MHARR has taken (and can proceed to take) the lead on these issues as nicely.
Ultimately, although, it’s axiomatic that there is no such thing as a regulation with out financial value — notably for a federally regulated trade. That value, inevitably, might be handed on to the purchaser. Overall, due to this fact, MHARR seeks an improved setting for the expansion of the trade and for the supply of inexpensive manufactured housing to American customers by way of truthful, cheap and cost-effective federal regulation. Furthermore, the Association is devoted to reassessing all current rules periodically to find out their value, benefit and relevance, and to measuring every new legislation and regulation towards the identical standards, with the principal goal of defending manufactured housing customers whereas concurrently making certain the persevering with availability of protected, inexpensive, non-subsidized manufactured houses.
MHARR Issues and Perspectives
https://manufacturedhousingassociationregulatoryreform.org/category/mharr-issues-and-perspectives/
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Mark Weiss, J.D.
Manufactured Housing Association for Regulatory Reform
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