Options for Making the National Flood 
November 14, 2022January 6, 2023  
Insurance Program More Affordable 
Diane P. Horn 
Concerns about the affordability of flood insurance premiums have come to the fore as FEMA 
Concerns about the affordability of flood insurance premiums have come to the fore as FEMA 
AnalystSpecialist in Flood  in Flood 
Insurance 
introduces a new pricing system known as Risk Rating 2.0, which represents the biggest change 
introduces a new pricing system known as Risk Rating 2.0, which represents the biggest change 
Insurance and Emergency and Emergency 
to the way the NFIP calculates flood insurance premiums since its inception. Nationally, 77% of 
to the way the NFIP calculates flood insurance premiums since its inception. Nationally, 77% of 
Management 
Management 
policyholders will see an increase in their premiums in the first year, with 23% of policyholders 
policyholders will see an increase in their premiums in the first year, with 23% of policyholders 
  
  
seeing a decrease under Risk Rating 2.0. These impending rate raises, which vary from $120 to 
seeing a decrease under Risk Rating 2.0. These impending rate raises, which vary from $120 to 
$240 or more annually, have increased congressional interest in reducing the cost burden of flood $240 or more annually, have increased congressional interest in reducing the cost burden of flood 
 
 
insurance on policyholders. 
insurance on policyholders. 
As full risk-based premiums are phased in under Risk Rating 2.0, some policyholders could be faced with large price 
As full risk-based premiums are phased in under Risk Rating 2.0, some policyholders could be faced with large price 
increases either because they are currently buying coverage at subsidized rates and/or because the new rating system indicates increases either because they are currently buying coverage at subsidized rates and/or because the new rating system indicates 
that they now have a higher risk. Such increases raise issues of equity, as well as affordability. The NFIP currently insures that they now have a higher risk. Such increases raise issues of equity, as well as affordability. The NFIP currently insures 
just under 5 million structures in the United States, and most of the remaining structures do not have insurance to protect just under 5 million structures in the United States, and most of the remaining structures do not have insurance to protect 
them against flood risk. This large insurance gap may increase if policyholders drop their coverage because they feel that them against flood risk. This large insurance gap may increase if policyholders drop their coverage because they feel that 
premiums are too expensive.  premiums are too expensive.  
The introduction of a means-tested NFIP affordability program has been under consideration by Congress for years. 
The introduction of a means-tested NFIP affordability program has been under consideration by Congress for years. 
However, FEMA does not currently have the authority to implement an affordability program, nor does the NFIP’s current However, FEMA does not currently have the authority to implement an affordability program, nor does the NFIP’s current 
rate structure provide the funding required to support one. If an affordability program were to be funded from NFIP funds, rate structure provide the funding required to support one. If an affordability program were to be funded from NFIP funds, 
this would require either raising flood insurance rates for NFIP policyholders or diverting resources from another existing this would require either raising flood insurance rates for NFIP policyholders or diverting resources from another existing 
use. Alternatively, an affordability program could be funded fully or partially by congressional appropriations. A central use. Alternatively, an affordability program could be funded fully or partially by congressional appropriations. A central 
question in any reform of the NFIP is who should bear the costs of floodplain occupancy in the future: individual question in any reform of the NFIP is who should bear the costs of floodplain occupancy in the future: individual 
policyholders (the insured), federal taxpayers, uninsured flood victims, or some combination of these.  policyholders (the insured), federal taxpayers, uninsured flood victims, or some combination of these.  
A means-tested affordability program could be implemented in a number of different ways, which may differ in how to 
A means-tested affordability program could be implemented in a number of different ways, which may differ in how to 
measure when a premium might impose a cost burden on a policyholder. Means-tested affordability assistance could take a measure when a premium might impose a cost burden on a policyholder. Means-tested affordability assistance could take a 
capped-premiums approach, an income-based approach, a housing burden-based approach, a combined income- and housing capped-premiums approach, an income-based approach, a housing burden-based approach, a combined income- and housing 
burden-based approach, or a community characteristics approach.  burden-based approach, or a community characteristics approach.  
In addition, an affordability program is only one possible way of reducing the cost burden to policyholders. This report 
In addition, an affordability program is only one possible way of reducing the cost burden to policyholders. This report 
outlines a range of policy options Congress could consider to reduce the amount that NFIP policyholders pay, such as outlines a range of policy options Congress could consider to reduce the amount that NFIP policyholders pay, such as 
  reducing the amount that policyholders pay through the introduction of a mean-tested affordability 
  reducing the amount that policyholders pay through the introduction of a mean-tested affordability 
program; 
program; 
  reducing the amount that individual policyholders pay by increasing participation in the NFIP, which could 
  reducing the amount that individual policyholders pay by increasing participation in the NFIP, which could 
distribute program costs amongst a larger population than at present;  
distribute program costs amongst a larger population than at present;  
  increasing income to the NFIP, which could be used to reduce policyholders’ contributions to the costs of 
  increasing income to the NFIP, which could be used to reduce policyholders’ contributions to the costs of 
the program;  
the program;  
  reducing the NFIP debt and thus the amount that policyholders pay in interest on the debt; or  
  reducing the NFIP debt and thus the amount that policyholders pay in interest on the debt; or  
  increasing mitigation activities, which may reduce flood damages and thus flood claims, which could   increasing mitigation activities, which may reduce flood damages and thus flood claims, which could 
reduce the amount that policyholders have to pay for claims. 
reduce the amount that policyholders have to pay for claims. 
The report also includes a table summarizing past legislative proposals related to NFIP affordability.  
The report also includes a table summarizing past legislative proposals related to NFIP affordability.  
 
 
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Options for Making the National Flood Insurance Program More Affordable 
 
Contents 
Introduction ..................................................................................................................................... 1 
Affordability and Solvency of the National Flood Insurance Program ..................................... 1 
Premium Subsidies and Cross-Subsidies ............................................................................ 3 
Fees and Surcharges ............................................................................................................ 4 
Legislative Reforms to Address NFIP Solvency and Affordability .................................... 6 
Risk Rating 2.0 .......................................................................................................................... 7 
Affordability of NFIP Premiums ............................................................................................... 8 
Options to Reduce the Cost Burden on NFIP Policyholders ........................................................... 9 
Introduce a Means-Tested Affordability Program ................................................................... 10 
Options for a Means-Tested Affordability Program .......................................................... 10 
Reduce the Amount That Policyholders Pay to the NFIP ....................................................... 14 
Options to Reduce the Amount That Policyholders Pay to the NFIP ............................... 14 
Increase NFIP Participation..................................................................................................... 15 
The Mandatory Purchase Requirement ............................................................................. 15 
Options to Increase NFIP Participation ............................................................................. 16 
Increase NFIP Income ............................................................................................................. 19 
Options to Increase NFIP Income ..................................................................................... 20 
Reduce NFIP Debt .................................................................................................................. 20 
Options to Reduce NFIP Debt .......................................................................................... 22 
Reduce Flood Damage Through Mitigation ............................................................................ 24 
Property-Level Mitigation ................................................................................................ 26 
Community-Level Mitigation and Floodplain Management Standards ............................ 27 
Options to Encourage Property-Level Mitigation Activities ............................................ 28 
Options to Encourage Community-Level Flood Risk Reduction Measures ..................... 29 
Concluding Comments .................................................................................................................. 32 
 
 
Tables 
Table 1. Legislative Proposals Related to NFIP Affordability ...................................................... 35 
    
Contacts 
Author Information ........................................................................................................................ 36 
  
Congressional Research Service 
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Options for Making the National Flood Insurance Program More Affordable 
 
Introduction  
 Many Members and stakeholders have expressed concern about the perceived affordability of Many Members and stakeholders have expressed concern about the perceived affordability of 
flood insurance premiums, concerns which have come to the fore as the Federal Emergency flood insurance premiums, concerns which have come to the fore as the Federal Emergency 
Management Agency (FEMA) introduces a new pricing system known as Risk Rating 2.0. This Management Agency (FEMA) introduces a new pricing system known as Risk Rating 2.0. This 
new rating system, which is designed to move all National Flood Insurance Program (NFIP) new rating system, which is designed to move all National Flood Insurance Program (NFIP) 
policies to risk-based pricing, represents the biggest change to the way the NFIP calculates flood policies to risk-based pricing, represents the biggest change to the way the NFIP calculates flood 
insurance premiums since its inception.1 Nationally, according to FEMA, in the first year 77% of insurance premiums since its inception.1 Nationally, according to FEMA, in the first year 77% of 
policyholders will see an increase in their premiums and 23% of policyholders will see a decrease policyholders will see an increase in their premiums and 23% of policyholders will see a decrease 
under Risk Rating 2.0.2 These impending rate raises, which vary from $120 to $240 or more under Risk Rating 2.0.2 These impending rate raises, which vary from $120 to $240 or more 
annually, have increased congressional interest in reducing the cost burden of flood insurance on annually, have increased congressional interest in reducing the cost burden of flood insurance on 
policyholders.  policyholders.  
The introduction of a means-tested NFIP affordability program has been under consideration by 
The introduction of a means-tested NFIP affordability program has been under consideration by 
Congress for years. For example, certain bills for reauthorization and reform of the NFIP in the Congress for years. For example, certain bills for reauthorization and reform of the NFIP in the 
115th Congress,3 the 116th Congress,4 and the 117th Congress5 have contained provisions to 115th Congress,3 the 116th Congress,4 and the 117th Congress5 have contained provisions to 
establish an affordability program (seestablish an affordability program (se
e Table 1), as well as other provisions related to making , as well as other provisions related to making 
NFIP premiums more affordable. The Build Back Better Act,6 as passed by the House on NFIP premiums more affordable. The Build Back Better Act,6 as passed by the House on 
November 19, 2021, would have appropriated funding to provide means-tested assistance to November 19, 2021, would have appropriated funding to provide means-tested assistance to 
certain NFIP policyholders. However, a means-tested affordability program is only one possible certain NFIP policyholders. However, a means-tested affordability program is only one possible 
way of reducing the cost burden to policyholders, and Congress could consider a range of other way of reducing the cost burden to policyholders, and Congress could consider a range of other 
options that could reduce the amount that NFIP policyholders have to pay.  options that could reduce the amount that NFIP policyholders have to pay.  
A central decision in any reform of the NFIP is who should bear the costs of floodplain 
A central decision in any reform of the NFIP is who should bear the costs of floodplain 
occupancy in the future: individual policyholders (the insured), federal taxpayers, uninsured flood occupancy in the future: individual policyholders (the insured), federal taxpayers, uninsured flood 
victims, or some combination of these. Increases in NFIP premiums under Risk Rating 2.0 may victims, or some combination of these. Increases in NFIP premiums under Risk Rating 2.0 may 
call further attention to the distribution of flood costs as an important policy concern.  call further attention to the distribution of flood costs as an important policy concern.  
Affordability and Solvency of the National Flood 
Insurance Program 
The NFIP is the primary source of flood insurance coverage for residential properties in the The NFIP is the primary source of flood insurance coverage for residential properties in the 
United States, with just under 5 million policies in more than 22,000 communities in all 56 states United States, with just under 5 million policies in more than 22,000 communities in all 56 states 
and jurisdictions.7 The NFIP was created by the National Flood Insurance Act of 19688 (NFIA). and jurisdictions.7 The NFIP was created by the National Flood Insurance Act of 19688 (NFIA). 
The last long-term reauthorization of the NFIP ended at the end of FY2017. Since then, 22 short-The last long-term reauthorization of the NFIP ended at the end of FY2017. Since then, 22 short-
                                                 
                                                 
1 FEMA, 1 FEMA, 
Risk Rating 2.0: Equity in Action, https://www.fema.gov/flood-insurance/risk-rating. , https://www.fema.gov/flood-insurance/risk-rating. 
2 Ibid. 2 Ibid. 
3 H.R. 2874, the 21st Century Flood Reform Act; S. 1313, the Flood Insurance Affordability and Sustainability Act of 3 H.R. 2874, the 21st Century Flood Reform Act; S. 1313, the Flood Insurance Affordability and Sustainability Act of 
2017; and companion bills S. 1368 and H.R. 3285, the Sustainable, Fair, and Efficient (SAFE) Flood Insurance 2017; and companion bills S. 1368 and H.R. 3285, the Sustainable, Fair, and Efficient (SAFE) Flood Insurance 
Program Reauthorization Act of 2017. Program Reauthorization Act of 2017. 
4 H.R. 3167, the National Flood Insurance Program Reauthorization Act of 2019; and companion bills S. 2187 and H.R. 
4 H.R. 3167, the National Flood Insurance Program Reauthorization Act of 2019; and companion bills S. 2187 and H.R. 
3872, the National Flood Insurance Program Reauthorization and Reform Act of 2019.  3872, the National Flood Insurance Program Reauthorization and Reform Act of 2019.  
5 Companion bills S. 3128 and H.R. 5802, the National Flood Insurance Program Reauthorization and Reform Act of 
5 Companion bills S. 3128 and H.R. 5802, the National Flood Insurance Program Reauthorization and Reform Act of 
2021.  2021.  
6 H.R. 5376. 
6 H.R. 5376. 
7 For more information on the NFIP, see CRS Report R44593, 7 For more information on the NFIP, see CRS Report R44593, 
Introduction to the National Flood Insurance Program 
(NFIP), by Diane P. Horn and Baird Webel. , by Diane P. Horn and Baird Webel. 
8 Title XIII of P.L. 90-448, as amended, 42 U.S.C. §4001 et seq. 
8 Title XIII of P.L. 90-448, as amended, 42 U.S.C. §4001 et seq. 
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Options for Making the National Flood Insurance Program More Affordable 
 
term NFIP reauthorizations have been enacted,9 and the NFIP is currently authorized until 
term NFIP reauthorizations have been enacted,9 and the NFIP is currently authorized until 
December 16, 2022September 30, 2023.10 .10 
As a public insurance program, the objectives of the NFIP are different from the profit-
As a public insurance program, the objectives of the NFIP are different from the profit-
maximization goals of private-sector companies. The NFIP has two main purposes: to provide maximization goals of private-sector companies. The NFIP has two main purposes: to provide 
access to primary flood insurance to properties with significant flood risk who might not access to primary flood insurance to properties with significant flood risk who might not 
otherwise be able to obtain insurance, and to reduce flood risk through the adoption of floodplain otherwise be able to obtain insurance, and to reduce flood risk through the adoption of floodplain 
management standards. A longer-term objective of the NFIP is to reduce federal expenditure on management standards. A longer-term objective of the NFIP is to reduce federal expenditure on 
disaster assistance after floods by substituting insurance payments for aid, with individual disaster assistance after floods by substituting insurance payments for aid, with individual 
policyholders funding at least part of their recovery from flood damage.11 For example, the U.S. policyholders funding at least part of their recovery from flood damage.11 For example, the U.S. 
Government Accountability Office (GAO) has argued that to the extent that more consumers have Government Accountability Office (GAO) has argued that to the extent that more consumers have 
insurance to protect them from the financial effects of flooding, they may not need federal insurance to protect them from the financial effects of flooding, they may not need federal 
disaster assistance to help them recover from flood events. In addition, the receipt of federal disaster assistance to help them recover from flood events. In addition, the receipt of federal 
disaster assistance generates the requirement to purchase flood insurance for properties located in disaster assistance generates the requirement to purchase flood insurance for properties located in 
special flood hazard areas. Removing the availability of federal disaster assistance to previous special flood hazard areas. Removing the availability of federal disaster assistance to previous 
recipients of such assistance who live in a Special Flood Hazard Area (SFHA)12 and who do not recipients of such assistance who live in a Special Flood Hazard Area (SFHA)12 and who do not 
purchase flood insurance also reduces federal disaster assistance expenditures.13 Flood is one of purchase flood insurance also reduces federal disaster assistance expenditures.13 Flood is one of 
the few natural hazards for which at-risk residents pay some of the costs after a disaster. the few natural hazards for which at-risk residents pay some of the costs after a disaster. 
A key design feature of the NFIP is that policyholders’ premiums, fees, and surcharges are 
A key design feature of the NFIP is that policyholders’ premiums, fees, and surcharges are 
intended to pay for all flood-related damages and program expenses,14 with the option to borrow intended to pay for all flood-related damages and program expenses,14 with the option to borrow 
from the U.S. Treasury to pay claims for extreme events. From the inception of the NFIP, the from the U.S. Treasury to pay claims for extreme events. From the inception of the NFIP, the 
program has been expected to set premiums that are simultaneously “risk-based” and program has been expected to set premiums that are simultaneously “risk-based” and 
“reasonable.”15 GAO notes that FEMA is tasked with two competing goals: keeping flood “reasonable.”15 GAO notes that FEMA is tasked with two competing goals: keeping flood 
insurance affordable and keeping the program solvent.16 The NFIP has been on the GAO high-insurance affordable and keeping the program solvent.16 The NFIP has been on the GAO high-
risk list since 2006 because of concerns about its long-term fiscal solvency and related risk list since 2006 because of concerns about its long-term fiscal solvency and related 
operational issues and, more recently, concerns about the NFIP’s fiscal exposure to climate operational issues and, more recently, concerns about the NFIP’s fiscal exposure to climate 
change.17 change.17 
                                                 
                                                 
9 For additional information on NFIP reauthorizations since the end of FY2017, see CRS Insight IN10835, 9 For additional information on NFIP reauthorizations since the end of FY2017, see CRS Insight IN10835, 
What 
Happens If the National Flood Insurance Program (NFIP) Lapses?, by Diane P. Horn. , by Diane P. Horn. 
10 P.L. 117-
10 P.L. 117-
180. 328. For more information on NFIP reauthorization, see CRS Insight IN10835, What Happens If the National Flood Insurance Program (NFIP) Lapses?, by Diane P. Horn. 
11 National Research Council of the National Academies, 11 National Research Council of the National Academies, 
Affordability of National Flood Insurance Program 
Premiums: Report 1 (hereinafter (hereinafter 
NRC Affordability Report 1), 2015, pp. 31-33, http://www.nap.edu/catalog/21709/), 2015, pp. 31-33, http://www.nap.edu/catalog/21709/
affordability-of-national-flood-insurance-program-premiums-report-1. affordability-of-national-flood-insurance-program-premiums-report-1. 
12 The Special Flood Hazard Area (SFHA) is defined by FEMA as an area with a 1% or greater risk of flooding every 
12 The Special Flood Hazard Area (SFHA) is defined by FEMA as an area with a 1% or greater risk of flooding every 
year. year. 
13 U.S. Government Accountability Office (GAO), 
13 U.S. Government Accountability Office (GAO), 
National Flood Insurance Program: Congress Should Consider 
Updating the Mandatory Purchase Requirement, GAO-21-587, July 2021, p. 35, (hereinafter , GAO-21-587, July 2021, p. 35, (hereinafter 
GAO Mandatory 
Purchase Requirement), https://www.gao.gov/assets/gao-21-578.pdf. ), https://www.gao.gov/assets/gao-21-578.pdf. 
14 Some types of properties receive subsidies, which are discussed in the section of this report on 
14 Some types of properties receive subsidies, which are discussed in the section of this report on 
“Premium Subsidies 
and Cross-Subsidies.”  
15 See 82 Stat. 573 for text in original statute (§1302(c) of P.L. 90-448). This language remains in statute (see 42 U.S.C. 
15 See 82 Stat. 573 for text in original statute (§1302(c) of P.L. 90-448). This language remains in statute (see 42 U.S.C. 
§4001(c)). §4001(c)). 
16 GAO, 
16 GAO, 
High-Risk Series: Dedicated Leadership Needed to Address Limited Progress in Most High-Risk Areas, GAO-, GAO-
21-119SP, March 2, 2021, pp. 281-283, https://www.gao.gov/products/gao-21-119sp. 21-119SP, March 2, 2021, pp. 281-283, https://www.gao.gov/products/gao-21-119sp. 
17 GAO, 
17 GAO, 
Climate Change: Opportunities to Reduce Federal Fiscal Exposure, Testimony Before the Committee on the 
Budget, House of Representatives, GAO-19-625T, June 11, 2019, p. 7, https://www.gao.gov/products/gao-19-625t. , GAO-19-625T, June 11, 2019, p. 7, https://www.gao.gov/products/gao-19-625t. 
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In a 2017 report, the Congressional Budget Office (CBO) estimated that the NFIP had an 
In a 2017 report, the Congressional Budget Office (CBO) estimated that the NFIP had an 
expected one-year actuarial shortfall18 of $0.7 billion.19 CBO also estimated that the cost of expected one-year actuarial shortfall18 of $0.7 billion.19 CBO also estimated that the cost of 
providing discounted rates to some NFIP policies was about $0.3 billion more than the receipts providing discounted rates to some NFIP policies was about $0.3 billion more than the receipts 
from surcharges created to help cover the costs of those discounts.20 This shortfall arises primarily from surcharges created to help cover the costs of those discounts.20 This shortfall arises primarily 
because premium rates do not fully reflect the full risk of its insured policies. This applies both to because premium rates do not fully reflect the full risk of its insured policies. This applies both to 
the risk of individual properties and also the risk of catastrophic losses to the program as a whole, the risk of individual properties and also the risk of catastrophic losses to the program as a whole, 
which FEMA has traditionally managed by relying on its authority to borrow from the U.S. which FEMA has traditionally managed by relying on its authority to borrow from the U.S. 
Treasury.21  Treasury.21  
GAO has been reporting since 1983 that the NFIP’s premium rates do not reflect the full risk of 
GAO has been reporting since 1983 that the NFIP’s premium rates do not reflect the full risk of 
loss because of various legislative requirements, which exacerbates the program’s fiscal loss because of various legislative requirements, which exacerbates the program’s fiscal 
exposure.22 GAO has also noted that while Congress has directed FEMA to provide subsidized exposure.22 GAO has also noted that while Congress has directed FEMA to provide subsidized 
premium rates for policyholders meeting certain requirements, it has not provided FEMA with premium rates for policyholders meeting certain requirements, it has not provided FEMA with 
funds to offset these subsidies and discounts, which has contributed to FEMA’s need to borrow funds to offset these subsidies and discounts, which has contributed to FEMA’s need to borrow 
from the U.S. Treasury to pay NFIP claims.23  from the U.S. Treasury to pay NFIP claims.23  
Premium Subsidies and Cross-Subsidies 
Except for certain subsidies, flood insurance rates in the NFIP are directed to be “based on 
Except for certain subsidies, flood insurance rates in the NFIP are directed to be “based on 
consideration of the risk involved and accepted actuarial principles,”24 meaning that the rate is consideration of the risk involved and accepted actuarial principles,”24 meaning that the rate is 
reflective of the true flood risk to the property. FEMA determines full-risk rates25 by estimating reflective of the true flood risk to the property. FEMA determines full-risk rates25 by estimating 
the probability of a given level of flooding, damage estimates based on that level of flooding, and the probability of a given level of flooding, damage estimates based on that level of flooding, and 
accepted actuarial principles.26 However, Congress has directed FEMA accepted actuarial principles.26 However, Congress has directed FEMA 
not to charge actuarial  to charge actuarial 
rates for certain categories of properties and to offer subsidies27 or cross-subsidies to certain rates for certain categories of properties and to offer subsidies27 or cross-subsidies to certain 
classes of properties in order to achieve the program’s objectives so that owners of certain classes of properties in order to achieve the program’s objectives so that owners of certain 
existing properties in flood zones28 are able to afford flood insurance.  existing properties in flood zones28 are able to afford flood insurance.  
                                                 
                                                 
18 An actuarial shortfall is when income from premiums, fees, and surcharges is too low to cover the costs associated 18 An actuarial shortfall is when income from premiums, fees, and surcharges is too low to cover the costs associated 
with paying claims on existing policies and writing and servicing those policies. Congressional Budget Office (CBO), with paying claims on existing policies and writing and servicing those policies. Congressional Budget Office (CBO), 
The National Flood Insurance Program: Financial Soundness and Affordability (hereinafter  (hereinafter 
CBO Affordability), ), 
Washington, DC, September 1, 2017, p. 7. Note that this report was published before the introduction of Risk Rating Washington, DC, September 1, 2017, p. 7. Note that this report was published before the introduction of Risk Rating 
2.0.  2.0.  
19 
19 
CBO Affordability, pp. 4-5. The actuarial shortfall estimated by CBO in this report excludes $0.7 billion for mapping , pp. 4-5. The actuarial shortfall estimated by CBO in this report excludes $0.7 billion for mapping 
floodplains, mitigating flood risk, and interest payment on the NFIP’s debt to the Treasury. floodplains, mitigating flood risk, and interest payment on the NFIP’s debt to the Treasury. 
20 20 
CBO Affordability, p. 8. , p. 8. 
21 GAO, 21 GAO, 
National Flood Insurance Program: Fiscal Exposure Persists Despite Property Acquisitions, GAO-20-509, , GAO-20-509, 
June 25, 2020, p. 32, https://www.gao.gov/assets/710/707821.pdf. June 25, 2020, p. 32, https://www.gao.gov/assets/710/707821.pdf. 
22 Ibid., p. 29. 
22 Ibid., p. 29. 
23 GAO, 23 GAO, 
Flood Insurance: Comprehensive Reform Could Improve Solvency and Enhance Resilience (hereinafter  (hereinafter 
GAO 
Solvency), GAO-17-425, April 2017, p. 17, https://www.gao.gov/products/GAO-17-425. ), GAO-17-425, April 2017, p. 17, https://www.gao.gov/products/GAO-17-425. 
24 42 U.S.C. §4014(a)(1). 
24 42 U.S.C. §4014(a)(1). 
25 FEMA defines full-risk rates as those charged to a group of policies that generate premiums sufficient to pay the 25 FEMA defines full-risk rates as those charged to a group of policies that generate premiums sufficient to pay the 
group’s anticipated losses and expenses. See GAO, group’s anticipated losses and expenses. See GAO, 
National Flood Insurance Program: Continued Progress Needed to 
Fully Address Prior GAO Recommendations on Rate-Setting Methods, GAO-16-59, March 2016, p. 8, , GAO-16-59, March 2016, p. 8, 
http://www.gao.gov/assets/680/675855.pdf. http://www.gao.gov/assets/680/675855.pdf. 
26 For a brief explanation of accepted actuarial principles, see 
26 For a brief explanation of accepted actuarial principles, see 
NRC Affordability Report 1, pp. 36-38. , pp. 36-38. 
27 FEMA defines subsidized premium rates as those charged for a group of policies that results in aggregate premiums 27 FEMA defines subsidized premium rates as those charged for a group of policies that results in aggregate premiums 
insufficient to pay for anticipated losses and expenses.  insufficient to pay for anticipated losses and expenses.  
28 Flood zones are geographic areas that FEMA has defined according to levels of flood risk and are depicted on a 
28 Flood zones are geographic areas that FEMA has defined according to levels of flood risk and are depicted on a 
community’s Flood Insurance Rate Map (FIRM). NFIP flood zones can be divided into three main categories: low- to community’s Flood Insurance Rate Map (FIRM). NFIP flood zones can be divided into three main categories: low- to 
moderate-risk areas (B, C, and X zones), high-risk areas (A zones), and high-risk coastal areas (V zones). moderate-risk areas (B, C, and X zones), high-risk areas (A zones), and high-risk coastal areas (V zones). 
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There are three main categories of properties which pay less than full risk-based rates: 
There are three main categories of properties which pay less than full risk-based rates: 
  
  
Pre-FIRM: Properties which were built or substantially improved29 before  Properties which were built or substantially improved29 before 
December 31, 1974, or before FEMA published the first Flood Insurance Rate 
December 31, 1974, or before FEMA published the first Flood Insurance Rate 
Map (FIRM) for their community, whichever was later.30 Map (FIRM) for their community, whichever was later.30 
  
  
Newly mapped: Properties newly mapped into an SFHA on or after April 1,  Properties newly mapped into an SFHA on or after April 1, 
2015, if the applicant gets flood insurance coverage within a year of the mapping. 
2015, if the applicant gets flood insurance coverage within a year of the mapping. 
  
  
Grandfathered: Properties that were built in compliance with the FIRM which  Properties that were built in compliance with the FIRM which 
was in effect at the time of construction.31 FEMA allows owners of such 
was in effect at the time of construction.31 FEMA allows owners of such 
properties to maintain their old flood insurance rate class if their property is properties to maintain their old flood insurance rate class if their property is 
remapped into a new flood rate class.32 remapped into a new flood rate class.32 
As of September 2018, approximately 13% of NFIP policies received a pre-FIRM subsidy, 4% of 
As of September 2018, approximately 13% of NFIP policies received a pre-FIRM subsidy, 4% of 
NFIP policies received the newly mapped subsidy, and about 9% of NFIP policies were NFIP policies received the newly mapped subsidy, and about 9% of NFIP policies were 
grandfathered.33  grandfathered.33  
Fees and Surcharges 
In addition to the building and contents premium, NFIP policyholders pay a number of fees and 
In addition to the building and contents premium, NFIP policyholders pay a number of fees and 
surcharges mandated by law.  surcharges mandated by law.  
  The 
  The 
Federal Policy Fee (FPF) was authorized by Congress in 1990 and helps  (FPF) was authorized by Congress in 1990 and helps 
pay for the administrative expenses of the program, including floodplain 
pay for the administrative expenses of the program, including floodplain 
mapping and some of the insurance operations.34 The amount of the Federal mapping and some of the insurance operations.34 The amount of the Federal 
Policy Fee is set by FEMA and can increase or decrease year to year. Since Policy Fee is set by FEMA and can increase or decrease year to year. Since 
October 2017, the FPF has been $50 for Standard Flood Insurance Policies October 2017, the FPF has been $50 for Standard Flood Insurance Policies 
                                                 
                                                 
29 44 C.F.R. §59.1 defines substantial improvement as any reconstruction, rehabilitation, addition, or other 29 44 C.F.R. §59.1 defines substantial improvement as any reconstruction, rehabilitation, addition, or other 
improvement of a structure, the cost of which exceeds 50% of the market value of the structure before the start of improvement of a structure, the cost of which exceeds 50% of the market value of the structure before the start of 
construction of the improvement.” For additional discussion of substantial improvement, see FEMA, construction of the improvement.” For additional discussion of substantial improvement, see FEMA, 
Substantial 
Improvement, https://www.fema.gov/node/405414. , https://www.fema.gov/node/405414. 
30 42 U.S.C. §4015(c). 
30 42 U.S.C. §4015(c). 
31 A property can be grandfathered due to a change in its flood zone or a change in its Base Flood Elevation (BFE), 31 A property can be grandfathered due to a change in its flood zone or a change in its Base Flood Elevation (BFE), 
which is defined as the water-surface elevation of the base flood, which is the 1%-annual-chance flood, commonly which is defined as the water-surface elevation of the base flood, which is the 1%-annual-chance flood, commonly 
called the 100-year flood. The probability is 1% that rising water will reach BFE height in any given year. called the 100-year flood. The probability is 1% that rising water will reach BFE height in any given year. 
32 An example of zone grandfathering would be a property that is initially mapped into a high-risk area (zone A) and is 
32 An example of zone grandfathering would be a property that is initially mapped into a high-risk area (zone A) and is 
built to the proper building code and standards, and is later remapped into a higher-risk coastal area (zone V). If the built to the proper building code and standards, and is later remapped into a higher-risk coastal area (zone V). If the 
policyholder has maintained continuous insurance coverage under the NFIP, the owner of this property can pay the policyholder has maintained continuous insurance coverage under the NFIP, the owner of this property can pay the 
flood insurance premium based on the prior lower-risk flood zone (zone A). Elevation grandfathering occurs when a flood insurance premium based on the prior lower-risk flood zone (zone A). Elevation grandfathering occurs when a 
new FIRM increases the BFE, but the property itself does not change flood zones. new FIRM increases the BFE, but the property itself does not change flood zones. 
33 Email correspondence from FEMA Congressional Affairs staff, June 13, 2019. Note that FEMA has not collected 
33 Email correspondence from FEMA Congressional Affairs staff, June 13, 2019. Note that FEMA has not collected 
updated information for rating categories since producing the September 2018 numbers.  updated information for rating categories since producing the September 2018 numbers.  
34 42 U.S.C. §4014(a)(1)(B)(iii). 
34 42 U.S.C. §4014(a)(1)(B)(iii). 
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(SFIPs), $25 for Preferred Risk Policies (PRPs),35 and $25 for contents-only 
(SFIPs), $25 for Preferred Risk Policies (PRPs),35 and $25 for contents-only 
policies.36 The FPF is $47 for all NFIP policies written under Risk Rating 2.0.37 policies.36 The FPF is $47 for all NFIP policies written under Risk Rating 2.0.37 
  A 
  A 
Reserve Fund Assessment was authorized by Congress in the Biggert-Waters  was authorized by Congress in the Biggert-Waters 
Flood Insurance Reform Act of 201238 to establish and maintain a reserve fund to 
Flood Insurance Reform Act of 201238 to establish and maintain a reserve fund to 
cover future claim and debt expenses, especially those from catastrophic cover future claim and debt expenses, especially those from catastrophic 
disasters.39 FEMA charges every NFIP policyholder a reserve fund assessment of disasters.39 FEMA charges every NFIP policyholder a reserve fund assessment of 
18% of the premium.  18% of the premium.  
  All NFIP policies are also assessed a 
  All NFIP policies are also assessed a 
HFIAA Surcharge40 following the passage 40 following the passage 
of the Homeowner Flood Insurance Affordability Act of 2014 (HFIAA).41 The 
of the Homeowner Flood Insurance Affordability Act of 2014 (HFIAA).41 The 
amount of the surcharge is dependent on the type of property being insured. For amount of the surcharge is dependent on the type of property being insured. For 
primary residences, the charge is $25; for all other properties, the charge is primary residences, the charge is $25; for all other properties, the charge is 
$250.42 $250.42 
  If a community is on probation from the NFIP,43 all policyholders in that 
  If a community is on probation from the NFIP,43 all policyholders in that 
community will be charged a 
community will be charged a 
Probation Surcharge of $50 for a full one-year  of $50 for a full one-year 
period, even if the community brings its program into compliance and is removed period, even if the community brings its program into compliance and is removed 
from probation. from probation. 
  Before the introduction of Risk Rating 2.0, FEMA charged a 
  Before the introduction of Risk Rating 2.0, FEMA charged a 
Severe Repetitive 
Loss (SRL) Premium of 15% on all SRL properties.44 Revenues from these of 15% on all SRL properties.44 Revenues from these 
surcharges were deposited into the Reserve Fund.45  surcharges were deposited into the Reserve Fund.45  
Currently, the categories of properties which pay less than the full risk-based rate are determined 
Currently, the categories of properties which pay less than the full risk-based rate are determined 
by the date when the structure was built relative to the date of adoption of the FIRM, rather than by the date when the structure was built relative to the date of adoption of the FIRM, rather than 
the flood risk or the ability of the policyholder to pay. GAO has suggested in a number of reports the flood risk or the ability of the policyholder to pay. GAO has suggested in a number of reports 
                                                 
                                                 
35 A Preferred Risk Policy is a Standard Flood Insurance Policy that offers low-cost coverage to owners and tenants of 35 A Preferred Risk Policy is a Standard Flood Insurance Policy that offers low-cost coverage to owners and tenants of 
eligible buildings located in moderate- and low-risk flood zones in NFIP communities. PRP policies will no longer be eligible buildings located in moderate- and low-risk flood zones in NFIP communities. PRP policies will no longer be 
offered under Risk Rating 2.0. See National Flood Services, offered under Risk Rating 2.0. See National Flood Services, 
Risk Rating 2.0: What Is Changing, , 
https://nationalfloodservices.com/wp-content/uploads/2021/06/Risk-Rating-2.0-What-is-Changing.pdf. https://nationalfloodservices.com/wp-content/uploads/2021/06/Risk-Rating-2.0-What-is-Changing.pdf. 
36 See FEMA, 
36 See FEMA, 
Flood Insurance Manual, How to Write, revised October 1, 2022, p. 3-51, , revised October 1, 2022, p. 3-51, 
https://www.fema.gov/sites/default/files/documents/fema_nfip-flood-insurance-full-manual_102022.pdf. Note that the https://www.fema.gov/sites/default/files/documents/fema_nfip-flood-insurance-full-manual_102022.pdf. Note that the 
FPF is higher for residential condominium buildings with more than 20 units.  FPF is higher for residential condominium buildings with more than 20 units.  
37 See FEMA, 
37 See FEMA, 
Flood Insurance Manual: How to Write, p. 3-50, revised October 1, 2022, , p. 3-50, revised October 1, 2022, 
https://www.fema.gov/sites/default/files/documents/fema_nfip-flood-insurance-full-manual_102022.pdf. https://www.fema.gov/sites/default/files/documents/fema_nfip-flood-insurance-full-manual_102022.pdf. 
38 Title II of P.L. 112-141. 
38 Title II of P.L. 112-141. 
39 The Reserve Fund assessment was authorized by Congress in BW-12 to establish and maintain a Reserve Fund to 39 The Reserve Fund assessment was authorized by Congress in BW-12 to establish and maintain a Reserve Fund to 
cover future claim and debt expenses, especially those from catastrophic disasters (§100212 of P.L. 112-141, 126 Stat. cover future claim and debt expenses, especially those from catastrophic disasters (§100212 of P.L. 112-141, 126 Stat. 
992, as codified at 42 U.S.C. §4017a). 992, as codified at 42 U.S.C. §4017a). 
40 Section 8(a) of P.L. 113-89, 128 Stat. 1023. 
40 Section 8(a) of P.L. 113-89, 128 Stat. 1023. 
41 P.L. 112-141, §100236, 126 Stat. 957; as amended by P.L. 113-89, §16; 128 Stat. 1026.  41 P.L. 112-141, §100236, 126 Stat. 957; as amended by P.L. 113-89, §16; 128 Stat. 1026.  
42 For a description of how the fee is applied to different policy types, see FEMA, 42 For a description of how the fee is applied to different policy types, see FEMA, 
The HFIAA Surcharge Fact Sheet, , 
April 2015, https://www.fema.gov/media-library/assets/documents/105569. April 2015, https://www.fema.gov/media-library/assets/documents/105569. 
43 A community can be placed on probation by FEMA if it is found that it is failing to adequately enforce the floodplain 
43 A community can be placed on probation by FEMA if it is found that it is failing to adequately enforce the floodplain 
management standards it has adopted. A community is given time to rectify FEMA’s concerns regarding their management standards it has adopted. A community is given time to rectify FEMA’s concerns regarding their 
implementation of the floodplain management standards. Ultimately, if the community does not correct its cited implementation of the floodplain management standards. Ultimately, if the community does not correct its cited 
deficiencies after given time periods described in regulations, the community will be suspended from the NFIP by deficiencies after given time periods described in regulations, the community will be suspended from the NFIP by 
FEMA. For additional details on probation, see 44 C.F.R. §59.24(b) and (c). FEMA. For additional details on probation, see 44 C.F.R. §59.24(b) and (c). 
44 FEMA, 
44 FEMA, 
April 1, 2021 and January 1, 2022 Program Changes, W-20020, p. 22, https://nfipservices.floodsmart.gov/, W-20020, p. 22, https://nfipservices.floodsmart.gov/
sites/default/files/w-20020.pdf. sites/default/files/w-20020.pdf. 
45 The SRL premium will be incorporated into new premium rates as NFIP policyholders move to Risk Rating 2.0 rates 
45 The SRL premium will be incorporated into new premium rates as NFIP policyholders move to Risk Rating 2.0 rates 
in 2022 and 2023. in 2022 and 2023. 
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that linking subsidies to ability to pay rather than the existing approach, by which subsidies are 
that linking subsidies to ability to pay rather than the existing approach, by which subsidies are 
linked to properties without regard to financial circumstances, would make premium assistance linked to properties without regard to financial circumstances, would make premium assistance 
more transparent and thus more open to oversight by Congress and the public.46  more transparent and thus more open to oversight by Congress and the public.46  
Legislative Reforms to Address NFIP Solvency and Affordability 
Competing aspects of the NFIP, particularly the desire to keep flood insurance affordable while 
Competing aspects of the NFIP, particularly the desire to keep flood insurance affordable while 
making the program fiscally solvent, have made it challenging to reform the program.47 Different making the program fiscally solvent, have made it challenging to reform the program.47 Different 
Administrations and Congresses have placed varied emphases and priorities on affordability or Administrations and Congresses have placed varied emphases and priorities on affordability or 
solvency for premium setting. As these priorities change, the balance between actuarial objectives solvency for premium setting. As these priorities change, the balance between actuarial objectives 
(financial soundness and alignment of individual premiums with risk) and encouraging (financial soundness and alignment of individual premiums with risk) and encouraging 
participation (by keeping premiums affordable and offering subsidies to certain classes of participation (by keeping premiums affordable and offering subsidies to certain classes of 
policyholders) has also changed.48  policyholders) has also changed.48  
The tension between solvency and affordability has been illustrated by legislative changes in the 
The tension between solvency and affordability has been illustrated by legislative changes in the 
last decade. The Biggert-Waters Flood Insurance Reform Act of 2012 (hereinafter BW-12)49 last decade. The Biggert-Waters Flood Insurance Reform Act of 2012 (hereinafter BW-12)49 
moved the NFIP in the direction of better aligning policyholders’ premiums with their actual moved the NFIP in the direction of better aligning policyholders’ premiums with their actual 
flood risks by removing or accelerating phaseouts of discounted rates.50 A core principle of BW-flood risks by removing or accelerating phaseouts of discounted rates.50 A core principle of BW-
12 was the eventual removal of subsidized policies.51 Following the passage of BW-12, 12 was the eventual removal of subsidized policies.51 Following the passage of BW-12, 
lawmakers received testimony and letters from constituents of multiple communities expressing lawmakers received testimony and letters from constituents of multiple communities expressing 
concern that this would result in unreasonably high premiums that would create a financial concern that this would result in unreasonably high premiums that would create a financial 
burden on policyholders and could cause disruption to communities.  burden on policyholders and could cause disruption to communities.  
In response to these concerns, Congress passed the Homeowner Flood Insurance Affordability 
In response to these concerns, Congress passed the Homeowner Flood Insurance Affordability 
Act of 2014 (HFIAA),52 which slowed or reversed some changes introduced in BW-12.53 In Act of 2014 (HFIAA),52 which slowed or reversed some changes introduced in BW-12.53 In 
particular, HFIAA slowed the rate of phaseout of subsidies for most primary residences, but particular, HFIAA slowed the rate of phaseout of subsidies for most primary residences, but 
retained the pace of the phaseout of the subsidy from BW-12 for business properties and retained the pace of the phaseout of the subsidy from BW-12 for business properties and 
secondary homes. In addition, HFIAA created a minimum and maximum increase in the amount secondary homes. In addition, HFIAA created a minimum and maximum increase in the amount 
for the phaseout of subsidies for all primary residences of 5%-18% annually. This permits for the phaseout of subsidies for all primary residences of 5%-18% annually. This permits 
individual property increases of up to 18%, but limits the rate class54 increases to 15% per year.55 individual property increases of up to 18%, but limits the rate class54 increases to 15% per year.55 
In other words, the In other words, the 
average annual premium rate increase for primary residences within a single  annual premium rate increase for primary residences within a single 
risk classification rate may not be increased by more than 15% a year, while the risk classification rate may not be increased by more than 15% a year, while the 
individual  
                                                 
                                                 46 46 
GAO Solvency, p. 27. , p. 27. 
47 47 
GAO Solvency, p. 1. , p. 1. 
48 American Academy of Actuaries, 48 American Academy of Actuaries, 
The National Flood Insurance Program: Challenges and Solutions, Washington, , Washington, 
DC, September 25, 2019, p. 3, https://www.actuary.org/sites/default/files/2019-09/flood9.19.pdf. DC, September 25, 2019, p. 3, https://www.actuary.org/sites/default/files/2019-09/flood9.19.pdf. 
49 Title II of P.L. 112-141. 
49 Title II of P.L. 112-141. 
50 For more information on these changes, see Table 4 in CRS Report R44593, 50 For more information on these changes, see Table 4 in CRS Report R44593, 
Introduction to the National Flood 
Insurance Program (NFIP), by Diane P. Horn and Baird Webel. , by Diane P. Horn and Baird Webel. 
51 
51 
NRC Affordability Report 1, p. 1. , p. 1. 
52 See P.L. 112-141, §100236, 126 Stat. 957; as amended by P.L. 113-89, §16; 128 Stat. 1026.  52 See P.L. 112-141, §100236, 126 Stat. 957; as amended by P.L. 113-89, §16; 128 Stat. 1026.  
53 53 
CBO Affordability, p. 4. , p. 4. 
54 A single rate class (or risk classification) is a group of properties with the same flood risk classification; for example, 54 A single rate class (or risk classification) is a group of properties with the same flood risk classification; for example, 
pre-FIRM properties or properties with the newly mapped subsidy.  pre-FIRM properties or properties with the newly mapped subsidy.  
55 The chargeable risk premium rate for any property may not be increased by more than 18% per year (except in 
55 The chargeable risk premium rate for any property may not be increased by more than 18% per year (except in 
certain circumstances, which are listed); see 42 U.S.C. §4015(e)(1). The chargeable risk premium may not be increased certain circumstances, which are listed); see 42 U.S.C. §4015(e)(1). The chargeable risk premium may not be increased 
by an amount that would result in the average of such rate increases for properties within the risk classification by an amount that would result in the average of such rate increases for properties within the risk classification 
exceeding 15% of the average of the risk premium rate for properties within the risk classification; see 42 U.S.C. exceeding 15% of the average of the risk premium rate for properties within the risk classification; see 42 U.S.C. 
§4015(e)(3). §4015(e)(3). 
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premium rate increase for any individual policy may not be increased by more than 18% each 
premium rate increase for any individual policy may not be increased by more than 18% each 
year.56 year.56 
Other categories of properties are required to have their premium increased by 25% per year until 
Other categories of properties are required to have their premium increased by 25% per year until 
they reach full risk-based rates, including (1) nonprimary residences; (2) nonresidential they reach full risk-based rates, including (1) nonprimary residences; (2) nonresidential 
properties; (3) business properties; (4) properties with severe repetitive loss;57 (5) properties with properties; (3) business properties; (4) properties with severe repetitive loss;57 (5) properties with 
substantial cumulative damage;58 and properties with substantial damage59 or substantial substantial cumulative damage;58 and properties with substantial damage59 or substantial 
improvement after July 6, 2012. Actuarially sound rates, or full risk-based rates,60 would help improvement after July 6, 2012. Actuarially sound rates, or full risk-based rates,60 would help 
communicate risks to homeowners and could help to ensure the program’s sustainability; communicate risks to homeowners and could help to ensure the program’s sustainability; 
however, for some policyholders this would mean a rate increase that could make premiums however, for some policyholders this would mean a rate increase that could make premiums 
unaffordable or reduce their willingness to purchase flood insurance.61 FEMA is moving toward unaffordable or reduce their willingness to purchase flood insurance.61 FEMA is moving toward 
charging full risk-based rates for all NFIP policies through the introduction of a new method for charging full risk-based rates for all NFIP policies through the introduction of a new method for 
pricing NFIP policies, known as Risk Rating 2.0. pricing NFIP policies, known as Risk Rating 2.0. 
Risk Rating 2.0 
Risk Rating 2.0 represents the biggest change to the way the NFIP calculates flood insurance Risk Rating 2.0 represents the biggest change to the way the NFIP calculates flood insurance 
premiums since its inception. Under Risk Rating 2.0, premiums for individual properties will be premiums since its inception. Under Risk Rating 2.0, premiums for individual properties will be 
based on their individual flood risk.  based on their individual flood risk.  
Risk Rating 2.0 went into effect on October 1, 2021, for new NFIP policies only. The new rates 
Risk Rating 2.0 went into effect on October 1, 2021, for new NFIP policies only. The new rates 
for existing policyholders took effect on April 1, 2022. All policies will move to Risk Rating 2.0 for existing policyholders took effect on April 1, 2022. All policies will move to Risk Rating 2.0 
pricing when they renew after April 1, 2022.62  pricing when they renew after April 1, 2022.62  
Under Risk Rating 2.0, premiums for an individual property are based on that property’s specific 
Under Risk Rating 2.0, premiums for an individual property are based on that property’s specific 
flood risk, as opposed to being placed in a general risk category based on flood zones.63 The flood risk, as opposed to being placed in a general risk category based on flood zones.63 The 
premium is calculated based on the specific features of the property, including structural variables premium is calculated based on the specific features of the property, including structural variables 
such as the foundation type of the structure, the height of the lowest floor of the structure relative such as the foundation type of the structure, the height of the lowest floor of the structure relative 
to base flood elevation, and the replacement cost value (RCV)64 of the structure. Structures with to base flood elevation, and the replacement cost value (RCV)64 of the structure. Structures with 
                                                 
                                                 
56 The percentage increases are based on the current premium (e.g., a 15% annual increase from the prior year 56 The percentage increases are based on the current premium (e.g., a 15% annual increase from the prior year 
premium), rather than the percentage difference between the current premium and the actuarial rate (i.e., a rate increase premium), rather than the percentage difference between the current premium and the actuarial rate (i.e., a rate increase 
of 25% does not mean the pre-FIRM subsidy is eliminated in four years). of 25% does not mean the pre-FIRM subsidy is eliminated in four years). 
57 Severe repetitive loss properties are those that have incurred four or more claim payments exceeding $5,000 each, 
57 Severe repetitive loss properties are those that have incurred four or more claim payments exceeding $5,000 each, 
with a cumulative amount of such payments over $20,000; or at least two claims with a cumulative total exceeding the with a cumulative amount of such payments over $20,000; or at least two claims with a cumulative total exceeding the 
value of the property. See 42 U.S.C. §4014(h) and 44 C.F.R. §79.2(h). value of the property. See 42 U.S.C. §4014(h) and 44 C.F.R. §79.2(h). 
58 A property with substantial cumulative damage is any property that has incurred flood-related damage in which the 
58 A property with substantial cumulative damage is any property that has incurred flood-related damage in which the 
cumulative amounts of payments under the NFIP equaled or exceeded the fair market value of such property. See 42 cumulative amounts of payments under the NFIP equaled or exceeded the fair market value of such property. See 42 
U.S.C. §4014(a)(2)(C). U.S.C. §4014(a)(2)(C). 
59 44 C.F.R. §59.1 defines “substantial damage” as damage of any origin sustained by a structure whereby the cost of 
59 44 C.F.R. §59.1 defines “substantial damage” as damage of any origin sustained by a structure whereby the cost of 
restoring the structure to its before-damaged condition would equal or exceed 50% of the market value of the structure restoring the structure to its before-damaged condition would equal or exceed 50% of the market value of the structure 
before the damage occurred. For additional discussion of substantial damage, see FEMA Fact Sheet, before the damage occurred. For additional discussion of substantial damage, see FEMA Fact Sheet, 
NFIP “Substantial 
Damage”—What Does It Mean? at https://www.fema.gov/press-release/20210318/fact-sheet-nfip-substantial-damage- at https://www.fema.gov/press-release/20210318/fact-sheet-nfip-substantial-damage-
what-does-it-mean-0. what-does-it-mean-0. 
60 FEMA defines full risk-based rates expenses (rates intended to reflect the actual rate of flooding) as those charged to 
60 FEMA defines full risk-based rates expenses (rates intended to reflect the actual rate of flooding) as those charged to 
a group of policies that generate premiums sufficient to pay the group’s anticipated losses and expenses. a group of policies that generate premiums sufficient to pay the group’s anticipated losses and expenses. 
61 61 
CBO Affordability, p. 21 and p. 4. , p. 21 and p. 4. 
62 FEMA, 62 FEMA, 
Risk Rating 2.0: Equity in Action, https://www.fema.gov/flood-insurance/risk-rating. , https://www.fema.gov/flood-insurance/risk-rating. 
63 For a more detailed explanation of flood zones, see CRS Report R44593, 63 For a more detailed explanation of flood zones, see CRS Report R44593, 
Introduction to the National Flood 
Insurance Program (NFIP), by Diane P. Horn and Baird Webel. , by Diane P. Horn and Baird Webel. 
64 Before Risk Rating 2.0, the premium for a property was based on the amount of insurance purchased for a structure 
64 Before Risk Rating 2.0, the premium for a property was based on the amount of insurance purchased for a structure 
rather than the replacement cost of the structure. In particular, structures whose value are above $250,000 paid less than rather than the replacement cost of the structure. In particular, structures whose value are above $250,000 paid less than 
they would if their rate was based on the RCV, because their rate was based on an average structure value that is much they would if their rate was based on the RCV, because their rate was based on an average structure value that is much 
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higher replacement costs than current local or national averages should pay more for their NFIP 
higher replacement costs than current local or national averages should pay more for their NFIP 
coverage than structures that are below the average RCV, which should pay less.65 coverage than structures that are below the average RCV, which should pay less.65 
Risk Rating 2.0 also considers geographical variables such as the distance to water, the type and 
Risk Rating 2.0 also considers geographical variables such as the distance to water, the type and 
size of nearest bodies of water, flood frequency, and the elevation of the property relative to the size of nearest bodies of water, flood frequency, and the elevation of the property relative to the 
flooding source. Risk Rating 2.0 also incorporates a broader range of flood frequencies and flooding source. Risk Rating 2.0 also incorporates a broader range of flood frequencies and 
sources than the current system; in particular, pluvial flooding (flooding due to heavy rainfall).66 sources than the current system; in particular, pluvial flooding (flooding due to heavy rainfall).66 
Risk Rating 2.0 will continue the overall policy of phasing out NFIP subsidies that began with 
Risk Rating 2.0 will continue the overall policy of phasing out NFIP subsidies that began with 
BW-12 and continued with HFIAA, which slowed the rate at which subsidies were phased out for BW-12 and continued with HFIAA, which slowed the rate at which subsidies were phased out for 
primary residences. If policyholders are currently paying less than the full risk-based rate for their primary residences. If policyholders are currently paying less than the full risk-based rate for their 
property, their premium will increase over time until they reach the actuarial rate for their property, their premium will increase over time until they reach the actuarial rate for their 
property. However, limitations on annual premium increases are set in statute,67 and FEMA property. However, limitations on annual premium increases are set in statute,67 and FEMA 
cannot increase rates annually beyond these caps. Although Risk Rating 2.0 will not be allowed to cannot increase rates annually beyond these caps. Although Risk Rating 2.0 will not be allowed to 
increase premiums for primary residences more than 18% annually, this will still represent a increase premiums for primary residences more than 18% annually, this will still represent a 
larger increase than policyholders have seen in years. Since HFIAA was passed in 2014, rate larger increase than policyholders have seen in years. Since HFIAA was passed in 2014, rate 
increases for primary residences have increased between 6% and 11% per year.68 increases for primary residences have increased between 6% and 11% per year.68 
Nationally, an estimated 77% of policyholders will see an increase in their premiums in the first 
Nationally, an estimated 77% of policyholders will see an increase in their premiums in the first 
year of Risk Rating 2.0, with 23% of policyholders seeing a decrease.69 The impending rate raises year of Risk Rating 2.0, with 23% of policyholders seeing a decrease.69 The impending rate raises 
will vary from $120 to $240 or more annually. According to FEMA, 75% of primary residences will vary from $120 to $240 or more annually. According to FEMA, 75% of primary residences 
would see an increase greater than 18% under Risk Rating 2.0 if the statutory limit did not exist. would see an increase greater than 18% under Risk Rating 2.0 if the statutory limit did not exist. 
FEMA estimates that 50% of policies will be at their full risk rate after five years and after 10 FEMA estimates that 50% of policies will be at their full risk rate after five years and after 10 
years, 90% of policies will be at their full risk rate.70 years, 90% of policies will be at their full risk rate.70 
As full risk-based premiums are phased in under Risk Rating 2.0, some policyholders could be 
As full risk-based premiums are phased in under Risk Rating 2.0, some policyholders could be 
faced with large price increases either because they are currently buying coverage at subsidized faced with large price increases either because they are currently buying coverage at subsidized 
rates, or because the new rating system indicates that they now have a higher risk, or both.  rates, or because the new rating system indicates that they now have a higher risk, or both.  
Affordability of NFIP Premiums  
The introduction of Risk Rating 2.0 has renewed concerns that full risk-based premiums could be The introduction of Risk Rating 2.0 has renewed concerns that full risk-based premiums could be 
unaffordable for some households and could lead property owners to either purchase lower unaffordable for some households and could lead property owners to either purchase lower 
amounts of coverage or choose not to purchase flood insurance at all. It has been suggested that amounts of coverage or choose not to purchase flood insurance at all. It has been suggested that 
some property owners might not be able to afford to remain in their homes if flood insurance some property owners might not be able to afford to remain in their homes if flood insurance 
premiums were too high.71 Such increases raise issues of equity, as well as affordability. Premium premiums were too high.71 Such increases raise issues of equity, as well as affordability. Premium 
increases under Risk Rating 2.0 may have the greatest effect on low- and moderate-income increases under Risk Rating 2.0 may have the greatest effect on low- and moderate-income                                                                                                   
less than their actual structure value. For additional discussion of RCV, see CRS Report R45999, less than their actual structure value. For additional discussion of RCV, see CRS Report R45999, 
National Flood 
Insurance Program: The Current Rating Structure and Risk Rating 2.0, by Diane P. Horn. , by Diane P. Horn. 
65 FEMA, 
65 FEMA, 
Risk Rating 2.0:  Equity In Action, https://www.fema.gov/flood-insurance/risk-rating., https://www.fema.gov/flood-insurance/risk-rating.
 
66 For additional information about Risk Rating 2.0, see CRS Report R45999, 66 For additional information about Risk Rating 2.0, see CRS Report R45999, 
National Flood Insurance Program: The 
Current Rating Structure and Risk Rating 2.0, by Diane P. Horn; and CRS Insight IN11777, , by Diane P. Horn; and CRS Insight IN11777, 
National Flood Insurance 
Program Risk Rating 2.0: Frequently Asked Questions, by Diane P. Horn. , by Diane P. Horn. 
67 42 U.S.C. §4015(e). 
67 42 U.S.C. §4015(e). 
68 See Table 1 in CRS Insight IN11777, 68 See Table 1 in CRS Insight IN11777, 
National Flood Insurance Program Risk Rating 2.0: Frequently Asked 
Questions, by Diane P. Horn. , by Diane P. Horn. 
69 FEMA, 
69 FEMA, 
Risk Rating 2.0—National Rate Analysis, https://www.fema.gov/sites/default/files/documents/fema_risk-, https://www.fema.gov/sites/default/files/documents/fema_risk-
rating-2.0-national-rate-analysis.pdf. rating-2.0-national-rate-analysis.pdf. 
70 Email from FEMA Congressional Affairs staff, April 16, 2021. 
70 Email from FEMA Congressional Affairs staff, April 16, 2021. 
71 GAO, 71 GAO, 
Flood Insurance: More Information Needed on Subsidized Properties, GAO-13-607, July 3, 2013, p. 36, , GAO-13-607, July 3, 2013, p. 36, 
https://www.gao.gov/products/gao-13-607. https://www.gao.gov/products/gao-13-607. 
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policyholders and communities,72 as well as other potential impacts. For example, if homeowners 
policyholders and communities,72 as well as other potential impacts. For example, if homeowners 
and renters drop their insurance because of affordability issues, it may affect their ability to and renters drop their insurance because of affordability issues, it may affect their ability to 
receive FEMA disaster assistance, for which they are required to obtain and maintain flood receive FEMA disaster assistance, for which they are required to obtain and maintain flood 
insurance. In addition, there may be locations where premium increases have adverse effects on a insurance. In addition, there may be locations where premium increases have adverse effects on a 
community as a whole if premiums increase for a large number of residents. For example, higher community as a whole if premiums increase for a large number of residents. For example, higher 
flood insurance rates could affect property values and the ability of property owners to sell their flood insurance rates could affect property values and the ability of property owners to sell their 
properties if potential buyers decide not to purchase a home in a high-risk area after determining properties if potential buyers decide not to purchase a home in a high-risk area after determining 
the cost of flood insurance for the property.73  the cost of flood insurance for the property.73  
Higher premiums could potentially prevent achievement of the long-standing program objective 
Higher premiums could potentially prevent achievement of the long-standing program objective 
of increasing the number of properties covered by flood insurance.74 If NFIP policyholders were of increasing the number of properties covered by flood insurance.74 If NFIP policyholders were 
to cancel their policies, the federal government could face increased costs in the form of FEMA to cancel their policies, the federal government could face increased costs in the form of FEMA 
disaster assistance to these households.75 disaster assistance to these households.75 
Options to Reduce the Cost Burden on 
NFIP Policyholders 
An ongoing area of congressional interest is how to reduce the cost burden of an individual NFIP An ongoing area of congressional interest is how to reduce the cost burden of an individual NFIP 
policy.76 Congress may consider several broad policy options which could reduce the cost of policy.76 Congress may consider several broad policy options which could reduce the cost of 
flood insurance to all policyholders through a variety of reforms to the structure of the NFIP. flood insurance to all policyholders through a variety of reforms to the structure of the NFIP. 
GAO noted that these options are not mutually exclusive and could potentially be combined, GAO noted that these options are not mutually exclusive and could potentially be combined, 
depending on the policy priorities of Congress; however, the options all involve trade-offs and depending on the policy priorities of Congress; however, the options all involve trade-offs and 
implementing any of them would likely be challenging.77 implementing any of them would likely be challenging.77 
Congress could consider actions that would  
Congress could consider actions that would  
  reduce the amount that policyholders pay through the introduction of a mean-
  reduce the amount that policyholders pay through the introduction of a mean-
tested affordability program; 
tested affordability program; 
  reduce the amount that individual policyholders pay by increasing participation 
  reduce the amount that individual policyholders pay by increasing participation 
in the NFIP, which could distribute program costs among a larger insured 
in the NFIP, which could distribute program costs among a larger insured 
population;  population;  
  increase income to the NFIP, which could be used to reduce policyholders’ 
  increase income to the NFIP, which could be used to reduce policyholders’ 
contributions to the costs of the program;  
contributions to the costs of the program;  
  reduce the NFIP debt and thus the amount that policyholders pay in interest on 
  reduce the NFIP debt and thus the amount that policyholders pay in interest on 
the debt; or  
the debt; or  
  increase mitigation activities, which may reduce flood damages and thus flood 
  increase mitigation activities, which may reduce flood damages and thus flood 
claims, which could reduce the amount that policyholders have to pay for claims. 
claims, which could reduce the amount that policyholders have to pay for claims. 
                                                 
                                                 
72 See, for example, U.S. Congress, House Committee on Homeland Security, 72 See, for example, U.S. Congress, House Committee on Homeland Security, 
Hearing on Ensuring Equity in Disaster 
Preparedness, Response, and Recovery, Hearing Testimony of Chauncia Willis, Chief Executive Officer, Institute for , Hearing Testimony of Chauncia Willis, Chief Executive Officer, Institute for 
Diversity and Inclusion in Emergency Management, 117th Cong., 1st sess., October 27, 2021, pp. 2-6, Diversity and Inclusion in Emergency Management, 117th Cong., 1st sess., October 27, 2021, pp. 2-6, 
https://homeland.house.gov/imo/media/doc/2021-10-27-HRG-Testimony-Willis.pdf. https://homeland.house.gov/imo/media/doc/2021-10-27-HRG-Testimony-Willis.pdf. 
73 GAO, 
73 GAO, 
Overview of GAO’s Past Work on the National Flood Insurance Program, GAO-14-297R, April 9, 2014, p. , GAO-14-297R, April 9, 2014, p. 
20, https://www.gao.gov/products/GAO-14-297R. 20, https://www.gao.gov/products/GAO-14-297R. 
74 
74 
NRC Affordability Report 1, p. 2. , p. 2. 
75 75 
NRC Affordability Report 1, p. 64. , p. 64. 
76 76 
GAO Solvency, p. 24. , p. 24. 
77 77 
GAO Solvency, p. 10. , p. 10. 
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This report identifies potential options in the above categories that could lead to reductions in the 
This report identifies potential options in the above categories that could lead to reductions in the 
amount that NFIP policyholders have to pay.  amount that NFIP policyholders have to pay.  
Introduce a Means-Tested Affordability Program 
Assistance through an affordability program could offset part or all of the cost of insurance Assistance through an affordability program could offset part or all of the cost of insurance 
through a number of approaches, which differ in the ways to measure when a premium might through a number of approaches, which differ in the ways to measure when a premium might 
impose a cost burden on a policyholder. There are no objective definitions of affordability for impose a cost burden on a policyholder. There are no objective definitions of affordability for 
flood insurance, nor are there objective thresholds to define “affordable” premiums either for an flood insurance, nor are there objective thresholds to define “affordable” premiums either for an 
individual property owner or renter, or for any group of property owners or renters.78 Although a individual property owner or renter, or for any group of property owners or renters.78 Although a 
lower insurance premium clearly is more affordable than a higher one, there is no objective lower insurance premium clearly is more affordable than a higher one, there is no objective 
threshold that separates affordable premiums from unaffordable premiums. The threshold for threshold that separates affordable premiums from unaffordable premiums. The threshold for 
defining when an insurance program creates a cost burden requires making a policy judgment.79 defining when an insurance program creates a cost burden requires making a policy judgment.79 
For example, GAO estimated that 47%-74% of policyholders could be eligible for subsidies if For example, GAO estimated that 47%-74% of policyholders could be eligible for subsidies if 
income eligibility was set at 80% or 140% of area median income (AMI), respectively.80 income eligibility was set at 80% or 140% of area median income (AMI), respectively.80 
Policymakers will need to select which measure(s) will be used to target assistance to make flood 
Policymakers will need to select which measure(s) will be used to target assistance to make flood 
insurance more affordable. They will also need to consider who will receive such assistance (e.g., insurance more affordable. They will also need to consider who will receive such assistance (e.g., 
only homeowners or also renters, only existing policyholders or also households that purchase only homeowners or also renters, only existing policyholders or also households that purchase 
flood insurance after the affordability program has begun). For example, if households without flood insurance after the affordability program has begun). For example, if households without 
current NFIP insurance, who may have been deterred from buying insurance because of the cost, current NFIP insurance, who may have been deterred from buying insurance because of the cost, 
were not able to participate in an affordability program, it might exclude eligible low-income were not able to participate in an affordability program, it might exclude eligible low-income 
households. This could potentially raise questions of equity.  households. This could potentially raise questions of equity.  
GAO has suggested in a number of reports that an affordability program that addresses the goals 
GAO has suggested in a number of reports that an affordability program that addresses the goals 
of encouraging consumer participation and promoting resilience could provide means-tested of encouraging consumer participation and promoting resilience could provide means-tested 
assistance through appropriations rather than through discounted premiums, and prioritize assistance through appropriations rather than through discounted premiums, and prioritize 
mitigation to reduce risk.81 Such programs may differ in how to measure when a premium might mitigation to reduce risk.81 Such programs may differ in how to measure when a premium might 
impose a cost burden on a policyholder. Means-tested affordability assistance could be in the impose a cost burden on a policyholder. Means-tested affordability assistance could be in the 
form of a capped-premiums approach, an income-based approach, a housing-burden-based form of a capped-premiums approach, an income-based approach, a housing-burden-based 
approach, a combined income- and housing burden-based approach, and a community approach, a combined income- and housing burden-based approach, and a community 
characteristics approach. characteristics approach. 
In May 2022, FEMA submitted 17 legislative proposals to Congress outlining multiple reforms 
In May 2022, FEMA submitted 17 legislative proposals to Congress outlining multiple reforms 
and actions to consider to reform the NFIP. One of these proposals was for a mean-tested and actions to consider to reform the NFIP. One of these proposals was for a mean-tested 
assistance program to offer low- and moderate-income current and prospective policyholders a assistance program to offer low- and moderate-income current and prospective policyholders a 
graduated premium discount.82  graduated premium discount.82  
Options for a Means-Tested Affordability Program 
1.
1.
   Target premium discounts or subsidies to qualifying households. NFIP subsidies are NFIP subsidies are 
currently tied to a property. Implementing a means-tested approach could decouple the currently tied to a property. Implementing a means-tested approach could decouple the 
subsidy from the property and instead attach it to the policyholder or group of policyholders subsidy from the property and instead attach it to the policyholder or group of policyholders 
                                                 
                                                 
78 78 
NRC Affordability Report 1, p. 80. , p. 80. 
79 79 
NRC Affordability Report 1, pp. 79-80. , pp. 79-80. 
80 80 
GAO Affordability Assistance, pp. 22-23. , pp. 22-23. 
81 81 
GAO Solvency, p. 27. , p. 27. 
82 FEMA, Legislative Proposals for the National Flood Insurance Program, 82 FEMA, Legislative Proposals for the National Flood Insurance Program, 
https://www.fema.gov/sites/default/files/documents/fema_flood-insurance-reform-proposal_5242022.pdf.  https://www.fema.gov/sites/default/files/documents/fema_flood-insurance-reform-proposal_5242022.pdf.  
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 link to page 13  link to page 13 
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Options for Making the National Flood Insurance Program More Affordable 
 
on the basis of financial need.83 This could take the form of discounted rates or vouchers, 
on the basis of financial need.83 This could take the form of discounted rates or vouchers, 
where policyholders would be charged a full-risk premium but would receive a subsidy to where policyholders would be charged a full-risk premium but would receive a subsidy to 
cover the difference between what they are deemed able to pay and the full-risk rate cover the difference between what they are deemed able to pay and the full-risk rate 
premium. Policymakers might also choose to target assistance to households that are flood premium. Policymakers might also choose to target assistance to households that are flood 
insurance cost-burdened and are required to purchase flood insurance. However, insurance cost-burdened and are required to purchase flood insurance. However, 
policyholders will also need to decide which properties are considered when determining a policyholders will also need to decide which properties are considered when determining a 
household’s eligibility; for example, assistance could be limited to primary residences.84  household’s eligibility; for example, assistance could be limited to primary residences.84  
a.
a.
   Capped premiums approach. Under a capped premium approach, a flood insurance  Under a capped premium approach, a flood insurance 
premium is defined as unaffordable if it is greater than a specified percentage of the premium is defined as unaffordable if it is greater than a specified percentage of the 
coverage of the policy.85 For example, HFIAA directed FEMA to strive to minimize the coverage of the policy.85 For example, HFIAA directed FEMA to strive to minimize the 
number of policies with annual premiums that exceed 1% of the total coverage provided number of policies with annual premiums that exceed 1% of the total coverage provided 
by the policy.86 A capped premium approach does not consider policyholders’ resources by the policy.86 A capped premium approach does not consider policyholders’ resources 
and other expenses, and this option could provide subsidies to households which may not and other expenses, and this option could provide subsidies to households which may not 
have financial need.87 have financial need.87 
b. 
b. 
  Income-based approach. An income-based approach to affordability assumes that An income-based approach to affordability assumes that 
flood insurance imposes a cost burden and thus is unaffordable for any household whose flood insurance imposes a cost burden and thus is unaffordable for any household whose 
income is below a specified threshold. That standard could be based on median income income is below a specified threshold. That standard could be based on median income 
for the area or federal poverty guidelines, or other criteria. For example, to be eligible for for the area or federal poverty guidelines, or other criteria. For example, to be eligible for 
certain federal housing programs, individual households must meet specific income limits certain federal housing programs, individual households must meet specific income limits 
expressed as a percentage of the area median income (AMI).88 An NFIP affordability expressed as a percentage of the area median income (AMI).88 An NFIP affordability 
program based on individuals’ or households’ income could use similar measures.89 program based on individuals’ or households’ income could use similar measures.89 
Means testing would add administrative complexity to the NFIP, but could be designed Means testing would add administrative complexity to the NFIP, but could be designed 
similarly to existing means-tested programs offered by the federal government.90 Under similarly to existing means-tested programs offered by the federal government.90 Under 
an income-based approach, lower-income households would be responsible for paying for an income-based approach, lower-income households would be responsible for paying for 
a portion of the premium, with FEMA covering the remainder of the premium amount. As a portion of the premium, with FEMA covering the remainder of the premium amount. As 
household income levels rise, the portion of the premium that would be covered by household income levels rise, the portion of the premium that would be covered by 
FEMA would decrease.91 FEMA noted that such a program would be relatively FEMA would decrease.91 FEMA noted that such a program would be relatively 
straightforward to implement; however, it could also provide benefits to households for straightforward to implement; however, it could also provide benefits to households for 
which flood insurance is not unaffordable (e.g., households with low incomes but which flood insurance is not unaffordable (e.g., households with low incomes but 
substantial assets).92 substantial assets).92 
c.   
c.   
Housing burden-based approach. A housing cost approach considers not only a  A housing cost approach considers not only a 
household’s income but also housing costs, and assesses the ratio of housing costs to household’s income but also housing costs, and assesses the ratio of housing costs to 
income when the NFIP premium is added to other housing costs. Under this approach, income when the NFIP premium is added to other housing costs. Under this approach, 
                                                 
                                                 
83 83 
GAO Affordability Assistance, p. 11. , p. 11. 
84 Different options for an NFIP affordability program are discussed in more detail in 84 Different options for an NFIP affordability program are discussed in more detail in 
“Introduce a Means-Tested 
Affordability Program.”  
85 
85 
NRC Affordability Report 1, p. 81. , p. 81. 
86 42 U.S.C. §4015(j). 86 42 U.S.C. §4015(j). 
87 87 
GAO Affordability Assistance, p. 18. , p. 18. 
88 See Department of Housing and Urban Development, 88 See Department of Housing and Urban Development, 
Methodology for Calculating FY2020 Medians, , 
https://www.huduser.gov/portal/datasets/il/il20/Medians-Methodology-FY20r.pdf. https://www.huduser.gov/portal/datasets/il/il20/Medians-Methodology-FY20r.pdf. 
89 
89 
GAO Affordability Assistance, p. 12. , p. 12. 
90 90 
GAO Affordability Assistance, pp. 11-15.  , pp. 11-15.  
91 FEMA, 91 FEMA, 
An Affordability Framework for the National Flood Insurance Program, 2018 (hereinafter , 2018 (hereinafter 
FEMA 
Affordability Framework), p. 6, https://www.fema.gov/media-library/assets/documents/163171. ), p. 6, https://www.fema.gov/media-library/assets/documents/163171. 
92 
92 
FEMA Affordability Framework, p. 26. , p. 26. 
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policymakers would have to select (or delegate selection of) a threshold, usually 
policymakers would have to select (or delegate selection of) a threshold, usually 
expressed as a percentage, at which the ratio of housing costs to income is judged to expressed as a percentage, at which the ratio of housing costs to income is judged to 
become unaffordable. One way to identify housing burden is through the use of the PITI become unaffordable. One way to identify housing burden is through the use of the PITI 
ratio: the ratio of mortgage principal and interest (PI), property taxes (T), and insurance ratio: the ratio of mortgage principal and interest (PI), property taxes (T), and insurance 
(I), including flood insurance, to household income. A comparable measure of housing (I), including flood insurance, to household income. A comparable measure of housing 
burden for renters is the ratio of rent plus insurance to household income.93 Previous burden for renters is the ratio of rent plus insurance to household income.93 Previous 
work has shown that the PITI ratio is highly correlated with household income, so a work has shown that the PITI ratio is highly correlated with household income, so a 
program basing eligibility on the PITI ratio may effectively target lower-income program basing eligibility on the PITI ratio may effectively target lower-income 
households.94  households.94  
FEMA suggested in its Affordability Framework that it would consider flood insurance 
FEMA suggested in its Affordability Framework that it would consider flood insurance 
unaffordable if flood insurance causes the ratio of PITI to income to exceed 0.3 to 0.4, unaffordable if flood insurance causes the ratio of PITI to income to exceed 0.3 to 0.4, 
cutoffs that are taken from both HUD and private mortgage industry standards.95 Based cutoffs that are taken from both HUD and private mortgage industry standards.95 Based 
on an analysis of linked NFIP policy data and household income and Census Bureau on an analysis of linked NFIP policy data and household income and Census Bureau 
American Community Survey (ACS) housing cost data,96 FEMA found that the PITI ratio American Community Survey (ACS) housing cost data,96 FEMA found that the PITI ratio 
exceeded 0.4 for approximately 12% of homeowners with flood insurance policies in exceeded 0.4 for approximately 12% of homeowners with flood insurance policies in 
SFHAs.97 FEMA’s analysis found that the PITI ratio for renters (defined as gross rent SFHAs.97 FEMA’s analysis found that the PITI ratio for renters (defined as gross rent 
over income) is higher than those for homeowners, with 33% of renters inside SFHAs over income) is higher than those for homeowners, with 33% of renters inside SFHAs 
and 27% of renters outside SFHAs with a PITI ratio over 0.47, and concluded that by this and 27% of renters outside SFHAs with a PITI ratio over 0.47, and concluded that by this 
definition, flood insurance is unaffordable for a substantial percentage of renters.98 definition, flood insurance is unaffordable for a substantial percentage of renters.98 
The housing cost burden approach might create some potentially perverse incentives by 
The housing cost burden approach might create some potentially perverse incentives by 
providing larger benefits for households potentially overextended on housing costs, and providing larger benefits for households potentially overextended on housing costs, and 
smaller benefits for households who were more frugal in making their choices. This smaller benefits for households who were more frugal in making their choices. This 
approach may also miss some households that may be of concern to policymakers and approach may also miss some households that may be of concern to policymakers and 
could potentially steer benefits away from some low-income policyholders. For example, could potentially steer benefits away from some low-income policyholders. For example, 
a household without a mortgage may have a low income but also a low PITI ratio and a household without a mortgage may have a low income but also a low PITI ratio and 
thus would be ineligible for assistance under this approach. In particular, it may not thus would be ineligible for assistance under this approach. In particular, it may not 
provide benefits to retirees who have paid off their mortgages or low-income households provide benefits to retirees who have paid off their mortgages or low-income households 
that have inherited a property mortgage-free. In general, households with access to credit that have inherited a property mortgage-free. In general, households with access to credit 
would be more likely to qualify for assistance through the mortgage component of the would be more likely to qualify for assistance through the mortgage component of the 
PITI-ratio.  PITI-ratio.  
Another concern with a PITI-based approach is that households in regions with high costs 
Another concern with a PITI-based approach is that households in regions with high costs 
of living (and mortgage payments) might be more likely to benefit from the program than of living (and mortgage payments) might be more likely to benefit from the program than 
households in regions with lower costs of living.99 In addition, households would need to households in regions with lower costs of living.99 In addition, households would need to 
provide data on income and housing expenses, which may cause administrative burdens provide data on income and housing expenses, which may cause administrative burdens 
for both the policyholders to provide and FEMA to verify the data. for both the policyholders to provide and FEMA to verify the data. 
d.   
d.   
Income and housing burden-based approach. The FEMA affordability framework  The FEMA affordability framework 
also considered an approach where benefits are targeted at households that are both also considered an approach where benefits are targeted at households that are both 
                                                 
                                                 
93 93 
FEMA Affordability Framework, p. 15. , p. 15. 
94 Lloyd Dixon, Noreen Clancy, Benjamin M. Miller, et al., 94 Lloyd Dixon, Noreen Clancy, Benjamin M. Miller, et al., 
The Cost and Affordability of Flood Insurance in New York 
City: Economic Impacts of Rising Premiums and Policy Options for One- to Four- Family Homes, Rand Corporation, , Rand Corporation, 
RAND RR1776, Santa Monica, CA, April 2017, pp. 25-26, https://www.rand.org/pubs/research_reports/RR1776.html. RAND RR1776, Santa Monica, CA, April 2017, pp. 25-26, https://www.rand.org/pubs/research_reports/RR1776.html. 
95 
95 
FEMA Affordability Framework, p. 15. , p. 15. 
96 United States Census Bureau, 96 United States Census Bureau, 
American Community Survey (ACS), https://www.census.gov/programs-surveys/acs.  https://www.census.gov/programs-surveys/acs. 
97 97 
FEMA Affordability Framework, p. 6. , p. 6. 
98 98 
FEMA Affordability Framework, pp. 16-18. , pp. 16-18. 
99 99 
FEMA Affordability Framework, p. 31. , p. 31. 
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income- and housing-burdened (which it noted is similar to HUD’s Section 8 rental 
income- and housing-burdened (which it noted is similar to HUD’s Section 8 rental 
housing assistance program). It used the thresholds of 120% of AMI and housing burdens housing assistance program). It used the thresholds of 120% of AMI and housing burdens 
above 40% of income.100 above 40% of income.100 
2.   
2.   
Target premium discounts or subsidies based on community characteristics. Rather Rather 
than determine eligibility for affordability assistance based on characteristics of individual than determine eligibility for affordability assistance based on characteristics of individual 
households, community characteristics could be considered as eligibility criteria.101 For households, community characteristics could be considered as eligibility criteria.101 For 
example, policyholders could make all households in a community eligible for assistance if a example, policyholders could make all households in a community eligible for assistance if a 
specified percentage of them would likely be eligible on the basis of their individual specified percentage of them would likely be eligible on the basis of their individual 
characteristics. Alternatively, all homeowners in a community could be considered eligible characteristics. Alternatively, all homeowners in a community could be considered eligible 
for assistance if the community’s poverty rate is sufficiently high or the median income is for assistance if the community’s poverty rate is sufficiently high or the median income is 
sufficiently low.102 This could reduce administrative costs by removing the need to establish sufficiently low.102 This could reduce administrative costs by removing the need to establish 
eligibility of every household. Another potential eligibility criterion could be the engagement eligibility of every household. Another potential eligibility criterion could be the engagement 
of state and local governments in certain mitigation activities.103 However, because this of state and local governments in certain mitigation activities.103 However, because this 
option does not consider financial need, some policyholders who do not face an affordability option does not consider financial need, some policyholders who do not face an affordability 
issue with their flood insurance premiums may receive assistance, while policyholders who issue with their flood insurance premiums may receive assistance, while policyholders who 
have affordability issues but do not live in an eligible community would not receive have affordability issues but do not live in an eligible community would not receive 
assistance.104 assistance.104 
3.   
3.   
Require recipients of affordability assistance to invest in FEMA-approved cost-
effective mitigation measures. For example, property owners could receive grants or loans  For example, property owners could receive grants or loans 
to help mitigate their flood risk and be charged a premium rate that reflects their lower risk. to help mitigate their flood risk and be charged a premium rate that reflects their lower risk. 
Another option could be to offer a multiyear loan that could cover both mitigation measures Another option could be to offer a multiyear loan that could cover both mitigation measures 
and the annual loan cost.105 Vouchers could also be used to help policyholders cover the cost and the annual loan cost.105 Vouchers could also be used to help policyholders cover the cost 
of repaying mitigation loans.106 This approach could potentially be targeted at properties that of repaying mitigation loans.106 This approach could potentially be targeted at properties that 
are most costly to the NFIP, such as repetitive loss107 (RL) and severe repetitive loss (SRL) are most costly to the NFIP, such as repetitive loss107 (RL) and severe repetitive loss (SRL) 
properties.  properties.  
The Build Back Better Act,108 as passed by the House on November 19, 2021, would have 
The Build Back Better Act,108 as passed by the House on November 19, 2021, would have 
appropriated $600 million, to remain available until the end of FY2026, for a means-tested appropriated $600 million, to remain available until the end of FY2026, for a means-tested 
affordability program to provide assistance in the form of graduated discounts for insurance costs affordability program to provide assistance in the form of graduated discounts for insurance costs 
for covered properties. NFIP policyholders with a household income not more than 120% of AMI for covered properties. NFIP policyholders with a household income not more than 120% of AMI 
would have been eligible to participate in the program. Covered properties were defined as would have been eligible to participate in the program. Covered properties were defined as 
primary residences for structures with one to four families, and primary residences of renters. The primary residences for structures with one to four families, and primary residences of renters. The 
affordability assistance would have provided a discount on all premiums, fees, and surcharges.  affordability assistance would have provided a discount on all premiums, fees, and surcharges.  
                                                 
                                                 
100 100 
FEMA Affordability Framework, p. 29. , p. 29. 
101 For example, this could potentially make use of FEMA’s National Risk Index, which combines a community’s 101 For example, this could potentially make use of FEMA’s National Risk Index, which combines a community’s 
hazard risk, social vulnerability, and resilience to calculate a relative risk assessment. See FEMA, hazard risk, social vulnerability, and resilience to calculate a relative risk assessment. See FEMA, 
National Risk Index 
for Natural Hazards (NRI), https://www.fema.gov/flood-maps/products-tools/national-risk-index.  (NRI), https://www.fema.gov/flood-maps/products-tools/national-risk-index. 
102 
102 
NRC Affordability Report 1, p. 95. , p. 95. 
103 103 
NRC Affordability Report 1, p. 90.  , p. 90.  
104 104 
GAO Affordability Assistance, p. 17. , p. 17. 
105 Howard Kunreuther, “Improving the National Flood Insurance Program,” 105 Howard Kunreuther, “Improving the National Flood Insurance Program,” 
Behavioural Public Policy, July 9, 2018, , July 9, 2018, 
pp. 1-15. pp. 1-15. 
106 
106 
GAO Affordability Assistance, p. 46. , p. 46. 
107 The statutory definition of a repetitive loss structure is a structure covered by a contract for flood insurance that (a) 107 The statutory definition of a repetitive loss structure is a structure covered by a contract for flood insurance that (a) 
has incurred flood-related damage on two occasions, in which the cost of repair, on the average, equaled or exceeded has incurred flood-related damage on two occasions, in which the cost of repair, on the average, equaled or exceeded 
25% of the value of the structure at the time of each such flood event; and (b) at the time of the second incidence of 25% of the value of the structure at the time of each such flood event; and (b) at the time of the second incidence of 
flood-related damage, the contract for flood insurance contains increased cost of compliance coverage. See 42 U.S.C. flood-related damage, the contract for flood insurance contains increased cost of compliance coverage. See 42 U.S.C. 
§4121(a)(7). §4121(a)(7). 
108 H.R. 5376, as passed by the House on November 19, 2021. 
108 H.R. 5376, as passed by the House on November 19, 2021. 
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Reduce the Amount That Policyholders Pay to the NFIP 
A means-tested affordability program is only one possible way of reducing the cost burden to A means-tested affordability program is only one possible way of reducing the cost burden to 
policyholders, and Congress could consider other changes to the NFIP to reduce the amount that policyholders, and Congress could consider other changes to the NFIP to reduce the amount that 
policyholders pay.  policyholders pay.  
Options to Reduce the Amount That Policyholders Pay to the NFIP 
4.   
4.   
Reduce cross-subsidies. Cross-subsidies are being phased out under Risk Rating 2.0. Cross-subsidies are being phased out under Risk Rating 2.0. 
This should reduce premiums for policyholders who are paying more to cross-subsidize other This should reduce premiums for policyholders who are paying more to cross-subsidize other 
policyholders. However, premiums for properties that are currently subsidized are expected to policyholders. However, premiums for properties that are currently subsidized are expected to 
increase as cross-subsidies are reduced. Alternatively, the income to the NFIP will be reduced increase as cross-subsidies are reduced. Alternatively, the income to the NFIP will be reduced 
if the costs that are currently cross-subsidized are not passed on to other policyholders.  if the costs that are currently cross-subsidized are not passed on to other policyholders.  
5.   
5.   
Reduce or eliminate fees or surcharges paid by NFIP policyholders. This would  This would 
reduce flood insurance premiums but would also reduce income to the NFIP. Reduced fees reduce flood insurance premiums but would also reduce income to the NFIP. Reduced fees 
and surcharges might encourage additional participation in the NFIP. However, FEMA does and surcharges might encourage additional participation in the NFIP. However, FEMA does 
not have authority to eliminate all of these; elimination of some fees and surcharges109 would not have authority to eliminate all of these; elimination of some fees and surcharges109 would 
require action by Congress.require action by Congress.
 
6.   
6.   
Reduce premiums or increase subsidies. This could reduce the amount that  This could reduce the amount that 
policyholders pay to the NFIP but would also reduce income to the program unless Congress policyholders pay to the NFIP but would also reduce income to the program unless Congress 
were to provide additional funding for the NFIP. In addition, increasing subsidies would run were to provide additional funding for the NFIP. In addition, increasing subsidies would run 
counter to the principles established by FEMA for Risk Rating 2.0.counter to the principles established by FEMA for Risk Rating 2.0.
 
7.   
7.   
Eliminate the mandatory purchase requirement. If the purchase of flood insurance  If the purchase of flood insurance 
were voluntary, those who could not afford NFIP premiums would not have to incur the were voluntary, those who could not afford NFIP premiums would not have to incur the 
expense. However, it is likely that take-up rates for NFIP policies would drop substantially if expense. However, it is likely that take-up rates for NFIP policies would drop substantially if 
homeowners were not required to purchase flood insurance.110 As a result, households would homeowners were not required to purchase flood insurance.110 As a result, households would 
need to rely on their own financial resources or federal assistance for post-flood recovery. In need to rely on their own financial resources or federal assistance for post-flood recovery. In 
addition, the presence of uninsured properties may reduce the resilience of a community more addition, the presence of uninsured properties may reduce the resilience of a community more 
generally after a flood and may necessitate additional disaster assistance from the federal generally after a flood and may necessitate additional disaster assistance from the federal 
government.  government.  
8.   
8.   
Allow higher deductibles on NFIP policies. The maximum deductible is currently . The maximum deductible is currently 
$1,250 if the building coverage amount exceeds $100,000. Otherwise, the deductible is $1,250 if the building coverage amount exceeds $100,000. Otherwise, the deductible is 
$1,000.111 Congress could increase the maximum deductible or FEMA could encourage $1,000.111 Congress could increase the maximum deductible or FEMA could encourage 
policyholders to choose a larger deductible.112 According to FEMA, increasing the deductible policyholders to choose a larger deductible.112 According to FEMA, increasing the deductible 
to the maximum amount could reduce NFIP premiums by 40%.113 However, although higher to the maximum amount could reduce NFIP premiums by 40%.113 However, although higher 
deductibles could decrease premium payments, in the event of a flood they might impose deductibles could decrease premium payments, in the event of a flood they might impose 
hardships on people. This could be a particular problem for low-income households who hardships on people. This could be a particular problem for low-income households who 
must pay for damage below the deductible amount, and could lead to an increase in demand must pay for damage below the deductible amount, and could lead to an increase in demand 
for federal disaster assistance.  for federal disaster assistance.  
                                                 
                                                 
109 For example, the Federal Policy Fee, Reserve Fund Assessment, and the HFIAA surcharge.  109 For example, the Federal Policy Fee, Reserve Fund Assessment, and the HFIAA surcharge.  
110 110 
NRC Affordability Report 1, p. 113. , p. 113. 
111 FEMA, 111 FEMA, 
Flood Insurance Manual, 3. How to Write, p. 3-42, revised October 1, 2022, , p. 3-42, revised October 1, 2022, 
https://www.fema.gov/sites/default/files/documents/fema_nfip-flood-insurance-full-manual_102022.pdf.https://www.fema.gov/sites/default/files/documents/fema_nfip-flood-insurance-full-manual_102022.pdf.
 
112 
112 
CBO Affordability, p. 26. , p. 26. 
113 FEMA, FEMA, 
Help Clients Pay Less for Flood Insurance, https://agents.floodsmart.gov/retention/costs. , https://agents.floodsmart.gov/retention/costs. 
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Options for Making the National Flood Insurance Program More Affordable 
 
9.   
9.   
Cap the rate at which NFIP premiums could increase. The current maximum rate of . The current maximum rate of 
allowable increase was set in HFIAA, with maximum rate increases for primary residences allowable increase was set in HFIAA, with maximum rate increases for primary residences 
limited to 5%-18% per year. Premiums on other categories of properties can be increased at limited to 5%-18% per year. Premiums on other categories of properties can be increased at 
25% annually.114 Congress could set a lower cap on the rate at which premiums can be 25% annually.114 Congress could set a lower cap on the rate at which premiums can be 
increased.115  increased.115  
10.  
10.  
Cap NFIP premiums. This could establish a ceiling beyond which premiums could not  This could establish a ceiling beyond which premiums could not 
increase, and thus could help lower premiums of policyholders whose premiums are increase, and thus could help lower premiums of policyholders whose premiums are 
increasing.116 However, this approach does not consider policyholders’ income, assets, or increasing.116 However, this approach does not consider policyholders’ income, assets, or 
other expenses and therefore does not necessarily take financial need into account.  other expenses and therefore does not necessarily take financial need into account.  
11.  
11.  
Allow communities to pay all or part of flood insurance premiums for their 
residents. Community payment of individual policyholders’ flood insurance premiums could  Community payment of individual policyholders’ flood insurance premiums could 
shift the issue of affordability to the local level and allow each community to address it in the shift the issue of affordability to the local level and allow each community to address it in the 
way that it sees fit. For example, a community could cross-subsidize the assessment of way that it sees fit. For example, a community could cross-subsidize the assessment of 
premiums, or use other community funds to offset high premiums for low-income or premiums, or use other community funds to offset high premiums for low-income or 
moderate-income households. A community could also recover all or part of the costs through moderate-income households. A community could also recover all or part of the costs through 
measures such as special assessments levied on covered properties.  measures such as special assessments levied on covered properties.  
Increase NFIP Participation  
A long-standing objective of the NFIP has been to increase purchases of flood insurance policies, A long-standing objective of the NFIP has been to increase purchases of flood insurance policies, 
and this objective was one motivation for keeping NFIP premiums affordable when the program and this objective was one motivation for keeping NFIP premiums affordable when the program 
was established.117 In designing the NFIP to help address floodplain management objectives, was established.117 In designing the NFIP to help address floodplain management objectives, 
Congress has generally emphasized the need for high policy take-up rates.118 Adding new Congress has generally emphasized the need for high policy take-up rates.118 Adding new 
policyholders, however, would not improve the finances of the NFIP unless the new policies policyholders, however, would not improve the finances of the NFIP unless the new policies 
increase receipts more than they increase expected claims and other expenses.119 GAO has noted increase receipts more than they increase expected claims and other expenses.119 GAO has noted 
that increased consumer participation could increase the size and scope of the NFIP and that increased consumer participation could increase the size and scope of the NFIP and 
potentially increase federal fiscal exposure. However, it suggested, this could be reduced by potentially increase federal fiscal exposure. However, it suggested, this could be reduced by 
implementing full-risk rates and balanced by an increasing number of lower-risk properties.120 implementing full-risk rates and balanced by an increasing number of lower-risk properties.120 
The Mandatory Purchase Requirement 
Over time, the desire to increase take-up rates has led to a number of program changes, including 
Over time, the desire to increase take-up rates has led to a number of program changes, including 
the introduction of the mandatory purchase requirement (MPR). In a community that participates the introduction of the mandatory purchase requirement (MPR). In a community that participates 
or has participated in the NFIP, owners of properties in the mapped SFHA are required to or has participated in the NFIP, owners of properties in the mapped SFHA are required to 
purchase flood insurance as a condition of receiving a federally backed mortgage. Under the purchase flood insurance as a condition of receiving a federally backed mortgage. Under the 
MPR, federally backed or regulated lenders require borrowers to purchase and maintain a flood MPR, federally backed or regulated lenders require borrowers to purchase and maintain a flood 
insurance policy when they provide a mortgage to properties in the SFHA. The MPR is enforced insurance policy when they provide a mortgage to properties in the SFHA. The MPR is enforced                                                                                                   
114 See the section of this report on 114 See the section of this report on 
“Risk Rating 2.0” for further information on the rates at which premiums can be  for further information on the rates at which premiums can be 
increased.  increased.  
115 For example, S. 3128 and H.R. 5802 in the 117th Congress would cap annual premium increases at 9%. 
115 For example, S. 3128 and H.R. 5802 in the 117th Congress would cap annual premium increases at 9%. 
116 In the first year of Risk Rating 2.0, FEMA has capped the annual premium for a single-family primary residence at 116 In the first year of Risk Rating 2.0, FEMA has capped the annual premium for a single-family primary residence at 
$12,125. Some of these properties have previously been paying as much as $45,925. This represents the first time that a $12,125. Some of these properties have previously been paying as much as $45,925. This represents the first time that a 
dollar cap has been applied to the NFIP. FEMA, dollar cap has been applied to the NFIP. FEMA, 
Briefing on Risk Rating 2.0 for CRS, March 29, 2021. , March 29, 2021. 
117 See 82 Stat. 577 for text in the original statute (Section 1308(b)(2) of P.L. 90-448). This language remains in statute; 
117 See 82 Stat. 577 for text in the original statute (Section 1308(b)(2) of P.L. 90-448). This language remains in statute; 
see 42 U.S.C. §4015(b)(2). see 42 U.S.C. §4015(b)(2). 
118 
118 
NRC Affordability Report 1, p. 31. , p. 31. 
119 119 
CBO Affordability, p. 24. , p. 24. 
120 120 
GAO Solvency, p. 33. , p. 33. 
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by lenders rather than FEMA, and FEMA does not have authority to enforce lender compliance 
by lenders rather than FEMA, and FEMA does not have authority to enforce lender compliance 
with the MPR.121 At least 10 federal entities oversee lenders’ compliance.122  with the MPR.121 At least 10 federal entities oversee lenders’ compliance.122  
Compliance with the MPR directly affects the number of properties that have flood insurance, 
Compliance with the MPR directly affects the number of properties that have flood insurance, 
although the full extent of noncompliance with the MPR is not known.123 However, NFIP take-up although the full extent of noncompliance with the MPR is not known.123 However, NFIP take-up 
rates for flood insurance are generally low, even in areas subject to the MPR,124 and policies may rates for flood insurance are generally low, even in areas subject to the MPR,124 and policies may 
not be maintained after purchase. For example, GAO found that about 28% of properties that not be maintained after purchase. For example, GAO found that about 28% of properties that 
were purchased in 2014 no longer had an NFIP policy by 2019.125 were purchased in 2014 no longer had an NFIP policy by 2019.125 
There is a large flood insurance gap in the United States, and many people that are exposed to 
There is a large flood insurance gap in the United States, and many people that are exposed to 
flood risk are not covered by flood insurance. Currently the NFIP insures about 4.985 million flood risk are not covered by flood insurance. Currently the NFIP insures about 4.985 million 
structures in the United States,126 and most of the remaining structures have no insurance to structures in the United States,126 and most of the remaining structures have no insurance to 
protect them from flood risk.127 NFIP residential policies are nearly evenly divided between areas protect them from flood risk.127 NFIP residential policies are nearly evenly divided between areas 
inside and outside the SFHA, but the majority of nonresidential policies are inside the SFHA. inside and outside the SFHA, but the majority of nonresidential policies are inside the SFHA. 
This is relevant to flood insurance affordability because flood insurance premiums are generally This is relevant to flood insurance affordability because flood insurance premiums are generally 
higher in SHFAs.128 Expanding the MPR could increase premiums and create affordability higher in SHFAs.128 Expanding the MPR could increase premiums and create affordability 
concerns that could warrant having an affordability assistance program.129 concerns that could warrant having an affordability assistance program.129 
In addition to the risk of uninsured losses to individual households and businesses, the NFIP 
In addition to the risk of uninsured losses to individual households and businesses, the NFIP 
could achieve greater financial stability with a wider policy base; in particular, through finding could achieve greater financial stability with a wider policy base; in particular, through finding 
ways to increase coverage outside the SFHA. According to the American Academy of Actuaries, ways to increase coverage outside the SFHA. According to the American Academy of Actuaries, 
increasing the number of properties covered for flood, particularly in lower-risk areas, will not increasing the number of properties covered for flood, particularly in lower-risk areas, will not 
only protect consumers, lending institutions, and local communities, but will also improve the only protect consumers, lending institutions, and local communities, but will also improve the 
financial stability of the NFIP by achieving a better spread of risk.130  financial stability of the NFIP by achieving a better spread of risk.130  
Options to Increase NFIP Participation 
12.  
12.  
Ensure full compliance with the mandatory purchase requirement. This option would  This option would 
require lenders to ensure that all mortgagees subject to the MPR purchase and maintain flood require lenders to ensure that all mortgagees subject to the MPR purchase and maintain flood 
insurance. GAO’s view is that measuring compliance with the MPR would require property-insurance. GAO’s view is that measuring compliance with the MPR would require property-
specific data on mortgage, flood zone determinations, and flood insurance policies compiled specific data on mortgage, flood zone determinations, and flood insurance policies compiled 
at loan origination and at various points during the life of the loan. GAO noted that this at loan origination and at various points during the life of the loan. GAO noted that this 
would entail establishing reporting requirements on lenders to provide relevant mortgage would entail establishing reporting requirements on lenders to provide relevant mortgage 
data, determining an appropriate authority to receive and compare these data, and data, determining an appropriate authority to receive and compare these data, and 
determining the costs and benefits of obtaining these data.131 In a recent report, GAO determining the costs and benefits of obtaining these data.131 In a recent report, GAO 
                                                 
                                                 
121 GAO, 121 GAO, 
GAO Mandatory Purchase Requirement, p. 9.  p. 9. 
122 122 
GAO Mandatory Purchase Requirement, p. 4 and p. 10. , p. 4 and p. 10. 
123 123 
GAO Mandatory Purchase Requirement, p. 35 and p. 45. , p. 35 and p. 45. 
124 Carolyn Kousky, Howard Kunreuther, Michael LaCour-Little, et al., “Flood Risk and the U.S. Housing Market,” 124 Carolyn Kousky, Howard Kunreuther, Michael LaCour-Little, et al., “Flood Risk and the U.S. Housing Market,” 
Journal of Housing Research, vol. 29, no. S.1 (November 30, 2020), pp. S3-S24. , vol. 29, no. S.1 (November 30, 2020), pp. S3-S24. 
125 
125 
GAO Mandatory Purchase Requirement, p. 32. , p. 32. 
126 FEMA, 126 FEMA, 
Watermark, FY2021, Third Quarter, https://www.fema.gov/sites/default/files/documents/fema_fima-, https://www.fema.gov/sites/default/files/documents/fema_fima-
watermark-FY2021-Q3.pdf. watermark-FY2021-Q3.pdf. 
127 American Academy of Actuaries, 
127 American Academy of Actuaries, 
The National Flood Insurance Program: Challenges and Solutions, Washington, , Washington, 
DC, September 25, 2019, p. 4, https://www.actuary.org/sites/default/files/2019-09/flood9.19.pdf. DC, September 25, 2019, p. 4, https://www.actuary.org/sites/default/files/2019-09/flood9.19.pdf. 
128 
128 
FEMA Affordability Framework, p. 8. , p. 8. 
129 129 
FEMA Affordability Framework, p. 43. , p. 43. 
130 American Academy of Actuaries, 130 American Academy of Actuaries, 
The National Flood Insurance Program: Challenges and Solutions, Washington, , Washington, 
DC, September 25, 2019, p. 82, https://www.actuary.org/sites/default/files/2019-09/flood9.19.pdf. DC, September 25, 2019, p. 82, https://www.actuary.org/sites/default/files/2019-09/flood9.19.pdf. 
131 GAO, 
131 GAO, 
Flood Insurance: Extent of Noncompliance with Purchase Requirements Is Unknown, GAO-02-39-6, June , GAO-02-39-6, June 
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described challenges to understanding the full extent of noncompliance with the MPR.132 
described challenges to understanding the full extent of noncompliance with the MPR.132 
Given the absence of a full understanding of compliance with the MPR, GAO suggested that Given the absence of a full understanding of compliance with the MPR, GAO suggested that 
there were a number of actions that FEMA could take, despite FEMA’s limited statutory role there were a number of actions that FEMA could take, despite FEMA’s limited statutory role 
related to the MPR, to examine trends and patterns related to consumer participation and related to the MPR, to examine trends and patterns related to consumer participation and 
potential noncompliance. Policy and claims data could be used to develop strategies for potential noncompliance. Policy and claims data could be used to develop strategies for 
addressing noncompliance. For example, GAO recommended that FEMA could review its addressing noncompliance. For example, GAO recommended that FEMA could review its 
own data to identify patterns and trends and to develop policies for addressing own data to identify patterns and trends and to develop policies for addressing 
noncompliance. In particular, an analysis of NFIP policy data could provide information on noncompliance. In particular, an analysis of NFIP policy data could provide information on 
how long NFIP policies are maintained over time and when flood insurance policies are how long NFIP policies are maintained over time and when flood insurance policies are 
dropped. Further, an examination of the number and cost of claims associated with the dropped. Further, an examination of the number and cost of claims associated with the 
policies that were dropped could help FEMA to understand some of the financial effects that policies that were dropped could help FEMA to understand some of the financial effects that 
noncompliance may be having on both consumers and the federal government. Finally, noncompliance may be having on both consumers and the federal government. Finally, 
analysis of FEMA’s policy data could provide information on the effectiveness of changes to analysis of FEMA’s policy data could provide information on the effectiveness of changes to 
the MPR, such as escrow requirements, in ensuring policies are maintained for the life of the MPR, such as escrow requirements, in ensuring policies are maintained for the life of 
mortgage loans.133 mortgage loans.133 
13.  
13.  
Require policyholders subject to the MPR to opt out rather than opt in. Research in  Research in 
behavioral economics has found that, in many circumstances, individuals tend to stay with behavioral economics has found that, in many circumstances, individuals tend to stay with 
default options. It has been suggested that coupling flood insurance to homeowners’ default options. It has been suggested that coupling flood insurance to homeowners’ 
insurance as a default, while still giving individuals the option to decline coverage (opt out) if insurance as a default, while still giving individuals the option to decline coverage (opt out) if 
not required by the lender, might lead more people to purchase flood insurance.134 not required by the lender, might lead more people to purchase flood insurance.134 
14.  
14.  
Offer multiyear flood insurance policies. The tendency to maintain the status quo is  The tendency to maintain the status quo is 
thought to increase the likelihood that insured individuals will maintain a multiyear policy for thought to increase the likelihood that insured individuals will maintain a multiyear policy for 
the length of the contract, whereas they may decide not to renew an annual policy after it the length of the contract, whereas they may decide not to renew an annual policy after it 
expires.135  expires.135  
15.  
15.  
Expand the MPR to all structures with federally backed mortgages in NFIP 
communities, not just those in the SFHA. Both GAO and FEMA have suggested that the  Both GAO and FEMA have suggested that the 
MPR could potentially be expanded to more (or all) mortgage loans made by federally MPR could potentially be expanded to more (or all) mortgage loans made by federally 
regulated lending institutions for properties in communities participating in the NFIP. This regulated lending institutions for properties in communities participating in the NFIP. This 
would increase the consumer participation rate in the NFIP and potentially balance the NFIP would increase the consumer participation rate in the NFIP and potentially balance the NFIP 
portfolio with an increased number of lower-risk properties.136 According to GAO, some portfolio with an increased number of lower-risk properties.136 According to GAO, some 
private insurers have indicated that such a federal mandate could help achieve the level of private insurers have indicated that such a federal mandate could help achieve the level of 
consumer participation necessary to make the private sector comfortable with providing flood consumer participation necessary to make the private sector comfortable with providing flood 
insurance coverage by increasing the number of policyholders, which would allow private insurance coverage by increasing the number of policyholders, which would allow private 
insurers to diversify and manage the risk of their flood insurance portfolio and address insurers to diversify and manage the risk of their flood insurance portfolio and address 
concerns about adverse selection.137 This would require congressional action to change the concerns about adverse selection.137 This would require congressional action to change the 
provision in the National Flood Insurance Act of 1968 that links the purchase of flood provision in the National Flood Insurance Act of 1968 that links the purchase of flood 
                                                 
                                                 
21, 2002, p. 4, https://www.gao.gov/products/GAO-02-396. 21, 2002, p. 4, https://www.gao.gov/products/GAO-02-396. 
132 
132 
GAO Mandatory Purchase Requirement, p. 29. , p. 29. 
133 133 
GAO Mandatory Purchase Requirement, pp. 31-32. , pp. 31-32. 
134 Carolyn Kousky, Brett Lingle, Howard Kunreuther, et al., 134 Carolyn Kousky, Brett Lingle, Howard Kunreuther, et al., 
Moving the Needle on Closing the Flood Insurance Gap, , 
Wharton Risk Management and Decision Processes Center, Issue Brief, Philadelphia, PA, February 13, 2019, p. 2, Wharton Risk Management and Decision Processes Center, Issue Brief, Philadelphia, PA, February 13, 2019, p. 2, 
https://riskcenter.wharton.upenn.edu/wp-content/uploads/2019/02/Moving-the-Needle-on-Closing-the-Flood-https://riskcenter.wharton.upenn.edu/wp-content/uploads/2019/02/Moving-the-Needle-on-Closing-the-Flood-
Insurance-Gap.pdf. Insurance-Gap.pdf. 
135 
135 
NRC Affordability Report 1, p. 62. , p. 62. 
136 136 
GAO Solvency, p. 29 and p. 33. , p. 29 and p. 33. 
137 GAO, 137 GAO, 
Flood Insurance: Strategies for Increasing Private Sector Involvement, GAO-47-127, January 2014, p. 23, , GAO-47-127, January 2014, p. 23, 
https://www.gao.gov/products/GAO-14-127. https://www.gao.gov/products/GAO-14-127. 
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Options for Making the National Flood Insurance Program More Affordable 
 
insurance to financial assistance.138 Congressional action would not be needed to change the 
insurance to financial assistance.138 Congressional action would not be needed to change the 
definition of an “area having special flood hazards,” which is only defined in regulation139 definition of an “area having special flood hazards,” which is only defined in regulation139 
rather than in statute. This option would also require lenders to enforce the expanded MPR. rather than in statute. This option would also require lenders to enforce the expanded MPR. 
16.  
16.  
Expand the MPR to all structures in the SFHA, not just those with federally backed 
mortgages. The Association of State Floodplain Managers suggested that all properties  The Association of State Floodplain Managers suggested that all properties 
within the SFHA should be required to have flood insurance, not just those with federally within the SFHA should be required to have flood insurance, not just those with federally 
backed mortgages.140 This would require every homeowner and business mapped into the backed mortgages.140 This would require every homeowner and business mapped into the 
SFHA to purchase flood insurance, whether or not they have a mortgage. This would require SFHA to purchase flood insurance, whether or not they have a mortgage. This would require 
congressional action to change the provision in the NFIA that links the purchase of flood congressional action to change the provision in the NFIA that links the purchase of flood 
insurance to financial assistance in any area identified by the FEMA administrator as an area insurance to financial assistance in any area identified by the FEMA administrator as an area 
having special flood hazards.141 This option would also require lenders to enforce the having special flood hazards.141 This option would also require lenders to enforce the 
expanded MPR, or require the introduction of another method of enforcement. expanded MPR, or require the introduction of another method of enforcement. 
17.  
17.  
Require all structures in the floodplain (both the 1%-annual-chance floodplain and 
the 0.2%-annual-chance floodplain) to purchase flood insurance. This would require all  This would require all 
structures in the wider floodplain to purchase flood insurance. Currently, properties outside structures in the wider floodplain to purchase flood insurance. Currently, properties outside 
the SFHA are not required to purchase flood insurance but may voluntarily purchase a lower-the SFHA are not required to purchase flood insurance but may voluntarily purchase a lower-
cost NFIP policy. According to FEMA, on average about 40% of NFIP claims come from cost NFIP policy. According to FEMA, on average about 40% of NFIP claims come from 
properties outside the SFHA.142 properties outside the SFHA.142 
18.  
18.  
Base the MPR on property-level expected damages instead of the boundary of the 
SFHA. This approach could, for example, require the purchase of flood insurance for any  This approach could, for example, require the purchase of flood insurance for any 
properties with expected losses above a defined amount.  properties with expected losses above a defined amount.  
19.  
19.  
Offer community flood insurance policies. A community insurance option would allow A community insurance option would allow 
a community to purchase a group flood insurance policy on behalf of all properties that are at a community to purchase a group flood insurance policy on behalf of all properties that are at 
risk of flooding. The community would pay a single premium for the group policy. risk of flooding. The community would pay a single premium for the group policy. 
Community insurance would increase take-up rates by automatically insuring all members of Community insurance would increase take-up rates by automatically insuring all members of 
a participating community. This could potentially exacerbate affordability problems by a participating community. This could potentially exacerbate affordability problems by 
forcing all members of a community to pay flood insurance premiums. However, if Congress forcing all members of a community to pay flood insurance premiums. However, if Congress 
believes that community flood insurance should be encouraged, it could choose to provide believes that community flood insurance should be encouraged, it could choose to provide 
funds in order to offer discounted premiums, or to offer coverage to all properties in both the funds in order to offer discounted premiums, or to offer coverage to all properties in both the 
1%-annual-chance floodplain and the 0.2%-annual-chance floodplain in order to promote 1%-annual-chance floodplain and the 0.2%-annual-chance floodplain in order to promote 
resilience.143  resilience.143  
20.  
20.  
Require all homeowners and businesses that receive disaster assistance for flood 
damage to obtain and maintain flood insurance. This requirement is already in place for  This requirement is already in place for 
properties that receive FEMA Public Assistance, FEMA Individuals and Households Program properties that receive FEMA Public Assistance, FEMA Individuals and Households Program 
assistance, and Small Business Administration Disaster Loans. Recipients of funding from assistance, and Small Business Administration Disaster Loans. Recipients of funding from 
these programs are required to obtain and maintain flood insurance as a condition of these programs are required to obtain and maintain flood insurance as a condition of 
                                                 
                                                 
138 42 U.S.C. §4012a(a). 138 42 U.S.C. §4012a(a). 
139 44 C.F.R. §59.1. 139 44 C.F.R. §59.1. 
140 Association of State Floodplain Managers, Inc., 140 Association of State Floodplain Managers, Inc., 
Rethinking the NFIP, ASFPM Comments on NFIP Reform, January , ASFPM Comments on NFIP Reform, January 
11, 2011, p. 5, http://www.floods.org/ace-files/documentlibrary/National_Policy/11, 2011, p. 5, http://www.floods.org/ace-files/documentlibrary/National_Policy/
Rethinking_the_NFIP_Comments_from_ASFPM_1-11-11.pdf. Rethinking_the_NFIP_Comments_from_ASFPM_1-11-11.pdf. 
141 42 U.S.C. §4012a(a). 
141 42 U.S.C. §4012a(a). 
142 FEMA, 142 FEMA, 
Answers to Questions About the NFIP, p. 51, https://agents.floodsmart.gov/sites/default/files/fema-answers-, p. 51, https://agents.floodsmart.gov/sites/default/files/fema-answers-
to-questions-about-the-NFIP.pdf. to-questions-about-the-NFIP.pdf. 
143 See, for example, Carolyn Kousky and Leonard Shabman, 
143 See, for example, Carolyn Kousky and Leonard Shabman, 
A Proposed Design for Community Flood Insurance, , 
Resources For the Future, Washington, DC, December 2015, pp. 21-23, https://media.rff.org/archive/files/document/Resources For the Future, Washington, DC, December 2015, pp. 21-23, https://media.rff.org/archive/files/document/
file/RFF-Rpt-KouskyShabman-CommunityFloodIns.pdf. file/RFF-Rpt-KouskyShabman-CommunityFloodIns.pdf. 
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receiving future disaster assistance for a flood event, or forfeit future disaster assistance for 
receiving future disaster assistance for a flood event, or forfeit future disaster assistance for 
flooding. Similar requirements could be introduced for all residential and commercial flooding. Similar requirements could be introduced for all residential and commercial 
properties that receive disaster assistance for flooding. properties that receive disaster assistance for flooding. 
Increase NFIP Income  
The NFIP is different from other disaster assistance in that it is not directly funded by taxpayers. The NFIP is different from other disaster assistance in that it is not directly funded by taxpayers. 
The majority of the NFIP’s income is provided by policyholders’ premiums, fees, and surcharges, The majority of the NFIP’s income is provided by policyholders’ premiums, fees, and surcharges, 
which are used to pay claims for covered flood damages. In addition, there are charges added to which are used to pay claims for covered flood damages. In addition, there are charges added to 
the premium to cover the administrative costs of the program, including claims handling by the premium to cover the administrative costs of the program, including claims handling by 
private insurers, and to build up a financial reserve to cover catastrophic-loss years. As the NFIP private insurers, and to build up a financial reserve to cover catastrophic-loss years. As the NFIP 
currently operates, rates for full risk-based policies are intended to cover the expected cost currently operates, rates for full risk-based policies are intended to cover the expected cost 
associated with all potential flood events, including less likely, high-cost events.144 associated with all potential flood events, including less likely, high-cost events.144 
The NFIP has three sources of funding: (1) premiums, fees, and surcharges from NFIP 
The NFIP has three sources of funding: (1) premiums, fees, and surcharges from NFIP 
policyholders; (2) annual appropriations for some of the costs of flood mapping; and (3) policyholders; (2) annual appropriations for some of the costs of flood mapping; and (3) 
borrowing from the U.S. Treasury when the balance of the National Flood Insurance Fund (NFIF) borrowing from the U.S. Treasury when the balance of the National Flood Insurance Fund (NFIF) 
has been insufficient to pay claims. The only continuing direct appropriations to the NFIP are to has been insufficient to pay claims. The only continuing direct appropriations to the NFIP are to 
supplement floodplain mapping activities; the remainder of flood mapping costs are paid by NFIP supplement floodplain mapping activities; the remainder of flood mapping costs are paid by NFIP 
policyholders through the Federal Policy Fee (FPF). According to FEMA, in FY2020, 36.4% of policyholders through the Federal Policy Fee (FPF). According to FEMA, in FY2020, 36.4% of 
spending on flood mapping came from the FPF and 63.6% from appropriations.145 In recent years, spending on flood mapping came from the FPF and 63.6% from appropriations.145 In recent years, 
appropriations to the NFIP for flood mapping have varied between $100 million and $275.5 appropriations to the NFIP for flood mapping have varied between $100 million and $275.5 
million, an amount that represented 2.1% to 5.8% of the NFIP’s income. These appropriations million, an amount that represented 2.1% to 5.8% of the NFIP’s income. These appropriations 
amounted to $1.79 billion between FY2015 and FY2021.146  amounted to $1.79 billion between FY2015 and FY2021.146  
In contrast, for example, the federal crop insurance program has permanent, indefinite funding 
In contrast, for example, the federal crop insurance program has permanent, indefinite funding 
authority: annual funding comes from both mandatory and discretionary appropriations.147 The authority: annual funding comes from both mandatory and discretionary appropriations.147 The 
average cost of the program is projected at nearly $8 billion per year for FY2021 to FY2025 and average cost of the program is projected at nearly $8 billion per year for FY2021 to FY2025 and 
to remain around that level for FY2026 to FY2030.148 On average, the federal government pays to remain around that level for FY2026 to FY2030.148 On average, the federal government pays 
roughly 60% of agricultural producers’ insurance premiums.149 CBO projects that the federal crop roughly 60% of agricultural producers’ insurance premiums.149 CBO projects that the federal crop 
insurance program will cost almost $40 billion for the five-year period FY2021 to FY2025 and insurance program will cost almost $40 billion for the five-year period FY2021 to FY2025 and 
more than $80 billion for the 10-year period FY2021 to FY2030.150 more than $80 billion for the 10-year period FY2021 to FY2030.150 
Because close to 95% of the NFIP’s costs are borne by policyholders, anything that increases 
Because close to 95% of the NFIP’s costs are borne by policyholders, anything that increases 
NFIP income from sources other than policyholders, or that reduces NFIP costs paid by NFIP income from sources other than policyholders, or that reduces NFIP costs paid by 
policyholders, ultimately reduces the amount that NFIP policyholders have to pay. In addition to policyholders, ultimately reduces the amount that NFIP policyholders have to pay. In addition to 
paying NFIP claims, policyholders also pay the costs of many noninsurance activities in the paying NFIP claims, policyholders also pay the costs of many noninsurance activities in the 
public interest, such as flood mitigation grants and floodplain mapping and management.151 The public interest, such as flood mitigation grants and floodplain mapping and management.151 The 
                                                 
                                                 
144 144 
CBO Affordability, p. 26. , p. 26. 
145 Email from FEMA Congressional Affairs staff, January 25, 2021. 145 Email from FEMA Congressional Affairs staff, January 25, 2021. 
146 See Table 5 in CRS Report R44593, 146 See Table 5 in CRS Report R44593, 
Introduction to the National Flood Insurance Program (NFIP), by Diane P. , by Diane P. 
Horn and Baird Webel. Horn and Baird Webel. 
147 For more information, see CRS Report R46686, 
147 For more information, see CRS Report R46686, 
Federal Crop Insurance: A Primer, by Stephanie Rosch.  , by Stephanie Rosch.  
148 Ibid., pp. 3-4.  148 Ibid., pp. 3-4.  
149 CBO, 149 CBO, 
USDA Mandatory Farm Programs—CBO’s Baseline as of March 6, 2020, March 19, 2020, p. 1, , March 19, 2020, p. 1, 
https://www.cbo.gov/system/files/2020-03/51317-2020-03-usda.pdf.  https://www.cbo.gov/system/files/2020-03/51317-2020-03-usda.pdf.  
150 Ibid., p. 24.  
150 Ibid., p. 24.  
151 For example, in FY2022 NFIP policyholders paid $199 million for floodplain management and flood mapping and 151 For example, in FY2022 NFIP policyholders paid $199 million for floodplain management and flood mapping and 
$175 million on flood mitigation assistance. See Table 5 in CRS Report R44593, $175 million on flood mitigation assistance. See Table 5 in CRS Report R44593, 
Introduction to the National Flood 
Insurance Program (NFIP), by Diane P. Horn and Baird Webel.  , by Diane P. Horn and Baird Webel.  
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benefits of such tasks are not directly measured in the NFIP’s financial results from underwriting 
benefits of such tasks are not directly measured in the NFIP’s financial results from underwriting 
flood insurance.152 One way to reduce NFIP policyholders’ cost burden would be for the federal flood insurance.152 One way to reduce NFIP policyholders’ cost burden would be for the federal 
government to pay some of the costs that are currently paid for by NFIP policyholders.153 CBO government to pay some of the costs that are currently paid for by NFIP policyholders.153 CBO 
noted that, like debt service, mapping and mitigation costs are not related to current NFIP noted that, like debt service, mapping and mitigation costs are not related to current NFIP 
policies, and suggested that Congress could shift those costs to taxpayers by funding those policies, and suggested that Congress could shift those costs to taxpayers by funding those 
activities out of general revenue.154 activities out of general revenue.154 
Options to Increase NFIP Income 
21.  
21.  
Charge actuarially sound rates for all policies and/or increase fees and surcharges.  Subsidies are being phased out under Risk Rating 2.0, but further reform of the rating system Subsidies are being phased out under Risk Rating 2.0, but further reform of the rating system 
could be considered. This could be done by eliminating all subsidies or increasing the rate at could be considered. This could be done by eliminating all subsidies or increasing the rate at 
which subsidies are phased out. Policyholders who are cross-subsidizing other policies could which subsidies are phased out. Policyholders who are cross-subsidizing other policies could 
benefit from this. However, as long as the NFIP is primarily funded by policyholders, such an benefit from this. However, as long as the NFIP is primarily funded by policyholders, such an 
action could increase premiums for other policyholders.  action could increase premiums for other policyholders.  
22.  
22.  
Reduce the number of Repetitive Loss and Severe Repetitive Loss properties. To the To the 
extent that other NFIP policyholders are subsidizing RL and SRL properties, reducing the extent that other NFIP policyholders are subsidizing RL and SRL properties, reducing the 
number of such properties, either through mitigation or other means, could reduce the cross-number of such properties, either through mitigation or other means, could reduce the cross-
subsidy paid by other NFIP policyholders and thus their premiums.subsidy paid by other NFIP policyholders and thus their premiums.
 
23.  
23.  
Prioritize sales of policies that are more likely to contribute to a net surplus. CBO CBO 
has suggested that FEMA could be directed to increase its marketing and publicity efforts, has suggested that FEMA could be directed to increase its marketing and publicity efforts, 
and to prioritize sales of particular types of policies; for example, commercial and and to prioritize sales of particular types of policies; for example, commercial and 
nonresidential properties that pay a higher HFIAA surcharge.155 CBO noted that the success nonresidential properties that pay a higher HFIAA surcharge.155 CBO noted that the success 
of such an approach would depend on FEMA’s ability to target the growth in policies.156of such an approach would depend on FEMA’s ability to target the growth in policies.156
 
24.  
24.  
Increase appropriations to the NFIP. The only direct annual appropriations for the  The only direct annual appropriations for the 
NFIP are for a portion of the costs of the mapping and risk analysis program. Congress could NFIP are for a portion of the costs of the mapping and risk analysis program. Congress could 
appropriate additional funding to the NFIP, which would reduce the amount that appropriate additional funding to the NFIP, which would reduce the amount that 
policyholders would have to pay to cover the costs of the program.157  policyholders would have to pay to cover the costs of the program.157  
Reduce NFIP Debt 
The NFIP was not designed to retain funding to cover claims for truly extreme events; instead, the The NFIP was not designed to retain funding to cover claims for truly extreme events; instead, the 
National Flood Insurance Act of 1968 allows the program to borrow money from the Treasury for National Flood Insurance Act of 1968 allows the program to borrow money from the Treasury for 
such events. For most of the NFIP’s history, the program has generally been able to cover its such events. For most of the NFIP’s history, the program has generally been able to cover its 
costs, borrowing relatively small amounts from the Treasury to pay claims and then repaying the costs, borrowing relatively small amounts from the Treasury to pay claims and then repaying the 
loans with interest. Currently, Congress has authorized FEMA to borrow no more than $30.425 loans with interest. Currently, Congress has authorized FEMA to borrow no more than $30.425                                                                                                   
152 American Academy of Actuaries Flood Insurance Work Group, 152 American Academy of Actuaries Flood Insurance Work Group, 
The National Flood Insurance Program: 
Challenges and Solutions, April 2017, p. 79, http://www.actuary.org/files/publications/FloodMonograph.04192017.pdf. , April 2017, p. 79, http://www.actuary.org/files/publications/FloodMonograph.04192017.pdf. 
153 The Infrastructure Investment and Jobs Act (IIJA), P.L. 117-58, in appropriated $3.5 billion for the Flood Mitigation 
153 The Infrastructure Investment and Jobs Act (IIJA), P.L. 117-58, in appropriated $3.5 billion for the Flood Mitigation 
Assistance (FMA) grant program, with $700 million for each of FY2022 to FY2026. NFIP policyholders contributed an Assistance (FMA) grant program, with $700 million for each of FY2022 to FY2026. NFIP policyholders contributed an 
additional $100 million towards the FMA program in FY2022. See Department of Homeland Security (DHS), additional $100 million towards the FMA program in FY2022. See Department of Homeland Security (DHS), 
Notice of 
Funding Opportunity (NOFO), Fiscal Year 2022 Flood Mitigation Assistance, August 5, 2022, p. 6, , August 5, 2022, p. 6, 
https://www.fema.gov/sites/default/files/documents/fema_fy22-fma-nofo_08052022_0.pdf.  https://www.fema.gov/sites/default/files/documents/fema_fy22-fma-nofo_08052022_0.pdf.  
154 
154 
CBO Affordability, p. 26. , p. 26. 
155 For information on the HFIAA surcharge, see the section in this report on 155 For information on the HFIAA surcharge, see the section in this report on 
“Fees and Surcharges.”  156 156 
CBO Affordability, p. 24. , p. 24. 
157 See the discussion of the Infrastructure Investment and Jobs Act, P.L. 117-58, in point 36 in the section of this 157 See the discussion of the Infrastructure Investment and Jobs Act, P.L. 117-58, in point 36 in the section of this 
report on report on 
“Options to Encourage Community-Level Flood Risk Reduction Measures.”  
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billion from the U.S. Treasury to operate the NFIP.158 The NFIP currently has $9.9 billion of 
billion from the U.S. Treasury to operate the NFIP.158 The NFIP currently has $9.9 billion of 
remaining borrowing authority.159 remaining borrowing authority.159 
The NFIP was forced to borrow heavily to pay claims in the aftermath of three catastrophic flood 
The NFIP was forced to borrow heavily to pay claims in the aftermath of three catastrophic flood 
seasons—the 2005 hurricane season (particularly Hurricanes Katrina, Rita, and Wilma), seasons—the 2005 hurricane season (particularly Hurricanes Katrina, Rita, and Wilma), 
Hurricane Sandy in 2012, and the 2017 hurricane season (Hurricanes Harvey, Irma, and Maria).160 Hurricane Sandy in 2012, and the 2017 hurricane season (Hurricanes Harvey, Irma, and Maria).160 
On October 26, 2017, Congress cancelled $16 billion of NFIP debt, making it possible for the On October 26, 2017, Congress cancelled $16 billion of NFIP debt, making it possible for the 
program to pay claims for Hurricanes Harvey, Irma, and Maria.161 This represents the first time program to pay claims for Hurricanes Harvey, Irma, and Maria.161 This represents the first time 
that NFIP debt has been cancelled. The NFIP has not borrowed from the Treasury since that NFIP debt has been cancelled. The NFIP has not borrowed from the Treasury since 
November 2017.  November 2017.  
Only current and future participants in the NFIP are responsible for repaying NFIP debt, as the 
Only current and future participants in the NFIP are responsible for repaying NFIP debt, as the 
insurance program itself owes the debt to the Treasury and pays for accruing interest on that debt insurance program itself owes the debt to the Treasury and pays for accruing interest on that debt 
through the premium revenues of policyholders. Under its current authorization, the only means through the premium revenues of policyholders. Under its current authorization, the only means 
the NFIP has to pay off the debt is through the accrual of premium revenues in excess of outgoing the NFIP has to pay off the debt is through the accrual of premium revenues in excess of outgoing 
claims, and from payments made out of the Reserve Fund.162 claims, and from payments made out of the Reserve Fund.162 
Reducing NFIP debt could lessen the need to raise premiums to pay interest and principal on 
Reducing NFIP debt could lessen the need to raise premiums to pay interest and principal on 
existing debt. For example, from FY2006 to FY2016 (i.e., since the NFIP borrowed funds existing debt. For example, from FY2006 to FY2016 (i.e., since the NFIP borrowed funds 
following Hurricane Katrina), the NFIP has paid $2.82 billion in principal repayments and $5.62 following Hurricane Katrina), the NFIP has paid $2.82 billion in principal repayments and $5.62 
billion in interest to service the debt through the premiums collected on insurance policies.163 billion in interest to service the debt through the premiums collected on insurance policies.163 
Currently the NFIP is paying over $400 million a year—over $1 million in interest per day—on Currently the NFIP is paying over $400 million a year—over $1 million in interest per day—on 
the debt accrued from past events.164 For example, the NFIP paid $438 million in interest in the debt accrued from past events.164 For example, the NFIP paid $438 million in interest in 
FY2020165 and $418 million in FY2019.166 CBO estimated that retiring the debt would require FY2020165 and $418 million in FY2019.166 CBO estimated that retiring the debt would require 
increasing annual payments from policyholders. For example, paying off the debt over 30 years at increasing annual payments from policyholders. For example, paying off the debt over 30 years at 
an interest rate of 2.5% would entail annual payments of roughly $1.2 billion for principal and an interest rate of 2.5% would entail annual payments of roughly $1.2 billion for principal and 
interest.167 interest.167 
In addition to charging policyholders enough to pay for their current risk of flood losses, FEMA 
In addition to charging policyholders enough to pay for their current risk of flood losses, FEMA 
has collected a reserve fund assessment since 2012, and an additional surcharge from all NFIP has collected a reserve fund assessment since 2012, and an additional surcharge from all NFIP 
policyholders since 2014 to help repay program debt. This creates a potential inequity because policyholders since 2014 to help repay program debt. This creates a potential inequity because 
policyholders are charged not only for the flood losses that they are expected to incur, but also for policyholders are charged not only for the flood losses that they are expected to incur, but also for 
losses incurred by past policyholders. Charging current policyholders for debt incurred in past losses incurred by past policyholders. Charging current policyholders for debt incurred in past 
years runs contrary to generally accepted actuarial principles and private insurers’ pricing years runs contrary to generally accepted actuarial principles and private insurers’ pricing 
                                                 
                                                 
158 P.L. 113-1. 158 P.L. 113-1. 
159 FEMA, 159 FEMA, 
Watermark, FY2022, Third Quarter, https://www.fema.gov/sites/default/files/documents/fema_fy22-q3-, https://www.fema.gov/sites/default/files/documents/fema_fy22-q3-
watermark.pdf. watermark.pdf. 
160 For details of NFIP borrowing, see CRS Insight IN10784, 
160 For details of NFIP borrowing, see CRS Insight IN10784, 
National Flood Insurance Program Borrowing Authority, , 
by Diane P. Horn.  by Diane P. Horn.  
161 P.L. 115-72, Title III, §308.  
161 P.L. 115-72, Title III, §308.  
162 42 U.S.C. §4017a. 162 42 U.S.C. §4017a. 
163 FEMA, 163 FEMA, 
Watermark, FY2022, Third Quarter, https://www.fema.gov/sites/default/files/documents/fema_fy22-q3-, https://www.fema.gov/sites/default/files/documents/fema_fy22-q3-
watermark.pdf. watermark.pdf. 
164 FEMA, 
164 FEMA, 
National Flood Insurance Program Debt Repayment Report as of September 30, 2019, September 15, 2020, , September 15, 2020, 
p. 10. Provided to CRS by FEMA Congressional Affairs Staff, January 4, 2020. p. 10. Provided to CRS by FEMA Congressional Affairs Staff, January 4, 2020. 
165 FEMA, 
165 FEMA, 
Watermark, FY2021, Third Quarter, https://www.fema.gov/sites/default/files/documents/fema_fima-, https://www.fema.gov/sites/default/files/documents/fema_fima-
watermark-FY2021-Q3.pdf. watermark-FY2021-Q3.pdf. 
166 FEMA, 
166 FEMA, 
National Flood Insurance Program Debt Repayment Report as of September 30, 2019, September 15, 2020, , September 15, 2020, 
p. 10. Provided to CRS by FEMA Congressional Affairs Staff, January 4, 2020. p. 10. Provided to CRS by FEMA Congressional Affairs Staff, January 4, 2020. 
167 
167 
CBO Affordability, p. 26. , p. 26. 
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practices.168 According to actuarial principles, a premium rate is based on the risk of future losses 
practices.168 According to actuarial principles, a premium rate is based on the risk of future losses 
and does not include past costs. For example, if in prior years a private insurance company’s and does not include past costs. For example, if in prior years a private insurance company’s 
claims payments had exceeded the premiums collected, it would not recall those payments from claims payments had exceeded the premiums collected, it would not recall those payments from 
current or future policyholders.169  current or future policyholders.169  
GAO has considered the option of eliminating FEMA’s debt to the Treasury, suggesting that if the 
GAO has considered the option of eliminating FEMA’s debt to the Treasury, suggesting that if the 
debt were eliminated, FEMA could reallocate funds used for debt repayment for other purposes debt were eliminated, FEMA could reallocate funds used for debt repayment for other purposes 
such as building a reserve fund and program operations, and arguing that this would also be more such as building a reserve fund and program operations, and arguing that this would also be more 
equitable for current policyholders and consistent with actuarial principles.170 CBO suggested that equitable for current policyholders and consistent with actuarial principles.170 CBO suggested that 
forgiving the NFIP’s debt would eliminate the need for large premium increases that would forgiving the NFIP’s debt would eliminate the need for large premium increases that would 
otherwise be required to repay the debt.171  otherwise be required to repay the debt.171  
An affordability report by the National Research Council (NRC) of the National Academy of 
An affordability report by the National Research Council (NRC) of the National Academy of 
Sciences considered the option of forgiving all or part of the NFIP debt within a larger Sciences considered the option of forgiving all or part of the NFIP debt within a larger 
affordability context, suggesting that after forgiving all or part of the NFIP debt, Congress could affordability context, suggesting that after forgiving all or part of the NFIP debt, Congress could 
designate the Treasury as reinsurer for the NFIP. It proposed that Congress could, for example, designate the Treasury as reinsurer for the NFIP. It proposed that Congress could, for example, 
explicitly state that when the total annual losses in the NFIP exceeded some designated threshold explicitly state that when the total annual losses in the NFIP exceeded some designated threshold 
(e.g., $2 billion to $6 billion, perhaps on the basis of the average of noncatastrophic historical (e.g., $2 billion to $6 billion, perhaps on the basis of the average of noncatastrophic historical 
claims years), the Treasury could provide funds for the NFIP to honor all claims. The funds could claims years), the Treasury could provide funds for the NFIP to honor all claims. The funds could 
be provided through the Disaster Relief Fund and, if needed, by an emergency supplemental be provided through the Disaster Relief Fund and, if needed, by an emergency supplemental 
appropriation. The NRC suggested that, taken together, those two actions could result in lower appropriation. The NRC suggested that, taken together, those two actions could result in lower 
NFIP premiums, enhance affordability, and in turn lead to less spending on disaster assistance. NFIP premiums, enhance affordability, and in turn lead to less spending on disaster assistance. 
This would incur occasional costs by designating the Treasury as the source of funds for payment This would incur occasional costs by designating the Treasury as the source of funds for payment 
of claims above the defined threshold in high-loss years but would not need to draw on the of claims above the defined threshold in high-loss years but would not need to draw on the 
Treasury each year to provide assistance to policyholders who face unaffordable premiums.172 Treasury each year to provide assistance to policyholders who face unaffordable premiums.172 
The Build Back Better Act, as passed by the House on November 19, 2021, would have cancelled 
The Build Back Better Act, as passed by the House on November 19, 2021, would have cancelled 
the full $20.525 billion debt owed by the NFIP to the Treasury and directed FEMA to spend an the full $20.525 billion debt owed by the NFIP to the Treasury and directed FEMA to spend an 
amount equal to the interest that the NFIP would have paid in servicing the cancelled debt for amount equal to the interest that the NFIP would have paid in servicing the cancelled debt for 
flood mapping in FY2022 and FY2023. FEMA’s legislative proposals for the NFIP also flood mapping in FY2022 and FY2023. FEMA’s legislative proposals for the NFIP also 
suggested cancelling the NFIP debt.173 suggested cancelling the NFIP debt.173 
Options to Reduce NFIP Debt 
25.  
25.  
Eliminate NFIP interest payments to Treasury. The NFIP is currently paying over  The NFIP is currently paying over 
$400 million a year in interest.174 If these interest payments were eliminated, this money $400 million a year in interest.174 If these interest payments were eliminated, this money 
could be made available to reduce NFIP premiums, fund additional mitigation measures, or could be made available to reduce NFIP premiums, fund additional mitigation measures, or 
fund other actions that could benefit NFIP policyholders.175  fund other actions that could benefit NFIP policyholders.175  
                                                 
                                                 
168 168 
GAO Solvency, p. 16. , p. 16. 
169 Ibid.  169 Ibid.  
170 Ibid. 170 Ibid. 
171 171 
CBO Affordability, p. 26. , p. 26. 
172 172 
NRC Affordability Report 1, pp. 110-111. , pp. 110-111. 
173 FEMA, Legislative Proposals for the National Flood Insurance Program, 173 FEMA, Legislative Proposals for the National Flood Insurance Program, 
https://www.fema.gov/sites/default/files/documents/fema_flood-insurance-reform-proposal_5242022.pdf. https://www.fema.gov/sites/default/files/documents/fema_flood-insurance-reform-proposal_5242022.pdf. 
174 For example, the NFIP paid $415 million in interest in FY2019 and $438 million in FY2020. See FEMA, 
174 For example, the NFIP paid $415 million in interest in FY2019 and $438 million in FY2020. See FEMA, 
Watermark, FY2021, Third Quarter, https://www.fema.gov/sites/default/files/documents/fema_fima-watermark-, https://www.fema.gov/sites/default/files/documents/fema_fima-watermark-
FY2021-Q3.pdf. FY2021-Q3.pdf. 
175 For example, S. 3128 and H.R. 5802 in the 117th Congress would prohibit the Treasury from charging interest to the 
175 For example, S. 3128 and H.R. 5802 in the 117th Congress would prohibit the Treasury from charging interest to the 
NFIP for the five-year period beginning on the date of enactment. NFIP for the five-year period beginning on the date of enactment. 
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26.  
26.  
Cancel all or part of NFIP debt. Eliminating the NFIP debt would require Congress to  Eliminating the NFIP debt would require Congress to 
cancel debt outright, to appropriate funds for FEMA to repay the debt, or to change the law to cancel debt outright, to appropriate funds for FEMA to repay the debt, or to change the law to 
eliminate the requirement that FEMA repay the accumulated debt.176 GAO has suggested that eliminate the requirement that FEMA repay the accumulated debt.176 GAO has suggested that 
if FEMA’s debt to the Treasury were eliminated, FEMA could reallocate funds used for debt if FEMA’s debt to the Treasury were eliminated, FEMA could reallocate funds used for debt 
repayment for other purposes such as building a reserve fund for catastrophic-loss years repayment for other purposes such as building a reserve fund for catastrophic-loss years 
and/or program operations, which would arguably be more equitable for current and/or program operations, which would arguably be more equitable for current 
policyholders.177 policyholders.177 
27.  
27.  
Change the way that losses from catastrophic storms are financed. If Congress were If Congress were 
to authorize supplements from the Treasury to be used for making NFIP claims payments in to authorize supplements from the Treasury to be used for making NFIP claims payments in 
catastrophic-loss years, this would reduce the cost to policyholders in paying these claims. catastrophic-loss years, this would reduce the cost to policyholders in paying these claims. 
For example, FEMA’s report to Congress on privatization of the NFIP concluded that it is For example, FEMA’s report to Congress on privatization of the NFIP concluded that it is 
difficult to imagine a practical system of flood insurance in which there is not some level of difficult to imagine a practical system of flood insurance in which there is not some level of 
government involvement in the flood risk financing chain. The report argued that when low-government involvement in the flood risk financing chain. The report argued that when low-
frequency, high-magnitude events occur, the government will ultimately play a role in paying frequency, high-magnitude events occur, the government will ultimately play a role in paying 
for the economic costs associated with a catastrophic flood, whether or not it chooses to for the economic costs associated with a catastrophic flood, whether or not it chooses to 
underwrite the risk.178 The NFIP currently has no financial structure in place, other than underwrite the risk.178 The NFIP currently has no financial structure in place, other than 
borrowing from the Treasury, to guarantee it can pay claims from a catastrophic-loss year. borrowing from the Treasury, to guarantee it can pay claims from a catastrophic-loss year. 
The American Academy of Actuaries has argued that neither private insurers nor the NFIP The American Academy of Actuaries has argued that neither private insurers nor the NFIP 
can fully absorb any level of catastrophic loss and continue to operate. It suggested that there can fully absorb any level of catastrophic loss and continue to operate. It suggested that there 
is a maximum amount of short-term loss that can be fully funded by NFIP revenue; Congress is a maximum amount of short-term loss that can be fully funded by NFIP revenue; Congress 
could set a threshold for the maximum amount of losses that the NFIP would be expected to could set a threshold for the maximum amount of losses that the NFIP would be expected to 
fund fully. Beyond that threshold, the federal government would assume responsibility for fund fully. Beyond that threshold, the federal government would assume responsibility for 
losses.179  losses.179  
28.  
28.  
Purchase additional reinsurance. The purchase of private market reinsurance180 reduces The purchase of private market reinsurance180 reduces 
the likelihood of FEMA needing to borrow from the Treasury to pay claims.181 In addition, as the likelihood of FEMA needing to borrow from the Treasury to pay claims.181 In addition, as 
GAO noted, reinsurance allows FEMA to price some of its flood risk up front through the GAO noted, reinsurance allows FEMA to price some of its flood risk up front through the 
premiums it pays to the reinsurers rather than borrowing from Treasury after a flood.182 From premiums it pays to the reinsurers rather than borrowing from Treasury after a flood.182 From 
a risk management perspective, using reinsurance to cover losses in only the more extreme a risk management perspective, using reinsurance to cover losses in only the more extreme 
years could help the federal government manage and reduce the volatility of its losses over years could help the federal government manage and reduce the volatility of its losses over 
time. Transfer of risk to the private sector through reinsurance, however, is unlikely to lower time. Transfer of risk to the private sector through reinsurance, however, is unlikely to lower 
the overall cost of the NFIP because reinsurers understandably charge premiums to the overall cost of the NFIP because reinsurers understandably charge premiums to 
                                                 
                                                 
176 42 U.S.C. §4016. 176 42 U.S.C. §4016. 
177 177 
GAO Solvency, p. 16. , p. 16. 
178 FEMA, 178 FEMA, 
National Flood Insurance Program Report to Congress on Reinsuring NFIP Insurance Risk and Options for 
Privatizing the NFIP, August 13, 2015, p. 56, http://www.floods.org/ace-files/documentlibrary/2012_NFIP_Reform/, August 13, 2015, p. 56, http://www.floods.org/ace-files/documentlibrary/2012_NFIP_Reform/
Reinsuring_NFIP_Insurance_Risk_and_Options_for_Privatizing_the_NFIP_Report.pdf. Reinsuring_NFIP_Insurance_Risk_and_Options_for_Privatizing_the_NFIP_Report.pdf. 
179 American Academy of Actuaries Flood Insurance Work Group, 
179 American Academy of Actuaries Flood Insurance Work Group, 
The National Flood Insurance Program: 
Challenges and Solutions, April 2017, pp. 28, 31, and 80, http://www.actuary.org/files/publications/, April 2017, pp. 28, 31, and 80, http://www.actuary.org/files/publications/
FloodMonograph.04192017.pdf. FloodMonograph.04192017.pdf. 
180 Reinsurance is defined as a transaction between a primary insurer and another licensed (re)insurer where the 
180 Reinsurance is defined as a transaction between a primary insurer and another licensed (re)insurer where the 
reinsurer agrees to cover all or part of the losses and/or loss adjustment expenses of the primary insurer. See National reinsurer agrees to cover all or part of the losses and/or loss adjustment expenses of the primary insurer. See National 
Association of Insurance Commissioners, Association of Insurance Commissioners, 
Glossary of Insurance Terms, http://www.naic.org/, http://www.naic.org/
consumer_glossary.htm#R. consumer_glossary.htm#R. 
181 FEMA began large-scale purchases of reinsurance in 2017. The specifics of each reinsurance purchase has varied, 
181 FEMA began large-scale purchases of reinsurance in 2017. The specifics of each reinsurance purchase has varied, 
but in general, the reinsurance has been designed to pay a certain percentage of the losses from a single, large-scale but in general, the reinsurance has been designed to pay a certain percentage of the losses from a single, large-scale 
event, with a higher percentage if losses are higher. See FEMA, event, with a higher percentage if losses are higher. See FEMA, 
National Flood Insurance Program’s Reinsurance 
Program, https://www.fema.gov/flood-insurance/work-with-nfip/reinsurance. , https://www.fema.gov/flood-insurance/work-with-nfip/reinsurance. 
182 
182 
GAO Solvency, p. 19. , p. 19. 
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compensate for the risk they assume. The primary benefit of reinsurance is to transfer and 
compensate for the risk they assume. The primary benefit of reinsurance is to transfer and 
manage risk rather than to reduce the NFIP’s long-term fiscal exposure,183 and the purchase manage risk rather than to reduce the NFIP’s long-term fiscal exposure,183 and the purchase 
of reinsurance would reduce future debt rather than make the program more affordable at of reinsurance would reduce future debt rather than make the program more affordable at 
present. present. 
Reduce Flood Damage Through Mitigation 
FEMA defines FEMA defines 
mitigation as any sustained action to reduce or eliminate long-term risk to both as any sustained action to reduce or eliminate long-term risk to both 
people and property from natural hazards and their effects.184 Flood mitigation creates safer people and property from natural hazards and their effects.184 Flood mitigation creates safer 
communities and can save money for individuals and taxpayers. The importance of FEMA’s communities and can save money for individuals and taxpayers. The importance of FEMA’s 
Hazard Mitigation Assistance (HMA) programs is illustrated by research findings that for every Hazard Mitigation Assistance (HMA) programs is illustrated by research findings that for every 
$1 invested by FEMA in flood mitigation between 1993 and 2003, society as a whole saved $7 $1 invested by FEMA in flood mitigation between 1993 and 2003, society as a whole saved $7 
due to reduced future flood losses.185 If mitigation actions lead to lower damages and lower due to reduced future flood losses.185 If mitigation actions lead to lower damages and lower 
expected claims, they could make NFIP policies less expensive for households that implement expected claims, they could make NFIP policies less expensive for households that implement 
them. An affordability program could be linked to mitigation loans or grants to reduce flood risk them. An affordability program could be linked to mitigation loans or grants to reduce flood risk 
over time.186 For example, homeowners could receive a loan or grant to make their property more over time.186 For example, homeowners could receive a loan or grant to make their property more 
resistant to flood damage, which could reduce flood risk and lower the cost of flood insurance resistant to flood damage, which could reduce flood risk and lower the cost of flood insurance 
premiums. premiums. 
GAO suggested that instead of premium assistance, it would be preferable to address affordability 
GAO suggested that instead of premium assistance, it would be preferable to address affordability 
by providing assistance for mitigation measures that would reduce flood risk and enhance by providing assistance for mitigation measures that would reduce flood risk and enhance 
resilience, and ultimately result in a lower premium rate.187 GAO has suggested on numerous resilience, and ultimately result in a lower premium rate.187 GAO has suggested on numerous 
occasions that increasing mitigation activities would help to reduce flood risk and financial occasions that increasing mitigation activities would help to reduce flood risk and financial 
exposure,188 including suggesting that FEMA could make mitigation activities mandatory, in exposure,188 including suggesting that FEMA could make mitigation activities mandatory, in 
conjunction with targeted financial assistance for policyholders.189 In addition, property-level conjunction with targeted financial assistance for policyholders.189 In addition, property-level 
mitigation measures can reduce NFIP policyholders’ premiums significantly. For example, FEMA mitigation measures can reduce NFIP policyholders’ premiums significantly. For example, FEMA 
estimates that elevating a property in the SFHA one foot above Base Flood Elevation (BFE) could estimates that elevating a property in the SFHA one foot above Base Flood Elevation (BFE) could 
result in a 30% reduction in annual premiums.190 The Association of State Floodplain Managers result in a 30% reduction in annual premiums.190 The Association of State Floodplain Managers 
calculated that elevating a property one foot above BFE could reduce annual flood insurance calculated that elevating a property one foot above BFE could reduce annual flood insurance 
premiums by over $1,000, while elevating a property two or three feet above BFE could reduce premiums by over $1,000, while elevating a property two or three feet above BFE could reduce 
premiums by over $1,400 and $1,500, respectively.191 Insurance provisions could also provide premiums by over $1,400 and $1,500, respectively.191 Insurance provisions could also provide 
incentives to limit flood damage by rewarding well-designed buildings with lower premiums, incentives to limit flood damage by rewarding well-designed buildings with lower premiums,                                                                                                   
183 Ibid. 183 Ibid. 
184 FEM, 184 FEM, 
Hazard Mitigation Assistance Guidance, Washington, DC, February 27, 2015, p. 1, https://www.fema.gov/, Washington, DC, February 27, 2015, p. 1, https://www.fema.gov/
sites/default/files/2020-07/fy15_HMA_Guidance.pdf. sites/default/files/2020-07/fy15_HMA_Guidance.pdf. 
185 National Institute of Building Sciences, 
185 National Institute of Building Sciences, 
Natural Hazard Mitigation Saves: 2019 Report, Washington, DC, 2019, p. , Washington, DC, 2019, p. 
37, https://www.nibs.org/files/pdfs/NIBS_MMC_MitigationSaves_2019.pdf. Note that the widely cited figure that $1 37, https://www.nibs.org/files/pdfs/NIBS_MMC_MitigationSaves_2019.pdf. Note that the widely cited figure that $1 
spent from federal grants saves $6 in future losses is an average across five hazards: riverine flood, hurricane surge, spent from federal grants saves $6 in future losses is an average across five hazards: riverine flood, hurricane surge, 
wind, earthquake, and wildland-urban interface fire. The study did not have enough data to calculate a benefit-cost ratio wind, earthquake, and wildland-urban interface fire. The study did not have enough data to calculate a benefit-cost ratio 
for federal grants for hurricane surge, but the benefit-cost ratio for federal grants for riverine flood is 7:1. for federal grants for hurricane surge, but the benefit-cost ratio for federal grants for riverine flood is 7:1. 
186 
186 
GAO Solvency, p. 43. , p. 43. 
187 Ibid. 187 Ibid. 
188 See, for example, 188 See, for example, 
GAO Solvency, p. 25. , p. 25. 
189 GAO, 189 GAO, 
Flood Insurance: More Information Needed on Subsidized Properties, GAO-13-607, July 3, 2013, p. 38, , GAO-13-607, July 3, 2013, p. 38, 
https://www.gao.gov/products/gao-13-607. https://www.gao.gov/products/gao-13-607. 
190 FEMA, 
190 FEMA, 
Help Clients Pay Less for Flood Insurance, https://agents.floodsmart.gov/retention/costs. , https://agents.floodsmart.gov/retention/costs. 
191 Association of State Floodplain Managers, 191 Association of State Floodplain Managers, 
The Costs & Benefits of Building Higher, June 30, 2017, p. 2, , June 30, 2017, p. 2, 
https://www.lfma.org/assets/docs/Benefits-and-Costs-of-Freeboard-flyer-6-30-17.pdf. Note that these estimates are for https://www.lfma.org/assets/docs/Benefits-and-Costs-of-Freeboard-flyer-6-30-17.pdf. Note that these estimates are for 
a single-family house, one floor, slab on grade foundation, with $200,000 of building coverage, $80,000 in contents a single-family house, one floor, slab on grade foundation, with $200,000 of building coverage, $80,000 in contents 
coverage, and $1,000 deductible, at 2017 prices. coverage, and $1,000 deductible, at 2017 prices. 
 
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lower deductibles, or higher coverage limits. These incentives could also be made available to 
lower deductibles, or higher coverage limits. These incentives could also be made available to 
existing properties that implement new flood mitigation measures. existing properties that implement new flood mitigation measures. 
The NFIP offers three programs that encourage individuals or communities to reduce flood risk: 
The NFIP offers three programs that encourage individuals or communities to reduce flood risk: 
Increased Cost of Compliance coverage, the Community Rating System, and the Flood Mitigation Increased Cost of Compliance coverage, the Community Rating System, and the Flood Mitigation 
Assistance (FMA) grant program. These programs are funded by premiums, fees, and surcharges Assistance (FMA) grant program. These programs are funded by premiums, fees, and surcharges 
paid by NFIP policyholders. Reducing flood risk should lead to fewer NFIP claims over time and paid by NFIP policyholders. Reducing flood risk should lead to fewer NFIP claims over time and 
less financial support from NFIP policyholders. In addition, protection against flooding is in itself less financial support from NFIP policyholders. In addition, protection against flooding is in itself 
a benefit for households. Owners of mitigated properties may realize savings in a number of a benefit for households. Owners of mitigated properties may realize savings in a number of 
ways. In particular, they may escape damage during floods and avoid costs of repair and ways. In particular, they may escape damage during floods and avoid costs of repair and 
rebuilding. rebuilding. 
Another way that the NFIP promotes mitigation is by requiring communities in the NFIP to adopt 
Another way that the NFIP promotes mitigation is by requiring communities in the NFIP to adopt 
minimum floodplain management standards. According to FEMA, the program saves the nation minimum floodplain management standards. According to FEMA, the program saves the nation 
an estimated $1.87 billion annually in flood losses avoided because of the NFIP’s building and an estimated $1.87 billion annually in flood losses avoided because of the NFIP’s building and 
floodplain management regulations.192 Internal FEMA studies have found that structures built to floodplain management regulations.192 Internal FEMA studies have found that structures built to 
FEMA standards experience 65% less flood damage than structures not built to those standards, FEMA standards experience 65% less flood damage than structures not built to those standards, 
saving the nation $2.4 billion in avoided flood losses each year and $100 billion over the past 40 saving the nation $2.4 billion in avoided flood losses each year and $100 billion over the past 40 
years.193 years.193 
Communities play a key role in mitigating flood risk through planning and building requirements. 
Communities play a key role in mitigating flood risk through planning and building requirements. 
FEMA does not regulate land use and does not have authority over local development. Rather, it FEMA does not regulate land use and does not have authority over local development. Rather, it 
requires participating communities to adopt the minimum NFIP requirements through zoning, requires participating communities to adopt the minimum NFIP requirements through zoning, 
floodplain ordinances, and/or building codes. FEMA has set forth these minimum standards in floodplain ordinances, and/or building codes. FEMA has set forth these minimum standards in 
federal regulations.194 Communities are required to adopt these minimum floodplain management federal regulations.194 Communities are required to adopt these minimum floodplain management 
standards in order to participate in the NFIP.195 NFIP minimum standards include, among many standards in order to participate in the NFIP.195 NFIP minimum standards include, among many 
other conditions, that communities (1) require permits for development in SFHAs; (2) require other conditions, that communities (1) require permits for development in SFHAs; (2) require 
elevation of the lowest floor of all new residential buildings in the SFHA to be at or above BFE; elevation of the lowest floor of all new residential buildings in the SFHA to be at or above BFE; 
(3) restrict development in the regulatory floodway to prevent increasing the risk of flooding; and (3) restrict development in the regulatory floodway to prevent increasing the risk of flooding; and 
(4) require certain construction materials and methods that minimize future flood damage.196 (4) require certain construction materials and methods that minimize future flood damage.196 
These requirements apply to new construction in the SFHA. These requirements apply to new construction in the SFHA. 
FEMA issued a request for public comment on revising the NFIP’s floodplain management 
FEMA issued a request for public comment on revising the NFIP’s floodplain management 
standards in October 2021, in response to a petition submitted by the Natural Resources Defense standards in October 2021, in response to a petition submitted by the Natural Resources Defense 
Council and the Association of State Floodplain Managers.197 FEMA has not updated the NFIP Council and the Association of State Floodplain Managers.197 FEMA has not updated the NFIP 
criteria for building and land use in flood-prone areas since they were implemented in 1976,198 criteria for building and land use in flood-prone areas since they were implemented in 1976,198 
                                                 
                                                 
192 192 
GAO Solvency, p. 5. , p. 5. 
193 Email from FEMA Congressional Affairs staff, January 25, 2021. 193 Email from FEMA Congressional Affairs staff, January 25, 2021. 
194 See 44 C.F.R. Part 60, particularly 44 C.F.R. §60.3. 194 See 44 C.F.R. Part 60, particularly 44 C.F.R. §60.3. 
195 42 U.S.C. §4022(a)(1). 195 42 U.S.C. §4022(a)(1). 
196 44 C.F.R. §60.3. 196 44 C.F.R. §60.3. 
197 Natural Resources Defense Council and the Association of State Floodplain Managers, Petition Requesting That the 197 Natural Resources Defense Council and the Association of State Floodplain Managers, Petition Requesting That the 
Federal Emergency Management Agency Amend Its Regulations Implementing the National Flood Insurance Program, Federal Emergency Management Agency Amend Its Regulations Implementing the National Flood Insurance Program, 
Washington, DC, January 5, 2021, https://www.nrdc.org/sites/default/files/petition-fema-rulemaking-nfip-Washington, DC, January 5, 2021, https://www.nrdc.org/sites/default/files/petition-fema-rulemaking-nfip-
20210105.pdf. 20210105.pdf. 
198 FEMA, “Request for Information on the National Flood Insurance Program’s Floodplain Management Standards for 
198 FEMA, “Request for Information on the National Flood Insurance Program’s Floodplain Management Standards for 
Land Management and Use, and an Assessment of the Program’s Impact on Threatened and Endangered Species and Land Management and Use, and an Assessment of the Program’s Impact on Threatened and Endangered Species and 
Their Habitats,” 86(194)Their Habitats,” 86(194)
 Federal Register 56713-56719, October 12, 2021.  56713-56719, October 12, 2021. 
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despite growing flood risk and the existence of more protective standards at the state and local 
despite growing flood risk and the existence of more protective standards at the state and local 
levels.199 levels.199 
Property-Level Mitigation 
The main source of funding for property-level mitigation measures is Increased Cost of 
The main source of funding for property-level mitigation measures is Increased Cost of 
Compliance (ICC) coverage, which is in effect a separate insurance policy to offset the expense Compliance (ICC) coverage, which is in effect a separate insurance policy to offset the expense 
of complying with more rigorous building code standards when local ordinances require them to of complying with more rigorous building code standards when local ordinances require them to 
do so. The NFIP requires most policyholders200 to purchase ICC coverage. ICC coverage is do so. The NFIP requires most policyholders200 to purchase ICC coverage. ICC coverage is 
authorized in law, and rates for the coverage, as well as how much can be paid out for claims, are authorized in law, and rates for the coverage, as well as how much can be paid out for claims, are 
set by FEMA.201 The ICC policy has a separate rate premium structure and provides an amount set by FEMA.201 The ICC policy has a separate rate premium structure and provides an amount 
up to $30,000 in payments for certain eligible expenses. For example, ICC claims payments may up to $30,000 in payments for certain eligible expenses. For example, ICC claims payments may 
be used toward the costs of elevating, demolishing, relocating, or flood-proofing nonresidential be used toward the costs of elevating, demolishing, relocating, or flood-proofing nonresidential 
buildings, or any combination of these actions. According to ICC data, elevation is the most buildings, or any combination of these actions. According to ICC data, elevation is the most 
common form of mitigation.202 Although the cost of elevating a structure depends on the type of common form of mitigation.202 Although the cost of elevating a structure depends on the type of 
building and elevation requirement, the average cost of elevating an existing property has been building and elevation requirement, the average cost of elevating an existing property has been 
estimated at $33,239 to $91,732,203 and suggestions have been made for years that the amount of estimated at $33,239 to $91,732,203 and suggestions have been made for years that the amount of 
ICC coverage should be raised.204 ICC coverage should be raised.204 
At the household level, there are currently few mitigation actions that lower premiums. The most 
At the household level, there are currently few mitigation actions that lower premiums. The most 
commonly used interventions are structural elevation and flood-proofing (under certain commonly used interventions are structural elevation and flood-proofing (under certain 
circumstances).205 However, even with the potential benefits of reduced future losses and circumstances).205 However, even with the potential benefits of reduced future losses and 
decreased premiums, mitigation activities often require large upfront costs. Such risk reduction decreased premiums, mitigation activities often require large upfront costs. Such risk reduction 
measures may be too expensive for many policyholders, and additional sources of funding may measures may be too expensive for many policyholders, and additional sources of funding may 
be needed, such as mitigation grants or loans. Such products could take the form of a stand-alone be needed, such as mitigation grants or loans. Such products could take the form of a stand-alone 
program or could be used in conjunction with other affordability approaches. The type of support program or could be used in conjunction with other affordability approaches. The type of support 
for property-level mitigation activities could also be mixed: for example, grants could be made for property-level mitigation activities could also be mixed: for example, grants could be made 
available for lower-income or cost-burdened households, and loans made available to households available for lower-income or cost-burdened households, and loans made available to households 
above this threshold. above this threshold. 
                                                 
                                                 
199 Natural Resources Defense Council and the Association of State Floodplain Managers, Petition Requesting That the 199 Natural Resources Defense Council and the Association of State Floodplain Managers, Petition Requesting That the 
Federal Emergency Management Agency Amend Its Regulations Implementing the National Flood Insurance Program, Federal Emergency Management Agency Amend Its Regulations Implementing the National Flood Insurance Program, 
Washington, DC, January 5, 2021, p. 48, https://www.nrdc.org/sites/default/files/petition-fema-rulemaking-nfip-Washington, DC, January 5, 2021, p. 48, https://www.nrdc.org/sites/default/files/petition-fema-rulemaking-nfip-
20210105.pdf. 20210105.pdf. 
200 For example, ICC coverage is not required on condominium units and content-only policies.  
200 For example, ICC coverage is not required on condominium units and content-only policies.  
201 42 U.S.C. §4011(b). 201 42 U.S.C. §4011(b). 
202 See, for example, FEMA, 202 See, for example, FEMA, 
NFIP: Use of Increased Cost of Compliance Coverage, FY2009 Report to Congress, , FY2009 Report to Congress, 
October 2009, p. 6. Report provided to CRS by FEMA Congressional Affairs Staff, and Natural Resources Defense October 2009, p. 6. Report provided to CRS by FEMA Congressional Affairs Staff, and Natural Resources Defense 
Council and the Association of State Floodplain Managers, Council and the Association of State Floodplain Managers, 
Petition Requesting That the Federal Emergency 
Management Agency Amend Its Regulations Implementing the National Flood Insurance Program, Washington, DC, , Washington, DC, 
January 5, 2021, p. 48, https://www.nrdc.org/sites/default/files/petition-fema-rulemaking-nfip-20210105.pdf. January 5, 2021, p. 48, https://www.nrdc.org/sites/default/files/petition-fema-rulemaking-nfip-20210105.pdf. 
203 Aerts, J.C.J.H., Botzen, W.J.W., Moel, H. de, et al., “Cost Estimates for Flood Resilience and Protection Strategies 
203 Aerts, J.C.J.H., Botzen, W.J.W., Moel, H. de, et al., “Cost Estimates for Flood Resilience and Protection Strategies 
in New York City,” in New York City,” 
Annals of the New York Academy of Sciences, vol. 1294, no. 1 (August 2013), pp. 22-26. , vol. 1294, no. 1 (August 2013), pp. 22-26. 
204 See, for example, FEMA, 204 See, for example, FEMA, 
NFIP: Use of Increased Cost of Compliance Coverage, FY2009 Report to Congress, , FY2009 Report to Congress, 
October 2009, p. 32.  October 2009, p. 32.  
205 See FEMA, 
205 See FEMA, 
Flood Insurance Manual, 3. How to Write, p. 3-41, revised October 1, 2022, , p. 3-41, revised October 1, 2022, 
https://www.fema.gov/sites/default/files/documents/fema_nfip-flood-insurance-full-manual_102022.pdf. https://www.fema.gov/sites/default/files/documents/fema_nfip-flood-insurance-full-manual_102022.pdf. 
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Risk Rating 2.0 currently provides credits for three mitigation actions: (1) installing flood 
Risk Rating 2.0 currently provides credits for three mitigation actions: (1) installing flood 
openings according to the criteria in 44 C.F.R. §60.3;206 (2) elevating onto posts, piles, and piers; openings according to the criteria in 44 C.F.R. §60.3;206 (2) elevating onto posts, piles, and piers; 
and (3) elevating machinery and equipment above the lowest floor.207 and (3) elevating machinery and equipment above the lowest floor.207 
Community-Level Mitigation and Floodplain Management Standards 
Some additional community-level mitigation measures could lead to lower NFIP premiums by 
Some additional community-level mitigation measures could lead to lower NFIP premiums by 
removing properties from the SFHA, reducing the flood risk to individual properties, or by removing properties from the SFHA, reducing the flood risk to individual properties, or by 
increasing a community’s score in the Community Rating System (CRS). increasing a community’s score in the Community Rating System (CRS). 
The CRS is a voluntary incentive-based program that rewards communities for adopting 
The CRS is a voluntary incentive-based program that rewards communities for adopting 
floodplain management practices to a higher standard than the NFIP minimum standards by floodplain management practices to a higher standard than the NFIP minimum standards by 
providing reduced-cost flood insurance premiums to policyholders in the community.208 FEMA providing reduced-cost flood insurance premiums to policyholders in the community.208 FEMA 
awards points that increase a community’s “class” rating in the CRS on a scale of 1 to 10, with 1 awards points that increase a community’s “class” rating in the CRS on a scale of 1 to 10, with 1 
being the highest ranking. Points are awarded for an array of improvements related to how the being the highest ranking. Points are awarded for an array of improvements related to how the 
community informs its public on flood risk, maps and regulates its floodplain, reduces possible community informs its public on flood risk, maps and regulates its floodplain, reduces possible 
flood damage, and provides immediate warnings and responds to flooding incidents.209 Starting at flood damage, and provides immediate warnings and responds to flooding incidents.209 Starting at 
Class 9, policyholders in the SFHA within a CRS community receive a 5% discount on their SFIP Class 9, policyholders in the SFHA within a CRS community receive a 5% discount on their SFIP 
premiums, with increasing discounts of 5% per class until reaching Class 1, at which those premiums, with increasing discounts of 5% per class until reaching Class 1, at which those 
policyholders can receive a 45% discount.  policyholders can receive a 45% discount.  
Options that improve a community’s CRS score will directly lower households’ premiums by 
Options that improve a community’s CRS score will directly lower households’ premiums by 
increasing the CRS discount on premiums. In addition, the CRS program provides an average increasing the CRS discount on premiums. In addition, the CRS program provides an average 
13.3% discount on SFIP premiums across the NFIP,210 which is cross-subsidized into the NFIP 13.3% discount on SFIP premiums across the NFIP,210 which is cross-subsidized into the NFIP 
program, such that the discount for one community ends up being offset by increased premium program, such that the discount for one community ends up being offset by increased premium 
rates in all communities across the NFIP. Therefore, the average 13.3% discount for CRS rates in all communities across the NFIP. Therefore, the average 13.3% discount for CRS 
communities is cross-subsidized and shared across NFIP communities through a cost (or load) communities is cross-subsidized and shared across NFIP communities through a cost (or load) 
increase of 15.3% to overall premiums.211 increase of 15.3% to overall premiums.211 
The Flood Mitigation Assistance (FMA) Program212 awards grants for a number of purposes, with 
The Flood Mitigation Assistance (FMA) Program212 awards grants for a number of purposes, with 
the goal of mitigating flood-damaged properties to reduce or eliminate future NFIP claims, the goal of mitigating flood-damaged properties to reduce or eliminate future NFIP claims, 
particularly from repetitive loss and severe repetitive loss properties. FMA funds mitigation particularly from repetitive loss and severe repetitive loss properties. FMA funds mitigation 
activities such as state and local mitigation planning; the elevation, relocation, demolition, or activities such as state and local mitigation planning; the elevation, relocation, demolition, or 
flood proofing of structures; the acquisition of properties; and other activities.213 FMA funding is flood proofing of structures; the acquisition of properties; and other activities.213 FMA funding is 
available only to communities that participate in the NFIP. FMA grants are not available to available only to communities that participate in the NFIP. FMA grants are not available to 
individuals, although communities may apply for funding that benefits individual NFIP individuals, although communities may apply for funding that benefits individual NFIP 
policyholders.  policyholders.  
                                                 
                                                 
206 44 C.F.R. Part 60, 206 44 C.F.R. Part 60, 
Criteria for Land Management and Use, https://www.govinfo.gov/content/pkg/CFR-2012-title44-, https://www.govinfo.gov/content/pkg/CFR-2012-title44-
vol1/pdf/CFR-2012-title44-vol1-sec60-3.pdf. vol1/pdf/CFR-2012-title44-vol1-sec60-3.pdf. 
207 See FEMA, 
207 See FEMA, 
Flood Insurance Manual: How to Write, pp. 3-26 to 3-29, revised October 1, 2022, , pp. 3-26 to 3-29, revised October 1, 2022, 
https://www.fema.gov/sites/default/files/documents/fema_nfip-flood-insurance-full-manual_102022.pdf. https://www.fema.gov/sites/default/files/documents/fema_nfip-flood-insurance-full-manual_102022.pdf. 
208 42 U.S.C. §4022(b)(1).  
208 42 U.S.C. §4022(b)(1).  
209 For a full listing of possible creditable activities in the Community Rating System, see FEMA, 209 For a full listing of possible creditable activities in the Community Rating System, see FEMA, 
NFIP Community 
Rating Coordinator’s Manual 2017, https://www.fema.gov/media-library-data/1493905477815-, https://www.fema.gov/media-library-data/1493905477815-
d794671adeed5beab6a6304d8ba0b207/633300_2017_CRS_Coordinators_Manual_508.pdf. d794671adeed5beab6a6304d8ba0b207/633300_2017_CRS_Coordinators_Manual_508.pdf. 
210 Email correspondence from FEMA Congressional Affairs staff, October 22, 2020. 
210 Email correspondence from FEMA Congressional Affairs staff, October 22, 2020. 
211 Ibid.  211 Ibid.  
212 42 U.S.C. §4104c. 212 42 U.S.C. §4104c. 
213 For additional information on the FMA Program, see 44 C.F.R. Part 78, and FEMA’s website at 213 For additional information on the FMA Program, see 44 C.F.R. Part 78, and FEMA’s website at 
https://www.fema.gov/grants/mitigation/floods. https://www.fema.gov/grants/mitigation/floods. 
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Providing increased federal funding for FMA could reduce flood risks and thus decrease the 
Providing increased federal funding for FMA could reduce flood risks and thus decrease the 
contributions to mitigation funding from NFIP policyholders. The annual amount available for contributions to mitigation funding from NFIP policyholders. The annual amount available for 
FMA from FY2015 through FY2020 has varied between $150 and $200 million.214 FMA from FY2015 through FY2020 has varied between $150 and $200 million.214 
The Infrastructure Investment and Jobs Act (IIJA)215 appropriated $3.5 billion for the FMA 
The Infrastructure Investment and Jobs Act (IIJA)215 appropriated $3.5 billion for the FMA 
program, with $700 million for each of FY2022 through FY2026. This represents a significant program, with $700 million for each of FY2022 through FY2026. This represents a significant 
increase in the amount of funding available for flood mitigation, and the first time that funding increase in the amount of funding available for flood mitigation, and the first time that funding 
has been appropriated for the FMA program.216  has been appropriated for the FMA program.216  
Other mitigation measures that reduce flood risk, particularly at the community level, may not 
Other mitigation measures that reduce flood risk, particularly at the community level, may not 
lead directly to a reduction in flood insurance premiums for residents of that community, but may lead directly to a reduction in flood insurance premiums for residents of that community, but may 
lead to reduced insurance claims, which would benefit NFIP finances as a whole.  lead to reduced insurance claims, which would benefit NFIP finances as a whole.  
Options to Encourage Property-Level Mitigation Activities 
29.  
29.  
Provide premium discounts for additional property-level mitigation activities.  Congress could require FEMA to identify additional property-level mitigation activities for Congress could require FEMA to identify additional property-level mitigation activities for 
which NFIP policyholders could receive a reduced premium. To do this, FEMA would need which NFIP policyholders could receive a reduced premium. To do this, FEMA would need 
to develop data and analyses that would link the measures’ expected reduction in insurance to develop data and analyses that would link the measures’ expected reduction in insurance 
losses to insurance premiums.217  losses to insurance premiums.217  
30.  
30.  
Provide grants or loans to allow homeowners and businesses to introduce property-
level mitigation activities. This could take the form of increasing funding available through  This could take the form of increasing funding available through 
the NFIP FMA program or FEMA’s other Hazard Mitigation Assistance programs,218 or by the NFIP FMA program or FEMA’s other Hazard Mitigation Assistance programs,218 or by 
introducing new grant or loan programs for individuals and businesses. Currently, individuals introducing new grant or loan programs for individuals and businesses. Currently, individuals 
and businesses cannot apply directly for mitigation funding. Mitigation grants or loans could and businesses cannot apply directly for mitigation funding. Mitigation grants or loans could 
be targeted to policyholders who meet defined criteria for affordability assistance, or targeted be targeted to policyholders who meet defined criteria for affordability assistance, or targeted 
to certain types of properties. For example, mitigation funds could be targeted to those for to certain types of properties. For example, mitigation funds could be targeted to those for 
whom the cost of NFIP premiums creates an affordability challenge, or for whom the cost of whom the cost of NFIP premiums creates an affordability challenge, or for whom the cost of 
carrying out mitigation measures could be prohibitive, or to households that have little access carrying out mitigation measures could be prohibitive, or to households that have little access 
to commercial credit.219 Financial incentives could also be offered to encourage households in to commercial credit.219 Financial incentives could also be offered to encourage households in 
flood-prone areas to relocate outside the SFHA.  flood-prone areas to relocate outside the SFHA.  
31.  
31.  
Provide grants or loans targeted at repetitive loss and severe repetitive loss 
properties. A relatively small number of NFIP properties that are repeatedly flooded . A relatively small number of NFIP properties that are repeatedly flooded 
contribute disproportionately to NFIP claims. Properties that have suffered multiple flood contribute disproportionately to NFIP claims. Properties that have suffered multiple flood 
losses, known as repetitive loss (RL), and severe repetitive loss (SRL) properties are at losses, known as repetitive loss (RL), and severe repetitive loss (SRL) properties are at 
greater risk than the average property insured by the NFIP. In the past 30 years, one out of greater risk than the average property insured by the NFIP. In the past 30 years, one out of 
every six dollars paid out in NFIP claims has gone to a building with a history of multiple every six dollars paid out in NFIP claims has gone to a building with a history of multiple 
floods; approximately $10.9 billion in claims have been paid on properties with two or more floods; approximately $10.9 billion in claims have been paid on properties with two or more 
losses, accounting for over 15% of FEMA’s total of $70.6 billion claims paid during the same losses, accounting for over 15% of FEMA’s total of $70.6 billion claims paid during the same 
                                                 
                                                 
214 See Table 5 in CRS Report R44593, 214 See Table 5 in CRS Report R44593, 
Introduction to the National Flood Insurance Program (NFIP), by Diane P. , by Diane P. 
Horn and Baird Webel. Horn and Baird Webel. 
215 P.L. 117-58.  
215 P.L. 117-58.  
216 NFIP policyholders contributed an additional $100 million towards the FMA program in FY2022. See Department 216 NFIP policyholders contributed an additional $100 million towards the FMA program in FY2022. See Department 
of Homeland Security (DHS), of Homeland Security (DHS), 
Notice of Funding Opportunity (NOFO), Fiscal Year 2022 Flood Mitigation Assistance, , 
August 5, 2022, p. 6, https://www.fema.gov/sites/default/files/documents/fema_fy22-fma-nofo_08052022_0.pdf. August 5, 2022, p. 6, https://www.fema.gov/sites/default/files/documents/fema_fy22-fma-nofo_08052022_0.pdf. 
217 NRC 
217 NRC 
Affordability Report 1, p. 108. , p. 108. 
218 See CRS Insight IN11187, 218 See CRS Insight IN11187, 
Federal Emergency Management Agency (FEMA) Hazard Mitigation Assistance, by , by 
Diane P. Horn. Diane P. Horn. 
219 
219 
NRC Affordability Report 1, p. 103. , p. 103. 
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period.220 For such properties, the benefits of reduced flood risk and lower premiums may 
period.220 For such properties, the benefits of reduced flood risk and lower premiums may 
exceed the costs of mitigation. Targeting mitigation grants and/or loans at RL and SRL exceed the costs of mitigation. Targeting mitigation grants and/or loans at RL and SRL 
properties could reduce both the premiums paid by these policyholders and the overall fiscal properties could reduce both the premiums paid by these policyholders and the overall fiscal 
risk to the NFIP.221  risk to the NFIP.221  
32.  
32.  
Offer tax deductions or tax credits for mitigation activities. The cost burden of flood The cost burden of flood 
mitigation investments could be lowered through tax deductions and tax credits. At various mitigation investments could be lowered through tax deductions and tax credits. At various 
times, Congress has passed legislation to provide tax relief to support recovery following times, Congress has passed legislation to provide tax relief to support recovery following 
disasters,222 and such policy tools could be used to encourage mitigation activities. Tax credits disasters,222 and such policy tools could be used to encourage mitigation activities. Tax credits 
generally provide greater financial assistance as they lower the actual amount of tax paid.223 generally provide greater financial assistance as they lower the actual amount of tax paid.223 
However, neither tax credits nor tax deductions may provide broad relief, and do not However, neither tax credits nor tax deductions may provide broad relief, and do not 
necessarily target those in need of financial assistance. Tax credits benefit only those owing necessarily target those in need of financial assistance. Tax credits benefit only those owing 
tax, unless the credit is refundable and a refund is given if the filer owes less tax than the tax, unless the credit is refundable and a refund is given if the filer owes less tax than the 
credit. A tax deduction benefits only those paying income tax, and the value of the deduction credit. A tax deduction benefits only those paying income tax, and the value of the deduction 
depends on the taxpayer’s marginal tax rate. In addition, policyholders could face cash flow depends on the taxpayer’s marginal tax rate. In addition, policyholders could face cash flow 
challenges because they would generally need to pay the full premium before they receive the challenges because they would generally need to pay the full premium before they receive the 
tax benefit.224 tax benefit.224 
33.  
33.  
Establish tax-deductible disaster savings accounts for mitigation activities. Pre-tax Pre-tax 
funds placed in disaster savings accounts could be used to cover hazard mitigation funds placed in disaster savings accounts could be used to cover hazard mitigation 
investments, or could cover disaster damages or flood insurance premiums. Funds could be investments, or could cover disaster damages or flood insurance premiums. Funds could be 
contributed pre-tax, and amounts withdrawn for designated uses would not be taxed.225 These contributed pre-tax, and amounts withdrawn for designated uses would not be taxed.225 These 
accounts could also be used to cover homeowner expenses below their insurance policy accounts could also be used to cover homeowner expenses below their insurance policy 
deductible. This might encourage homeowners to increase the deductible, which would deductible. This might encourage homeowners to increase the deductible, which would 
reduce the NFIP premium for that policy. As with tax deductions, the financial benefit to a reduce the NFIP premium for that policy. As with tax deductions, the financial benefit to a 
household would depend on their marginal tax rate. In addition, a disaster savings account household would depend on their marginal tax rate. In addition, a disaster savings account 
would not help those whose disposable income is not enough to allow them to put funds into would not help those whose disposable income is not enough to allow them to put funds into 
a savings account.226a savings account.226
 
Options to Encourage Community-Level Flood Risk Reduction Measures 
34.  
34.  
Improve a community’s Community Rating System score. A community could join A community could join 
the CRS or, if already participating in the CRS, carry out additional activities to improve its the CRS or, if already participating in the CRS, carry out additional activities to improve its 
CRS class rating, thereby increasing the discount that residents receive on their flood CRS class rating, thereby increasing the discount that residents receive on their flood 
insurance premiums. In particular, communities could focus on activities that receive a higher insurance premiums. In particular, communities could focus on activities that receive a higher 
number of points, such as adoption of higher regulatory standards, open space preservation, number of points, such as adoption of higher regulatory standards, open space preservation, 
flood protection, or acquisition and relocation of high-risk properties. For every step that a flood protection, or acquisition and relocation of high-risk properties. For every step that a 
community’s CRS rating increases, residents receive an additional 5% increase in their NFIP community’s CRS rating increases, residents receive an additional 5% increase in their NFIP 
premium discount. Congress could also provide greater incentives for communities to premium discount. Congress could also provide greater incentives for communities to 
                                                 
                                                 
220 FEMA, “Request for Information on the National Flood Insurance Program’s Floodplain Management Standards for 220 FEMA, “Request for Information on the National Flood Insurance Program’s Floodplain Management Standards for 
Land Management and Use, and an Assessment of the Program’s Impact on Threatened and Endangered Species and Land Management and Use, and an Assessment of the Program’s Impact on Threatened and Endangered Species and 
Their Habitats,” 86(194)Their Habitats,” 86(194)
 Federal Register 56713-56719, October 12, 2021.  56713-56719, October 12, 2021. 
221 GAO, 221 GAO, 
National Flood Insurance Program: Fiscal Exposure Persists Despite Property Acquisitions, GAO-20-509, , GAO-20-509, 
June 25, 2020, p. 34, https://www.gao.gov/assets/710/707821.pdf. June 25, 2020, p. 34, https://www.gao.gov/assets/710/707821.pdf. 
222 See CRS Report R45864, 
222 See CRS Report R45864, 
Tax Policy and Disaster Recovery, by Molly F. Sherlock and Jennifer Teefy.  , by Molly F. Sherlock and Jennifer Teefy.  
223 Ibid. 223 Ibid. 
224 224 
GAO Affordability Assistance, p. 2. , p. 2. 
225 225 
GAO Affordability Assistance, pp. 106-107. , pp. 106-107. 
226 226 
GAO Affordability Assistance, p. 107. , p. 107. 
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participate in the CRS, perhaps by increasing the discounts for CRS class ratings. Congress 
participate in the CRS, perhaps by increasing the discounts for CRS class ratings. Congress 
could provide funding for technical assistance or staffing to small communities to enable could provide funding for technical assistance or staffing to small communities to enable 
them to join and participate in the CRS. Congress could direct FEMA to increase the CRS them to join and participate in the CRS. Congress could direct FEMA to increase the CRS 
points for flood damage reduction activities that directly reduce flood risk. points for flood damage reduction activities that directly reduce flood risk. 
35.  
35.  
Encourage the use of green infrastructure and nature-based solutions to reduce 
flood risk. Nature-based solutions make use of natural processes and ecosystem services for . Nature-based solutions make use of natural processes and ecosystem services for 
functional purposes, such as living shorelines, where natural habitats such as oyster reefs, functional purposes, such as living shorelines, where natural habitats such as oyster reefs, 
mangroves, and salt marshes are used to hold the shoreline in place. FEMA recently elevated mangroves, and salt marshes are used to hold the shoreline in place. FEMA recently elevated 
the CRS credits for nature-based solutions.227 The number of points awarded for preserving the CRS credits for nature-based solutions.227 The number of points awarded for preserving 
open space is now among the highest given in the CRS. Credits are awarded according to the open space is now among the highest given in the CRS. Credits are awarded according to the 
percentage of open space in a community’s floodplain. The larger the percentage, the more percentage of open space in a community’s floodplain. The larger the percentage, the more 
credit is awarded.228 Nature-based solutions may also provide benefits beyond mitigating the credit is awarded.228 Nature-based solutions may also provide benefits beyond mitigating the 
effects of natural hazards, such as improved water and air quality, healthier natural habitats, effects of natural hazards, such as improved water and air quality, healthier natural habitats, 
and added recreational space. and added recreational space. 
36.  
36.  
Increase federal funding for flood mitigation. Congress could appropriate funding for  Congress could appropriate funding for 
NFIP flood mitigation, rather than requiring the FMA program to be funded entirely by NFIP NFIP flood mitigation, rather than requiring the FMA program to be funded entirely by NFIP 
policyholders.229 For example, the IIJA appropriated $3.5 billion for FMA, with $700 million policyholders.229 For example, the IIJA appropriated $3.5 billion for FMA, with $700 million 
for each of FY2022 through FY2026. Congress could also provide additional funding to other for each of FY2022 through FY2026. Congress could also provide additional funding to other 
hazard mitigation programs,230 which could potentially benefit NFIP communities.  hazard mitigation programs,230 which could potentially benefit NFIP communities.  
37.  
37.  
Increase the federal cost share of mitigation grants. Congress could increase the  Congress could increase the 
federal cost share on mitigation grants, and could target this assistance toward particular federal cost share on mitigation grants, and could target this assistance toward particular 
types of communities. The cost share for the FMA program is usually 75% federal, 25% types of communities. The cost share for the FMA program is usually 75% federal, 25% 
nonfederal. However, the cost share is 90% federal, 10% nonfederal for repetitive loss nonfederal. However, the cost share is 90% federal, 10% nonfederal for repetitive loss 
properties, and 100% federal for severe repetitive loss properties. Despite this, obtaining properties, and 100% federal for severe repetitive loss properties. Despite this, obtaining 
funding for the nonfederal cost share may be difficult for some communities, and Congress funding for the nonfederal cost share may be difficult for some communities, and Congress 
could increase the federal cost share to make it possible for such communities to carry out could increase the federal cost share to make it possible for such communities to carry out 
mitigation activities. For example, FEMA intends to reduce the FMA cost share for certain mitigation activities. For example, FEMA intends to reduce the FMA cost share for certain 
disadvantaged communities in FY2022, as part of the Justice40 Initiative,231 by using the disadvantaged communities in FY2022, as part of the Justice40 Initiative,231 by using the 
Centers for Disease Control and Prevention (CDC) Social Vulnerability Index (SVI)232 at the Centers for Disease Control and Prevention (CDC) Social Vulnerability Index (SVI)232 at the 
                                                 
                                                 
227 FEMA, 227 FEMA, 
Addendum to the 2017 CRS Coordinator’s Manual, January 2021, pp. A-6 to A-9, https://www.fema.gov/, January 2021, pp. A-6 to A-9, https://www.fema.gov/
sites/default/files/documents/fema_community-rating-system_coordinator-manual_addendum-2021.pdf. sites/default/files/documents/fema_community-rating-system_coordinator-manual_addendum-2021.pdf. 
228 FEMA, 
228 FEMA, 
Building Community Resilience with Nature-Based Solutions: A Guide for Local Communities, Washington, , Washington, 
DC, August 6, 2020, p. 18, https://www.fema.gov/sites/default/files/2020-08/fema_riskmap_nature-based-solutions-DC, August 6, 2020, p. 18, https://www.fema.gov/sites/default/files/2020-08/fema_riskmap_nature-based-solutions-
guide_2020.pdf. guide_2020.pdf. 
229 The Infrastructure Investment and Jobs Act (IIJA), P.L. 117-58, appropriates $3.5 billion for the NFIP Flood 
229 The Infrastructure Investment and Jobs Act (IIJA), P.L. 117-58, appropriates $3.5 billion for the NFIP Flood 
Mitigation Assistance Program, with $700 million for each of FY2022 through FY2026. This represents a significant Mitigation Assistance Program, with $700 million for each of FY2022 through FY2026. This represents a significant 
increase in the amount of funding available for flood mitigation, and the first time that funding has been appropriated increase in the amount of funding available for flood mitigation, and the first time that funding has been appropriated 
for the FMA program. NFIP policyholders contributed an additional $100 million towards the FMA program in for the FMA program. NFIP policyholders contributed an additional $100 million towards the FMA program in 
FY2022. See Department of Homeland Security (DHS), FY2022. See Department of Homeland Security (DHS), 
Notice of Funding Opportunity (NOFO), Fiscal Year 2022 
Flood Mitigation Assistance, August 5, 2022, p. 6, https://www.fema.gov/sites/default/files/documents/fema_fy22-fma-, August 5, 2022, p. 6, https://www.fema.gov/sites/default/files/documents/fema_fy22-fma-
nofo_08052022_0.pdf. nofo_08052022_0.pdf. 
230 For more information about FEMA Hazard Mitigation Assistance, see CRS Report R46989, 
230 For more information about FEMA Hazard Mitigation Assistance, see CRS Report R46989, 
FEMA Hazard 
Mitigation: A First Step Toward Climate Adaptation, by Diane P. Horn and CRS Insight IN11733, , by Diane P. Horn and CRS Insight IN11733, 
Recent Funding 
Increases for FEMA Hazard Mitigation Assistance, by Diane P. Horn. , by Diane P. Horn. 
231 Executive Office of the President, Office of Management and Budget, 
231 Executive Office of the President, Office of Management and Budget, 
Memorandum for the Heads of Departments 
and Agencies, M-21-28, Washington, DC, July 20, 2021, p. 12, https://www.whitehouse.gov/wp-content/uploads/2021/, M-21-28, Washington, DC, July 20, 2021, p. 12, https://www.whitehouse.gov/wp-content/uploads/2021/
07/M-21-28.pdf. 07/M-21-28.pdf. 
232 The Centers for Disease Control and Prevention/Agency for Toxic Substances and Disease Registry (CDC/ATSDR) 
232 The Centers for Disease Control and Prevention/Agency for Toxic Substances and Disease Registry (CDC/ATSDR) 
Social Vulnerability Index (SVI) uses United States Census Data to determine the social vulnerability of every census Social Vulnerability Index (SVI) uses United States Census Data to determine the social vulnerability of every census 
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census tract level at a threshold of 0.7501 or greater as a priority scoring criterion.233 In 
census tract level at a threshold of 0.7501 or greater as a priority scoring criterion.233 In 
addition, the funding appropriated to FMA under the IIJA will provide a 90% federal cost addition, the funding appropriated to FMA under the IIJA will provide a 90% federal cost 
share for a property that is (1) located in a census tract with a CDC SVI score of not less than share for a property that is (1) located in a census tract with a CDC SVI score of not less than 
0.5001, or (2) that serves as a primary residence for individuals with a household income of 0.5001, or (2) that serves as a primary residence for individuals with a household income of 
not more than 100% of the applicable area median income. not more than 100% of the applicable area median income. 
38.  
38.  
Require stronger building codes for new buildings and damaged buildings. Flood  Flood 
risks can also be reduced at the building level. A 2019 study found that, on average, society risks can also be reduced at the building level. A 2019 study found that, on average, society 
saves $5 for every dollar spent on mitigation measures that exceed building code saves $5 for every dollar spent on mitigation measures that exceed building code 
requirements for areas at risk of flooding from rivers, and $7 for areas at risk of hurricane requirements for areas at risk of flooding from rivers, and $7 for areas at risk of hurricane 
surge flooding.234 Although building codes are adopted and administered at a community surge flooding.234 Although building codes are adopted and administered at a community 
level, the federal government can create incentives for communities to adopt and enforce up-level, the federal government can create incentives for communities to adopt and enforce up-
to-date building codes and hazard-resistant design standards.235 For example, FEMA’s to-date building codes and hazard-resistant design standards.235 For example, FEMA’s 
Mitigation Framework Leadership Group suggested that federal programs could be directed Mitigation Framework Leadership Group suggested that federal programs could be directed 
to promote the adoption of building codes and other mitigation requirements though to promote the adoption of building codes and other mitigation requirements though 
incentives such as a higher federal cost share,236 discounts on insurance premiums, tax incentives such as a higher federal cost share,236 discounts on insurance premiums, tax 
credits, or access to additional grants or loans.237 FEMA could also provide funding credits, or access to additional grants or loans.237 FEMA could also provide funding 
specifically for retrofitting existing buildings.  specifically for retrofitting existing buildings.  
39.  
39.  
Increase minimum floodplain management standards for NFIP participation. When When 
communities join the NFIP, they must adopt and enforce FEMA’s minimum floodplain communities join the NFIP, they must adopt and enforce FEMA’s minimum floodplain 
management standards, including those that regulate where and how structures may be built management standards, including those that regulate where and how structures may be built 
within the floodplain. These standards are minimum requirements for NFIP participation; within the floodplain. These standards are minimum requirements for NFIP participation; 
states and communities can elect to adopt higher standards as a means of mitigating flood states and communities can elect to adopt higher standards as a means of mitigating flood 
risk.238 For example, FEMA minimum standards require that the elevation of the lowest floor risk.238 For example, FEMA minimum standards require that the elevation of the lowest floor 
                                                 
                                                 
tract, ranked on 15 social factors. SVI scores range from 0 to 1, with 1 representing the highest level of social tract, ranked on 15 social factors. SVI scores range from 0 to 1, with 1 representing the highest level of social 
vulnerability. For example, a SVI ranking of 0.75 means that 75% of census tracts in the nation are less vulnerable than vulnerability. For example, a SVI ranking of 0.75 means that 75% of census tracts in the nation are less vulnerable than 
the tract of interest. See the tract of interest. See 
CDC/ATSDR SVI Fact Sheet, https://www.atsdr.cdc.gov/placeandhealth/svi/fact_sheet/, https://www.atsdr.cdc.gov/placeandhealth/svi/fact_sheet/
fact_sheet.html, and fact_sheet.html, and 
CDC SVI 2018 Documentation, https://www.atsdr.cdc.gov/placeandhealth/svi/documentation/pdf/, https://www.atsdr.cdc.gov/placeandhealth/svi/documentation/pdf/
SVI2018Documentation-H.pdf. SVI2018Documentation-H.pdf. 
233 DHS,
233 DHS,
 Notice of Funding Opportunity (NOFO), Fiscal Year 2021 Flood Mitigation Assistance, p. 4,  p. 4, 
https://www.fema.gov/sites/default/files/documents/fema_nofo-fiscal-year-2021-flood-mitigation-assistance-grants.pdf. https://www.fema.gov/sites/default/files/documents/fema_nofo-fiscal-year-2021-flood-mitigation-assistance-grants.pdf. 
234 National Institute of Building Sciences, 
234 National Institute of Building Sciences, 
Natural Hazard Mitigation Saves: 2019 Report, Washington, DC, 2019, p. , Washington, DC, 2019, p. 
37, https://www.nibs.org/files/pdfs/NIBS_MMC_MitigationSaves_2019.pdf. 37, https://www.nibs.org/files/pdfs/NIBS_MMC_MitigationSaves_2019.pdf. 
235 For example, FEMA defines a hazard-resistant building code as a “building code with provisions that provide a 
235 For example, FEMA defines a hazard-resistant building code as a “building code with provisions that provide a 
minimum level of building protection against natural hazards,” and considers a community to be hazard resistant if it minimum level of building protection against natural hazards,” and considers a community to be hazard resistant if it 
adopts either of the two most recent editions of building codes without weakening provisions related to flood, hurricane adopts either of the two most recent editions of building codes without weakening provisions related to flood, hurricane 
wind, and seismic hazards. FEMA, wind, and seismic hazards. FEMA, 
Building Codes Saves: A Nationwide Study, November 2020, p. xi and p. 3-4, November 2020, p. xi and p. 3-4, 
https://www.fema.gov/sites/default/files/2020-11/fema_building-codes-save_study.pdf. https://www.fema.gov/sites/default/files/2020-11/fema_building-codes-save_study.pdf. 
236 See, for example, Section 20606 of the Bipartisan Budget Act of 2018 (P.L. 115-123) as it amends Stafford Act 
236 See, for example, Section 20606 of the Bipartisan Budget Act of 2018 (P.L. 115-123) as it amends Stafford Act 
Section 406(b) to authorize an increased federal share for Public Assistance to provide incentives to governments to Section 406(b) to authorize an increased federal share for Public Assistance to provide incentives to governments to 
“invest in measures that increase readiness for, and resilience from, a major disaster,” which may include “encouraging “invest in measures that increase readiness for, and resilience from, a major disaster,” which may include “encouraging 
the adoption and enforcement of the latest published editions of relevant consensus-based codes, specifications, and the adoption and enforcement of the latest published editions of relevant consensus-based codes, specifications, and 
standards.” standards.” 
237 Department of Homeland Security, Mitigation Framework Leadership Group, 237 Department of Homeland Security, Mitigation Framework Leadership Group, 
National Mitigation Investment 
Strategy, Washington, DC, August 2019, p. 16, https://www.fema.gov/sites/default/files/2020-10/fema_national-, Washington, DC, August 2019, p. 16, https://www.fema.gov/sites/default/files/2020-10/fema_national-
mitigation-investment-strategy.pdf. mitigation-investment-strategy.pdf. 
238 In October 2021, FEMA issued a request for information on the NFIP’s floodplain management standards. The 
238 In October 2021, FEMA issued a request for information on the NFIP’s floodplain management standards. The 
public comment period ended on January 27, 2022. See FEMA, “Request for Information on the NFIP’s Floodplain public comment period ended on January 27, 2022. See FEMA, “Request for Information on the NFIP’s Floodplain 
Management Standards for Land Management and Use, and an Assessment of the Program’s Impact on Threatened and Management Standards for Land Management and Use, and an Assessment of the Program’s Impact on Threatened and 
Endangered Species and Their Habitats; Public Meeting; Extension of Comment Period,” 86 (222)Endangered Species and Their Habitats; Public Meeting; Extension of Comment Period,” 86 (222)
 Federal Register  66329-66330, November 22, 2021. 66329-66330, November 22, 2021. 
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Options for Making the National Flood Insurance Program More Affordable 
 
of all new residential buildings in the SFHA to be at or above BFE.239 However, 
of all new residential buildings in the SFHA to be at or above BFE.239 However, 
approximately 38% of the U.S. population lives outside of areas with at least one foot of approximately 38% of the U.S. population lives outside of areas with at least one foot of 
freeboard.240 A community could require the elevation of the lowest floor to be above BFE, or freeboard.240 A community could require the elevation of the lowest floor to be above BFE, or 
to BFE plus a freeboard241 of a defined number of feet above BFE. FEMA has found that the to BFE plus a freeboard241 of a defined number of feet above BFE. FEMA has found that the 
average annual losses avoided for freeboard structures was approximately $484 million.242 average annual losses avoided for freeboard structures was approximately $484 million.242 
40.  
40.  
Require stricter controls on development in the floodplain. Communities play a key  Communities play a key 
role in mitigating flood risk through planning requirements, particularly planning controls role in mitigating flood risk through planning requirements, particularly planning controls 
that restrict or eliminate new development in hazardous locations and discourage rebuilding that restrict or eliminate new development in hazardous locations and discourage rebuilding 
in high-risk locations. The NFIP could require stricter standards related to floodplain in high-risk locations. The NFIP could require stricter standards related to floodplain 
development or provide greater incentives to limit development in the floodplain. For development or provide greater incentives to limit development in the floodplain. For 
example, local governments could offer incentives to encourage developers to locate projects example, local governments could offer incentives to encourage developers to locate projects 
outside of the SFHA and/or to adopt flood mitigation measures that exceed those required by outside of the SFHA and/or to adopt flood mitigation measures that exceed those required by 
law. Another option is the use of conditional land use restrictions, which might require a law. Another option is the use of conditional land use restrictions, which might require a 
landowner to restrict future use of the land by allowing limited rebuilding, by totally landowner to restrict future use of the land by allowing limited rebuilding, by totally 
prohibiting rebuilding or by allowing reconstruction with conditions (e.g., that they will prohibiting rebuilding or by allowing reconstruction with conditions (e.g., that they will 
remove structures when threatened by erosion or inundation). The NFIP could also require remove structures when threatened by erosion or inundation). The NFIP could also require 
communities to delineate floodplains based on potential future development and apply higher communities to delineate floodplains based on potential future development and apply higher 
standards for those areas.243 standards for those areas.243 
Concluding Comments 
FEMA does not currently have the authority to implement an affordability program, nor does the FEMA does not currently have the authority to implement an affordability program, nor does the 
NFIP’s current rate structure provide the funding required to support one. If an affordability NFIP’s current rate structure provide the funding required to support one. If an affordability 
program were to be funded from existing NFIP funds, it would require either raising flood program were to be funded from existing NFIP funds, it would require either raising flood 
insurance rates for NFIP policyholders or diverting resources from another existing use. If insurance rates for NFIP policyholders or diverting resources from another existing use. If 
Congress were to appropriate funding for an affordability program,244 either Congress or FEMA Congress were to appropriate funding for an affordability program,244 either Congress or FEMA 
would face decisions on how to structure this program. Choosing among affordability program would face decisions on how to structure this program. Choosing among affordability program 
options, alone or in combination, requires an evaluation of their effects not only on premiums for options, alone or in combination, requires an evaluation of their effects not only on premiums for 
households for which NFIP premiums create a cost burden, but also on NFIP net revenues, households for which NFIP premiums create a cost burden, but also on NFIP net revenues, 
expenditures from federal general revenues, and take-up rates.245 expenditures from federal general revenues, and take-up rates.245 
                                                 
                                                 
239 See 44 C.F.R. Part 60, particularly 44 C.F.R. §60.3. 239 See 44 C.F.R. Part 60, particularly 44 C.F.R. §60.3. 
240 National Institute of Building Sciences, 240 National Institute of Building Sciences, 
Natural Hazard Mitigation Saves: 2019 Report, Washington, DC, 2019, p.  Washington, DC, 2019, p. 
69, https://www.nibs.org/files/pdfs/NIBS_MMC_MitigationSaves_2019.pdf. 69, https://www.nibs.org/files/pdfs/NIBS_MMC_MitigationSaves_2019.pdf. 
241 FEMA defines freeboard as an additional amount of height above the Base Flood Elevation used as a factor of safety 
241 FEMA defines freeboard as an additional amount of height above the Base Flood Elevation used as a factor of safety 
in determining the level at which a structure’s lowest floor must be elevated or floodproofed to be in accordance with in determining the level at which a structure’s lowest floor must be elevated or floodproofed to be in accordance with 
the state or community floodplain management standards. See https://www.fema.gov/glossary/freeboard. the state or community floodplain management standards. See https://www.fema.gov/glossary/freeboard. 
242 FEMA, 
242 FEMA, 
Building Codes Saves: A Nationwide Study, November 2020, p. 4-17, https://www.fema.gov/sites/default/November 2020, p. 4-17, https://www.fema.gov/sites/default/
files/2020-11/fema_building-codes-save_study.pdf. files/2020-11/fema_building-codes-save_study.pdf. 
243 Natural Resources Defense Council and the Association of State Floodplain Managers, Petition Requesting That the 
243 Natural Resources Defense Council and the Association of State Floodplain Managers, Petition Requesting That the 
Federal Emergency Management Agency Amend Its Regulations Implementing the National Flood Insurance Program, Federal Emergency Management Agency Amend Its Regulations Implementing the National Flood Insurance Program, 
Washington, DC, January 5, 2021, pp. 46-47, https://www.nrdc.org/sites/default/files/petition-fema-rulemaking-nfip-Washington, DC, January 5, 2021, pp. 46-47, https://www.nrdc.org/sites/default/files/petition-fema-rulemaking-nfip-
20210105.pdf. 20210105.pdf. 
244 For example, the funding which would have been appropriated in the House-passed version of the Build Back Better 
244 For example, the funding which would have been appropriated in the House-passed version of the Build Back Better 
Act.  Act.  
245 Carolyn Kousky, Brett Lingle, Howard Kunreuther, et al., 
245 Carolyn Kousky, Brett Lingle, Howard Kunreuther, et al., 
Moving the Needle on Closing the Flood Insurance Gap, , 
Wharton Risk Management and Decision Processes Center, Issue Brief, Philadelphia, PA, February 13, 2019, p. 9, Wharton Risk Management and Decision Processes Center, Issue Brief, Philadelphia, PA, February 13, 2019, p. 9, 
https://riskcenter.wharton.upenn.edu/wp-content/uploads/2019/02/Moving-the-Needle-on-Closing-the-Flood-https://riskcenter.wharton.upenn.edu/wp-content/uploads/2019/02/Moving-the-Needle-on-Closing-the-Flood-
Insurance-Gap.pdf. Insurance-Gap.pdf. 
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Evaluation of policy options that would make NFIP premiums more affordable would require the 
Evaluation of policy options that would make NFIP premiums more affordable would require the 
ability to estimate the effect of each one on NFIP premium revenues and affordability. Some of ability to estimate the effect of each one on NFIP premium revenues and affordability. Some of 
the specific options discussed in this report may have conflicting or cascading impacts, so that the specific options discussed in this report may have conflicting or cascading impacts, so that 
movement toward one goal may make others harder to accomplish. For example, increased movement toward one goal may make others harder to accomplish. For example, increased 
consumer participation could increase the size and scope of the NFIP, but could potentially consumer participation could increase the size and scope of the NFIP, but could potentially 
increase federal fiscal exposure.246 Congress and other stakeholders may want answers to increase federal fiscal exposure.246 Congress and other stakeholders may want answers to 
questions with a specific focus on location where premiums would change, such as “What are the questions with a specific focus on location where premiums would change, such as “What are the 
effects in a particular congressional district for various groups of property owners?” or “Where effects in a particular congressional district for various groups of property owners?” or “Where 
are the effects concentrated?”247 are the effects concentrated?”247 
Flooding is already the costliest natural disaster annually in the United States, and more frequent 
Flooding is already the costliest natural disaster annually in the United States, and more frequent 
and intense flooding from climate change represents an increasing threat in the future.248 The risk and intense flooding from climate change represents an increasing threat in the future.248 The risk 
exposure of the NFIP will change over time, particularly due to the likelihood of increasing flood exposure of the NFIP will change over time, particularly due to the likelihood of increasing flood 
risk and continued development in flood-prone areas, with an increased number of properties risk and continued development in flood-prone areas, with an increased number of properties 
likely to be identified as being at risk of flooding.249 A 2013 report on the impact of climate likely to be identified as being at risk of flooding.249 A 2013 report on the impact of climate 
change and population growth on the NFIP concluded that nationally, considering fluvial and change and population growth on the NFIP concluded that nationally, considering fluvial and 
coastal floods together, the SFHA is projected to be 40%-45% larger by 2100, with approximately coastal floods together, the SFHA is projected to be 40%-45% larger by 2100, with approximately 
70% of this increase due to climate change.250  70% of this increase due to climate change.250  
The decision about who pays for affordability assistance entails choices on the part of 
The decision about who pays for affordability assistance entails choices on the part of 
policymakers. For example, one choice relates to the degree to which costs are borne by federal policymakers. For example, one choice relates to the degree to which costs are borne by federal 
taxpayers versus the NFIP policyholders who do not receive assistance but pay for assistance to taxpayers versus the NFIP policyholders who do not receive assistance but pay for assistance to 
others through a cross-subsidy. Another consideration is the degree to which affordability others through a cross-subsidy. Another consideration is the degree to which affordability 
program costs are borne nationally versus more locally (by states, tribal nations, or communities) program costs are borne nationally versus more locally (by states, tribal nations, or communities) 
or are shared by federal and local governments.251 A number of stakeholders have argued that an or are shared by federal and local governments.251 A number of stakeholders have argued that an 
effective affordability program should be funded not by premium discounts or surcharges on effective affordability program should be funded not by premium discounts or surcharges on 
other NFIP policyholders, but rather by a source external to the NFIP.252 For example, GAO other NFIP policyholders, but rather by a source external to the NFIP.252 For example, GAO 
argued that providing premium assistance through appropriations rather than discounted argued that providing premium assistance through appropriations rather than discounted 
premiums would address the policy goal of making the fiscal exposure more transparent because premiums would address the policy goal of making the fiscal exposure more transparent because 
any affordability discounts on premium rates would be explicitly recognized in the budget each any affordability discounts on premium rates would be explicitly recognized in the budget each 
                                                 
                                                 
246 246 
GAO Solvency, p. 33. , p. 33. 
247 National Research Council of the National Academies, 247 National Research Council of the National Academies, 
Affordability of National Flood Insurance Program 
Premiums: Report 2, 2016, p. 26, http://www.nap.edu/catalog/21848/affordability-of-national-flood-insurance-, 2016, p. 26, http://www.nap.edu/catalog/21848/affordability-of-national-flood-insurance-
program-premiums-report-2. program-premiums-report-2. 
248 U.S. Government Accountability Office, 
248 U.S. Government Accountability Office, 
FEMA Flood Maps: Better Planning and Analysis Needed to Address 
Current and Future Flood Hazards, GAO-22-104079, October 25, 2021, p. 41, https://www.gao.gov/assets/gao-22-, GAO-22-104079, October 25, 2021, p. 41, https://www.gao.gov/assets/gao-22-
104079.pdf. 104079.pdf. 
249 See, for example, Natural Resources Defense Council and the Association of State Floodplain Managers, Petition 
249 See, for example, Natural Resources Defense Council and the Association of State Floodplain Managers, Petition 
Requesting That the Federal Emergency Management Agency Amend Its Regulations Implementing the National Requesting That the Federal Emergency Management Agency Amend Its Regulations Implementing the National 
Flood Insurance Program, Washington, DC, January 5, 2021, pp. 5-11, https://www.nrdc.org/sites/default/files/petition-Flood Insurance Program, Washington, DC, January 5, 2021, pp. 5-11, https://www.nrdc.org/sites/default/files/petition-
fema-rulemaking-nfip-20210105.pdf. fema-rulemaking-nfip-20210105.pdf. 
250 AECOM, in association with Michael Baker Jr., Inc., and Deloitte Consulting, LLP, 
250 AECOM, in association with Michael Baker Jr., Inc., and Deloitte Consulting, LLP, 
The Impact of Climate Change 
and Population Growth on the National Flood Insurance Program Through 2100, Prepared for Federal Insurance and , Prepared for Federal Insurance and 
Mitigation Administration, FEMA, June 2013, pp. 5-12 and 5-13, https://aecom.com/content/wp-content/uploads/2016/Mitigation Administration, FEMA, June 2013, pp. 5-12 and 5-13, https://aecom.com/content/wp-content/uploads/2016/
06/Climate_Change_Report_AECOM_2013-06-11.pdf. 06/Climate_Change_Report_AECOM_2013-06-11.pdf. 
251 
251 
NRC Affordability Report 1, p. 94. , p. 94. 
252 See, for example, 252 See, for example, 
GAO Affordability Assistance, p. 22, and , p. 22, and 
GAO Solvency, p. 27. , p. 27. 
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year,253 and would make NFIP subsidy costs explicit by requiring Congress to appropriate funds 
year,253 and would make NFIP subsidy costs explicit by requiring Congress to appropriate funds 
for them.254  for them.254  
A central question in any reform of the NFIP is who should bear the costs of floodplain 
A central question in any reform of the NFIP is who should bear the costs of floodplain 
occupancy in the future. The 2015 National Research Council study on flood insurance occupancy in the future. The 2015 National Research Council study on flood insurance 
affordability concluded that the costs of floods can be borne in three possible ways, or in some affordability concluded that the costs of floods can be borne in three possible ways, or in some 
combination of them.  combination of them.  
  Individual policyholders (whether NFIP or private) bear floodplain location cost 
  Individual policyholders (whether NFIP or private) bear floodplain location cost 
in the form of insurance premiums paid and damages falling within policy 
in the form of insurance premiums paid and damages falling within policy 
deductible amounts.  deductible amounts.  
  Federal taxpayers bear floodplain location costs if the federal government (1) 
  Federal taxpayers bear floodplain location costs if the federal government (1) 
develops a premium assistance program; (2) makes up for NFIP premium 
develops a premium assistance program; (2) makes up for NFIP premium 
revenue shortfalls; (3) pays for pre-flood mitigation; or (4) makes post-flood revenue shortfalls; (3) pays for pre-flood mitigation; or (4) makes post-flood 
disaster assistance payments to individual households.  disaster assistance payments to individual households.  
  Property owners and other floodplain or coastal zone inhabitants bear the costs 
  Property owners and other floodplain or coastal zone inhabitants bear the costs 
for losses that are uninsured or otherwise uncompensated.255  
for losses that are uninsured or otherwise uncompensated.255  
Reform of the NFIP would reallocate costs across these groups; Congress would face decisions 
Reform of the NFIP would reallocate costs across these groups; Congress would face decisions 
on how that occurs. on how that occurs. 
 
 
                                                 
                                                 
253 253 
GAO Solvency, p. 27. , p. 27. 
254 254 
GAO Affordability Assistance, p. 39. , p. 39. 
255 National Research Council of the National Academies, 255 National Research Council of the National Academies, 
Affordability of National Flood Insurance Program 
Premiums: Report 2, 2016, p. 12, http://www.nap.edu/catalog/21848/affordability-of-national-flood-insurance-, 2016, p. 12, http://www.nap.edu/catalog/21848/affordability-of-national-flood-insurance-
program-premiums-report-2. program-premiums-report-2. 
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 link to page 38  link to page 38  link to page 38 
 link to page 38  link to page 38  link to page 38 
 
Table 1. Legislative Proposals Related to NFIP Affordability 
Increase 
Make NFIP 
Encourage Property-
Encourage 
Participation in 
Premiums More 
Level Flood 
Community-Level 
Increase NFIP 
Congress 
the NFIP 
Affordable 
Mitigation 
Flood Mitigation 
Income 
Reduce NFIP debtDebt 
117th Congress 
117th Congress 
S. 3128 §10
S. 3128 §10
8a 
H.R. 4497 §308 
H.R. 4497 §308 
S. 3218 §§202, 204, 306 
S. 3218 §§202, 204, 306 
H.R. 4497 §307 
H.R. 4497 §307 
S. 3128 §208, 303 
S. 3128 §208, 303 
H.R. 4497 §307 
H.R. 4497 §307 
 
 
 
 
S. 3128 §§102, 103, 
S. 3128 §§102, 103, 
 
 
S. 3128 §§201, 203, 
S. 3128 §§201, 203, 
 
 
S. 3128 §301 
S. 3128 §301 
104, 106, 107, 209 
104, 106, 107, 209 
204, 205, 206, 207, 210 
204, 205, 206, 207, 210 
 
 
 
 
H.R. 1449, §2 
H.R. 1449, §2 
 
 
P.L. 117-58.  
P.L. 117-58.  
 
 
H.R. 5376, §40104. 
H.R. 5376, §40104. 
116th Congress 
116th Congress 
H.R. 3167 §§305, 
H.R. 3167 §§305, 
H.R. 3167 §§102, 
H.R. 3167 §§102, 
H.R. 3167 §§301, 303 
H.R. 3167 §§301, 303 
S. 3167 §§105, 302, 
S. 3167 §§105, 302, 
H.R. 3167 §201 
H.R. 3167 §201 
H.R. 3167 §§301, 403 
H.R. 3167 §§301, 403 
401, 408 
401, 408 
103, 104, 106, 107, 
103, 104, 106, 107, 
306, 307, 308 
306, 307, 308 
209, 304, 402 
209, 304, 402 
 
 
S. 218
S. 218
7b §108 §108 
S. 2187 §§102, 
S. 2187 §§102, 
S. 2187 §§202, 204, 306 
S. 2187 §§202, 204, 306 
S. 2187 §§201, 203, 
S. 2187 §§201, 203, 
S. 2187 §§208, 303 
S. 2187 §§208, 303 
S. 2187 §301 
S. 2187 §301 
103,104,106,107, 209 
103,104,106,107, 209 
204, 205, 206, 207, 210 
204, 205, 206, 207, 210 
 
 
 
 
S. 2266 §3 
S. 2266 §3 
 
 
 
 
 
 
 
 
115th Congress 
115th Congress 
H.R. 2874 §§507, 513  H.R. 2874 §§102, 
H.R. 2874 §§507, 513  H.R. 2874 §§102, 
H.R. 2874 §§113, 403, 
H.R. 2874 §§113, 403, 
 
 
H.R. 2874 §504 
H.R. 2874 §504 
H.R. 2874 §§504, 505 
H.R. 2874 §§504, 505 
103, 111, 112, 202 
103, 111, 112, 202 
504 
504 
 
 
S. 1313 §102 
S. 1313 §102 
S. 1313 §§205, 206, 
S. 1313 §§205, 206, 
S. 1313 §§204, 206 
S. 1313 §§204, 206 
S. 1313 §201 
S. 1313 §201 
S. 1313 §§403, 404, 
S. 1313 §§403, 404, 
 
 
207, 208, 401 
207, 208, 401 
501 
501 
 
 
S. 136
S. 136
8c §410 §410 
S. 1368 §§102, 103, 
S. 1368 §§102, 103, 
S. 2168 §§201, 206 
S. 2168 §§201, 206 
S. 1368 §§202, 207, 
S. 1368 §§202, 207, 
S. 1368 §§204, 303 
S. 1368 §§204, 303 
S. 1368 §301 
S. 1368 §301 
204, 208 
204, 208 
422 
422 
 
 
S. 1571 §303 
S. 1571 §303 
 S. 1571 §301 
 S. 1571 §301 
S. 1571 §§103, 106 
S. 1571 §§103, 106 
S. 1571 §107 
S. 1571 §107 
S. 1571 §201 
S. 1571 §201 
 
 
114th Congress 
114th Congress 
H.R. 3297 §10 
H.R. 3297 §10 
 
 
 
 
 
 
 
 
 
 
113th Congress  
113th Congress  
 
 
H.R. 3013 §6 
H.R. 3013 §6 
H.R. 1268 §2 
H.R. 1268 §2 
 
 
 
 
 
 
 
 
 
 
H.R. 3294 §§3, 4 
H.R. 3294 §§3, 4 
H.R. 3298 §2 
H.R. 3298 §2 
 
 
 
 
 
 
Source: CRS analysis of legislation from https://www.congress.gov.  CRS analysis of legislation from https://www.congress.gov.  
Notes: H.R. 5376 as passed by the House on November 19, 2021. H.R. 5376 as passed by the House on November 19, 2021. 
a.  S. 3128 and companion bil  H.R. 5802 a.  S. 3128 and companion bil  H.R. 5802 
b.  S. 2187 and companion bil  H.R. 3872  b.  S. 2187 and companion bil  H.R. 3872  
c.  S. 1368 and companion bil  H.R. 3285  c.  S. 1368 and companion bil  H.R. 3285  
CRS-35 
CRS-35 
Options for Making the National Flood Insurance Program More Affordable 
 
 
 
 
 
Author Information 
 
 Diane P. Horn Diane P. Horn 
   
   
AnalystSpecialist in Flood Insurance and Emergency  in Flood Insurance and Emergency 
Management Management         
 
 
 
Disclaimer  
This document was prepared by the Congressional Research Service (CRS). CRS serves as nonpartisan 
This document was prepared by the Congressional Research Service (CRS). CRS serves as nonpartisan 
shared staff to congressional committees and Members of Congress. It operates solely at the behest of and shared staff to congressional committees and Members of Congress. It operates solely at the behest of and 
under the direction of Congress. Information in a CRS Report should not be relied upon for purposes other under the direction of Congress. Information in a CRS Report should not be relied upon for purposes other 
than public understanding of information that has been provided by CRS to Members of Congress in than public understanding of information that has been provided by CRS to Members of Congress in 
connection with CRS’s institutional role. CRS Reports, as a work of the United States Government, are not connection with CRS’s institutional role. CRS Reports, as a work of the United States Government, are not 
subject to copyright protection in the United States. Any CRS Report may be reproduced and distributed in subject to copyright protection in the United States. Any CRS Report may be reproduced and distributed in 
its entirety without permission from CRS. However, as a CRS Report may include copyrighted images or its entirety without permission from CRS. However, as a CRS Report may include copyrighted images or 
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