To Whom This May Concern
The guidance concerning "source of Funds" has many flaws and it is hard to see how this guidance will work in real life. If you have a resident who barely qualifies under this new structure , how with they pay for other expenses such as utilities, food, insurance , possible car payments, etc.?
The document demands that one class of "funds" requires wholly separate treatment than other source of funds. This document is also incomplete and does not address other types of funds such as gift letters, etc. This guidance document seeks to define rent in a way other than what is listed in the VRLTA. This document promotes illegal discrimination by requiring that individuals be treated differently based on their source of funds.