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REGULATIONS
Vol. 30 Iss. 10 - January 13, 2014TITLE 18. PROFESSIONAL AND OCCUPATIONAL LICENSINGVIRGINIA BOARD FOR ASBESTOS, LEAD, AND HOME INSPECTORSChapter 40Proposed RegulationTitle of Regulation: 18VAC15-40. Virginia Certified Home Inspectors Regulations (amending 18VAC15-40-90).
Statutory Authority: §§ 54.1-201 and 54.1-501 of the Code of Virginia.
Public Hearing Information:
February 27, 2014 - 11 a.m. - Department of Professional and Occupational Regulation, 9960 Mayland Drive, Suite 200, Richmond, Virginia 23233
Public Comment Deadline: March 14, 2014.
Agency Contact: Trisha L. Henshaw, Executive Director, Virginia Board for Asbestos, Lead, and Home Inspectors, 9960 Mayland Drive, Suite 400, Richmond, VA 23233, telephone (804) 367-8595, FAX (804) 350-5354, or email alhi@dpor.virginia.gov.
Basis: Section 54.1-201 of the Code of Virginia states that the board has the power and duty to promulgate regulations in accordance with the Administrative Process Act (§ 2.2-4000 et seq. of the Code of Virginia) necessary to assure continued competency, prevent deceptive or misleading practices by practitioners, and effectively administer the regulatory system administered by the board.
Section 54.1-501 states that the board shall promulgate regulations regarding the professional qualifications of home inspectors applicants, the requirements necessary for passing home inspectors examinations in whole or in part, the proper conduct of its examinations, the proper conduct of the home inspectors certified by the board, the implementation of exemptions from certifications requirements, and the proper discharge of its duties.
Purpose: In response to the Governor's Regulatory Reform Initiative, the Board for Asbestos, Lead, and Home Inspectors reviewed its current regulations to identify, amend, or repeal any regulations that are unnecessary or no longer in use and reduce unnecessary regulatory burdens on regulated groups.
Substance: Currently, home inspectors whose certificates have been expired for more than two years must apply as new applicants and retake the examination. The proposed amendment removes the requirement for these individuals to retake the examination.
Issues: The primary advantage to the public is that the cost for having to retake the examination will not be passed along to the home inspector's clients. There are no disadvantages to the public since these individuals have already met the examination requirement. This action poses no advantages or disadvantages to the Commonwealth. The primary advantage to those home inspectors who must reapply is the elimination of the expense of having to retake the examination.
Department of Planning and Budget's Economic Impact Analysis:
Summary of the Proposed Amendments to Regulation. The Board for Asbestos, Lead, and Home Inspectors (Board) proposes to remove the requirement that home inspectors whose certificates have been expired for more than two years retake a written competency examination when applying as a new applicant.
Result of Analysis. The benefits likely exceed the costs for all proposed changes.
Estimated Economic Impact. The Board believes that requiring the applicant who must reapply as a new applicant to retake the examination serves no purpose and places an unnecessary and costly burden upon the applicant. Since eliminating this requirement reduces costs for the affected home inspectors and does not produce any new costs, the proposal should produce a net benefit.
Businesses and Entities Affected. The proposed amendment potentially affects the 284 certified home inspectors in the Commonwealth.
Localities Particularly Affected. The proposed amendment does not disproportionately affect particular localities.
Projected Impact on Employment. The proposed amendment is unlikely to significantly affect employment.
Effects on the Use and Value of Private Property. The proposed amendment will reduce costs for home inspectors whose certificates have been expired for more than two years.
Small Businesses: Costs and Other Effects. The proposed amendments may moderately reduce costs for small home inspection firms that may consider employing a home inspector who is returning to the industry after having been away for more than two years.
Small Businesses: Alternative Method that Minimizes Adverse Impact. The proposed amendment does not adversely affect small businesses.
Real Estate Development Costs. The proposed amendment is unlikely to significantly affect real estate development costs.
Legal Mandate. The Department of Planning and Budget (DPB) has analyzed the economic impact of this proposed regulation in accordance with § 2.2-4007.04 of the Administrative Process Act and Executive Order Number 14 (10). Section 2.2-4007.04 requires that such economic impact analyses include, but need not be limited to, a determination of the public benefit, the projected number of businesses or other entities to whom the regulation would apply, the identity of any localities and types of businesses or other entities particularly affected, the projected number of persons and employment positions to be affected, the projected costs to affected businesses or entities to implement or comply with the regulation, and the impact on the use and value of private property. Further, if the proposed regulation has an adverse effect on small businesses, § 2.2-4007.04 requires that such economic impact analyses include (i) an identification and estimate of the number of small businesses subject to the regulation; (ii) the projected reporting, recordkeeping, and other administrative costs required for small businesses to comply with the regulation, including the type of professional skills necessary for preparing required reports and other documents; (iii) a statement of the probable effect of the regulation on affected small businesses; and (iv) a description of any less intrusive or less costly alternative methods of achieving the purpose of the regulation. The analysis presented above represents DPB's best estimate of these economic impacts.
Agency's Response to Economic Impact Analysis: The Virginia Board for Asbestos, Lead, and Home Inspectors concurs with the approval.
Summary:
The proposed amendments remove the requirement that home inspectors whose certificates have been expired for more than two years retake a written competency examination when applying as a new applicant.
18VAC15-40-90. Reinstatement.
A. If the requirements for renewal of a certificate, including receipt of the fee by the board, are not completed by the certificate holder within six months after the expiration date noted on the certificate, a reinstatement fee shall be required.
B. All applicants for reinstatement shall meet all requirements set forth in 18VAC15-40-30, 18VAC15-40-72 and 18VAC15-40-80.
C. A certificate may be reinstated for up to two years following the expiration date with payment of the reinstatement fee. After two years, the certificate shall not be reinstated under any circumstances and the applicant shall apply as a new applicant
, requiring the applicant to retake the examination.VA.R. Doc. No. R13-3643; Filed December 18, 2013, 4:18 p.m.