In many cases, debris removal is the most expensive part of the response and recovery effort, so it is important to get it right! Debris removal is considered Emergency Work within the FEMA Public Assistance Program – that which is performed to reduce or eliminate an immediate threat to life, protect public health and safety, and to protect improved property that is threatened in a significant way as a result of an emergency or disaster event.
Typically, Subrecipients are local governments and eligible private nonprofits (PNPs). Eligible nonprofits are those that provide critical and essential governmental-type services.
Debris Management Plans should address:
As a best practice, FEMA Public Assistance (PA) Subrecipients are highly encouraged to develop a Debris Management Plan. Plans significantly improve a Subrecipient’s ability to conduct debris management operations in a way that ensures debris-removal activities are tailored to meet specific needs and that are consistent with FEMA eligibility criteria.
A well-constructed Debris Management Plan ensures an Applicant maximizes the Federal funds it is eligible to receive and retains those funds through the reimbursement and audit process.
It is a subrecipient's responsibility to understand and follow all local, state, and federal regulations for debris removal, management, monitoring and operations.
FEMA provides a Debris Removal Applicant’s Contracting Checklist (Recovery Policy [RP] 9580.201) to assist Applicants in the procurement process in selecting a debris contractor. It is important to know that time and material costs are limited to work performed during the first 70 hours of actual work following a disaster. After 70 hours, contracts should be unit price or lump sum. Unit price is strongly advised.
Best practices in contracting suggest maintaining an independent relationship between debris contract monitor(s) and the debris removal contractor. You should also consider assigning someone from your staff to be your Debris Manager. Part of his/her role is to provide oversight to debris contractors –both contracted monitors and debris removal contractors.
The need for documentation cannot be stressed too strongly. Subrecipients must document all activities – for example labor, hours worked, kind of debris removed, quantity, location, etc. – whether by a contractor or FAL to ensure eligibility and reimbursements.
To learn more about debris management:
To learn more about Public Assistance Program (PA), please visit:
Debris Removal Applicant's Contracting Checklist
Louisiana Department of Environmental Quality (DEQ)
Louisiana Homeland Security and Emergency Assistance and Disaster Act (Louisiana Disaster Act)
PA Alternative Procedures Pilot Program Debris Management Plan Job Aid
Procurement Guide: Getting and KEEPING your FEMA grant dollars!
Robert T. Stafford Disaster Relief and Emergency Assistance Act (Stafford Act)
What you need to know about Debris Operations. NOW!
Governor's Office of Homeland Security & Emergency Preparedness
7667 Independence Blvd.
Baton Rouge, LA 70806
(225) 925-7500
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