Title VI of the Civil Rights Act of 1964, U.S. DOT’s Title VI regulations, and the EJ Executive Order are fully and meaningfully implemented by FTA fund recipients. The documentation requirements of FTA Title VI Circular ... A service equity analysis will be conducted whenever the Authority implements a major service change to the rail or bus system, as defined in the Service and Fare Equity Policy and Analysis. As per the Federal Transit Administration (FTA) requirements in Circular 4703.1 (Environmental Justice), Title VI equity analyses for the location of facilities must occur in the planning stage before a preferred site has been selected. Title VI Equity Analysis: 30 Day Pass Elimination Page 2 III. Title VI of the Civil Rights Act states that “no person in the United States, shall, on the grounds of race, color or national origin be excluded from WASHINGTON, D.C. — Congresswoman Eleanor Holmes Norton (D-DC) today sent a letter to Acting Administrator of the Federal Transit Administration (FTA) K. Jane Williams asking that any transit agency choosing not to conduct a Title VI of the Civil Rights Act of 1964 equity analysis publicly report that decision.The FTA is giving agencies under its jurisdiction the option during the … A major service change to the National Title VI Program Coordinator Federal Highway Administration Office of Civil Rights Kevin.resler@dot.gov 5 Learning Objectives 1. Understand specific State and Local Requirements. 2. Understand legal theories of discrimination and complaint procedures. 3. Discuss nondiscrimination in practice. 6 Title VI Basics What is the law? E.g. This report provides an evaluation of these proposed changes based on FTA’s Title VI Requirements and Guidelines for Federal Transit Administration Recipients (FTA FTA C 4702.1B), section IV-6, Federal Transit Administration (FTA) offices of Civil Rights: ADOT: ATTN ADA/Title VI Program Coordinator 206 S. 17TH Ave MD 155A RM: 183 Phoenix AZ, 85007 FTA: Attention Title VI Program Coordinator, East Building, 5th Floor-TCR 1200 New Jersey Ave., SE Washington DC 20590 (12) A copy of these procedures can be found online at: www.uchcaz.org. Title VI Complaint Form – This form can be used by the public to file a Title VI complaint. Sites will be evaluated and ranked as part of the site selection analysis. Which transit providers must conduct fare equity analyses. Title VI Compliance In the fall of 2016, TriMet updated its Title VI Program, which received concurrence by the Federal Transit Administration (FTA) in The program outlines agency policies, definitions and 2017. procedures for complying with Title VI and performing equity ana lyses. Pierce Transit staff used Remix (www.remix.com) to undertake the Title VI analysis for this project. 1 INTRODUCTION . IV-19 of the Circular requires that a data analysis include the following steps: v. Determine the number and percent of users of each fare media being changed; vi. recipients. FTA Circular 4702.1B specifically requires “transit providers that have implemented or will implement a New Start, Small Start, or other new fixed guideway capital project shall conduct a service and fare equity analysis. A Title VI Equity Analysis completed for a major service change must be presented to the Board of Directors for their consideration and then forwarded to the FTA with a record of the action taken by the Board.” 1 As such, the spirit and intent of Title VI of the Civil Rights Act are incorporated into the guiding principles and missions of federal, state, and local public agencies. Title VI of the Civil Rights Act of 1964. Title VI Basics: Other Notes • Title VI doesn’t apply to employment, unless Federal assistance is specifically for employment. Provide a step-by step example (s) of how to do a fare equity analysis. (FTA) Title VI Circular 4702.1B, Connecticut Department of Transportation (CTDOT) conducts a Service and Fare Equity (SAFE) Analysis any time fare changes or major service changes are proposed to ensure that changes do not unfairly impact minority and low-income populations, as defined by the FTA Title VI … Review fares before the change and after the change; vii. This report provides an evaluation of this proposed fare change based on FTA’s Title VI 2 FTA Guidelines for Title VI Service Equity Analyses The FTA requires service equity analyses to be performed for a proposed service change that meets or exceeds the criterion outlined in the transit provider’s major service change policy. While the public is not required to use this form to file a Title VI complaint, it is encouraged. Title VI Fare Equity Analysis Ridership Data 4702.1B. Another Title VI requirement is conducting a Fare Equity Analysis, which applies to all fare changes whether it is an increase or decrease in fare or fare medium or structure change. Title VI – Ensuring Compliance in Practice • Civil Rights practitioners must be conversant in project development (planning, NEPA, etc.) and data analysis. • Checklists and forms are useful to roll up information but must work in conjunction with in-depth reviews. Title VI Fare Change Equity Analysis ‐January 2016 Introduction RIPTA has proposed a fare change for public comment and consideration by the RIPTA Board of Directors. FTA Title VI Disparate Analysis. These proposals include: o Requiring a public “scoping” of the issues and impacts to be analyzed, at the outset of an equity analysis; Transit agencies implementing a major service change are required by FTA to perform a disparate analysis to determine if the service change creates a disproportionate impact to disadvantaged groups including minority and low income populations. Pierce Transit Title VI Fare Equity Analysis Page 1 New All Day Pass and Elimination of Paper Transfers . This analysis of the proposed SamTrans Service Plan (SSP) was prepared in conformity with Chapter IV of the FTA’s Circular 4702.1B, issued October 1, 2012. Federal Transit Administration (FTA) funds includes incorporating Environmental Justice (EJ) principles into plans, projects, and activities. A Title VI Equity Analysis will be completed for all Major Service Changes and will be presented to the Board for its consideration and included in the subsequent TriMet Title VI Program with a record of action taken by the Board. Title VI Equity Analysis will be completed. As required by Federal Transit Administration (FTA) Circular 4702.1B §4, Chap.4-10, Ben Franklin Transit (BFT) must prepare a Title VI service equity analyses, where applicable, of all major service and fare changes using current FTA guidance. Title VI equity analysis if the recipient has Title VI … Introduction. FTA’s October 4, 2006 Record of Decision The Federal Transit Administration (FTA) requires recipients of federal funding, including Metro Transit, to conduct a Title VI Service Equity Analysis for any proposed service change that meets the agency’s major service change threshold. Summary of Analysis The analysis includes twelve (12) tests to determine whether there was a disparate impact to minority and low income populations. Fare Equity Analysis In compliance with Title VI of the Civil Rights Act of 1964 and the Federal Transit Administration Circular 4702.1B, Chapter V November 2014 Capital District Transportation Authority 110 Watervliet Avenue Albany, NY 12206 . Sites have been evaluated and ranked as part of the MOA Feasibility Study process and the Skagit Transit Board of Directors has been notified of top sites This documentation will be submitted to FTA and kept on file at BFT. Title VI objectives set forth in Circular 4702.1B ensuring that FTA‐assisted benefits and related services are made available and are equitably distributed without regard to race, color, or national origin. “No person in the United States shall, on the grounds of race, color, or national origin, be excluded from participation in, be denied the benefits of, or be subjected to discrimination under any program or activity receiving Federal Financial assistance.”. • Crossutting laws and protected categories beyond race, -c color, national origin are part of the FHWA nondiscrimination program under 23 C.F.R. FTA Title VI Circular 4702.1B issued October 1, 2012. Rail Law Alert: FTA – Title VI Equity Analyses Not Required for Temporary Service Changes and Extension of Deadline for Public Transportation Agency Safety Plans.