As to the HUD SCRA notice, we believe that you should follow the federal notice requirements and provide the HUD notice as-is, even though it does not explain the Illinois law’s requirements (for example, the 29 consecutive days of service requirement and the protection of service members on state active duty). We are not aware of any notice requirements under the Illinois law that would conflict with HUD’s notice requirements.
Can we use the current HUD notice that references 30 days, even though it conflicts with the expanded coverage of the IL SCRA of 29 days?
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