Division of Grants Compliance and Oversight Office of Policy for Extramural Research Administration, OER National Institutes of Health, DHHS
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1 Division of Grants Compliance and Oversight Office of Policy for Extramural Research Administration, OER National Institutes of Health, DHHS NIH Regional Seminar Chicago, IL October 2016 Diane Dean, Director Kathy Hancock, Assistant Grants Compliance Officer Joel Snyderman, Assistant Grants Compliance Officer Samantha Tempchin, Assistant Grants Compliance Officer
2 Cost Principles Administrative Standards Audit Requirements Grant Award Basics Award Restrictions Responsibilities Accounting Basics Monitoring Basics Subrecipient Monitoring Other Cost Considerations NIH Financial Reporting Basics Closeout 2
3 3
4 45 CFR Part 75 Public Welfare, Uniform Administrative Requirements, Cost Principles and Audit Requirements for HHS Awards o Effective for all HHS awards made on or after December 26, 2014 o 4
5 Cost Principles: 45 CFR Part 75, Subpart E ( ) o Institutions of Higher Education (IHE), State, Local Governments and Indian Tribes, and Non-profit Organizations 45 CFR Part 75, Appendix IX o Hospitals 48 CFR Subpart 31.2 (Federal Acquisition Regulation): o For-profit (commercial) Organizations 5
6 Establishes principles for determining costs applicable to grants, contracts, and other agreements Direct costs F&A/indirect costs Selected items of cost o Allowable/unallowable costs o Compensation for personal services 6
7 45 CFR Part 75, Subpart C Preaward Federal Award Requirements and Contents of Federal Awards ( ) 45 CFR Part 75, Subpart D Post Federal Award Requirements ( ) 7
8 Prescribes: Preaward requirements Postaward requirements Also includes requirements for: o o o o o o Payment Matching or Cost sharing Accounting for program income Revision of budget and program plans Non-Federal audits Allowable costs Financial management systems standards Property standards Procurement standards Reports and records 8
9 45 CFR : Institutions of Higher Education, States and Local Governments, and Non-Profit Organizations, including Non-Profit Hospitals 45 CFR (h) through (k): For-Profits Organizations, including For-Profit Hospitals NIH Grants Policy Statement: Foreign Organizations must follow the same requirements as For-Profit Organizations 9
10 All NIH grant recipients that expend $750,000 or more within a year in Federal awards are subject to an audit requirement. o o Applicable to Non-Federal Entity Fiscal Years Beginning on or after 12/26/2014 For-profit and Foreign Organizations audit requirement: Expend $750,000 under one or more HHS award (as a direct recipient and/or consortium participant) Audits are due within the earlier of 30 days after receipt of the auditor s report(s) or 9 months after the end of the recipient s audit period. Recipients delinquent in submitting audits risk the imposition of sanctions and potential loss of Federal funds. 10
11 Summary of Audit Requirements Recipient Type Source of Audit Requirement (Non-. Federal Entity Fiscal Years Beginning Prior to 12/26/2014) Source of Audit Requirement (Non- Federal Entity Fiscal Years Beginning On/After 12/26/2014) Where to Submit Audit Reports State & Local Governments OMB Circular A CFR Federal Audit Clearinghouse (See contact information in NIH GPS Part III) Institutions of Higher Education OMB Circular A CFR Federal Audit Clearinghouse (See contact information in NIH GPS Part III) Non-Profits, including non-profit hospitals OMB Circular A CFR Federal Audit Clearinghouse (See contact information in NIH GPS Part III) For-Profits, including for-profit hospitals 45 CFR 74.26(d) 45 CFR (h) through (k) and 45 CFR National External Audit Review Center (See contact information in NIH GPS Part III) Foreign Organizations NIH Grants Policy Statement (same as For-Profits) NIH Grants Policy Statement (same as For- Profits) National External Audit Review Center (same as For-Profits, see contact 11 information in NIH GPS Part III)
12 Summary of Federal Requirement References Recipient Type Administrative Requirements Cost Principles Audit Requirements State & Local Governments and Indian Tribes Institutions of Higher Education Non-Profits 45 CFR Part 75, Subpart C Pre- Federal Award Requirements and Contents of Federal Awards CFR Part 75, Subpart E See also and CFR Part 75, Subpart E See also and CFR Part 75, Subpart E 45 CFR Part 75, Subpart F at Also applicable to nonprofit Hospitals AND Hospitals 45 CFR Part 75, Appendix IX 45 CFR Part 75, Subpart F For-Profits (commercial) 45 CFR Part 75, Subpart D Post Federal Award Requirements FAR 31.2 (48 CFR Subpart 31.2) at (h)-(k) and Also applicable to forprofit Hospitals Foreign Organizations Same as above depending on Per NIH GPS use
13 13
14 Terms and Conditions Section III o 45 CFR Part 75 HHS rules and requirements that govern the administration of grants o NIH Grants Policy Statement (GPS) policy requirements that serve as the terms and conditions of NIH awards Special Terms and Conditions Section IV 14
15 Only applied to a particular grant for cause Shown on the Notice of Award (NoA) after Section III Institute and/or Center specific terms of award Funds usually are not restricted in the Payment Management System Restricted funds must be tracked by recipient to ensure compliance o EXAMPLE of Award Restriction: Funds may not be used to purchase equipment without the written prior approval of the NIH awarding component. 15
16 A. The Principal Investigator B. The Departmental Administrator C. The Department Chair D. The Institution 16
17 17
18 Administrative Standards in 45 CFR 75 requires: o Separate account is established for each project o Program Income is identified and accounted for by project o Program Income is used in accordance with the appropriate alternative, i.e., Additive Deductive Combination Matching 18
19 Requires that: o Expenses are charged in accordance with: NoA Terms and Conditions NIH Grants Policy Statement Including addenda in effect as of the beginning date of the budget period Salary Cap / Rate Limitation Cost Accounting Standards Federal regulations o All expenses are appropriately documented 19
20 20
21 Institutions should ensure: o Actual expenses are periodically compared with budget o Actual expenses are accurate, i.e., reasonable, allocable, allowable and consistently charged o Mischarges are corrected in a timely manner (cost transfers) o Prior approvals are obtained when required o Subrecipient expenses are monitored (Recipient s responsibility to monitor expenses) 21
22 Actual expenses should be compared to the budget to ensure: o Total funds on the grant have not been exceeded o Total funds are used appropriately o Total funds for any cost category have not been exceeded if restricted on the NoA 22
23 Actual expenses should be reviewed to ensure costs are accurate and allowable o Reasonable (including necessary) o Allocable o Consistently applied o Conforms to any limitations or exclusions 23
24 A cost may be considered reasonable if the nature of the goods or services acquired or applied reflect the action that a prudent person would have taken under the circumstances prevailing at the time the decision to incur the cost was made. 24
25 Dr. Grant needed a specialized microscope for his research supported by an NIH grant from the National Cancer Institute. When deciding on the model that would best suit his needs, he received several price quotes on various models that were all within the same general price range. However, one microscope in particular appealed to him it met all of the necessary specifications plus many additional features. Although it was about $10,000 more than the others, he ordered it. 25
26 A cost is allocable to a specific grant if it is incurred solely in order to advance work under the grant and is deemed assignable, at least in part, to the grant. 26
27 When Dr. Grant s microscope finally arrived, he found that equipment funds for his National Cancer Institute grant were fully expended. Since the microscope was for use on an NIH grant, he decided to charge the cost to another one of his NIH grants that was funded by the National Eye Institute. 27
28 Recipients must be consistent in assigning costs to cost objectives. Costs may be charged as either direct costs or F&A costs, depending on their identifiable benefit to a particular project or program. All costs must be treated consistently for all work of the organization under like circumstances, regardless of the source of funding. 28
29 Dr. Grant s lab was running low on office supplies and postage stamps. Since he couldn t wait any longer for his institution to provide the supplies, he purchased them and charged them to his NIH grant account. 29
30 A cost is allowable if it is reasonable, allocable and conforms to the cost principles and the sponsored agreement AND is not prohibited by law, regulation or term of award. Conformance varies by type of activity, type of recipient, and other characteristics of individual awards. 30
31 Dr. Grant decided to host a very important Departmental meeting at his home and serve beer and pizza hoping that everyone would attend. The purpose of the meeting was to discuss changes in NIH grants policy, which affected the work of the entire Department. Therefore, he decided to charge the cost of the beer and pizza to his grant, especially since he was providing the use of his home. 31
32 Used to correct clerical or bookkeeping errors: o Erroneous charges o Unreasonable charges o Unallocable charges o Inconsistently applied charges o Unallowable charges Must be well documented Must be made within 90 days from the time error was discovered 32
33 33
34 NIH Grants Policy Statement defines actions requiring NIH prior approval. Examples of prior approval actions include the following: o Carryover of funds (if required-see Section III of NoA) o Incurrence of pre-award costs greater than 90 days o Deviation from award terms and conditions o Activities disapproved or restricted as a condition of award For a complete listing of NIH prior approval requirements see: o NIH GPS Prior Approval Requirements 34
35 Requests for carryover of funds should be signed by Authorized Organization Representative Request must be sent to GMO and include: o Detailed budget by direct cost category with F&A cost information (base and rate). If personnel costs are requested, include: a detailed breakdown of personnel costs base salary salary requested effort to be spent on the project o A scientific justification for the use of funds o The reason for the unobligated balance 35
36 36
37 Federal Financial Report (FFR)(SF-425) Expenditure Data Timely - Must adhere to submission deadlines: o Annual (Non-SNAP Awards) FFR submitted for each budget period no later than 90 days after the end of the calendar quarter (CQ) in which the budget period ended. Budget period ends 1/31/2016 FFR due 6/30/16 (90 days after the end of the CQ of 3/31/16) o Final (End of Competitive Segment) (SNAP and Non-SNAP Awards) FFR submitted within 120 days following the end of the project period (SNAP Streamlined Non-competing Award Process) 37
38 FFRs should be submitted timely and accurately Reported expenses and program income must agree with institutional accounting records Routine revisions to correct FFRs are not appropriate 38
39 Financial Reporting information: FFR (SF425) Instructions for NIH Recipients available at NIH Guide Notices: o NOT-OD o NOT-OD o NOT-OD
40 Projects ending on or after October 1, 2014, recipients must submit the following documents, when required, within 120 calendar days of the end of the period of performance: o Final Federal Financial Report (FFR) SF-425 Expenditure Data (submitted through era Commons) o Final Progress Report o Final Invention Statement & Certification Timely and accurate closeout reporting is a recipient responsibility 40
41 NIH must initiate unilateral closeout as an action of last resort if a recipient does not: o o provide timely, accurate closeout reports; or respond to NIH requests within 270 days after the end date of the period of performance to reconcile discrepancies in grant records See: NOT-OD at 41
42 Failure to submit an acceptable final FFR in a timely manner may result in disallowed costs or federal debt o If a recipient fails to submit a final FFR expenditure data report: NIH must use the last recorded quarterly cash disbursement level o If the final FFR expenditure data does not match the amount reported on last FFR cash disbursement report to PMS: NIH must use the lower amount Recipients must ensure there are no discrepancies between final FFR expenditure data (in era Commons) and the FFR cash transaction data (in Payment Management System [PMS]) o The FFR module in era Commons will display a text reminder before submitting the Final FFR Unilateral Closeout emphasizes the need for TIMELY and ACCURATE reporting 42
43 Recipients are strongly encouraged to submit closeout documents electronically through the era Commons; however, Centralized office accepts receipt of all non-financial, paperbased closeout documents: o o Final Progress Report Final Invention Statement and Certification If not using era Commons Closeout Module, mail closeout documents to: NIH Centralized Processing Center 6705 Rockledge Drive, Suite 5016, MSC 7986 Bethesda, MD (for regular or US Postal Service Express mail) Bethesda, MD (for other courier/express mail only) 43
44 Progress Reports, financial and final reports should be submitted on time to avoid consequences. Failure to submit timely reports may adversely affect future NIH funding to: o o The Recipient Institution The Principal Investigator NIH may impose sanctions on institutions that do not meet these reporting requirements, including: o o o Corrective actions Removal of expanded authorities Delay or withholding of future awards to the project or program 44
45 Whenever you are contemplating a significant post award change, and you are uncertain about the need for prior approval, consult in advance with: o The Notice of Award (terms and conditions) o Your Office for Sponsored Research/Projects o NIH awarding component Grants Management Officer/Specialist 45
46 Diane Dean, Director, Division of Grants Compliance and Oversight Kathy Hancock, Assistant Grants Compliance Officer Joel Snyderman, Assistant Grants Compliance Officer Samantha Tempchin, Assistant Grants Compliance Officer
Diane Dean, Director Kathy Hancock, Assistant Grants Compliance Officer Joel Snyderman, Assistant Grants Compliance Officer
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