What were the Changes from the OMB Circulars to the Uniform Guidance Bag Lunch Webinar June 21, 2016

Similar documents
OVERVIEW OF OMB SUPERCIRCULAR... 1 OBJECTIVES OF THE REFORM... 1 OMB A-21 (COST PRINCIPLES FOR EDUCATIONAL INSTITUTIONS) TO 2 CFR 200 (UNIFORM ADMIN

Paul H. Calabrese Rubino & Company, CPAs & Consultants Senior Manager. Tel:

The OmniCircular - 2 CFR 200

Federal Rules for Sponsored Programs. Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards 2 CFR 200

OMB Uniform Guidance: Cost Principles, Audit, and Administrative Requirements for Federal Awards

Federal Grant Guidance Compliance

10 CFR 600: KNOW YOUR REQUIREMENTS

Uniform Guidance Sponsored Projects Services

TEXAS GENERAL LAND OFFICE COMMUNITY DEVELOPMENT & REVITALIZATION PROCUREMENT GUIDANCE FOR SUBRECIPIENTS UNDER 2 CFR PART 200 (UNIFORM RULES)

2 CFR Chapter II, Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards For Auditees

Dollars & Sense: Federal Grant Financial

December 26, 2014 NEW ADDITIONAL December 26, 2014 beginning December 26, /31/15, 6/30/16 Contents Reference Origin Appendix

UNIFORM ADMINISTRATIVE REQUIREMENTS, COST PRINCIPLES, AND AUDIT REQUIREMENTS FOR FEDERAL AWARDS - UPDATE FEBRUARY 2015

Presenter. Changes to Federal Programs & Single Audits (A-87, A-21, A-122, A-102, A-110, A-89, A-133 & A-50) The New OMB Uniform Guidance

General Procurement Requirements

Uniform Guidance Subpart D Administrative Requirements

Uniform Guidance Subpart D Administrative Requirements. Why This Session Is Needed. Lesson Overview & Module Objectives

The Uniform Guidance and Procurement TEXAS ASSOCIATION OF COUNTY AUDITORS

Uniform Grants Guidance. Colorado Charter School Institute Cassie Walgren, Controller

45 CFR 75 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Health and Human Services Awards

Single Audit Entrance Conference Uniform Guidance Refresher

PROCUREMENT POLICY FOR FEDERAL GRANTS

The Uniform Guidance 2 CFR 200 A Guide to Risk-Based Grants Management

Navigating the New Uniform Grant Guidance. Jack Reagan, Audit Partner Grant Thornton LLP. Grant Thornton. All rights reserved.

Are You Ready for This? The New Uniform Guidance 2 CFR 200

Overview of the New EDGAR (formerly the Uniform Grants Guidance)

Uniform Guidance Year Two of the Audit Requirements Now What? CACUBO

UNIFORM GUIDANCE - IMPLEMENTATION 2 CFR 200 SUMMARY. Office of Contracts and Grants December, 2014

Comparison of Federal and State Procurement Requirements For FEMA Public Assistance Grants to North Carolina Local Governments

Comparison of Federal and State Procurement Requirements For FEMA Public Assistance Grants to North Carolina Local Governments

Are You Ready for This? The New Uniform Grant Guidance 2 CFR 200

EDGAR and Procurement CHOICE PARTNERS OCTOBER 12, 2016

FDP Subaward Forms Frequently Asked Questions Check back frequently for updates!

UNDERSTANDING PHA OBLIGATIONS UNDER THE NEW UNIFORM RULE ON ADMINISTRATIVE REQUIREMENTS, COST PRINCIPLES AND AUDITS: WHAT S NEW AND WHAT S NOT

Post Uniform Grant Guidance implementation from an auditor perspective

Roadmap to the Uniform Grant Guidance for School Districts

Implementing the OMB s Super Circular (aka UGG) Presented by: Anne Fritz, Finance Director, City of St. Petersburg, Florida

Subrecipient Risk Assessment and Monitoring of Northeastern University Issued Subawards

Ryan White HIV/AIDS Program Fiscal Health Series. Systems to Sustainability TM. Federal Grants

NECA Update The New Uniform Guidance 2 CFR 200

PART 3 COMPLIANCE REQUIREMENTS

Something for Everyone: Adjusting to the OMB s Super Circular May 25, :30 10:10 am 2 CPE

Performance and Financial Monitoring and Reporting

Administrative Regulation SANGER UNIFIED SCHOOL DISTRICT. Business and Noninstructional Operations FEDERAL GRANT FUNDS

Understanding and Complying with Government Grants

Federal Grants and Financial Assistance 2017 Training Catalog

U.S. DEPARTMENT OF HOUSING AND URBAN DEVELOPMENT OFFICE OF THE DEPUTY SECRETARY WASHINGTON, DC

Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards. AUSPAN Martha Taylor

Felipe Lopez, Vavrinek, Trine, Day & Co., LLP

Federal Government Grants:

TEA Implementation of the New EDGAR

U.S. Department of Housing and Urban Development Office of Housing Counseling

WELCOME. Pre-Award Phase Training

Uniform Guidance Overview. Why did the federal government implement the Uniform Guidance?

- Thank you for participating in the viewing of the Texas General Land Office s Community Development and Revitalization Program s, or GLO-CDR video

2016 Compliance Supplement. Joe Bergene, CPA Altman, Rogers & Co.

UNIFORM GUIDANCE OVERVIEW. Budget Officers Meeting January 28, 2015

Office of Sponsored Programs Budgetary and Cost Accounting Procedures

GRANTS AND CONTRACTS (FINANCIAL GRANTS MANAGEMENT)

Texas Association of County Auditors

WORKFORCE DEVELOPMENT BOARD Workforce Innovation and Opportunity Act Area 8

Texas Education Agency. Division of Federal Fiscal Monitoring

Fiscal Compliance: Desk Audit and Fiscal Monitoring Reviews

University of San Francisco Office of Contracts and Grants Subaward Policy and Procedures

Uniform Guidance - Lessons Learned And To Be Learned

What guidance will be used for Reviews?

Uniform Guidance Procurement Requirements for NC Local Governments UNC School of Government Webinar Presentation April 24, 2018

Welcome! OVERVIEW. Uniform Guidance Procurement Requirements for NC Local Governments UNC School of Government Webinar Presentation April 24, 2018

AN INTRODUCTION TO FINANCIAL MANAGEMENT FOR GRANT RECIPIENTS. National Historical Publications and Records Commission

Federal Grants Administration Updates. Erin Auerbach Esq. Brustein & Manasevit, PLLC

Safeguarding Federal Funds

UNCLE SAM S MONEY: Fundamentals of Federal Grant Law

Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (New Uniform Guidance)

Department of Contracts, Grants and Financial Administration, Texas Education Agency 1/26/18

APPENDIX VII OTHER AUDIT ADVISORIES

Updated. The Minimalist s Guide to the New Procurement Standards in 2 CFR Part 200 Uniform Guidance

SOP Procurement Standard Operating Procedures Grow Southwest Indiana Region 11 RWB Approval Date: 08/26/2011

Grant Review and Pre-Award Process Elisa Gleeson Senior Grants Management Specialist

UNIFORM GUIDANCE IMPLEMENTATION

OMB Uniform Grant Guidance and NM Procurement

MAXIMUS Higher Education Practice

Subrecipient Monitoring Under 2 CFR 200. Kris Rhodes, MS Director, Higher Education Practice

Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards. AU SPAN Martha Taylor Larry Hankins

Subcontract Monitoring

APRIL 2009 COMMUNITY DEVELOPMENT BLOCK GRANTS/STATE S PROGRAM NORTH CAROLINA SMALL CITIES CDBG AND NEIGHBORHOOD STABILIZATION PROGRAM

Policy on Principal Investigators Duties and Responsibilities on Sponsored Projects

CHAPTER 10 Grant Management

ADMINISTRATIVE PRACTICE LETTER

UNIFORM ADMINISTRATIVE REQUIREMENTS, COST PRINCIPLES, AND AUDIT REQUIREMENTS FOR FEDERAL AWARDS. AOA Conference Sacramento, CA January 12, 2014

Grants - Uniform Guidance/Tracking & Reporting. Presented by: Marc Grace, CPA, Partner Stephen Emery, CPA, Manager

Subject: Financial Management Policy for Workforce Investment Act Funds

Office of Management and Budget (OMB) Uniform Guidance Policies & Procedures

AGENDA. Subrecipient Monitoring Under the New Uniform Guidance. What is a passthrough

PART 34-ADMINISTRATIVE REQUIREMENTS FOR GRANTS AND AGREEMENTS WITH FOR-PROFIT ORGANIZATIONS. Subpart A-General

FEMA Procurement Requirements. Norma Houston 2018 CAGP Spring Conference

12007 Research Boulevard Austin, Texas PH: FAX:

OMB Uniform Guidance ( UG ) Briefing. ASRSP & OSR Brown Bag Tuesday, January 27 th

Subrecipient Profile Questionnaire

Grant Administration Glossary of Commonly-Used Terms in Sponsored Programs

Federal Fiscal Year 2019 North Texas SBDC RFP Appendix III: Financial Management and Budget Guidance 1. Financial Basis of the Program

Transcription:

What were the Changes from the OMB Circulars to the Uniform Guidance Bag Lunch Webinar June 21, 2016

Presenter: Paul H. Calabrese Rubino & Company, CPAs & Consultants Senior Manager Tel: 301-214-4137 pcalabrese@rubino.com www.linkedin.com/pub/paul-calabrese/20/293/645/ 2

Sources 2 CFR 200 Uniform Administrative, Cost Principles & Audit Requirements for Federal Awards referred to as the Uniform Guidance Also 45 CFR 75 for HHS Awards

Uniform Guidance: Structure at a Glance Subpart A: Definitions Subpart B: General Conditions Subpart C: Pre-Award Conditions Subpart D: Post-Award Requirements Subpart E: Cost Principles Subpart F: Audit Requirements 4

Major Themes of the Uniform Guidance

Subpart D: Post Award Rules 200.303 New Internal Controls Establish and maintain effective internal controls over award and comply with regulations and terms and conditions of the award Evaluate and monitor for compliance Take prompt action with instances of non-compliance or if identified in audit findings Take reasonable steps to safeguard Personal Identifiable Information (PII)* that is not already public *PII means information that can be used to distinguish or trace an individual s identity or combined with other personal data 200.79 new 6

Subpart C Pre-Award Conditions 200.205 (Expanded) Agency Review of Risk Posed by Applicants (c) In evaluating risk, the FAA must use a Risk-based approach depending on: Major Theme of Uniform Guidance (4) Reports and findings from audits performed under Subpart F {Single Audits} Audit Requirements of this part or the reports and findings of any other available audits Is there a corrective action plan? Is the PTE monitoring sub s audit findings? Will the PTE enforce if sub does not comply? 7

Financial Management 200.302(a) NFE s financial management system must: 1. Provide records documenting compliance with Federal statutes, regulations and terms & conditions of award 2. Sufficient to track funds to a level of expenditures 3. To ensure that such funds have been used in accordance with Federal statutes, regulations and terms and conditions of the award 8

Changes, Joint Interim Rule, COFAR, FAQs, Start Date

Some of the Changes Non-Federal Entity (NFE) [2 CFR 200.69] New section for sub-recipient monitoring Only a 3 year document retention Change in procurement, A-133 and definitions from vendor to contractor Simplified acquisition threshold will be updated to $150,000 from $100,000 Small purchase threshold deleted of $25k Threshold level for equipment capitalization owned by organization is unchanged at $5,000 Single audit threshold from $500k to $750k 10

Impact of the Joint Interim Rule* Technical Fixes *Issued December 19, 2014 by all Grant-making Agencies

Impact of the Joint Interim Rule Technical Fixes A Move Away from Using DUNS 200.32 Data Universal Numbering System has been replaced with reserved Appendix 1 (Section D.3) changes from DUNS to Unique Entity Identifier (UEI) The requirements for the UEI will be in SAM Previously the DUNS number was the primary identifier for NFE s in SAM and for applications For new applications, all NFE s must go to SAM for instructions to obtain a UEI for acceptability in applying via Grants.gov Also mentioned for sub-recipient Federal award identification in 200.331(a)(1) 12

13

What are FAQs? COFAR issued FAQs Intended to provided additional context and background to the Uniform Guidance (UG) The last update was FAQ dated 9/9/2015 https://cfo.gov/wp-content/uploads/2015/09/9.9.15-frequently- Asked-Questions.pdf Any discrepancy between the FAQ and the UG, the UG governs 14

What is New under the Uniform Guidance

Subpart B: General Provisions Non-Federal Entity (NFE) disclose any potential conflicts-of-interest to Federal Awarding Agency (FAA) or Pass-Through Entity (PTE) 200.112 New NFE must disclose in a timely manner any violations of criminal law: fraud, bribery, gratuity violations 200.113 New Failure to disclose may result in remedies in 200.338 including suspension and debarment 16

Subpart D: Post Award Rules 200.309 New & Change to 200.314 Period of Performance & Supplies New period of performance section NFE may charge to a Federal award only allowable costs during the period of performance Any costs incurred before the grant was awarded that was specifically authorized Under 200.314 supplies, including the costs of computing devices per cost principle Materials & Supplies 200.453 17

Property Management Standards Equipment threshold is $5,000, or less if NFE s capitalization policy <$5,000 for equipment and > 1 year useful life 200.33 Title is no longer < $5,000 goes to NFE, or > $5,000 goes to government, except impacts disposition 200.313(e)(1)+(2) Title is conditional upon acquisition by NFE 200.313(a) per a Property Trust arrangement Agency property manager / administrator Grants Management Officer for your grant/cooperative agreement Conditional means although ownership vests with the NFE, it is still subject to use, management & disposition of equipment per FAQ 8/29.313-1

The Procurement Standards

Uniform Guidance 2 CFR 200 Procurement COFAR FAQ: (11/26/14) Procurement (200.320) FAQ.320-1 [1] Micro-purchases under $3,000 (supplies or services) 1. Purchase orders may be awarded without soliciting any competitive quotations if the NFE considers the cost to be reasonable. 2. To the extent practicable, the NFE must distribute their purchases equitably among qualified suppliers 20

Uniform Guidance 2 CFR 200 Procurement COFAR FAQ: (11/26/14) Procurement (200.320) FAQ.320-1 [1] Micro-purchases under $3,000 (supplies or services) EXAMPLE: Purchase of a laptop in the amount of $2,000 can be treated as a micro-purchase No competitive price quotations are required for purchase Cost or price analysis is not required 21

Uniform Guidance 2 CFR 200 Procurement COFAR FAQ: (11/26/14) Procurement (200.320) FAQ.320-1 If org has a policy that provides strategic sourcing or bulk purchase arrangements The NFE must consider procuring from 1 of a number of computer / office supply stores Such policies should dictate the purchase of a laptop to be rotated among qualified suppliers if they offer a similar price based on prescribed laptop features 22

Uniform Guidance 2 CFR 200 Procurement COFAR FAQ: (11/26/14) Procurement (200.320) FAQ.320-1 [2] Purchases under the Simplified Acquisition Threshold currently set at $150,000 All purchases between $3,000 and $150,000 Small purchase procedures are relatively simple and informal Price or rate quotations must be obtained from an adequate number of qualified sources (number of sources > 1, whereas 1 = sole source) The NFE has discretion as to the amount of qualified sources and the method(s) of obtaining price quotations 23

Uniform Guidance 2 CFR 200 Procurement COFAR FAQ: (11/26/14) Procurement (200.320) FAQ.320-1 [2] Purchases under the Simplified Acquisition Threshold currently set at $150,000 Price or rate quotations can be: Written or verbal Vendor price list on website Generated via online search engine Small purchases do not require cost or price analysis 24

General Procurement Standards 200.318(c)(1),(2) Must have written procurement policy Must have Code of Conduct to manage conflicts of interest. Avoid appearance of family, financial or other interest in vendor Anti-kickback policy No gratuities to federal officials Manage organization conflict of interest such as with affiliates, parent company 25

Procurement Standards General Procurement Standards.318 Avoid purchasing unnecessary items.318(d) Initiate process w/ purchase request/p.o. (best practice) If necessary, perform lease vs. buy analysis to ascertain the lowest cost method.318(d) Stipulate the type of procurement: FP, T&M.318(i) Ensure vendors aren t on excluded parties list SAM: 200.205 Agency Review Risk Posed by Applicants Contracts awarded based on contractor integrity, record of past performance, and financial & technical capability.318(h) 26

Procurement 200.318 General Procurement Standards.318(i)&(j) Maintain records sufficient to detail history of procurement: rationale for method of procurement, contract type, selection or rejection, basis of price Limit the use of Time & Material contracts: only use when no other contract is suitable Set a ceiling price, if contract exceeds ceiling it is at their own risk Higher degree of oversight for effective cost controls and efficient methods 27

Procurement 200.319 Full and open competition without restrictive practices: Unreasonable requirements to qualify to do business Unnecessary experience and excessive bonding Noncompetitive pricing practices between firms/affiliates Noncompetitive awards to consultants on retainer Specify only brand names instead of allowing an equal product offered Avoid the use of geographic preference laws RFP publicized and solicited from an adequate number of qualified sources 28

Procurement 200.320(f) Procurement by noncompetitive proposals when: (sole source) No Threshold at any level The item is available only from a single source Public emergency will be delayed by competition Awarding agency authorizes noncompetitive proposals After solicitation of a number of sources, competition is determined inadequate More than one [qualified] source submitting an offer is competition per 200.320(d), else sole source 29

Contract Cost & Price 200.323 Must perform cost or price analysis Cost & price analysis performed with every procurement action > $150,000 including contract modifications NFE negotiate profit as a separate element of the price for each contract w/no competition and all cases where cost analysis is performed 30

Contract Cost & Price 200.323 Must perform cost or price analysis A fair and reasonable profit should be based on: Complexity of the work to be performed Risk borne by contractor Contractor s investment The amount of subcontracting The quality of its record of past performance Industry profit rates in the surrounding geographical area for similar work 31

Methods of Procurement 200.320 Procurement by micro-purchases: adequate suppliers under $3,000 no competition Procurement by Small Purchase Procedures under Simple Acquisition Threshold requires adequate number of qualified sources Procurement by sealed bids: fixed price, lowest bid if meet all qualifications Procurement by competitive proposals for fixed price or cost reimbursable 32

Uniform Guidance 2 CFR 200 COFAR FAQ Update: (8/29/14) Indirect cost procurements FAQ.320-6 Since they are not a direct cost procurement, they do not follow the procurement standards Uniform guidance procurement rules do not apply to acquisitions in the indirect cost areas Uniform guidance procurement rules only apply to the acquisition of goods and services that are directly charged to a Federal award. 33

Fixed Amount Awards

Subpart C Pre-Award Conditions 200.201(b) New Use of Fixed Awards Payments are based on achieving specific requirements Federal amount is negotiated using the cost principles as a guide There is no government review of actual cost incurred Project scope is specific Paid in partial payments based on milestones, unit prices, or full payment upon completion 35

Impact of the Joint Interim Rule Technical Fixes Fixed Award / Sub-Awards 200.201(b)(1) new verbiage: The FAA or passthrough entity may use fixed amount awards if the project scope is specific and if adequate cost, historical, or unit pricing data is available to establish a fixed amount award based on reasonable estimate of actual cost. Old language was with assurance that the NFE will realize no increment above actual cost. Agencies still have to provide more specific guidance as to the form and details of fixed awards / subawards 36

Subpart C Pre-Award Conditions 200.201(b) New Use of Fixed Awards Cannot have cost sharing NFE must certify at the end of the award that the project was completed or level of effort was achieved Change in principal investigator or scope of effort must receive prior approval Fixed awards means the NFE provides a level of support regardless of the amount of actual cost incurred 200.45 Reduces administrative burden and recordkeeping Accountability is based on performance and results Awards/sub-awards for fixed amounts based on simple acquisition threshold of $150,000 200.332 37

Uniform Guidance 2 CFR 200 Fixed Awards COFAR FAQ: (11/26/14) Fixed Amount Awards (200.201) FAQ.201-1 Are appropriate when the work to be performed can be priced with a reasonable degree of certainty Examples of NFE pricing mechanisms are: (1) Past experience with similar types of work and outcomes with reliably predicted costs (2) NFE can easily obtain price estimates (bids, quotes, catalog pricing) for the significant cost elements 38

Uniform Guidance 2 CFR 200 Fixed Awards COFAR FAQ: (11/26/14) Fixed Amount Awards (200.201) FAQ.201-2 Salaries subject to, e.g. ACF or NIH statutory limits, are not mandatory cost-share or match Rather they are statutory limitations that cap charges to a Federal award Amounts above the cap are paid at the discretion of the NFE Since the statutory salary caps are not match, they can be used in fixed amount awards 39

Uniform Guidance 2 CFR 200 Fixed Awards COFAR FAQ: (11/26/14) Fixed Amount Awards & End of Award Certifications (200.201) FAQ.201-3 If the FAA does not prescribe the requirements for an end of fixed award certification then: (1) The recipient or sub should certify completion (2) Per 200.308(c)(3), a reduction of more than 25% of the level of effort must be reported to the FAA and requires a downward adjustment Reduction methods may include: (a) Adjustment based on percentage of completed work (b) Adjustment based on actual costs incurred-to-date 40

Sub-Recipient Monitoring Procedures 200.330 & 200.331 Requirements for Pass-Through Entities (PTE)

Sub-Recipient Monitoring A Pass-Through Entity (PTE): nonfederal entity provides awards to subrecipient to carry out a federal program Federal award to subrecipient vs. payment of goods and services to a vendor, now contractor 200.330 42

Definition of Sub-recipient.330 Federal award characteristics: 1. Determines who is eligible to receive federal assistance 2. Performance measured against objectives of federal program to determine if met 3. Responsibility for programmatic decision making programmatic work is unique 4. Responsibility to follow federal program compliance requirements 5. Use federal funds to carry-out a Federal activity 43

Definition of Contractor 200.330 Procurement relationship with contractor relating to Goods & Services (G&S): 1. Provides G&S within normal business operations 2. Provides similar G&S to many diff. purchasers 3. Operates in a competitive environment 4. G&S are ancillary to operation of federal program 5. Not subject to compliance requirements of a Federal program Use of judgment in making determination as whether the relationship is a sub-recipient or contractor: substance over form 8-29 FAQ.200-23-2 vendor & contractor has same meaning 44

Uniform Guidance 2 CFR 200 COFAR FAQ Update: (8/29/14).23-2 If PTE calls a sub-award a contract it must treat it as a sub-award per 200.330 Sub-Recipient and Contractor Determinations Likewise if a PTE has a contract and calls a subcontract or a vendor agreement it must treat it as a contract per 200.330 45

Sub-Recipient Monitoring 200.331 Federal award identification to subrecipient: CFDA title and Federal Award Identification No. Unique Entity Identifier association w/sub s name Award name and number Award year Name of award agency Flow down clauses Total amount of Federal Award Other information such as indirect rate 46

Sub-Recipient Monitoring 200.331 The sub-award agreement must include: Permit PTE and auditors to have access to their records and financial statements Terms and conditions for closeout of sub-award 47

Sub-Recipient Monitoring 200.331 The sub-award agreement must include: All requirements on PTE is imposed on the subrecipient so that Federal award complies with Federal regulations, terms & conditions Any additional requirements PTE imposes on sub-recipient to meet its own responsibility to the Federal awarding agency An approved NICRA, negotiated rate between PTE and sub, or de-minimis rate of 10% between PTE and sub-recipient 48

Sub-Recipient Monitoring 200.331 Evaluate each sub-recipient s risk of non-compliance w/federal regs, terms & conditions in order to determine the appropriate sub-recipient monitoring considering such factors as: The sub-recipient s prior experience with sub-awards Results of previous audits including Single Audit Whether sub-recipient has new personnel (training) and new or substantially changed systems The extent of Federal awarding agency monitoring, if the sub-recipient has direct awards with agencies Consider adding specific conditions per 200.207 49

Sub-Recipient Monitoring 200.331 Monitor the sub-recipient s activities to ensure the sub-award is used for authorized purposes. PTE monitoring must include: Reviewing financial and programmatic reports Follow-up, ensuring sub-recipient takes timely and appropriate action on all deficiencies pertaining to the Federal sub-award detected from audits and on-site reviews Issue management decision on audit findings from the PTE to the sub-recipient 50

Sub-Recipient Monitoring 200.331 Based on the PTE s assessment of risk posed by the sub-recipient, consider using these monitoring tools To ensure proper accountability; compliance with program requirements; achievement of performance goals: Provide training and technical assistance on program-related matters Perform on-site reviews of program operations Arrange for agreed-upon-procedures engagements per 200.425 51

Sub-Recipient Monitoring 200.331 Verify sub-recipient had a Single Audit per Subpart F when they have expended or exceeded the threshold per 200.501 Consider whether the results of audits, on-site reviews or other monitoring indicate conditions that necessitate adjustments to PTE own records Consider taking enforcement action against noncompliant sub-recipients per 200.338 remedies 52

What s New with Indirect Rates

Uniform Guidance 2 CFR 200 COFAR FAQ Update: (9/9/15) FAQ.414-8 Voluntary under-charging, or waiving the recovery of 100% of applied indirect costs If a Non-Federal Entity (NFE) [2 CFR 200.69] voluntarily (without coercion) decides to charge less than the established negotiated rate or waive the NICRA entirely, is a permissible practice Sometimes the NFE requires more funds for direct program efforts and thus reduces the amount of applied indirect or no indirect rate though they have a negotiated indirect rate 54

Uniform Guidance 2 CFR 200 COFAR FAQ Update: (9/9/15) FAQ.19-1 Cognizant Agency for Indirect Cost Even though a cognizant agency (by statute) does not allow the NFE to recover indirect cost for a particular program: Example: CFDA 93.914 HIV Emergency Relief Project Grants Such cognizant agency is still responsible to negotiate indirect cost 55

Subpart E Cost Principles Uniform Guidance : New Optional Rate 10% de minimis rate: per 200.414(f) Never received a negotiated indirect rate Charge on a modified total direct cost base May use indefinitely until negotiate an indirect rate Direct and indirect costs charged consistently but not as both causing double-charging Use consistently on all Federal awards 56

Uniform Guidance 2 CFR 200 COFAR FAQ Update: (8/29/14) FAQ.331-6 PTE* s Obligation re. Indirect Rate Negotiation If a sub has a NICRA, the PTE must honor the NICRA PTE s with subs that don t have a NICRA The PTE has the option to negotiate an indirect rate with a sub, or The PTE cannot offer a de minimis indirect rate lower than 10%; it must be 10% *PTE = Pass-Through Entity 57

Uniform Guidance 2 CFR 200 COFAR FAQ Update: (9/9/15) FAQ.414-9 NFE s Applying for De Minimis Rates having a break in Federal relationship If a NFE has a previously negotiated indirect rate but all Federal awards under that NICRA have expired as well as the NICRA Can the NFE apply for a 10% de minimis rate? NO. The 10% de minimis rate is only for those who have never had a negotiated indirect rate. The Government expects org s that have had experience developing & negotiating rates in the past, will have the adequate resources to prepare new indirect rates 58

Uniform Guidance 2 CFR 200 COFAR FAQ Update: (9/9/15) FAQ.414-11 10% De Minimis Rate (DMR) & Single Function NFE The DMR cannot be used for a single function (program) NFE who charges 100% of cost direct The DMR is intended to be used to pay for indirect costs that are not directly assignable to a Federal award As prescribed in 200.403(d) a cost for the same purpose charged as a direct cost to a Federal award cannot be also be charged for the same purpose as an allocated indirect cost 59

Subpart E Cost PrinciplesFAQ.414-1 Uniform Guidance: State, Local&Tribal Units State, Local, Tribal Governmental units can have a 10% de minimis rate per prior slide The amount of Federal awards for that unit of government has to be less than $35 Million per fiscal year They must document decision on file to select the 10% de minimis rate Never have received a NICRA indirect rate Per Appendix VII, D(1)(b) 60

Subpart E Cost Principles Uniform Guidance: New NICRA Extension NFE has existing negotiated indirect rate: One-time extension of current indirect rate For a period of up to 4 years If granted, cannot request a rate review until extension period ends At end of 4 year period, must re-apply to negotiate a new rate 61

Subpart E Cost Principles Uniform Guidance: FAQ.414-2 The extension period can be 1, 2, 3, or 4 years The extension period is once for each negotiation cycle Once the extension period is over, org negotiates a new rate and then that NICRA can be extended again for up to 4 years Can only be done for predetermined and final rates not for provisional or fixed 62

Subpart E Cost Principles Uniform Guidance: (11/26/14) FAQ.414-2 & 3 Is there special documentation requirements for an extension? No, the extension process is designed to reduced administrative burden What about the time of the request for an extension. No later than 60 days prior to due date for proposal of indirect costs, or if after, on a case-by-case basis the agency can accept requests 63

Uniform Guidance 2 CFR 200 COFAR FAQ Update: (9/9/15) FAQ.414-7 The requirement to have a current Federally negotiated, final indirect rate for Extension To be current, NFE must comply with the following: Extensions can only happen after 12/26/14 If NFE has 12/31 year-end Must have final rates through 12/31/14 & completed Single audit completed by 9/30/15 Submit final indirect rates for 12/31/15 + audit by 9/30/16

Uniform Guidance 2 CFR 200 COFAR FAQ Update: (9/9/15) FAQ.414-7 To be current, NFE must comply with the items on the previous slide: Then, NFE could request an extension of their FY 15 final indirect rate for FY s 2016 up to FY 2019, applicable to grants Rate extensions do not apply to cost reimbursable contracts

Subpart E Cost Principles Uniform Guidance: New Options Direct cost allocation principle 200.405(d) 1. If cost benefits two or more direct programs 2. In proportions that can be determined without undue effort or cost (e.g. summer workshops) 3. Costs must be allocated to projects If 1 and 2 cannot determine proportions based on interrelation of work involved, then allocated on benefited projects on a reasonable documented basis Purchase of equipment or capital assets for a specific award are assignable to that award only regardless of use on other projects or no longer needed as acquired 66

Subpart E Cost Principles Uniform Guidance: New Options Direct charging of admin staff wages may be appropriate when all items are met: 200.413(c) Administrative services are necessary to a project Individuals involved can be specifically identified to a project, such as time reports Administrative wages are included in the budget or prior written approval from agency Such costs are not recovered as indirect cost 67

Subpart E Cost Principles Uniform Guidance: New Requirements Unallowable activities and donated services receive allocation of indirect costs 200.405(b) Costs allocable to a Federal award may not be charged to cover fund deficiencies to avoid restrictions in the regulations 200.405(c) Limitation on allowable costs 200.408 If maximum amount allowable under a limitation is less than total amount determined, the delta is not recoverable and cannot be charged to another award 68

Subpart E Cost Principles Uniform Guidance: New Requirements Payments made for costs determined to be unallowable must be refunded including interest to Federal government 200.410 Unallowable by Federal awarding agency Cognizant agency for indirect cost Pass-through entity Either direct or indirect unallowable cost 69

Subpart E Cost Principles Uniform Guidance: New Requirements Adjustments of previously negotiated indirect cost rates containing unallowable costs 200.411 Negotiated indirect cost rates later found to have costs: 1. Unallowable specified by Federal statutes, regulations or terms and conditions of a Federal award 2. Unallowable as not allocable to Federal award(s) Must be adjusted for a refund Adjustments are used to correct established negotiated rates Will not re-open for rate negotiation Applied to all types of rates: fixed, final, predeter, prov. 70

Subpart E Cost Principles Uniform Guidance: New Requirements Adjustments of previously negotiated indirect cost rates containing unallowable costs 200.411 For projected rates of a future year, the costs are removed from cost pools and rates appropriated adjusted downward For historical rates of a past period, the unallowable costs will be computed by fiscal year and a cash refund including interest For current year rates, either a rate adjustment or refund per cognizant agency 71

Subpart E Cost Principles Uniform Guidance: New Requirements Adjustments of previously negotiated indirect cost rates containing unallowable costs 200.411 For multiple years, the proportional amount of unallowable costs in the base year will be extrapolated to the out-year rates 72

Subpart E Cost Principles Uniform Guidance: New Certifications Assure proper expenditures 200.415(a) Certifying project budgets, annual and final fiscal reports or vouchers requesting payments By signing this report, I certify to the best of my knowledge and belief that the report is true, complete, and accurate, and the expenditures, disbursements and cash receipts are for the purposes and objectives set forth in the terms and conditions of the Federal award. I am aware that any false, fictitious, or fraudulent information, or the omission of any material fact, may be subject to criminal, civil or administrative penalties for fraud, false statements, false claims or otherwise. 73

Uniform Guidance 2 CFR 200 COFAR FAQ Update: (8/29/14) What if state / PTE provides to a sub-recipient both Federal & non-federal funds, does the indirect rate application apply only to Federal funds or total funds? FAQ.331-1 It would only apply to the Federal funds and not to state funds per terms and conditions of the award Are there no limits on the layers of multi-tier sub-recipients with the application of indirect cost rates such as from state to city, city to nonprofit, nonprofit to another nonprofit? There are no limits in the new rules, but award terms could place a limit per FAQ.331-2 74

Uniform Guidance 2 CFR 200 Indirect Rates & Subs COFAR FAQ: (11/26/14) FAQ.331-3 Delayed Federal funds If temporarily using state funds while waiting for Federal budget/funds to be approved, must the state reimburse subrecipients for their indirect costs as directed in the Uniform Guidance? YES, because costs ultimately charged to a Federal award must comply with the terms & conditions of the Federal award, including the Uniform Guidance. 75

Uniform Guidance 2 CFR 200 COFAR FAQ Update: (8/29/14) States often blend several Federal funding streams to reimburse nonprofit service providers. Some of the funding streams may have indirect rate caps or no indirect limitations. FAQ.331-4 Each funding stream or Federal award will have its unique terms and conditions to follow. Each award has its unique limitations on indirect cost or rates, or no restrictions which states and other PTEs must follow. 76

Uniform Guidance 2 CFR 200 Indirect Rates & Subs COFAR FAQ (11/26/14) States often blend several Federal funding streams to reimburse nonprofit service providers. Some of the funding streams may have indirect rate caps or no indirect limitations. FAQ.331-4 FAQ (11/26/14) If a NFE wishes to blend funds from multiple Federal awards, & apply only one set of terms and conditions to a Federal award: The Terms and Conditions of that arrangement must be agreed to in advance by all participating Federal agencies via a Prior Written Approval 77

Uniform Guidance 2 CFR 200 COFAR FAQ Update: (8/29/14) FAQ.331-7 What happens if the PTE does not honor the NICRA rate of the sub? Under 200.331, the PTE must use the negotiated indirect rate of the sub. If not, there are remedies that a Federal awarding agency can sanction the PTE under 200.338 through 200.342. Report the matter to the agency IG overseeing your Federal award. Make sure the sub-award agreement stipulates the use of your NICRA currently in effect. 78

Categorized List of Cost Principles per 2 CFR 200.420 Subpart E

Allowability Of Selected Costs Under 2 CFR 200.420 Selected Costs May Be Allowable (A), Unallowable (UA), Allowable With Restrictions (AWR), or Unallowable With Exceptions (UWE) 1. Advertising and Public Relations Cost. (UWE) 200.421 2. Advisory Councils. (A) 200.422 3. Alcoholic Beverages. (UA) 200.423 4. Alumni/ae Activities (UA) 200.424 IHE 5. Audit Services. (A) 200.425 6. Bad Debts. (UA) 200.426 7. Bonding Costs. (A) 200.427 8. Collections of Improper Payments. (A) 200.428 New Principle 9. Commencement & Convocation Costs. (UA) 200.429 IHE 10. Compensation - Personal Services. (AWR) 200.430 11. Compensation Fringe Benefits. (AWR) 200.431 12. Conferences. (AWR) 200.432 13. Contingency Provisions. (AWR) 200.433 80

Allowability Of Selected Costs Under 2 CFR 200.420 Selected Costs May Be Allowable (A), Unallowable (UA), Allowable With Restrictions (AWR), or Unallowable With Exceptions (UWE) 14. Contributions and Donations (UA) 200.434 15. Defense and prosecution of criminal and civil proceedings, claims, appeals, and patent infringement. (UWE) 200.435 16. Depreciation. (AWR) 200.436 17. Employee health, and welfare costs. (A) 200.437 18. Entertainment costs. (UWE) 200.438 19. Equipment and other capital expenditures. (AWR) 200.439 20. Exchange Rates (AWR) 200.440 New Cost Principle 21. Fines and penalties. (UA) 200.441 22. Fund raising and Investment Management Costs (UWE) 200.442 23. Gains & Losses on Disposition of Depreciable Assets (AWR) 200.443 24. General Costs of Government (UA) 200.444 State & Local Gov t 25. Goods or Services for Personnel Use (UA) 200.445 26. Idle Facilities and Idle Capacity (AWR) 200.446 27. Insurance and Indemnification (AWR) 200.447 81

Allowability Of Selected Costs Under 2 CFR 200.420 Selected Costs May Be Allowable (A), Unallowable (UA), Allowable With Restrictions (AWR), or Unallowable With Exceptions (UWE) 28. Intellectual Property. 200.448 (AWR) 29. Interest. 200.449 (UWE) 30. Lobbying. 200.450 (UWE) 31. Losses on Other Awards or Contracts. 200.451 (UA) 32. Maintenance and Repair Costs. 200.452 (A) 33. Materials, Supplies Including Computing Devices. 200.453 (A) 34. Memberships, Subscriptions, & Professional Activity Costs. 200.454 (AWR) 35. Organizational Costs. 200.455 (UA) 36. Participant Support Costs. 200.456 (AWR) 37. Plant and Security Costs. 200.457 (A) 38. Pre-Award Costs. 200.458 (AWR) 39. Professional Service Costs 200.459 (AWR) 82

Allowability Of Selected Costs Under 2 CFR 200.420 Selected Costs May Be Allowable (A), Unallowable (UA), Allowable With Restrictions (AWR), or Unallowable With Exceptions (UWE) 40. Proposal Cost 200.460 (AWR) New Cost Principle 41. Publication and Printing Costs. 200.461 (AWR) 42. Rearrangement and Reconversion Costs.200.462 (AWR) 43. Recruiting costs. 200.463 (AWR) 44. Relocation costs. 200.464 (AWR) 45. Rental Costs of Real Property and Equipment 200.465 (AWR) 46. Scholarships and Student Aid Costs 200.466 (AWR) IHE 47. Selling and Marketing Expenses 200.467 (UWE) 48. Specialized Service Facilities 200.468 (AWR) 49. Student Activity Costs 200.469 (UA) IHE 50. Taxes Included VAT 200.470 (UWE) 51. Termination Costs 200.471 (AWR) 52. Training and Education Costs 200.472 (A) 83

Allowability Of Selected Costs Under 2 CFR 200.420 Selected Costs May Be Allowable (A), Unallowable (UA), Allowable With Restrictions (AWR), or Unallowable With Exceptions (UWE) 53. Transportation Costs. 200.473 (A) 54. Travel Costs 200.474 (AWR) 55. Trustees 200.475 (A) 56. Independent Research & Development (UA) 45 CFR 75.476 only for HHS (included in the MTDC allocation base) 84

The Path Forward What s Next? How to We Start the Implementation Process?

86

Any Questions 87

The materials contained herein or discussed in the webinar session or shown in the MS Powerpoint slides, are for illustrative and academic purposes only and should not be considered appropriate for your organization without careful adaptation by experts in the appropriate field of endeavor. DISCLAIMER 88