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21st CCLC Leadership Team Presenters. Sandra Ricardo, M.S.Coordinator of ComplianceUF 21st CCLC Leadership Teamsricardo@hhp.ufl.edu Ive B. Vintimilla, MPACoordinator of Audits
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1.
To Buy or Not To Buy-That is the Question!
2. 21st CCLC Leadership Team Presenters Sandra Ricardo, M.S.
Coordinator of Compliance
UF 21st CCLC Leadership Team
sricardo@hhp.ufl.edu
Ive B. Vintimilla, MPA
Coordinator of Audits & Budgets
UF 21st CCLC Leadership Team
ivintimilla@hhp.ufl.edu
Policy, Monitoring, and Compliance Unit
3. Topics
Basic Cost Principles
Questions to Ask Prior to Purchasing
Statutes and Regulations
Examples
Case Studies
5. Guiding Questions Does the purchase support a goal/objective in your grant?
Does it support an activity specified in your grant?
Is it consistent with special conditions imposed on the grant by FDOE (such as no purchases of food, furniture, incentives, etc.)
Is it consistent with Title IV, Part B and other statutes and regulations governing 21st CCLC?
Is it consistent with the cost principles in the OMB Circular applicable to your organization?
6. Title IV, Part B of The Elementary & Secondary Education Act, As Amended (formerly NCLB)
http://www2.ed.gov/programs/21stcclc/index.html
Title IX Part E, Uniform Provisions-Private Schools
http://www2.ed.gov/about/offices/list/oii/resources/info/guidance.html
Statutes
7. Regulations Education Department General Administrative Regulations (EDGAR)
Part 80-for State and Local Governments (LEAs)
Part 74-for Colleges, Universities, Hospitals, & Non-Profit Organizations
http://www2.ed.gov/policy/fund/reg/edgarReg/edgar.html
8. Guidance U.S. Education Departments 21st CCLC
Non-Regulatory Guidance:
provides clarification for statutes
does not carry the weight of laws or regulations
21st CCLC Non-Regulatory Guidance (Feb. 2003)
http://www2.ed.gov/programs/21stcclc/legislation.html
Equitable Services for Eligible Private School Students, Teachers, and Other Educational Personnel
http://www2.ed.gov/about/offices/list/oii/resources/info/guidance.html
9. Office of Management and Budget (OMB) Cost Principles for Federal Education Programs OMB Circulars (in each)
Appendix A- General Cost Principles
General Principles for Determining Allowability of Costs
Appendix B-Selected Items of Cost
List of 40-50 Specific Allowable/Unallowable Items
http://www.whitehouse.gov/omb/circulars/
10. OMB Circulars & Your Organization
11. Basic Guidelines All Costs Must Be:
1. Necessary
2. Reasonable
3. Allocable
4. Legal under state and local law
5. Conform with federal law & grant terms
6. Consistently treated
7. In accordance with GAAP
8. Not included as match
9. Net of applicable credits
10. Adequately documented
12. Necessary and Reasonable Before submitting that P.O. ask yourself the following:
Do we really need this?
Is this the minimum amount I need to spend to meet the
programs needs?
Can I justify the need with the terms of my grant?
Do I have the capacity to make the best use of this purchase?
Will I pay a fair price and can I prove that it was a fair price?
You must be able to answer yes to all.
13.
Will program participants benefit from this purchase?
Example: Purchasing materials & supplies or equipment at the end of the project year is not allocable.
Did you charge 21st CCLC in proportion to the value received by the program?
Example: Sub-grantee purchases computers to use 50% in the 21st CCLC program and 50% in another federal program can only charge half the cost to 21st CCLC
Allocable
14. Basic Guidelines Continued Legal under State and Local Law
If you cant do it under state law, you cant pay for it with federal funds i.e., purchasing food
Conform with applicable laws, regulations, & the terms of the grant
READ YOUR GRANT!!
Consistently treated
Must follow uniform policies that apply equally to federal and non-federal activities
Cannot assign cost as direct cost if indirect under state programs
15. Conform with Generally Accepted
Accounting Principles (GAAP)?
Not Included as a Match
Net of Applicable Credits
(rebates, discounts, refunds)
Basic Guidelines Continued
16. Adequately Documented
No documentation=didnt happen
Some Examples:
General Ledger indicating all expenditures
Paid Invoices
Purchase Orders
Bank statements or cancelled checks
Receipts (complete with totals)
Payroll records (timesheets, PARs, periodic certifications, payroll registers)
Travel reimbursement forms and supporting documentation
Other records to facilitate an effective audit
Basic Guidelines Continued
17. Cannot use federal funds to supplant federal, state, and local resources. Examples of supplanting:
Using federal funds to pay for a service required by federal, state, or local laws
Using federal funds to pay for a service paid with other funds the previous year
Some examples:
Purchasing textbooks required for regular school day curricula
Paying for teacher training program with 21st CCLC funds. This program was paid with state funds the previous year.
Supplement Not Supplant
18. Burden of Proof Monitors presume wrong doing until proven otherwise
Burden of proof is on sub-grantee
No documentation=it didnt happen
19. No, No's, Unless
Food (unless have approved cooking classes & purchase raw food items)
Field Trips to Amusement Parks (unless following parks educational component)
Attending Movies (unless attending educational film tied to unit of study & cost is reasonable)
Furniture (unless purchasing locking cabinets to safeguard equipment and supplies)
All of the above require excellent documentation to support allowability.
20. No, No's No, No's (some examples)
Costs associated with attending sporting events
Purchasing video systems and video games
Purchasing MP3 players or portable media players
Incentives (plaques, trophies, bumper stickers)
Capital improvements & permanent renovations
Purchases of appliances such as refrigerators & freezers
Purchases of vehicles
When in doubt, contact our office or your
TAT consultant.
21. Approved Plan and Budget Purchases without approval in the budget or amendment may result in questioned costs.
Some Examples:
Contracting for services
The purchase of equipment (capital outlay)
Purchases outside of the approved budget period
(refer to DOE 200, section 6, Project Period)
Paying salaries/wages for type of personnel without authorization (i.e., hiring a paraprofessional not in approved budget)
22. Case Studies Read the case study given to your group.
Discuss each scenario and the questions that follow each.
Come to a consensus about the answers to the questions.
Choose someone from the group to lead a discussion on your scenario.