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Nevada AEFLA Directors A Discussion of Federal Issues November 28, 2012 Hyatt Place Las Vegas, NV. Presented by Michael Brustein, Esq. www.bruman.com mbrustein@bruman.com. Agenda. Funding Sequestration Ryan Budget Cash Management Issues OMB Super Circular Time and Effort
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Nevada AEFLA DirectorsA Discussion of Federal IssuesNovember 28, 2012Hyatt PlaceLas Vegas, NV Presented by Michael Brustein, Esq. www.bruman.com mbrustein@bruman.com
Agenda • Funding • Sequestration • Ryan Budget • Cash Management Issues • OMB Super Circular • Time and Effort • Reauthorization • Questions
FY 13 – 7/1/13 6/30/14 • Continuing Resolution (CR) but only through March 2013 increase of .612 of 1%
Sequestration • Budget Control Act, August 2011
Sequestration • Supercommittee tasked with cutting $1.5 trillion in spending over next decade by Thanksgiving 2011 • Total failure to come to an agreement means automatic cuts triggered • Only intended as a threat – never meant to happen • Cuts take effect January 2, 2013 • Automatic, across-the-board cuts • Little discretion for appropriators, agencies • Apply to FY 2013 federal spending numbers • Could exacerbate effect of any cuts made in FY 2013
When Will Sequestration Happen? • President Obama must issue a sequestration order no later than January 2, 2012 • Funds received by States July 2012 and earlier are NOT subject to sequestration • Advance funding received in October of 2012 will not be subject to sequestration when allocated • BUT cuts will be calculated and applied to July 2013 funds • Funding received in July of 2013 will be subject to cuts • After July 2013, cuts will be incorporated into annual appropriations
Ryan BuDget • Passed House • 5% cut on 7/1/13 • 15% cut on 7/1/14
Cash Management Issues • Minimize time elapsing between transfer from ED to SEA, and from SEA to AEFLA provider for actual expenditure – 72 hours – 34 CFR 80.20(b)(7)
Period of Availability • AEFLA requires multiyear funding • Each AEFLA $ subject to • 27 month availability • 90 day liquidation • 34 CFR 80.23
AEFLA Providers Cannot Obligate Funds until Local Plan Approved 34 CFR 76.708(c)
Obligations in carryover period subject to current statute and applications 34 CFR 76.710
Expect Revisions to: • Cost Principles • A-21 • A-87 • A-122 • Administrative Principles • A-110 • A-102 • Federal Agency Audit Resolution • A-50 • Single Audit • A-133
Super Circular • Increase consistency • Decrease complexity But allows for disparate treatment depending on type of entity
Will the shifting of Audit Thresholds reduce burden on SEAs?
Single Audit Threshold • Under $1 million in total federal expenditures: • No single audit • Augmented pass-through role • Between $1 million and $3 million • More “focused” single audit • Over $3 million • Full single audit
“Focused Single Audit” ($1 to $3 Million) • Single auditors to review • 2 Compliance Requirements • Allowable/Unallowable • Federal agency determines – but priority on risk of improper payments, or fraud, waste, abuse (look to Compliance Supplement)
“Full Single Audit” Over $3 Million“Universal Compliance Requirements” • Allowable Costs • Eligibility • Reporting • Subrecipient Monitoring • Period of Availability of Federal Funds • Procurement Practices Comply with Suspension/Debarment
Time and Effort • A-87 Requirements • New Flexibility on Cost Objectives
Reauthorization • Current law authorized through 2003 • Congress may consider WIA Reauthorization next year • AEFLA is relatively non controversial • EL Civics likely to be folded into Basic Grant • DOL Administration?
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