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Critical Points. When the proposal is designed!!!!!!When the award is acceptedExtensions/SupplementsPrior to terminationAt termination. Why Start Early?. Identify problematic issuesInclude justification in proposalDocument as you go alongIdentify special issues to be handledDefine
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1. Effective CloseoutsHints and Systems Pam Whitlock
Director, Sponsored Programs
University of North Carolina Wilmington
2. Critical Points
When the proposal is designed!!!!!!
When the award is accepted
Extensions/Supplements
Prior to termination
At termination
3. Why Start Early? Identify problematic issues
Include justification in proposal
Document as you go along
Identify special issues to be handled
Define activities within institutional capabilities and…???
4. Issues To Consider Time constraints - yours, subs, vendors
MIS System
Lead time
Documentation required
Retention requirements
Format
5. Management Information Systems…Getting the word out Tracking system for termination dates
Cost sharing documentation
Building in lead time
Notifying everyone
Stopping charges
Personnel issues
6. Effectively Communicating Grant & Contract Procedures Sponsored programs office
Grants accounting
Campus departments
Partners
Administration
Sponsor Central admin communication w/ campus depts.
- compliance training via web, formal and informal training.
Central admin. Communication w/ sponsors
-process improvements, development, notification
Campus depts. Communication w/ sponsors
- requesting approvals
-
Central admin communication w/ campus depts.
- compliance training via web, formal and informal training.
Central admin. Communication w/ sponsors
-process improvements, development, notification
Campus depts. Communication w/ sponsors
- requesting approvals
-
7. Suggested Methods Check lists
Tickler files
Reconciliation
Education
8. What you need…to know the rules! Familiarity with the agency costing principles
Award terms and conditions
All reference documents listed in the award but not attached
Financial records
Approvals, justifications, modifications
9. The Backbone Circular A-110
Uniform Administrative Requirements for Grants and Other Agreements with Institutions of Higher Education, Hospitals and Other Non-Profit Institutions
Circular A-21
Cost Principles for Educational Institutions (A122)
Circular A-133
Audits of States, Local Governments, and Non-Profit Institutions (also includes Circular A-133 Compliance Supplement)
10. Planning Ahead Internally Organizational requirements and policies
Accounting system
Fiscal year constraints
Early notice
Over expenditures
Clear procedures and responsibilities
11. Planning Ahead, Sponsor Needs Deadlines for reports
Types of reports
Restrictions on extensions
Details required for reports
Sub reports
12. Types of Closeouts Total program
Same program/new award
Transfer of project
Suspension and termination
13. Considerations on Subagreement Due dates – yours, theirs, sponsor
Scope of work
Intellectual property rights
Integration of final programmatic report
14. Transfer of Grants
Request/Receive Approval from Agency
Grant transfers to another institution
Substitute Principal Investigator is approved
Negotiate subagreement
15. Fixed Price Contracts Close-out
Cost overruns
Remaining balances
F&A cost recovery
UBIT liability
Organizational policies
16. Sponsor Regulations Applicable only to the award on which they are listed.
Can be more restrictive than Federal Agency Regulations and Federal Regulations
Identify who will prepare fiscal reports
17. Federal Regulations The OMB Circulars provide guidance to federal agencies.
OMB Circular A-110 - Guidance for administrative processes - cash management, reporting, program income
OMB Circular A-21 - Guidance on calculating F&A costs, examples of allowable direct and F&A costs. A-122 same for non-profits.
OMB Circular A-133 Audits of States, Local governments and Non Profit Organizations
18. Allowability of Costs OMB A-21 Must be reasonable
Must be allocable to sponsored agreement
Must be given consistent treatment
Must conform to any limitations or exclusions
Cost transfers well documented
Effort documented
19. Contracts Contracts generally have more requirements than grants
On federal contracts a contractor’s release is required at the expiration of the contract
Generally require monthly or quarterly reporting using a standard contract report format (2076).
20. Mandatory Cost Sharing Required by the sponsor as a condition of the award.
If it’s included in the proposal, it’s mandatory
Must be met by expiration for reporting purposes.
Failure to meet obligations could have an adverse impact on the University’s ability to obtain future federal funds.
Must be documented.
21. Financial Reporting Methods of Payment - Letter of Credit, Cost Reimbursable & Pay in Advance
Due Dates - generally 90 days after expiration
Special forms
Common reporting periods - covering entire period, annually, semi-annually, quarterly, monthly
22. Technical Reports Contents of Technical or Performance Reports
Comparison of actual accomplishments to goals established for the awarded period;
Findings/results from the project;
Reasons why the expected goals were not met;
Explanations, when appropriate, of high unit costs, cost overruns, excessive carryovers, etc.
23. Reports Final FSR
Final “draw”
Final Progress Report
Final Invention Report (some)
Within 90 days
May request an extension
24. Implications of Late Invoices/Reports Cash
Future Funding
Unallowable Costs
Expanded Authority
Inability to draw funds (Letter of Credit) Cash- late invoices may not be paid or payments may be delayed.
Late reports may result in non payment.
Future funding- sponsors may require final reports before they will release supplements and renewal funds.
Unallowable costs- cost reported after the required due date may result in a disallowance.
Expanded authority- failure to submit reports in a timely manner may result in the loss of expanded authority.
Inability to draw funds- sponsors may withhold authorization through the letter of credit process if reports are not submitted in a timely manner.
Cash- late invoices may not be paid or payments may be delayed.
Late reports may result in non payment.
Future funding- sponsors may require final reports before they will release supplements and renewal funds.
Unallowable costs- cost reported after the required due date may result in a disallowance.
Expanded authority- failure to submit reports in a timely manner may result in the loss of expanded authority.
Inability to draw funds- sponsors may withhold authorization through the letter of credit process if reports are not submitted in a timely manner.
25. Record Retention OMB Circular A-110, Subpart C, 53 – Retention and Access Requirements for Records
Federal awarding agencies shall not impose any other record retention or access requirements upon recipients.
26. Record RetentionThree Years UNLESS Litigation requires retention until resolved
Real property and equipment records retained for 3 years from date of final disposition
When records are transferred to or maintained by the Federal agency, the retention requirement ends
27. Close-Out Requirements OMB Circular A-110, Subpart D: After-the-Award Requirements
Purpose is to establish procedures for close-outs, disallowances and adjustments
28. Close-Out RequirementsOMB Circular A-110 All reports must be submitted within 90 days
All obligations must be liquidated within 90 days
Agency must make prompt payment
Recipient shall refund any unobligated cash advance
29. Close-Out RequirementsOMB Circular A-110 Agency makes adjustments after reports are received
Recipient must account for real and personal property
Agency retains right to recover disallowances until final audit
30. Close-Out Close-out of an award does not affect any of the following (A-110, Subpart D, 72):
Right of agency to disallow and recover funds
Obligation of recipient to return funds due as a result of refunds
Audit requirements of Subpart C, 26
Property management requirements in Subpart C, 31 – 37
Records retention as required in Subpart C, 53
31. Close-Out OMB Circular A-110, Subpart D, 73 Collection of Amounts Due
Any funds paid to a recipient in excess of the amount to which the recipient is finally determined… constitute a debt to the Federal Government
Administrative offset against other awards
Withhold advance payments
Other actions permitted by statute
May charge interest on unpaid amounts
32. Summary Review early and often for compliance
Know deadlines and adhere to them
Understand reporting requirements
Purge file
Retain for specified period – usually 3 years
Audit findings