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How to Lead, Support and Enhance Title IV & Grant Management Compliance. Presented by: Michelle Spriggs Patricia Gallagher Susan Jenks Beard. Presenters. Michelle Spriggs, CPA, MBA Director, CBIZ Tofias & Mayer Hoffman McCann P.C. Patricia Gallagher, CPA
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How to Lead, Support and Enhance Title IV & Grant Management Compliance Presented by: Michelle Spriggs Patricia Gallagher Susan Jenks Beard
Presenters • Michelle Spriggs, CPA, MBA • Director, CBIZ Tofias & Mayer Hoffman McCann P.C. • Patricia Gallagher, CPA • Associate VP for Financial Affairs, Franklin W. Olin College of Engineering • Susan Jenks Beard • Director of Financial Aid, Wheaton College 1
Agenda • Federal spending • The regulatory environment • Key risks with grants management and Title IV compliance • Common A-133 findings • Preparing for a successful A-133 audit • Selecting an A-133 auditor • Best practices for detection and remediation 2
Prime Award FederalSpending FY 2012 Federal Spending (in billions) Source: USAspending.gov 3
Federal Awards by State(in billions) Source: USAspending.gov 4
Changing Regulatory Environment “Transparency Promotes Accountability.” H. Glenn Walker, Executive Director of the Recovery Accountability and Transparency Board, to the AICPA National Governmental Accounting and Auditing Update Conference – August 2010 5
Changing Regulatory Environment (Cont.) • Congressional interest • 2008 audit quality hearings • Focus on for-profit institutions is trickling down to not-for-profit institutions • Senator Grassley initiating audits for specific situations that he feels warrant attention 6
Changing Regulatory Environment (Cont.) • Presidential interest • 2009 Executive Order • 2011 Memorandum • Reduce payment errors • Eliminate fraud, abuse, waste • Improve effectiveness of single audits towards identifying improper payments • Identify opportunities to reform grant policies and streamline or eliminate single audit requirements where minimal value 7
Changing Regulatory Environment (Cont.) • GAO evaluated the single audit concept • Congress should designate a federal entity to evaluate and comprehensively monitor the single audit process • Assess the efficiency and effectiveness of how agencies carry out their single audit responsibilities • Consider simplified alternatives to small entities • Achieve a balance between risk and cost effective accountability 8
Changing Regulatory Environment (Cont.) • More government oversight coming our way • OMB considering a Grants Governance Board • Each federal agency to appoint a Chief Financial Assistance Officer and Single Audit Coordinator • OMB to establish a senior position to coordinate federal agency efforts • OMB is considering comments for potential changes to cost circulars 9
Changing Regulatory Environment (Cont.) • DOE announcement letter 1/17/12 • Bolstering enforcement of due date regulations for financial and compliance audits • Late reporting is deemed indicative of a lack of financial responsibility and administrative capacity and may indicate mismanagement of Title IV funds 10
Changing Regulatory Environment (Cont.) • DOE announcement letter 1/17/12 (Cont.) • Institution may be sited for a past performance violation • Will cause failure of financial responsibility requirements • Continued participation in the Title IV program will require: • Provisional certification • Posting of LOC at 10% of Title IV funds received • Use of heightened cash payment method 11
Changing Regulatory Environment (Cont.) • Revised incentive compensation rules in effect July 1, 2011 prohibiting incentive compensation to individuals or entities involved in recruiting students or making awards of student aid • compliance with these rules needs to be monitored on a consistent basis • OMB issued a Q&A on Federal Funding Accountability and Transparency Act (FFATA) compliance testing 12
Changing Regulatory Environment (Cont.) • US Court of Appeals for the District of Columbia upheld a lower court ruling that struck down part of the state authorization requirement in the Department of Education’s program integrity rules • US District Court of Columbia recently vacated most of the gainful employment rules 13
Changing Regulatory Environment (Cont.) • Other areas of focus • Third party servicers • NSLDS reporting • Perkins loans administration • Title IV refunds • Incorrect calculations • Late returns • Travel and expense reporting • Documentation deficiencies – policies and procedures not documented or up-to-date 14
Changing Regulatory Environment (Cont.) • Future changes to the Single Audit regulations • Increase the audit threshold to $1 million • Create a new category of audit requirement for expenditures between $1 million and $3 million • No significant changes for expenditures over $3 million • 9 month due date of A-133 audit likely to become 6 months 15
What Grants ComplianceManagement IS • Collaborative effort among all departments within the institution that has an impact on grant compliance • Don’t forget SFA department and their role 20
What Grants Compliance Management IS NOT • An effort placed solely on the shoulders of one individual or department • Grant compliance officer • Grants accountant • Program director • SFA department • An “enigma” the institution perceives as having no relation to securing new funds • Someone else’s responsibility 21
Obstacles to Compliance • Inadequate resources • Staff training, professional development • Poorly defined roles and responsibilities • Nonexistent or outdated policies and procedures related to federal grants management • Poor information systems • Poor conception of the importance of compliance and internal controls 22
Goals of the A-133Audit Process • Remain in good standing with federal government and pass-through entities • Minimize impact on your institution • Avoid repercussions from a bad audit • Minimize audit costs • Identify problematic areas • Keep good reputation in the community 24
A-133 Findings Summary Summary of findings reported on Data Collection Forms during 2007-2010 *Information obtained from the Federal Audit Clearinghouse 25
Top 5 A-133 Findings Summary of findings reported on Data Collection Forms during 2007-2010 *Summarized using information obtained from the Federal Audit Clearinghouse 26
Common A-133 Findings • Time and effort reporting • Salaries are charged based on actual time incurred and not budgeted time • Documentation exists based on level of effort performed • Can be timesheet or other documentation directly from the individual on a periodic basis verifying actual time spent and charged 27
Common A-133 Findings (Cont.) • Time and effort reporting (Cont.) • HHS and NSF OIGs expressed concern and being aggressive in areas of noncompliance • Several high-profile universities fined • Auditor work being reviewed 28
Common A-133 Findings (Cont.) • Subrecipient monitoring • Area of federal focus (i.e. FFATA reporting) • Comprehensive written policy needed • Consideration of for-profit and foreign subs • Procedures when A-133 reports are not required by subs • Annual risk assessment – at a minimum • Quality of the A-133 audit review process • Quality of follow-up actions 29
Common A-133 Findings (Cont.) • Procurement • Documentation of bid or sole source decision • Material and services • Subrecipient selection • Name of a vendor or subrecipient in an award application or proposal is not indicative of federal approval of such • Review of debarment of vendors or subrecipients 30
Preparing for a Successful A-133 Audit • Proper scheduling of fieldwork • Coordination with multiple departments • Timeline for deliverables for all • Explicit PBC listing • Ask questions to know what your auditor is looking for 31
Preparing for a Successful A-133 Audit (Cont.) • Actively manage the workflow • Assign a point person • Manage the process • Have regular progress meetings • Discuss emerging concerns • No surprises! • Push back when appropriate • Use everything learned for improvements for next year 32
Preparing for a Successful A-133 Audit (Cont.) • Responding to findings • Campus “tone at the top” – commitment to get things right • Identify the real problem • Fix the disease not the symptom • Obtain buy-in from all involved • Create training opportunities • Start action plans ASAP 33
Preparing for a Successful A-133 Audit (Cont.) • Complete and accurate Schedule of Expenditures of Federal Awards (SEFA) • Pass through entities and identifying numbers • ARRA funds • Clusters • Programs/clusters > $300k may be audited • Programs/clusters with ARRA $ may be audited 34
Preparing for a Successful A-133 Audit (Cont.) • Identification of research and development programs • National Science Foundation • Check data collection forms for how CFDA numbers reported by other institutions http://harvester.census.gov/sac/ 35
Preparing for a Successful A-133 Audit (Cont.) • Understanding and identifying applicable compliance requirements • Read and understand the grant agreements • Obtain and review the latest version of A-133 Compliance Supplement http://www.whitehouse.gov/omb/circulars/a133_compliance_supplement_2012 36
Preparing for a Successful A-133 Audit (Cont.) • Be familiar with applicable cost circulars • A-21 Cost Principles for Educational Institutions http://www.whitehouse.gov/sites/default/files/omb/assets/omb/circulars/a021/a21_2004.pdf • A-122 Cost Principles for NFP Organizations http://www.whitehouse.gov/sites/default/files/omb/assets/omb/circulars/a122/a122_2004.pdf 37
Preparing for a Successful A-133 Audit (Cont.) • Organized files • Supporting documentation for expenses, eligibility, procurement, subrecipient monitoring • Appropriate approvals If it’s not documented…….it didn’t happen! 38
Selecting an A-133 Auditor • Demonstration of qualifications • Number of A-133 clients • Both the firm and the individuals assigned • Types of programs and agencies auditing • Are A-133 auditors local • How often is the partner/senior manager in the field • Participation in improvement programs like GAQC • Look up some of their audits (Mass AG and DCF sites) 39
Selecting an A-133 Auditor (Cont.) • Talk to references • How practical are they to work with • How knowledgeable is the team • Review results of external peer review • Members of SFA and Grants Management departments involved in the interview process 40
Best Practices for Detection and Remediation • Create a grants and/or Title IV administration program that incorporates the A-133 compliance requirements and internal controls framework • Ensure all expenditures approved by program manager • Documentation sufficient to determine nature of expenditure and allowability kept 41
Best Practices for Detection and Remediation (Cont.) • Expect personnel responsible for these areas to manage awards considering A-133 compliance requirements • Ensure responsible personnel are keeping abreast of changes in policies or requirements • Attending key conferences and seminars • Members of relevant associations and list serves 42
Best Practices for Detection and Remediation (Cont.) • Collaborating among departments • Regular budget to actual reviews and discussions of variances • Promote an environment of open communication so decisions are not made without considering impact on other areas • Establish a system of budget control and monitoring 43
Best Practices for Detection and Remediation (Cont.) • Use a strong accounting and performance reporting system • Each grant has its own accounting record/cost center • Accounting record/cost center tracks expenditures to approved budget • Consider an internal audit process 44
Questions? 46