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Title: NATIONAL COUNCIL OF UNIVERSITY RESEARCH ADMINISTRATORS


1
NATIONAL COUNCIL OF UNIVERSITY RESEARCH
ADMINISTRATORS INTRODUCTION TO POST-AWARD
ADMINISTRATION NCURA REGION IV MEETING MAY 4,
2008
Diane Barrett Assistant Director, Pre-Award
Services Research and Sponsored
Programs Telephone (608) 262-0152 Fax (608)
262-5111 E-Mail barrett_at_rsp.wisc.edu Web Page
www.rsp.wisc.edu Robert Andresen Assistant
Director, Post-Award Services Research and
Sponsored Programs University of
Wisconsin-Madison  Telephone (608) 262-2896 Fax
(608) 262-5111  E-Mail randresen_at_rsp.wisc.edu Web
Page www.rsp.wisc.edu
2
Introductions
  • Who We Are
  • Who You Are

3
Fundamentals of Research Administration Web Site
  • Bookmark Today http//www.ncura.edu
  • Broken into Sections
  • Legal Framework
  • Pre-Award Research Administration Services
  • Pre-Award Proposal/Budget Development, Costing
  • Negotiation and Award
  • Post-Award Administration
  • Compliance

Searchable!
4
Welcome to Your New Job
  • Congratulations! You are the new Research
    Administrator at the University.
  • The previous research administrator left several
    months ago.
  • Since her departure, the office has moved into
    new office space.
  • Prior to the move, the staff cleaned house and
    got rid of a lot of old and unnecessary
    paperwork.
  • Nobody is really sure what happened to your
    predecessors documentation.
  • During your first days, you will be meeting
    several faculty members who have been working
    very hard on their sponsored projects.
  • Since the previous administrators departure,
    most of the administrative duties have been done
    directly by the faculty members, as time
    permitted.

5
Welcome to Your New Office
6
Meet Prof. Brown
7
Meet Prof. Brown (continued)
  • Prof. Brown has been at the University for seven
    years.
  • She was personally recruited to the University by
    the Chancellor.
  • She is a prolific researcher with many grants
    from Federal and non-Federal sources.
  • Prof. Brown is well-known in her field and is a
    self-proclaimed finalist for a Nobel Prize.
  • Prof. Brown believes the previous research
    administrator was too detail-oriented,
    inflexible, and uncooperative.
  • Typical quotes
  • I dont have time to answer your questions right
    now.
  • Just charge it to the current grant. All my
    projects are related anyway so it doesnt
    matter.

8
The Scenario
  • Prof. Brown enters your office with a copy of an
    email from NIH indicating that an FSR is
    delinquent on a project that ended 6 months ago.
  • NIH will not act on her grant continuation until
    it receives the FSR.
  • Prof. Brown tells you that it must be submitted
    today.
  • In reviewing the accounting ledgers for this
    project, you find a large unspent balance.
  • In reviewing the accounting ledgers for Prof.
    Browns other projects, you find that they are
    all overspent.
  • What do you do?

9
Topics for Discussion
  • Monitoring Financial Activity
  • Cost Transfers
  • Financial Reporting

10
A-110 Subpart C - Post Award Requirements
  • Standards for financial management systems
  • Relate financial data to performance data
  • Recipients financial system must provide
  • Financial results of each sponsored project
  • Identification of source application of funds
  • Control accountability over all funds, property
    other assets
  • Comparison of outlays to budget amounts
  • Procedures to minimize time between transfer of
    funds and the disbursement of those funds
  • Procedures for determining reasonableness,
    allocability and allowability of costs
  • Accounting records supported by source
    documentation

10
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Cost Transfers
  • An after-the-fact reallocation of costs to a
    federally funded award
  • NIH Grants Policy Statement
  • Cost transfers that represent corrections of
    clerical or booking errors should be accomplished
    within 90 days of when the error was discovered
  • The grantee should have systems in place to
    detect such errors within a reasonable timeframe
    untimely discovery of errors could be an
    indication of poor internal controls

11
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12
Cost Transfers
  • Acceptable reasons
  • Reflect correct usage when multiple projects
    benefit
  • Transfer pre-award costs
  • Remove unallowable costs
  • Unacceptable
  • To meet deficiencies caused by overruns or other
    fund considerations
  • To avoid restrictions imposed by law or by the
    terms of sponsored agreement
  • For other reasons of convenience

12
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13
Cost Transfers
  • Auditor concerns
  • Is the main reason for the transfer to maximize
    federal funds?
  • Does the organization demonstrate good fiscal
    stewardship of Federal funds?
  • Frequent errors in recording costs, and / or a
    delay in the time it takes to identify errors may
    indicate the need for accounting system
    improvements, enhanced internal controls or both
  • Is the transfer supported by sufficient written
    justification with appropriate reviews and sign
    offs?
  • Are adequate policies and procedures in place?
    Have those policies and procedures been followed?

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Cost TransfersHigh Risk Transactions
  • Red Flags
  • Greater than 90 days
  • In last two months of award
  • Moving overdrafts from one federal award to
    another
  • Not following institutional policy
  • Inadequate explanations
  • Adjustments to effort certifications
  • Recent Audits
  • Mayo Clinic - 6.5M Fine
  • OIG Work Plans

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A-110 Reports And Records
  • When required, performance reports (technical
    reports) shall generally contain
  • Comparison of actual accomplishments with goals
    established for the period, the finding or both
  • Reasons why established goals were not met and
  • Other information including, when appropriate,
    analysis and explanation of cost overruns or high
    unit costs.
  • Recipient shall notify the federal awarding
    agency when
  • Events occur that have a significant impact on
    the project or program and/or
  • Problems, delays or adverse conditions occur that
    materially impair the ability to attain program
    objectives.
  • Site visits

16
A-110 Reports and Records
  • Establishes procedures for monitoring and
    reporting financial and program performance (i.e.
    technical reporting) and the necessary reporting
    forms
  • Financial reporting
  • Financial Status Reports (FSR) (SF-269)
  • 30 days after the conclusion of each specified
    reporting period for quarterly and semi-annual
    reports and within 90 days of annual or final
  • Report of Federal Cash Transactions (FCTR)
    (SF-272)
  • For advances through letter of credit
  • Due 15 days after each quarter
  • Request for advance or reimbursement (SF-270)
  • Used only where letter of credit or predetermined
    advance method is not used.

16
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Submitting Financial Reports
  • Refer to awards terms and conditions.
  • Include actual costs only.
  • Use appropriate format.
  • Online systems are common.

18
Meet Prof. Greene
19
Meet Prof. Greene (continued)
  • Professor Greene is also new to the University.
  • This is his first faculty position, although he
    has worked on sponsored projects as a graduate
    student as well as a post-doc.
  • Prof. Greene has just received his first Federal
    grant to conduct research in a new field.
  • The grant provides funding for a variety of
    items many of which are not typical purchases or
    hires for the department.
  • Typical quotes
  • I just filled out the forms I wasnt sure what
    to include.
  • I didnt know that I was supposed to do that.

20
The Scenario
  • Prof. Greene comes to your office with a stack of
    purchasing forms that have been returned because
    they were filled out incorrectly and were
    requesting purchases that the University does not
    make.
  • Prof. Greene has a copy of his approved budget
    from the sponsor.
  • Hes leaving campus to begin his field work at
    the end of the week and would like you to get
    this straightened out today.
  • What do you do?

21
Topics for Discussion
  • Budgeting
  • Cost Principles
  • Rebudgeting

22
Proposal Budget Elements Of Direct Costs
  • Salaries and wages
  • Fringe benefits
  • Equipment
  • Expendable supplies and materials
  • Travel
  • Subcontracts and consultants
  • Other

23
Budget Construction And Review
  • Salaries and Wages
  • Institutional Policy on Academic Year Salary
    Recovery
  • Summer Salary
  • Undergraduate and Graduate Students (salaries or
    stipends?)
  • Postdoctoral Research Associates
  • Technical and Clerical Support, as justified
  • Use Percent of Effort, Not Hourly Wage
  • Include Increases for COLA and Merit-based
    Adjustments
  • Fringe benefits
  • Use Correct Rates (if multi-year rates, are they
    applied correctly?)
  • Equipment
  • Beware of Potential Differences Between Equipment
    Definitions
  • (sponsor / institution)

24
Budget Construction And Review (Contd.)
  • Expendable materials and supplies
  • Travel
  • Adhere to Institutional Policy and Agency
    Guidelines
  • Distinguish Between Domestic and Foreign Travel
  • If Foreign Travel is Sponsored by the Federal
    Government, Use Federal International Per Diem
    Rates
  • Subcontracts and consultants
  • Proposed Costs should be Reasonable and Allowable
  • Authorized Subcontract Representative /
    Consultant should sign the Sub-proposal or a
    Confirmatory Letter.

25
Budget Construction And Review (Contd.)
  • Other direct costs
  • Communications
  • Publications
  • Animal Care Costs
  • Human Subject Costs
  • Shop Charges
  • Maintenance / Service Contracts
  • Computer Costs
  • Graphic Arts / Photographic Services
  • Rental / Lease of Facilities
  • Construction / Renovation / Remodeling Costs
  • Remember Include Inflationary Adjustments

26
Budget Justification
  • Include a narrative budget justification to
    briefly describe how the expenditures relate to
    the project.
  • Include relevant information such as fringe
    rates, salary increase percentages, inflationary
    adjustments.
  • If requesting unusual expenditures, explain the
    need.
  • Be careful when including effort estimates and
    cost sharingthis become binding commitments.
  • EXAMPLE
  • Salaries and wages
  • Senior Personnel The P.I. is on a full-time
    teaching appointment in the Department of
    Physics. This request is for 10 salary during
    the academic year and two months summer salary
    (when 100 time is available) for each of the
    three years of the project. A 3 cost of living
    increase has been built in to years 2 and 3.
  • Data Assistant The staff position will perform
    data entry, analysis, report preparation and data
    coordination with the subcontractor.
  • Fringe benefits Benefit rates for the P.I. and
    staff are set at 25 of salaries for Year 1 26
    for Year 2 and 27 for Year 3. The student
    rate is 10 for all years.
  • Equipment The Textronics Model 1245 recorder and
    translator provides instantaneous readouts with
    improved sensitivity. The PIs laboratory has
    access to a Model 1240, which is unable to
    perform the sensitive analyses required for this
    research.

27
Budget Summary Of General Points
  • Include both direct and FA costs
  • Should be detailed (at least in first year)
  • Include only allowable costs
  • As required, include matching or cost-sharing
  • Remember Be consistent with sponsor
  • policies and requirements

28
Direct Costs
  • Costs that can be identified specifically with a
    particular sponsored project, an instructional
    activity, or any other institutional activity or
  • That can be directly assigned to such activities
    relatively easily with a high degree of accuracy
  • Examples of Direct Costs
  • Salary of researcher (including benefits costs)
  • Laboratory supplies purchased for project
  • Technician

28
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Facilities and Administrative (FA) Costs
(Indirect Costs)
  • Costs that are incurred for common or joint
    objectives, and, therefore, cannot be identified
    readily and specifically with a particular
    sponsored project, an instructional activity, or
    any other institutional activity (Section E.1)
  • Examples of FA Costs
  • Salary of department administrator
  • Building utility and maintenance costs
  • President, Provost, and CFOs offices

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Total Project Costs
  • Direct Costs (Directly benefit a specific
    sponsored project)
  • FA Costs (Cannot be attributed to a specific
    project)
  • ------------------------------
  • Total Project Costs


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What Is An Allowable Cost?
  • An allowable cost must be
  • REASONABLE A prudent business person would have
    purchased this item and paid this price.
  • ALLOCABLE It can be assigned to the activity on
    some reasonable basis.
  • CONSISTENTLY TREATED Like costs must be treated
    the same in like circumstances, as either direct
    or FA costs.
  • CONFORM TO TERMS In A-21 or the Sponsored
    Agreement.
  • Cost must meet all four standards to be
    considered allowable!

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What Does Reasonable Mean?
  • A cost is reasonable if
  • The nature of the good or service and the amount
    involved reflect the action of a prudent person.
  • Considerations in determining reasonableness
  • Necessary for the performance of the sponsored
    agreement
  • Determined by arms length bargaining of a
    prudent person
  • In accordance with the sponsored agreement terms
    and conditions
  • Consistent with established Institution policies
    and practices

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The Front Page of the Newspaper Test
Contemplating any business act, an employee
should ask himself whether he would be willing to
see it immediately described by an informed and
critical reporter on the front page of his local
paper, there to be read by his spouse, children,
and friends. --- Warren E.Buffet
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Allocability
  • A cost can be allocable as a direct or an
    indirect cost
  • A cost is allocable as a direct cost if the goods
    or services provided are assignable in accordance
    with the relative benefits received.
  • It is incurred solely to advance the work under
    the sponsored agreement
  • It benefits both the work under the sponsored
    agreement and other work of the institution in
    proportions that can be approximated
  • - Allocate costs based on benefit to projects

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Allocating Direct Costs
  • Proportional benefit
  • Cost benefits two or more projects in proportions
    that can be determined without undue effort or
    cost
  • Any reasonable basis
  • Proportional benefit between projects cannot be
    determined because of the interrelationship of
    the work involved allocate costs between
    projects on any reasonable basis
  • Who determines reasonable basis?

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Examples Allocability of Costs
  • Travel by PI to conference (not related to
    specific project)
  • Not allocable as direct charge to sponsored
    award may be allocable as FA cost
  • Salary of research technician
  • Allocable as direct cost, not as FA cost
  • Salary of administrative assistant
  • Allocable as FA, not normally allocable as
    direct charge to a sponsored project
  • Proposal preparation costs
  • Not allocable as direct charge to sponsored
    award, allocable as
    FA cost

36
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Examples of When Costs May Not Be Allocated
  • Costs MAY NOT be allocated
  • To meet deficiencies caused by overruns,
  • To avoid restrictions imposed by law or terms of
    the sponsored agreement, or
  • For other reasons of convenience
  • Because one project has more funds!

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Other Allowability and Allocability
Considerations Cost Accounting Standards
(Appendix A)
  • Each Institution Shall Follow Four CAS Standards
  • CAS 501 consistently follow its established
    cost accounting practices when estimating
    (proposal costs), accumulating (incurred costs)
    and reporting costs
  • CAS 502 consistently allocate costs incurred
    for the same purpose, in like circumstances, as
    either direct or FA costs as they relate to the
    final cost objective
  • CAS 505 identify and exclude unallowable costs
    from proposals and claims (i.e. FA rate
    proposal)
  • CAS 506 consistently use the same cost
    accounting period for purposes of estimating,
    accumulating and reporting costs.

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Costs that should normally be treated as FA
Costs
  • Costs normally treated as FA costs cannot be
    charged directly to a sponsored project unless
    the specific activities related to the project
    are clearly different in type or significantly
    different in scale from the Institutions norm.
    Costs normally charged as FA costs may be
    charged directly when "unlike or unusual"
    circumstances exist.
  • Items such as office supplies, postage, local
    telephone costs, and memberships shall normally
    be treated as FA costs. (A-21 F.6.b)

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Implications of F.6.b. Guidance
  • OMB Direct charging.may be appropriate where
    a major project or activity explicitly budgets
    for administrative or clerical services
  • Do we explicitly budget for these costs in the
    research proposal?
  • Does the the proposal include a written
    justification (i.e. why the normally indirect
    costs are necessary for project performance)
  • Is this a major project as defined in Exhibit C
    of A-21?

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Major Projects
  • A-21 definition a project that requires an
    extensive amount of administrative or clerical
    support, which is significantly greater than the
    routine level
  • Projects may be major, regardless of their size.

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Examples of Major Projects
  • Those which require or involve
  • Large, complex programs
  • Extensive data accumulation, analysis, entry...
  • Large amount of travel/meeting arrangements
  • Preparation of manuals, large reports, books...
  • Geographically inaccessible project locations
  • Conditions including human or animal protocols,
    multiple-investigator coordination
  • Examples are not exhaustive nor are they intended
    to imply that direct charging of admin / clerical
    salaries would always be appropriate in the
    situations illustrated.

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Criteria for Direct Admin Charging
1. Performance of a Major Project or activity
(See A-21 examples)
2. Identified with and directly benefiting the
project
3. Budgeted and approved by the sponsor
4. Supported by a budget justification
When all criteria are met, you can charge
directif its Allowable, Allocable, Reasonable,
and Consistent!!
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Unallowable Cost
  • An unallowable cost is one that is not eligible
    for reimbursement by a Federal sponsor, either
    directly or indirectly (through the FA rate)
  • Costs that are unallowable for reimbursement by
    Federal sponsors may still be permissible charges
    against Institute funds
  • Care should be taken to specifically categorize
    such costs (usually by specific object code or
    expenditure type) so that while it may still be
    reimbursed by the Institute it will not be passed
    on to the Federal government through the FA rate

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Examples of Unallowable Transactions and
Activities
Can these be essential institutional activities,
YES! Can your institution pay for them, YES! Can
you charge these activities to the Federal
Government, NO!
  • Organized Fund Raising
  • Lobbying
  • Commencement Convocation
  • General Public Relations Alumni Activities
  • Student Activities
  • Prosecuting Claims Against the Federal Government
  • Student Housing
  • Campus Bookstore
  • Athletics
  • Certain Travel Costs (i.e., First Class)
  • Cash Donations To Other Parties (Such as
    Donations to Other Universities)

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A-110 Budget and Program Changes
  • Budget and Program Plan Revisions
  • Deviations must be reported and prior approval
    requested
  • Prior approval required in non-construction
    awards as follows
  • Change of scope
  • Change of Key Personnel
  • Absence of 3 months or 25 reduction in time of
    Key Personnel
  • Additional funding
  • Transfer of FA to direct or vice versa
  • Inclusion of costs requiring prior approval in
    Circulars
  • Transfer of funds allotted for training
  • Subawards

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A-110 Budget and Program Changes (continued)
  • No other prior approvals can be imposed
  • Agencies authorized to waive approvals except
    for
  • Change in scope of work
  • Additional funding
  • Transfers between budget line items may be
    restricted if award is 100,000 or more and
    transfer exceeds 10 of approved budget
  • Agency should respond to request within 30 days
    from the date of receipt of the request

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FDP and Expanded Authorities
  • Federal Demonstration Partnership
  • Group of Universities, Federal Agencies, and
    Others (including NCURA) focused on improving
    Federal grants management.
  • Expanded Authorities delegated approvals to the
    grant recipients in 7 areas
  • Pre-award Costs
  • Domestic Travel
  • Foreign Travel
  • Equipment
  • Carry-Over of Funds
  • No-Cost Extensions
  • Rebudgeting
  • Not all agencies or programs have delegated these
    approvals.
  • http//thefdp.org/EA_Summary.pdf

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Meet Professor Grey
50
Meet Professor Grey (continued)
  • Prof. Grey has been with the University for
    thirty-four years.
  • He has been scaling back his extensive research
    operations in recent years, but plans on
    continuing research activity for the foreseeable
    future.
  • Prof. Grey and the previous research
    administrator worked very well together for many
    years. She would frequently complete tasks and
    sign paperwork for himoften without him having
    to ask for assistance.
  • Typical quotes
  • Why are you asking me to do this?
  • In my thirty-plus years, I never had to do this
    before.
  • Where does it say that I have to do this?

51
The Scenario
  • Prof. Grey comes to your office with a copy of an
    email requesting that he certify his effort using
    the Universitys new effort reporting system.
  • Prof. Grey hands you the email and says
  • Here you need to take care of this for me
    today.
  • What do you do?

52
Topics for Discussion
  • Roles and Responsibilities
  • Effort Reporting
  • Cost Sharing

53
Roles and Responsibilities
  • Central Research Administration
  • Deans Offices
  • Departmental Administrator
  • Prinicipal Investigator

54
Central Research Administration Office
  • Provides institutional leadership through
    on-going training and advising
  • Assures compliance with federal, state and
    University regulations
  • Manages campus systems for extramural support.
  • Submits invoices and financial reports on behalf
    of the Institution
  • Identifies changes in sponsors terms and
    conditions for grants
  • Negotiates and signs grant, contracts and
    subagreements
  • So what does everyone else do????

55
Dean/Designee(School/College Post-Award
Administrator)
  • Provides general oversight for sponsored project,
    including budget and expenditure review.
  • Verifies approval of regulatory compliance
    protocols
  • Approves cost-sharing/matching
  • Approves requests for space
  • Approves substantive modifications and
    rebudgeting
  • Assures timely resolution of overdrafts and
    revenue shortfalls

56
Department Administrator
  • Department Administrator is used loosely.
  • Assists in management of awards
  • Manages expenditures.
  • Assists in gathering of subrecipient paperwork.
  • Acts as primary contact between the PI and
    central administration.

57
Principal Investigator
  • Identifies funding opportunity
  • Prepares Proposal
  • Technical description
  • Budget
  • Electronic versions of agency forms
  • Standard Budget Template
  • Supporting Documentation
  • (e.g. matching commitment, consortium agreement,
    regulatory compliance approvals)

58
Principal Investigator (continued)
  • Reviews and accepts terms and conditions of award
  • Manages the administration and science of the
    award(s)
  • Certifies effort for staff working on project.
  • Initiates requests for payroll appointments and
    non-salary expenditures.
  • Monitors fiscal status of project.
  • Reviews invoices from sub-recipients and approves
    payment.

59
Effort Reporting
  • Required by OMB Circular A-21 (Section J.10)
  • Certifies that salaries wages charged to
    sponsored agreements are reasonable in relation
    to the work performed

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Effort Reporting - What is it?
  • 1. What is Effort?
  • - Effort vs. Payroll Charges
  • - Proposed vs. Actual Effort
  • 2. Who can Certify?
  • - Effort Reports will be signed (certified) by
    the employee, principal investigator, or
    responsible official(s) using suitable means of
    verification that the work was performed.
  • - What is "Suitable Means of Verification"

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Top 10 Things a P.I. Should Know about Effort
  • Effort is your work on a project, whether the
    sponsor pays your salary or not.
  • When you write yourself into a grant proposal,
    you are committing your effort to the sponsor.
  • If you reduce your effort, paid or unpaid, on a
    federal grant by 25, you must have agency
    approval. If you reduce your paid effort, you
    may choose to document cost-sharing so that the
    total effort does not decrease.

62
Top 10 Things a P.I. Should Know about Effort
  • Many activities cannot be charged to a federally
    sponsored project. For example, the time you
    spend on these activities cannot be charged
  • Writing a proposal
  • Serving on an IRB, IACUC or other research
    committee
  • Serving on a departmental or university service
    committee

63
Top 10 Things a PI Should Know about Effort
  • If you work on a sponsored project, you must
    certify your effort.
  • Certifying effort is not the same as certifying
    payroll.
  • Certification must reasonably reflect all the
    effort for all the activities that are covered by
    your University compensation.

64
Top 10 Things a P.I. Should Know about Effort
  • Effort is not based on a 40-hour work week. Its
    not based on hours at all.
  • Effort must be certified by someone with suitable
    means of verifying that the work was performed.
  • Auditors look for indications that
    certification was based on factors other than
    actual, justifiable effort.

65
Effort Reporting
  • Why Should We Care?
  • - Recent settlements
  • - Office of Inspector General Reports
  • Complicated Effort Reporting Areas
  • - K-Awards
  • - VA Appointments
  • - Clinical Practice Payments
  • - NIH Salary Cap
  • - Cost Shared Effort

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Cost Sharing
  • represents that portion of the total project
    costs of a sponsored agreement paid for by the
    Institution, rather than by the sponsor.

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Proposing Cost Sharing
Mandatory Cost Sharing is Required by the
sponsor as a condition of obtaining an award.
Voluntary Cost Sharing is Offered to increase
competitiveness against peer institutions for an
award or for other non-mandatory reasons
Committed Once Mandatory or Voluntary Cost
Sharing is Proposed to a sponsor, and Accepted in
an award it becomes committed!
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Examples of Cost Sharing
  • Effort - faculty, staff or student
  • Example 30 effort with 10 of salary charged
    to the project
  • Cash
  • Third Party Contributions
  • Unrecovered FA costs (can be used if agency has
    approved)
  • Establishing values for contributions of services
    and property (in accordance with applicable cost
    principles)
  • Volunteer Services Necessary and integral part
    of project
  • Other employee services (valued at regular rate
    of pay plus fringe benefits)
  • Donated supplies (must be reasonable and at fair
    market value)

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Expenditures That Can NOT Be Proposed as Cost
Sharing
  • Unallowable costs
  • Salaries over the salary cap
  • Cost overruns/overdrafts
  • Purchase price of equipment in current inventory
  • Other items your institution might prohibit?

If a sponsor wouldnt pay for it anyway, it cant
be proposed as cost sharing.
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Cost Sharing Considerations
  • Cash and third party in-kind contributions must
    meet all the following criteria
  • Are verifiable from the recipients records
  • Cannot be used as cost sharing on other federal
    projects
  • Are necessary and reasonable for accomplishment
    of project objectives
  • Are allowable under the cost principles
  • Are not paid by the Federal government under
    another award
  • Are provided for in the approved budget when
    required by Federal agency
  • Conform to other provisions of A-110, as
    applicable

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Potential Problems Associated with Cost Sharing
  • Can we demonstrate to the funding agency that the
    cost sharing commitment has been fulfilled? Do
    we track cost sharing on a project-by-project
    basis?
  • Are we treating cost sharing consistently with
    other project costs, i.e, classify it as
    organized research?
  • Are we overstating our FA rate by not capturing
    cost sharing?
  • Do effort reports capture cost shared effort
    (both mandatory and voluntarily contributed)?
  • Are the same cost sharing funds used to meet the
    matching requirements on more than one project?
  • Do we recover cost sharing expenditures through
    our FA rate?

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Real Problems Associated with Cost Sharing
  • Major Medical Center--15 Million Settlement with
    US Department of Justice
  • Resulted from whistleblower lawsuit
  • Govt alleged that cost sharing data was not
    reflected in FA rate
  • Justice Dept Med Center Overcharged the
    Government
  • Another University
  • Narrative portion of research proposals included
    substantial commitments of PI effort which were
    not tracked
  • Contributed effort classified as Instruction, not
    Research

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You Have a Phone Call...
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Meet the Auditors
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The Scenario
  • An accounting firm has been hired by the Feds to
    audit a specific grant awarded for the period
    5/1/2001 through 4/30/2006.
  • They are requesting an onsite visit beginning two
    weeks from now.
  • Prior to their visit, they would like copies of
    all accounting ledgers as well as supplemental
    materials, including certain policies and
    procedures.
  • What do you do?

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Topics for Discussion
  • Record Retention
  • Audit

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A-110 Reports and Records
  • Retention And Access Requirements For Records
  • Federal awarding agencies shall not impose any
    other record retention or access requirements
    upon recipients.

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Retention of Documents
  • Financial records, supporting documents,
    statistical records and all other records shall
    be retained for a period of THREE years, with the
    following exceptions
  • Litigation requires retention until all matters
    have been resolved
  • Real property and equipment records retained
    three years after final disposition of the
    property
  • When records are transferred to the agency, the
    retention requirement ends.
  • FA cost rate proposals, cost allocation plans
    have unique requirements

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Retention of Documents
  • When does the clock start?
  • Awards - Date of submission of the final
    expenditure report or, for awards that are
    renewed quarterly or annually, from the date of
    the submission of the quarterly or annual
    financial report
  • FA Costs - Date of submission of a proposal for
    negotiation the end of the fiscal year if not
    submitted for negotiation.
  • With agency approval, copies can be substituted
    for original records.
  • Access to records by agency, inspector general,
    or comptroller general is allowable.
  • Agencies may not limit public access to
    recipients' records without justification.

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OMB Circular A-133
  • Establishes audit requirements for state and
    local governments and other non-profit
    organizations receiving Federal funds
  • Defines federal responsibilities for
    implementation and monitoring such requirements
  • Requirements
  • Institutions expending 500K or more a year in
    federal awards require an audit
  • Institutions expending less than 500K are exempt
    from annual audit but still subject to review
  • Audits shall normally be performed annually but
    some exceptions (e.g., program-specific audits)
    allowed if not less frequently than every two
    years

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OMB Circular A-133 (continued)
  • Responsibilities
  • Cognizant Agency (for recipients expending more
    than 50 million a year in federal awards)
  • Oversight Agency (for recipients expending less
    than 50 million a year in federal awards)
  • Auditor
  • Recipient (including subrecipients)
  • Scope Of Audit and Audit Objectives
  • Financial - in accordance with Generally Accepted
    Government Auditing Standards (GAGAS)
  • Compliance Reviews - in accordance with OMB
    Circular A-133

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OMB Circular A-133 (continued)
  • Covers
  • Federal Awards (CFDA - Catalog of Federal
    Domestic Assistance)
  • Internal Control
  • Compliance
  • Financial Statements
  • Follow-up and Corrective Action
  • Risk Based Approach
  • Focus on risk and size, not just size
  • Size determines Type A or B Programs
  • Auditor judgment determines high risk programs
  • Every year OMB updates a Compliance Supplement to
    A-133 that provides detailed instructions to
    auditors as to which areas to audit and the type
    of tests to be performed
  • Provides insight into how to structure processes,
    potential risk areas and current hot topics

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OMB Circular A-133 (continued)
14 compliance requirements
  • Activities allowed or unallowed
  • Allowable costs / cost principles
  • Cash management
  • Davis-Bacon Act
  • Eligibility
  • Equipment and real property management
  • Matching
  • Period of availability of funds
  • Procurement, suspension and debarment
  • Program income
  • Real property acquisition
  • Reporting
  • Subrecipient monitoring
  • Special tests and provisions

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Audit Tips For Central Office
  • Consider developing an Audit Liaison Function
  • Get all audit requests in writing
  • Schedule Entrance Conference with all appropriate
    departments/individuals
  • Talk to departments involved about the audit and
    what to expect during it
  • Through Exit Conference discuss details of
    problem areas and findings
  • Respond to all findings and implement plan to
    correct problem areas
  • Close out audit report with agency / sponsor

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Audit Tips For Central Office (continued)
  • Documentation is key anticipate that you will be
    audited
  • Remember the 3rd party, three years from now rule
  • Answer all questions honestly
  • Only answer the questions asked of you
  • Know what to do if an Auditor/Agent/Law Officer
    shows up at your office/home/vacation spot.

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One Last Thing
  • Always be nice to the Pre-award staff. They can
    be a big help in getting things correct from the
    very beginning.

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