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NASFAA National Conference

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Title: NASFAA National Conference


1
NASFAA National Conference
  • Seattle, Washington -- July 5 - 8, 2006
  • Washington State Convention
  • Trade Center

2
Return of Title IV Funds Updated for Changes
from the Higher Education Reconciliation Act of
2005, P. L. 109-171
  • Brian Kerrigan
  • Dan Klock

3
Todays Agenda
  • DCL issues
  • Regulation changes from HERA
  • R2T4 calculation with HERA changes
  • Training on R2T4
  • Compliance self-monitoring
  • Questions answers

4
Presentation Objectives
  • Bring you up to date on R2T4 changes
  • Notify you of training opportunities
  • Demonstrate changes in calculation
  • Understand that R2T4 non-compliance is a top
    finding

5
Dear Colleague Letter GEN-04-03
  • Title IV credit balance
  • Aid that could have been disbursed
  • Verification not completed before withdrawal
  • No passing grades
  • Withdrawal credit hr, non-term program
  • Date of determination of withdrawal for
    institution required to take attendance

6
Title IV Credit Balances
  • Hold Title IV credit balance until R2T4
    calculation is completed
  • Credit balance is Aid Disbursed
  • Determine if credit balance changes because of
    refund policy or R2T4
  • Use credit balance to repay Title IV grant
    overpayment on behalf of student
  • Release credit balance within 14 days

7
Aid That Could Have Been Disbursed
  • All aid for period, if conditions for late
    disbursement met before student withdraws
    (668.164(g)(2))
  • However, if limitations apply, aid may not be
    paid to student (668.164(g)(4))

8
Conditions for a Late Disbursement
  • All student aid (including Pell) - ED processed
    SAR/ISIR with official (not necessarily valid)
    EFC (not needed for PLUS)
  • FFEL/Direct Loan - loan certified or originated
  • Perkins/FSEOG award made

9
Limitations on Making a Late Disbursement
  • No second or subsequent disbursement of FFEL/DL,
    unless student completes period
  • No FFEL/DL unless student completes 30-day delay
    period
  • No Pell Grant without valid SAR/ISIR by deadlines
    in Federal Register
  • No 2nd pp Pell if 1st pp not completed
  • No 2nd pp FFEL/DL if 1st pp not completed

10
Verification
  • Must complete R2T4 within 45 days
  • If verification not completed
  • Return interim disbursements of aid subject to
    verification
  • Include unsubsidized and PLUS loans in R2T4.
  • If verification completed later, but within
    verification timelines -- new R2T4 calculation
    using additional eligible aid

11
No Passing Grades
  • Institution must have process for determining if
    student completed
  • No passing grade, institution must document
    completion of period
  • Grading policy that differentiates between
    failing, completed and failing, did not complete

12
Withdrawal from a Credit Hour Non-term Program
  • Percentage earned is equal to calendar days
    completed divided by calendar days in period
  • Project calendar days in period if student is in
    self-paced program

13
Date of Determination that Student Withdrew
School Required to Take Attendance
  • Usually no later than two weeks after last date
    of attendance
  • Based on attendance records
  • Date of official notification if prior to that
  • After end of institutions absence policy

14
HERA Regulation Changes
15
Remember !
  • The Department has not yet issued regulations to
    implement the provisions of the Higher Education
    Reconciliation Act of 2005. Program
    participants, including institutions, lenders,
    and guarantee agencies, should implement the
    provisions of the Act in accordance with
    subregulatory guidance provided by the Department
    in Dear Colleague Letters and other materials
    until the regulations are published and
    effective. In general, the regulations will be
    effective 30 days after they are published in the
    Federal Register.

16
Programs Specified for R2T4
  • Perkins
  • Direct Loan
  • FFEL
  • Pell Grant
  • Academic Competitiveness Grant
  • National SMART Grant
  • FSEOG

17
Postwithdrawal Disbursement
  • Credit grant for tuition and fees room and
    board (without authorization) and for other
    charges (with authorization)
  • Credit loan for tuition and fees room and board
    (without authorization) and for other charges
    (with authorization)
  • But only after student / parent confirms that
    (s)he wants loan funds in response to written
    notification

18
Written Notification
  • Within 30 days of date of determination of
    withdrawal
  • Identifies type and amount of loan funds to be
    credited, and type and amount of grant and loan
    funds available as direct disbursement
  • Asks if student / parent wants loan funds
    credited
  • Asks if student / parent wants grant or loan
    funds as direct disbursement

19
Written Notification
  • Explains that student / parent can accept some or
    all of aid
  • Explains that if student / parent declines credit
    of loan, (s)he may not receive direct
    disbursement of loan unless institution agrees
  • Explains obligation to repay loan
  • Explains 14 day (or later) response time

20
Written Notification
  • Deadline to accept PWD either directly or as
    credit to account must be same
  • PWD must be disbursed in manner specified by
    student / parent within 120 days of date of
    determination of withdrawal

21
Written Notification
  • If response from student / parent is late,
    institution may make, or not make PWD
  • If institution declines to make PWD, it must
    inform student / parent
  • If there is no response from the student /
    parent, no loan may be credited to account and no
    grant or loan may be disbursed directly

22
Clock Hour Changes
  • Scheduled clock hours always used
  • Scheduled clock hours as of withdrawal divided by
    clock hours in period
  • If greater than 60, student earns 100
  • Scheduled clock hours must be -
  • - established prior to beginning of classes
    (or modified before withdrawal date)
  • - consistent with published materials
  • - consistent with accrediting agency / state

23
Aid Student Returns
  • Grant overpayment protection
  • 50 of amounts disbursed (and that could have
    been disbursed)
  • 50.00 or less per program (but, not remaining
    balances of 50.00 or less)
  • Waiver of grant overpayments for students
    residing in, employed in, or attending
    institutions located in declared disaster areas

24
Return of Funds Order
  • Loan Programs
  • Pell Grant Program
  • Academic Competitiveness Grants Program
  • National SMART Grants Program
  • FSEOG Program

25
R2T4 Worksheets/Software
26
Step 1 Students Title IV Aid
  • All information collected about Title IV aid
    either disbursed or could have been disbursed
  • Broken down by Grants and Loans
  • This is straight-forward, although the data is
    collected as noted on the next slide

27
Step 1 Students Title IV Aid
  • Box E. Total Title IV aid disbursed for the PP or
    POE
  • Used to determine the amount of PWD or returned
  • Box F. Total Title IV grant aid disbursed could
    have been disbursed for the PP or POE
  • Used to determine the TIV grants amount that is
    protected under HERA
  • Box G. Total of all aid disbursed or could have
    been disbursed
  • Used to determine the amount of TIV aid earned

28
Step 2 Percentage of TIV Aid Earned
  • Credit-hour program - same as pre-HERA
  • If is gt 60 100 TIV earned
  • Clock-hour program
  • This becomes a one-step calculation
  • Hours scheduled to complete
  • Total hours in period (PP or POE)
  • If is gt 60 100 TIV earned

29
Step 3 Amount of TIV aid Earned by the Student
  • Remains earned (Box H) X Total of TIV aid
    disbursed or could have been disbursed (Box G)

30
Step 4 Total Title IV Aid to be Disbursed or
Returned
  • PWD or Amount to be Returned
  • Remains same as before
  • Amt earned gt Amt disbd PWD
  • Amt earned lt Amt disbd Amt to be Returned
  • Amt earned Amt disbd No action required

31
Step 5 Amount of Unearned Title IV Aid Due from
the School
  • Unearned amount of Title IV aid due from the
    school is calculated the same as before
  • Lesser of
  • Total amount of unearned aid, or
  • Institutional charges X of unearned aid

32
Step 6 Return of Funds by the School
  • Return order of TIV aid has changed
  • Loans
  • Unsubsidized FFEL/DL
  • Subsidized FFEL/DL
  • Perkins
  • FFEL/DL PLUS (Graduate student)
  • FFEL/DL PLUS (Parent)

33
Step 6 Return of Funds by the School
  • Grants
  • Pell Grant
  • Academic Competitiveness Grant
  • National SMART Grant
  • FSEOG

34
Step 7 Initial Amount of Unearned TIV Aid Due
from the Student
  • Total amount unearned TIV aid
  • - Amount school has to repay
  • Amount student has responsibility to
    repay

35
Step 8 Repayment of the Students Loans
  • Student repays what he has earned plus what he
    has not earned that the school does not repay
  • Total TIV net loans disbursed
  • - Amount of TIV loans school repaid
  • Remaining balance of TIV loans
  • If the amount of unearned less the amount the
    school repaid (Step 7) is greater than the
    remaining balance of TIV loans outstanding go
    to Step 9

36
Step 9 Grant Funds to be Returned
  • Initial amount of unearned aid that the
    student has responsibility for (Step 7)
  • - Amount to be repaid by student on loans
  • Initial amount of TIV grants for student to
    repay
  • NEW Amount of TIV grant protection
  • Total of TIV grants disbursed or could have
    been disbursed X 50 the protected amount

37
Step 9 Grant Funds to be Returned
  • Initial amount of TIV grants for student to
    repay
  • - the protected amount of TIV grants
  • Amount of TIV grants to be returned by the
    student

38
Step 10 Return of Grant Funds by the Student
  • Pell Grant
  • Academic Competitiveness Grant
  • National Smart Grant
  • FSEOG
  • Note that the student is not responsible for
    returning funds to any program to which the
    student owes 50.00 or less

39
Student A
  • Pell Grant - 2025
  • Student attended 10
  • Earned and unearned
  • 10 X 2,025 202.50 amount earned
  • Amount to be returned
  • 2,025 - 202.50 1,822.50
  • Amount school returns
  • 1,000 X 90 900
  • The lesser of 1,822.50 or 900

40
Student A
  • Initial amount student owes
  • 1,822.50 less 900 922.50
  • Amount of TIV grant protection
  • 2,025 X 50 1,012.50
  • Amount of TIV grant funds for student to repay
  • 922.50 less 1,012.50 0
  • (Negative set to zero)

41
Student B
  • Pell Grant - 500, SMART - 2,000, FSEOG - 1,000
  • Student attended 10
  • Earned and unearned
  • 10 X 3,500 350 amount earned
  • Amount to be returned
  • 3,500 - 350 3,150
  • Amount school returns
  • 1,000 X 90 900
  • The lesser of 3,150 or 900

42
Student B
  • Initial amount student owes
  • 3,150 less 900 2,250
  • Amount of TIV grant protection
  • 3,500 X 50 1,750
  • Amount of TIV grant funds for student to repay
  • 2,250 less 1,750 500
  • Since Pell fully repaid, goes to SMART

43
De minimis Amount
  • Q Is the 50.00 de minimis amount applicable to
    the total amount of grant funds owed or is it
    program by program?
  • A The 50.00 de minimis amount is applicable on
    a program by program basis. Therefore, if after
    the amount that the school must return, the
    student owes 50 or less to each program - Pell,
    ACG, National SMART, and FSEOG, the student would
    not owe a Title IV grant overpayment to any of
    these funds

44
De minimis Amount
  • Q Is the 50.00 de minimis amount also
    applicable to overpayments of FSEOG and Federal
    Perkins loans?
  • A No. Under the provisions of 34 CFR 673.5(f),
    an overpayment made by the institution to a
    student (that is not a remaining balance) of less
    than 25 is not referred to the Secretary for
    repayment it is considered a de minimis amount.
    When the HERA increased the amount of a de
    minimis amount of a Return of Title IV Funds
    grant overpayment to 50 or less, it did not
    alter Part 673 on overawards of Perkins and FSEOG.

45
Postwithdrawal Disbursements
  • Q Are the new notification requirements limited
    to when a portion of the PWD is from a TIV loan
    program?
  • A No. If the PWD includes any TIV grant funds
    that will be directly disbursed to the student,
    they too must meet the notification requirements.

46
Postwithdrawal Disbursements
  • Q What are the notification requirements?
  • A 1. The notification must be written
  • 2. Must request confirmation to credit loan
    funds to the students account (also need 668.164
    authorization for certain charges for both grants
    and loans)
  • 3. Must identify the types and amounts of the
    loan that will be credited to the account and
    the types and amounts of loans and grants that
    will be directly disbursed to the
    student/borrower

47
Postwithdrawal Disbursements
  • 4. Must explain that the student/borrower can
    decline or reduce any amount of those funds
  • 5. Must establish a deadline for the
    student/borrower to provide confirmation to the
    school
  • 6. Explains that if the confirmation of
    crediting loan funds to the students account is
    not provided, rather that all the loan funds
    should be directly disbursed to the
    student/borrower, that the student/borrower may
    not receive any loan funds as a direct
    disbursement, unless the school concurs

48
Postwithdrawal Disbursements
  • 7. Must explain the obligation to repay
  • 8. The deadline established by the school must
    be the same for both the confirmation of a direct
    disbursement and a confirmation to credit loan
    funds to the students account
  • 9. If confirmed, the PWD must be made within
    120 days of the date of determination by the
    school that the student withdrew

49
Postwithdrawal Disbursements
  • 10. If the student/borrower provides confirmation
    after the deadline, the school may elect not to
    provide the PWD, but if the school chooses not to
    provide the PWD, it must contact the
    student/borrower
  • 11. If the student/borrower does not respond, no
    portion of the loan may be credited to the
    students account, nor may any amount to be
    directly disbursed be released

50
Clock Hour Programs Scheduled Hours
  • Q Under HERA, the scheduled hours must be those
    established prior to the students beginning
    class date. Can you provide an example of how the
    school can establish the scheduled hours?
  • A Yes. When the student enrolls, generally,
    the number of clock hours would be established as
    a part of the students enrollment agreement.

51
Clock Hour Programs Scheduled Hours
  • Q Can the established scheduled hours ever be
    changed once the student has begun classes?
  • A Yes. Except the change cannot be related to
    or as a result of the students withdrawal.

52
50 Grant Protection
  • Q The statute states that the grant overpayment
    amount is the amount that exceeds 50 of the
    total Title IV grants received by the student.
    Does that include grant amount that could have
    been received by the student or does it mean only
    the disbursed amounts?
  • A Yes. Amounts received generally means the
    amount of Title IV grants disbursed and those
    that could have been disbursed for the period for
    which the calculation is performed.

53
Disaster Waiver
  • Q Under what conditions is the students portion
    of a Title IV grant overpayment forgiven due to a
    disaster?
  • A Under Public Laws 109-66 and 109-67 a
    student's Title IV grant overpayment otherwise
    due under the Return of Title IV Aid requirements
    is waived if the student withdrew because of a
    disaster under the following conditions

54
Disaster Waiver
  • The student was residing in, employed in, or
    attending an institution that is located in an
    area in which the President has declared that a
    major disaster exists
  • The student withdrew because of the impact of the
    disaster on the student or the institution and
  • The student's withdrawal occurred within the
    award year during which the designation as a
    major disaster occurred or during the next
    succeeding award year.

55
Disaster Waiver
  • For purposes of this waiver, a "major disaster"
    must have been declared by the President in
    accordance with the Robert T. Stafford Disaster
    Relief and Emergency Assistance Act (42 U.S.C.
    5170).

56
Order of Return
  • Q If the amount of Return reduces the Pell
    Grant to zero and the student has received or is
    eligible to receive the ACG or SMART Grant, will
    the student remain eligible for the new grant or
    must the student repay the new grant because s/he
    is no longer eligible once the Pell is fully
    repaid?
  • A The student was a recipient of the Pell Grant
    at the time the ACG/SMART grant was disbursed and
    otherwise eligible therefore, the full repayment
    of the Pell as a result of R2T4 does not make the
    student ineligible for the new grant.

57
LEAP/SLEAP/GEAR-UP SSS Grants
  • Q When a student withdraws on or after July 1,
    2006, and the student has one or more of these
    grants, what happens in the R2T4 calculation?
  • A The amount of the grants listed above would
    not be included in the Return calculation with
    withdrawal dates on or after July 1, 2006.

58
HERA Revised R2T4 Software
  • Q If the new software is not implemented until
    after July 1, 2006, what should schools do to
    remain in compliance with 34 CFR 668.22?
  • A First, the period for the school to complete
    the calculation and return the funds is increased
    from 30 days to 45 days, effective July 1, 2006.
    Second, while the estimated software availability
    date is early August of 2006, the paper
    worksheets should be available prior to the
    software.

59
ACG/SMART Grants
  • Q If a student withdraws and was awarded a
    second year ACG or SMART grant, but the school
    did not have the students GPA, may the grant
    amount be included in the R2T4 calculation as
    aid that could have been disbursed?
  • A No. The school has to have the GPA before
    either grant can be included as aid that could
    have been disbursed. Note that the school has up
    to 45 days from the date of determination to
    perform the R2T4 calculation.

60
Compliance Self-Monitoring
  • R2T4 is one of the most common audit findings
  • Use our free software
  • Ease of use
  • Use reports to manage the process and assure
    compliance

61
Compliance Self-Monitoring
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Compliance Self-Monitoring
  • How do I access R2T4OTW?
  • Its Easy!
  • SIGNUP!
  • Signup via SAIG Enrollment website
  • https//www.fsawebenroll.ed.gov/PMEnroll
  • Note The R2T4 Web Application when available
    will be accessed via FAA Access
  • https//fafsa.ed.gov/faa/faa.htm

67
Compliance Self-Monitoring
  • CUSTOMER SERVICE
  • Software Support
  • CPS/WAN Technical Support
  • CPSSAIG_at_ed.gov
  • (800) 330-5947
  • Policy
  • ED's Customer Support center
  • fsa.customer.support_at_ed.gov
  • (800) 433-7327

68
Thank You ! Brian.Kerrigan_at_ed.gov(202) 219
-7058Dan.Klock_at_ed.gov(202) 377- 4026
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