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Federal Fiscal Update: How ESEA Reauthorization will impact LEAs (… and how it won’t)

Federal Fiscal Update: How ESEA Reauthorization will impact LEAs (… and how it won’t). Kristen Tosh Cowan, Esq. Brustein & Manasevit www.bruman.com WASBO Conference May 5, 2011. ESEA Reauthorization- Timing. 2009 and 2010 2011 2012 2013. ESEA Reauthorization. Funding Trends

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Federal Fiscal Update: How ESEA Reauthorization will impact LEAs (… and how it won’t)

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  1. Federal Fiscal Update:How ESEA Reauthorization will impact LEAs(… and how it won’t) Kristen Tosh Cowan, Esq. Brustein & Manasevit www.bruman.com WASBO Conference May 5, 2011

  2. ESEA Reauthorization- Timing 2009 and 2010 2011 2012 2013 Brustein & Manasevit

  3. ESEA Reauthorization Funding Trends More consolidation More competition Brustein & Manasevit

  4. ESEA Reauthorization Standards and Assessments • Common Core debate • Require or “incentivize” Brustein & Manasevit

  5. ESEA Reauthorization Accountability Growth Model Subgroup accountability No 100% proficiency Brustein & Manasevit

  6. ESEA Reauthorization Accountability • School improvement – more nuanced • Obama & Sen Dems – 4 SIG models for lowest % • Republicans – More local flexibility • Target interventions to struggling subgroup • Choice/ SES – 1 option of many • New Rewards Program Brustein & Manasevit

  7. ESESA Reauthorization Teacher Preparation and Evaluation • Preparation: • Focus on teaching colleges • Performance exam for classroom • Alternate certification Brustein & Manasevit

  8. ESESA Reauthorization Teacher Preparation and Evaluation • Evaluation: • Multiple factors, including student assessment data • Performance/ merit pay Brustein & Manasevit

  9. ESEA Reauthorization Fiscal Requirements • Comparability • End option to exclude salary differential to reflect seniority, as well as use of FTEs • Move to measuring non-federal expenditures/ student • Supplement not Supplant • Maintenance of Effort Brustein & Manasevit

  10. What won’t be changing in reauthorization . . . . Federal scrutiny, monitoring and audits! Brustein & Manasevit

  11. Time and Effort Documentation for Employees Paid with Federal Funds ** #1 greatest area of audit exposure

  12. Why should you care? Easy finding for auditors Unclear, contradictory guidance Expensive!! Brustein & Manasevit

  13. Essential Legal Resources • OMB Circulars A-87: Cost Principles for State and Local Governments • HHS Implementation Guide for A-87: ASMB C-10 (1997) • http://rates.psc.gov/fms/dca/asmb%20c-10.pdf Brustein & Manasevit

  14. Resources, cont. • Cost Allocation Guide for State and Local Governments (or “Green Book”) (Sept 2009) • http://www.ed.gov/about/offices/list/ocfo/fipao/guideigcwebsite.pdf   • Montana Compact • www.bruman.com • Program-specific guidance • USDE officials Brustein & Manasevit

  15. OMB Circular A-87: Compensation for Personnel Services: If federal funds used for salaries, then time distribution records are required. Must demonstrate= If employee paid with federal funds, then employee worked on that specific federal program/ cost objective. Brustein & Manasevit

  16. Terminology • Time and attendance records • Payroll records • Worked 8:00-4:00 • Time and effort records • Time distribution records • Worked 50% on Title I administration and 50% on nonfederal Brustein & Manasevit

  17. What is a “Cost Objective”? A-87 Definition: A function, organizational subdivision, contract, grant or other cost activity for which cost data are needed and for which costs are incurred. Brustein & Manasevit

  18. Examples . . . . • A Minimum Set-Aside or Maximum Cap: • Title I- LEA Parent Involvement minimum (at least 1%); • Title III – Cap on administration (no more than 2%) • Program services • Title I program services Brustein & Manasevit

  19. Who must participate? • Any employee working on a federal program • Not contractors • All employees paid with federal funds • Some employees paid with non-federal funds • Matching Brustein & Manasevit

  20. If employee works 100% on single cost objective • Semi-Annual Certification • Signed every six months by supervisor or employee • “This is to certify that Kristen Cowan has worked 100% of her time for the period January 1, 2010, through June 30, 2010, on Perkins Administration.” Signature of employee: Date: Brustein & Manasevit

  21. “Blanket” Semi-Annual Certification • Single cost objective (semi-annual cert) • Multiple employees • Signed by supervisor with first-hand knowledge (principal) Brustein & Manasevit

  22. If employee works on multiple cost objectives • Personnel Activity Reports (PAR) • Signed every month by employee • UNLESS, using “substitute system” (then 2 or 3 times per year) • “For the month of September 2009, I spent my time 50% on Title I Program Services and 50% on non-federal programs.” Signature of Employee: Date: Brustein & Manasevit

  23. PARs must: After-the-fact record Total activity for which employee compensated At least monthly Signed and dated by employee Brustein & Manasevit

  24. Keeping the right records is not enough! Need reconciliation between: programs that funded salaries, and programs on which employees actually worked

  25. 1) At beginning of year, use budget estimates for salary allocations • Initially, use budget estimates or other distribution percentages determined before the services are performed • But these do not qualify as PARs! • May be used for interim accounting purposes Brustein & Manasevit

  26. 2) Compare budget estimates to actual data and make adjustments Quarterly comparisons of actual costs to budgeted distributions If difference between actual cost and budgeted cost is 10% or greater, then make adjustment quarterly If difference is <10%, then make adjustment annually Brustein & Manasevit

  27. Blended cost objectives and other flexibilities

  28. Consolidated Administration • Combine administration for all NCLB programs • NOT non-administrative activities • Single Cost Objective • Semi-annual certification • LEA needs approval of SEA Brustein & Manasevit

  29. SFSF Funding OMB Circular A-87 Cost Principles do not apply No federal requirement to keep time and effort records for employees paid with SFSF Same rules as those paid with non-federal SFSF Guidance to Auditors, Dec 24, 2009 Brustein & Manasevit

  30. BUT, must be “necessary and reasonable” . . . • Contemporaneous records to show that SFSF-paid individuals: • Worked sufficient hours to justify salary • Level of salary was similar to other employees performing similar work • Not paid more than once for same work • Costs were reasonable • Service actually provided • No other funds were paid for the same service Brustein & Manasevit

  31. Ed Jobs Fund • Compensation for school-level positions • Conflicting info from US Govt • USDE = OMB Circular A-87 applies • Time and effort? Keep documentation showing time spent at school site vs. district level • If 100% at school = blanket semi-annual certification • If both school and district = PAR Brustein & Manasevit

  32. Schoolwide Programs • Depends on the extent of consolidation of federal, state, and local funding. • Can be “conceptual” or “virtual” consolidation – not literal • The programs included in the Schoolwide Plan constitute a single cost objective • *** per S.Brown at NASTID, Jan 2011 Brustein & Manasevit

  33. Schoolwide time records Brustein & Manasevit

  34. SAFE: Under full consolidation IF: Works 100% on SWP Plan Paid 100% from consolidated pool that includes all federal, state, and local programs THEN: No records are required. No distinction between federal and nonfederal Brustein & Manasevit

  35. SAFE: Under federal consolidation IF: Works 100% on SWP Plan Paid 100% from consolidated federal pool THEN: Do semi-annual certs “I spent 100% of my time on SWP” Brustein & Manasevit

  36. SAFE: Under no consolidation IF: Works 100% on SWP Plan Paid 100% from Title I Part A (no consolidation) THEN: Do semi-annual certs “I spent 100% of my time on SWP” Brustein & Manasevit

  37. A verbal “OK” from USDE: IF: • Works 100% on SWP Plan • Paid 50% from Title I Part A and 50% from non-federal money (no consolidation) THEN: • Keep semi-annual certification – “I spent 100% of my time on SWP Plan” • (per S. Brown – working on 1 cost objective - could have been funded 100% from Title I Part A, if had enough resources) Brustein & Manasevit

  38. SAFE: IF: Works 50% on SWP Plan and 50% on Reading First (not included in Plan) Paid 50% from Title I Part A and 50% from Reading First THEN: Keep monthly PARs “I spent 50% of my time on the SWP Plan and 50% on Reading First” Brustein & Manasevit

  39. QUIZ:Journal vouchers have nothing to do with time and effort documentation systems. FALSE

  40. How to set up a time distribution system

  41. How to set up time distribution system: • Plan initial funding allocations well • May use “budget estimates” for initial allocations • Supervisors need to be on board Brustein & Manasevit

  42. CAUTION: Beware of Re-organizations!

  43. 2. Develop written time distribution policies and procedures • “How to” instructions for employees • reporting vacation, travel, long-term leave • Manual for fiscal side • Frequency of comparing estimates to actual costs, handling of deviations, monitoring of system Brustein & Manasevit

  44. Train employees • On mechanics of filling out form • On which federal program cost objective they are working • Refresher training • New employee training Brustein & Manasevit

  45. Close supervision • Supervisors should be aware of deviations of effort from initial budget estimates • Be ready to redirect work of employee or adjust grant supporting salary Brustein & Manasevit

  46. With or without reauthorization, LEAs will need to do more with less So maximize the flexible use of your federal dollars! Brustein & Manasevit

  47. Consolidated Administration • Combine administration for all NCLB programs • NOT non-administrative activities • Single Cost Objective • Semi-annual certification • LEA needs approval of SEA Brustein & Manasevit

  48. Schoolwide Programs • Combine federal, state, and local funds into flexible pool to be used for improving entire school • Must have at least 40% poverty • Conduct needs analysis and develop plan! • Not required to: • Identify Title I students for targeted services • Maintain separate fiscal accounting records to track Title I $ to allowable Title I activity – only to activity in SWP plan • Use Title I for supplemental purposes Brustein & Manasevit

  49. Schoolwide Programs – Supplement not supplant Ensure that the amount of Title I funds for that year is supplemental to the total amount of state and local resources that school would have received in the absence of Title I Only look at total nonfederal dollars going into that school – not whether federal funds bought something “extra” Brustein & Manasevit

  50. Supplement Not Supplant

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