1 / 35

OMB Update: Getting to Green New tools for effective financial management

OMB Update: Getting to Green New tools for effective financial management. Agenda. Office of Federal Financial Management (OFFM) President’s Management Agenda (PMA) The Scorecard Initiatives Other Financial Management Initiatives. Office of Federal Financial Management (OFFM).

evangelina
Download Presentation

OMB Update: Getting to Green New tools for effective financial management

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. OMB Update: Getting to Green New tools for effective financial management

  2. Agenda • Office of Federal Financial Management (OFFM) • President’s Management Agenda (PMA) • The Scorecard • Initiatives • Other Financial Management Initiatives

  3. Office of Federal Financial Management (OFFM) Mission: To promote and support first-class financial management in the executive branch of the Federal government.

  4. Office of Federal Financial Management (OFFM)

  5. Office of Federal Financial Management (OFFM) Financial SystemsWayne Leiss Standards and GrantsDavid Zavada Financial Integrity and AnalysisDanny Werfel • Financial Management System Architecture • Agency Financial Management Systems • Financial Management Line of Business • Federal Financial Management Improvement Act (FFMIA) Financial Reporting Internal Control Accounting Standards Development (FASAB) Financial Statement Audits Grants Management Single Audit • Asset Management (personal and real property) • Debt Management • Improper Payments • Performance Measurement • President’s Management Agenda • Travel and Purchase Cards

  6. CFO Council • Who comprises? 24 major Federal departments and agencies. • CFO Council Committees • Best Practices • Financial Management Policies and Practices • Financial Reporting Acceleration • Financial Systems Integration • Grants • Improper Payments • Performance Measurement

  7. President’s Management Agenda (PMA) • Human Capital • Competitive Sourcing • E-Government • Improving Financial Performance • Budget and Performance Integration ___ • Improper Payments • Real Property

  8. Getting to Green on Financial Performance Expands Routine Data Use Uses Financial Information to Drive Results in Key Areas No Auditor-Reported Material Weaknesses Meets Reporting Deadlines FFMIA Compliant Clean Audit Opinion No Material FMFIA Section 2 Weaknesses No Material FMFIA Section 4 Weaknesses No Chronic or Significant ADA Violations No Material Non-Compliances with Laws or Regulations Results Compliance

  9. The PMA Scorecard • Red = Unsatisfactory • Yellow = Mixed Results • Green = Success

  10. Getting to Green on Financial Performance • Timely and accurate reporting • Strengthened accountability for internal control • Financial management system initiatives • Federal Management Line of Business / Centers of Excellence • The Getting to Green Plan – integrating data into decisions

  11. “Timely and accurate reporting”Aggressive Reporting Dates Met • Accelerated reporting drove better processes • Agency PARS by November 15th • Government-wide financial report by December 15th • Quarterly statements in 21 days • Driving more timely and accurate financial information

  12. Improved Financial Processesin 2004 • Reconciliations and analyses performedthroughout the year • Annual “heroic efforts” unsustainable • New government-wide reporting process

  13. What’s Next? • Maintaining a stable reporting schedule for 2005 • Further refining process improvements • CFOC Acceleration Committee focus • Streamlining OMB policy guidance to facilitate its use

  14. “Strengthening internal control over financial reporting” New Requirements • Revisions to Circular A-123 (December 2004) • Strengthened/more rigorous management assessment processes for financial controls Ongoing Activities • Ongoing quarterly monitoring under PMA • Ongoing audit testing/ compliance reporting

  15. Why did OMB Revise Circular A-123? • President’s Management Agenda • Existing internal control weakness • Influence of Sarbanes-Oxley (SOX) • Provide a comprehensive internal control framework/standards

  16. Revised Circular A-123 Emphasizes • Effective internal control is a management responsibility • Financial reporting controls (Appendix A) • Integrated Approach • Leverage existing activities • Cost-effective Approach • Additional auditing under certain circumstance

  17. Revisions to Circular A-123 • Require a strategic look at financial reporting risks • Direct testing of controls • Documentation to support/validate results • New management assurance statement

  18. Important Management Judgments • Scope = Breadth and Depth • Breadth • Financial reports included • Depth: • Processes supporting financial reports • Extent of work at major subsidiaries / locations • Determining materiality • Developing a testing approach • Further implementation guidance

  19. Seeking Efficiencies:Leveraging Baseline Activities • FISMA • IT Security Review/Remediation • IPIA • Assessment/Remediation • Single Audits • Remediation activities • New controls/ corrective actions • SAS 70 reviews • Other program review activities

  20. A-123 Reporting Requirements • Assessment as of June 30th • Assurance statement reported in PAR (November) • Three types of assurance statements • Report material weaknesses in statement • Summary of corrective actions

  21. Implementation Guide Contents • Introduction • Step 1: Planning • Step 2: Evaluating Control at the Entity Level • Step 3: Evaluating Control at the Process Level • Step 4: Testing • Step 5: Concluding, Reporting, Correcting • Exhibits • Frequently Asked Questions

  22. What’s Next? • Issue implementation guidance • CFOC Policies and Practices Committee • Agencies should be engaged in the planning process now • OMB will initiate discussions on agency-specific implementation plans

  23. “Financial management system initiatives” • Agency systems requirements/certifications • Expand core scope • Interface standards • Improve certification process • Financial Management Line of Business • Avoid redundant investments • Achieve economies of scale and skill • Business process standardization

  24. “Federal management line of business (FM LOBs)” • Two Dimensions: procurement and standardization • Standardization of business processes • Centers of Excellence (CoE) • At a minimum provide hosting, operation and maintenance of core financial system • Agencies purchase services competitively • Select from public sector, private sector or cross-sector partnership • Timing of system migration based on system life cycle, not rigid date.

  25. The Getting to Green Plan • Describe the desired outcome/objective • e.g., lower/control cost of major activity • Discuss how data will be used strategically to achieve outcome/objective • e.g., unit costs, business intelligence dashboards • Describe how results are/will be measured • e.g., baseline and target costs or similar performance measure

  26. What’s Next? • OMB plans to issue guidance by the end of July on the necessary contents of a Getting to Green Plan, including model initiatives from current plans.

  27. OTHER PMA INITIATIVES • Effective real property management • Improving accuracy of payments

  28. Getting to Green in Real Property Eliminate Surplus Property Results Disposition Algorithm Legislative Authority for Disposal Compliance Inventory Data on all Assets Agency Asset Management Plans Performance Metrics

  29. Getting to Green in Improper Payments Results Eliminate Improper Payments Sound Corrective Action Plans with Aggressive yet Feasible Reduction Targets Compliance Accurate Measurements for High-Risk Programs

  30. Improper Payments Update • Results of ’04 government-wide report • $45.1 billion in improper payments • 7 programs comprise 95% of this amount (Big 7) • Agencies established aggressive reduction targets – $4.9 billion in 2005; $8.1 billion in 2006; $12.3 billion in 2007 • CFO Council Committee Initiatives • Revise PAR reporting format • Industry Day RFI/RFP process • Recommended changes to M-03-13

  31. Other Financial Management Initiatives • Strengthening control over charge cards • Grant streamlining • Introduction of the Metrics Tracking System (MTS)

  32. “Strengthening control over charge cards” • New guidance set forth in Circular A-123, Appendix B • Consolidates and updates existing charge card requirements. • Established minimum requirements and identifies best practices in following areas: • Planning, Training, Risk Management, Credit Worthiness, Refunds, Strategic Sourcing, and Tax Recovery

  33. Grants Initiatives • Formed CFOC Grants Policy Committee • Coordinate grants policy/streamlining initiatives • GMLOB participation • Support single audit • Grants streamlining activities • Common applications and reporting forms • Grants management line of business • Common processes/eliminate redundancy • OMB Compliance Supplement Update Issued

  34. “Introduction of the Metrics Tracking System (MTS)” • 9 current metrics – • FBWT; Suspense; AR; EFT; Prompt Pay; Interest Penalties; IBA Travel; CBA Travel; Purchase Card • Planned metrics – • Intra-governmental; Purchase Card Refunds; Grants Management

  35. OFFM Contact Information PHONE: 202.395.3993 David Zavada Danny Werfel Wayne Leiss WEBSITE: www.whitehouse.gov/omb/financial

More Related