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OMB Circulars Applicable to Higher Education (Research)

OMB Circulars Applicable to Higher Education (Research). Michael Anthony University of Washington August 16, 2011. 2 CFR, Part 220 (Formerly A-21) Cost Principles for Educational Institutions.

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OMB Circulars Applicable to Higher Education (Research)

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  1. OMB Circulars Applicable to Higher Education (Research) Michael Anthony University of Washington August 16, 2011

  2. 2 CFR, Part 220 (Formerly A-21)Cost Principles for Educational Institutions Establishes principles for determining costs applicable to grants, contracts, and other agreements with educational institutions Designed to provide the Federal Government bear its fair share of total costs Determined in accordance with GAAP except where restricted or prohibited by law

  3. 2 CFR, Part 220 (Formerly A-21)Objectives & Applicability “Provides principles for determining costs applicable to research and development, training, and other sponsored work performed by colleges and universities under grants, contracts, and other agreements with the Federal Government.“ These agreements are commonly referred to as sponsored agreements or sponsored projects

  4. 2 CFR, Part 220 (Formerly A-21)Definitions Major functions of an institution as: Instruction Organized research Other sponsored activities Other institutional activities Allocation process - Assigning a cost, or a group of costs, to one or more cost objective (reasonable, allocable, allowable) Direct costs - Costs that can be identified with a sponsored project,instructional activity, or other institutional activity F&A costs – Costs incurred for common or joint objectives

  5. 2 CFR, Part 220 (Formerly A-21)Definitions Basic consideration of costs Limitations Treatment of unallowable costs Consistency in estimating, accumulating and reporting costs Cost accounting period Disclosure statement (DS-2)

  6. 2 CFR, Part 220 (Formerly A-21)Facilities & Administrative Costs Establishes criteria for assigning F&A costs Establishes categories of F&A costs: Depreciation (building & equipment) Interest Operations & maintenance Library General university administration Departmental administration Sponsored projects administration Student administration and services

  7. 2 CFR, Part 220 (Formerly A-21)General Provisions for selected Costs Section J Cites 54 types of costs and their allowability as either direct or F&A costs Section J.10. Compensation for personal services Provides guidelines for effort or payroll certification Illustrates 3 acceptable methods for complying with this requirement

  8. 2 CFR, Part 215 (Formerly A-110)Administrative Requirements for Grants and Other Agreements Financial and program management Payment Cost sharing Program income Revision of budget and program plan Allowable costs Period of availability of funds

  9. 2 CFR, Part 215 (Formerly A-110)Administrative Requirements for Grants and Other Agreements Property standards Procurement standards Reports and records Termination and enforcement standards After the award Closeout procedures Subsequent adjustments

  10. Circular A-133Audits of States, Local Governments and Non-Profit Organizations Outcome of Single Audit Act of 1984 Intended to establish standards for consistency and uniformity among Federal agencies for audits Establishes auditee requirements Establishes scope of audits including findings, reporting, major program definitions and risk criteria Establishes audit requirements (14 compliance requirements)

  11. Circular A-133Audits of States, Local Governments and Non-Profit Organizations Compliance requirements Activities allowed or unallowed Allowable costs/cost principles Cash management Davis-Bacon Act Eligibility Equipment and real property management Matching, level of effort, earmarking Period of availability of Federal funds Procurement and suspension and debarment Program income Real property acquisition and relocation assistance Reporting Subrecipient monitoring. Special tests and provisions.

  12. Effort ReportingCompliance Overview Michael Anthony University of Washington August 16, 2011

  13. TOPICS TO BE COVERED Why we do Effort Certifications Institutional Base Salary (IBS) Cost shared effort Salary cap K-Awards 100% Reporting Part time faculty Salary transfers and re-certifications Impact of VA and salary cap effort Change in level of effort Work performed on personal time

  14. WHY WE DO EFFORT REPORTING The purpose of effort reporting is to certify salaries charged to federally funded sponsored projects was a reasonable reflection of effort. Certification of effort is required by the Office of Management and Budget (OMB) Circular A-21, Cost Principles for Educational Institutions. Must have suitable means of verification of effort Part of the annual OMB A-133 compliance audit Level of precision

  15. INSTITUTIONAL BASE SALARY (IBS) Annual compensation paid for an employee's appointment. Includes time is spent on Research Instruction Administration Service Clinical activity

  16. INSTITUTIONAL BASE SALARY (IBS) Excludes any income an individual is permitted to earn outside of duties for the university. At the UW this includes work at: Veterans Administration Medical Center (VAMC)* Children's Hospital Regional Medical Center (CHRMC)* Fred Hutchinson Cancer Research Center (FHCRC) * Outside Professional Work * Paid direct by those organizations

  17. INSTITUTIONAL BASE SALARY (IBS) Salary components included: Regular Salary (including A/B Salary) Summer Salary Paid Professional Leave Salary for Retired Faculty Administrative Supplements (chairs/deans) Endowed Supplements

  18. INSTITUTIONAL BASE SALARY (IBS) Salary sources included: State Grants and Contracts Gifts and Endowments Clinical Practice Plan Salary Other funds (local funds and departmental clinical salary paid through the university)

  19. COST SHARED EFFORT When effort is funded by non-federal sources and contributed to a sponsored project. Includes: Institutional contributions Third party contributions Volunteer effort

  20. TYPES OF COST SHARING Mandatory - Required by statute or program provision as a condition of the award. Committed - Cost sharing quantified in the sponsored proposal without corresponding funding requested or awarded. Salary Cap – When faculty salary exceeds the statutory limit set by NIH, Substance Abuse and Mental Health Services Administration (SAMHSA), and Agency for Healthcare Research and Quality (AHRQ). Shift – When salary for committed effort is changed from being charged directly to grant to non grant sources. Voluntary Uncommitted – Effort of PI or other key personnel over and above the level of effort committed

  21. SALARY CAP Statutory limit on the salary base amount that can be awarded and charged to NIH, SAMHSA and AHRQ grants and contracts. Individuals with salaries over the cap must provide cost sharing from non-federal funds for that portion of their salary over the salary cap. Cap for 1/1/2011-12/31/2011 = $199,700 annually (unchanged from 2010)

  22. SALARY CAP Salary components Regular salary Summer salary Paid professional leave Salary for retired faculty Administrative supplements Endowed supplements Clinical salary Sick leave

  23. SALARY CAP Example Dr. Einstein 100% appointment; 10% effort committed on this project Institutional base salary $225,000 Current cap is $199,700 Salary proposed from NIH: $19,970 (10% * $199,700) Salary cost shared: $2,530 (10% * ($225,000 - $199,700)) Departments should ensure adequate non-sponsored funding is available to cover the amount over the salary cap!

  24. SHIFT IN FUNDING When salary for committed effort is changed from being charged directly to grant to non grant sources. Creates a cost share situation At the UW process determined by whether reduction in effort or the shift in funding source is short term or long term. Short term: less than three months does not require OSP or Sponsor approval. Long term: three months or more will require the department to work through OSP to contact the sponsor for prior approval.

  25. K-AWARDS NIH Career Development Awards (K-awards) Provides support for new faculty to develop research skills.  Primarily for researchers at the beginning of their careers and to provide transition to full independent research awards. Some awards designed to provide research time for mid career or senior faculty. The specific terms of a K-award vary among Institutes Careful attention should be given to the requirements of each award.

  26. K-AWARDS Require high level of commitment, normally 75% of the researcher’s total effort. Sponsor support limited to $75,000 May be funded at a higher level depending on NIH Institute. Cost share may be necessary to meet 75% effort requirement. Effort commitment reductions require sponsor approval. Candidate's remaining effort (typically 25%) may be devoted to other university activities. NIH may require ‘other’ activities be consistent with the objectives of the K-award.

  27. K-AWARDS Appointment Faculty (applicant) must have fulltime appointment at the institution. Minimum percentage of applicant’s commitment required for proposed K-award experience must be covered by the appointment. Responsibilities outside the UW appointment are unrestricted, however, cannot be used to meet any minimum effort requirement.

  28. K-AWARDS Salary Cap If faculty’s (applicant’s) salary exceeds NIH salary cap, "cap" cost sharing is required.  At the UW Cap cost sharing is documented separately from K-award cost sharing on the FEC effort report. Salary cap cost share is included in the 75% effort required by the K-award.

  29. K-AWARDS Clinical Effort Clinical activity related to goals of the K-award may be included in the effort toward fulfillment of required 75% effort. Intention to use clinical activity as part of the K-award effort should be noted in the proposal. Proposal Writing Limited charging of bid and proposal preparation, as a direct charge to the K-award, is allowable since it is the goal of these awards to train young investigators in all phases of research.

  30. K-AWARDS Reduction of Effort Mentored K-awards Encourage faculty members to apply for other grants Allow PI to reduce effort during last two years of grant if Named PI on a competing NIH research project grant, or Recipient will become sub-project director on competing multi-component research or center grant, or a cooperative agreement.  

  31. K-AWARDS Reduction of Effort (cont’d) Written approval is required for reduction of effort: Do not Include the reduction in the progress report only Reduce effort independently Contact NIH directly Request must include concurrence signature by OSP

  32. K-AWARDS Concurrent effort with non-federal awards Intended to assist faculty in establishing base in research and research techniques. Some concurrent effort with non-federal grants may be allowed. If known, the concurrent effort should be written directly into the proposal. Other circumstances, faculty should work with OSP to receive permission from both sponsors for the concurrent effort.

  33. K-AWARDS Concurrent effort with federal awards Allows awardees to reduce effort on K award in final two years of award Awardees who compete successfully for peer-reviewed research awards from any Federal agency Programmatic policy of other Federal agency allows such an arrangement. 

  34. K-AWARDS Concurrent effort with federal awards (cont’d) Proposed/awarded effort required on award may be reduced to no less than 6 person-months (50% full-time professional effort at the grantee organization) Sufficient effort from research award so total level of commitment remains at 9 person-months (75% full-time professional effort) or more for duration of the mentored K award.

  35. K-AWARDS Faculty with VA appointments Minimum percentage of K-award (typically 75%) must be covered by institution appointment. Appointment is assumed to be, at a minimum, no less than 35 hours. May not use any VA time to satisfy the requirements of the K-award, even with VA approval. UW: VA appointment should be no more, or be reduced to, no more than 2/8ths upon receipt of the K-award. Up to 5/8ths may be permitted with Chair and Dean’s Office approval

  36. 100% REPORTING Federal government requires effort reports reflect 100% of compensated effort (IBS).  Continued audit challenges that institutional records not reflecting a total of 100% not compliant with federal regulations. Must account for total compensation except as specifically excluded.

  37. EMPLOYEES LESS THAN 100% When effort reports reflect 100% then Will not be reflective of person’s FTE Cost share commitments will be based on the percentage of their part time appointment, i.e., prorated. Salary should be prorated to determine if over the salary cap (only applies to NIH, SAMHSA and AHRQ grants and contracts).

  38. When Does This Happen? • Employees who leave institution during an effort reporting cycle • Faculty paid on A/B compensation program who do not have full research funding (happens when no bridge funding available) • True part time employees • Anyone who is not earning their full time rate • Faculty with VA and UW appointments

  39. EMPLOYEES LESS THAN 100% FACULTY Determining Effort – Direct salary requested should represent a percentage of institutional base salary (IBS), not the full time rate.   Example Faculty member has a full time rate of $100,000 and a 50% appointment Requesting 10% salary support Commitment represents 10% of the 50% appointment or…. Salary: 10% of the 50% salary, $5,000 ($100,000 x 50% x 10%) Person Months:  10% of 50% time, .6 person months Percent Effort: 10% of 50% time, or 5% Note: When preparing a proposal, the cost share should also be calculated in person months

  40. SALARY TRANSFERS & RE-CERTIFICATIONS Required when salary charges do not reasonable reflect effort devoted to a sponsored project. Departments should manage salaries proactively to avoid/minimize need for transfers. ‘Red flag’ to Federal auditors especially if additional salary transferred at end of grant.

  41. SALARY TRANSFERS & RE-CERTIFICATIONS Changes required after effort report certified The effort will need to be corrected It will need to be recertified by employee or someone having suitable means of verification

  42. CHANGE IN LEVEL OF EFFORT Most federal sponsors have requirements regarding change in status and level of effort of the PI and key personnel. Typically grantee required to notify sponsor in writing if the PI or key personnel specifically named in the award will: Withdraw from the project entirely, Be absent from the project during any continuous period of 3 months or more, Reduce time devoted to the project by 25 percent or more from the level that was approved at the time of award Sponsor must approve any alternate arrangement proposed by the grantee, including any replacement of the PI or key personnel named in the award.

  43. CHANGE IN LEVEL OF EFFORT 1.Proposal: 10% effort Changed to: 5% effort Change in level of effort is 50% and needs prior approval. 2. Proposal: 50% effort Changed to: 40% effort Change in level of effort is 20% so prior approval is not needed. 3. Proposal: 50% effort (25% paid from grant budget & 25% committed cost sharing) Changed to: 40% effort Change in level of effort is 20% so prior approval is not needed.

  44. WORK PERFORMED ON PERSONAL TIME Federal government presently does not recognize ‘personal’ time relative to university work. Considers that institutional compensation is for whatever time is required to ‘do the job’ Reassessing this but currently cannot use this reasoning

  45. RED FLAGS TO AUDITORS Faculty paid 100% on sponsored projects Teaching Committee work Grant writing effort Student counseling Who certified effort report

  46. RED FLAGS TO AUDITORS (cont’d) Salary transfers Timing – If at end of grant may be for the convenience of spending down unexpended funds If effort report already certified what happened that now requires a change and re-certification Timeliness of the certification Actual effort compared to committed effort

  47. RECENT AUDIT FINDINGS From annual A-133 Compliance audits: Inadequate process to compare proposed effort to actual effort Proposed effort not met Effort report not certified by person with suitable means of verification Reports not completed in a timely manner (no Federally defined time period. Institution tested to determine compliance with their policy) Incorrect/inconsistent institutional base salary (IBS) used in calculating proposed/actual effort Late or missing retroactive salary corrections.

  48. RECENT AUDIT FINDINGS (cont’d) From DHHS OIG audits: Overstated commitments in proposal (exceeding 100% effort) Inadequate process to compare proposed effort to actual effort Proposed effort not met From individual audits by Federal agencies: Overstated commitments in proposal (exceeding 100% effort) Inadequate process to compare proposed effort to actual effort Proposed effort not met No allowance for non sponsored activity (e.g., proposal writing) Overlapping effort (same effort claimed on more than one project) Salaries charged to grants for individuals not working on the grant

  49. Questions?

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