Compliance: What It Means To YOU.
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Transcript Compliance: What It Means To YOU.
Presented By:
Katherine Wakefield CPA
Donna Denker & Associates
Overview
Allowable
Costs/Cost Principles (Section B in
Part 3 of the OMB Compliance Supplement)
OMB A-133 Compliance Supplement
• 14 Compliance Requirements
• Internal Controls over Compliance
OMB A-133 Sub Part C
• Your (auditee) responsibilities
Compliance – What is it?
The act of complying with a wish, request, or
demand.
Grant funding usually requires meeting certain
requirements. For example:
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What is allowed to be purchased
Supporting documentation
How tracked and reported
Policies and procedures in place
Adequate internal controls
Reporting
14 specific requirements (to be discussed)
How would you know?
Refer to the grant and make inquiries to the
granting agency
• Code of Federal Regulation – Administrative Law by
agency
• http://www.access.gpo.gov/nara/cfr/cfr-tablesearch.html
Cost
Circulars and Compliance Supplement
The focus in this presentation is the federal
requirements
What comes next?
Apply procedures that ensure that you
are meeting all of the compliance
requirements
Assign the responsibility to someone
Internal controls in place
Segregation of duties – someone to do
the work and someone else to review
Financial statements and reports
Determine
Auditee
Part C
if an audit is required
requirements – OMB A-133 Sub
Cost
circulars are cost accounting principles
and policies for Federal Awards
These cost circulars are required to be followed
by entities receiving Federal funding
Three cost circulars
“Cost
principles for State, Local, and
Indian Tribal Governments”
Applicable to:
• State Government
• Local Government
• Federally-recognized Indian Tribal Governments
• Components of the above governments
“Cost
Principles for Educational
Institutions”
Applicable to Public and Private:
• Colleges
• Universities
“Cost
Principles for Nonprofit
Organizations”
Applicable to nonprofit organizations
• Operated primarily for the public interest,
• Not organized primarily for profit, and
• Uses its net proceeds to maintain, improve
and/or expand its operations
States, Local
Governments, and Indian
Tribes Follow:
• A-87 for cost principles (relocated to 2 CFR, Part
225)
• A-102 for administrative requirements, and
• A-133 for audit requirements.
• Agency CFR - Administrative
Educational
Institutions (even part of a
State or local government) follow:
• A-21 for cost principles (relocated to 2CFR, Part
220)
• A-110 for administrative requirements
(Relocated to 2 CFR, Part 215), and
• A-133 for audit requirements.
• Agency Administrative CFR
Non-Profit
Organizations Follow:
• A-122 for cost principles (Relocated to 2 CFR,
Part 220)
• A-110 for administrative requirements
(Relocated to 2 CFR, Part 215), and
• A-133 for audit requirements.
• Agency Administrative CFR
PART
3 – Compliance Requirements
• A. Activities Allowed or Unallowed
• B. Allowable Costs/Cost Principles
The
different cost principles contain
slightly different wording, but essentially
the same baseline requirements.
General
Principles
• Basic Guidelines
• Direct Costs
• Indirect Costs
Selected
Items of Cost
Be
necessary and reasonable for the
program
• Subject to the prudent person test
Be
allocated under the provisions of a 2
CFR Part 225
Be authorized or not prohibited under
State or local laws or regulations
Conform to any limitations or exclusions
set forth in these principles
• Ordinary &
Necessary
• Sound Business
Practices
• Market Prices
• Acted with
Prudence
• Significant
Deviations from
Established
Practices
A-122
A-87
A-21
• Necessary for
the operations
• Arms Length
Bargaining
• Acted with
Prudence
• Cost Consistent
with
Established
Institutional
Policies and
Practices
• Ordinary &
Necessary
• Generally
Accepted
Sound Business
Practices
• Acted with
Prudence
Be
consistent with policies, regulations
and procedures of the program
Be accorded consistent treatment (no
doubling up, direct and indirect)
Be determined in accordance with
generally accepted accounting
principles (unless otherwise provided by
the cost circular)
Not
to be included as cost or used to
meet cost sharing or matching
requirements of another program (unless
provided by Federal law)
Be net of all applicable credits
Be adequately documented
Are
costs that can be specifically
identified to the program
• Compensation of employees
• Cost of materials
• Equipment
• Travel
• Other
Are
costs that can not be specifically
identified to the program.
These types of costs benefit more than
one function of the organization. For
example, building costs, administrative
staff, etc.
The rule of allowability:
• “Indirect costs need to be equitable to relative
benefits received.”
A-87, 43
types of cost
A-21, 54 types of cost
A-122, 52 types of cost
Advertising
Alcoholic Beverages
Audit costs
Bad debt
Bonding costs
Communication costs
Compensation (Payroll)
Contingency
Legal defense
Depreciation
Donations and Contributions
Employee morale
Entertainment
Equipment
Fines and penalties
Fundraising and investment
Gains and losses on assets
Personal use
Living expenses
Idle facilities
Insurance
Interest
management
Labor relations
Lobbying
Maintenance and repair costs
Meeting and conferences
Memberships
Organization costs
Patent costs
Plant and homeland security
Professional services
Publication and printing
Recruiting costs
Relocation
costs
Rental costs
Royalties
Selling and marketing
Taxes
Training costs
Transportation costs
Travel costs
Trustees
Employee Morale
• Costs incurred by the
entity's established
practice or custom for
improving
Working conditions
Employee-employer
relations
Employee morale
Employee performance
• Must be equitably
apportioned to all
activities of the entity
• Allowable
Entertainment
• Cost of entertainment,
including amusement,
diversion, and social
activities
Examples: tickets to shows,
sporting events, meals,
lodging, rentals,
transportation, gratuities
• Unallowable
Allowable
if the primary purpose is to
disseminate technical information related
to the program or administrative of the
grant.
• Includes meals, transportation, etc.
• Caution – entertainment costs are not allowable
EVER!
Compensation
must be reasonable
• Consistent treatment throughout the entire
entity.
Unallowable
costs can not be considered
under this section because they
constitute personnel compensation.
• Example: Providing sporting event tickets to
program support personnel as part of their
compensation.
Allowable, examples
•
•
•
•
noted in cost circular
Leave (sick, annual, court, military, other)
Employee insurance
Pensions
Unemployment
However, certain requirement must be met
• Benefits must be provided under established written
policies,
• Benefits must be allocated equitably across the entity,
AND
• Benefits must be either a cash or accrual basis (GAAP) of
accounting.
Under
A-87
• 100% Administrative (indirect)
• 100% of time is charged to one Federal program
(direct)
• Time is changed to more than one activity or
program (direct or indirect)
All
charges to Federal programs (direct
or indirect) must be documented based
on payroll in accordance with accepted
practices of the organization.
Must
certify their time by:
• Making a statement, such as, “I Sean Walker,
certify I have spent 100% of my efforts on the
Medicare program (CFDA# 93.778).”
• Signing such statement or having supervisor
sign such statement.
• Must be at lease twice per year.
Time
distribution must be supported by
“Personnel Activity Reports”
• After-the-fact distribution of actual activity
• Accounts for 100% of total activity
• Prepared monthly
• Coincide with a payroll cycle
• Signed by the employee
I, Sean Walker, Have
worked on the
following programs and activities during
the month of October 2010
Signed: Sean Walker
Does
not qualify as adequate
documentation (Questioned)
Can be used, however, they need to be
adjusted at least quarterly
Sampling
methods are allowable,
however, they are usually required to be
approved by the cognizant agency.
States
use this technique, however, rare in
small institutions.
Same
rules with the following tweaks:
• All salaries and wages need to be supported by
“Personal Activity Reports”
• Reports can be signed by employee or
responsible official
http://www.whitehouse.gov/omb/
Purpose
of the Compliance Supplement:
• Identifies important compliance requirements
• Required to be used by the auditors
• Ensures audit consistency, efficiency, and
effectiveness
Includes:
• Purpose and applicability
• Matrix of compliance requirements – programs
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by CFDA#
Agency program requirements
Clusters of programs
Internal control
Guidance for auditing programs not included in
compliance supplements
14 Type of Compliance Requirements:
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A. Activities allowed or unallowed
B. Allowable costs/cost principles
C. Cash management
D. Davis-Bacon Act
E. Eligibility
F. Equipment and real property management
G. Matching, level of effort, earmarking
H. Period of availability of Federal funds
I. Procurement and suspension and debarment
J. Program income
K. Real property acquisition and relocation assistance
L. Reporting
M. Subrecipient monitoring
N. Special tests and provisions
**Refer to the matrix or the grant to
determine if applicable.
A. Activities Allowed or Unallowed:
• Unique to each Federal program
• Found in laws, regulation, and provisions of contract
or grant agreement
B. Allowable Costs / Costs Principles:
• OMB Costs Principles Circulars (A-87, A-122 or A-
21)
• Find here a list of selected costs and a comparison of
the circulars
C. Cash Management
• When funded on a reimbursement basis
• Procedures to minimize the time elapsing
between the transfer of funds from the US
Treasury and disbursement of those funds
D. Davis-Bacon Act
• When required by this Act, DOL, or other
legislation
• All laborers and mechanics employed by
contractors or subcontractors must be paid not
less than established for the locality
E. Eligibility
• Unique to each program
• Criteria for determining if individuals, groups or
subrecipients can participate and the amounts for which
they qualify
F. Equipment and Real Property Management
• OMB Costs Principles Circulars (A-87, A-122, or A-21)
• CFR Title 25 Part 900.51-60 for DOI stipulates
requirements for property management
CFR=Admin law by agency
http://www.access.gpo.gov/nara/cfr/cfr-table-search.html
G. Matching, Level of Effort, Earmarking
• Unique to each program
• Matching – to provide contributions (usually non-
federal) of a specified amount or percentage to
match Federal awards. It may be allowable costs
incurred or in-kind contributions
• Level of effort refers to (a) specified level of service
to perform, (b) specified level of expenditures and
(c) Federal funds to supplement and not supplant
non-Federal funding of services
• Earmarking refers to amount or percentage of
funding that must be used for specified activities
(Head start example)
H. Period of Availability of Federal Funds
• Award may specify a time period during which the
entity may use the funds
• Any funds appropriate under an ISDEAA contract or
compact or a Tribally Controlled Schools Act grant
are available until expended (25 USC 450I(c)(b)(9)).
I.
Procurement and Suspension and
Debarment
• Procurement – OMB Cost Principles Circulars (A-87,
A-122 or A-21)
• Suspension and Debarment – Prohibited from
contracting or making subawards to parties that are
suspended or debarred. Threshold $100,000
J.
Program Income
• Gross income generated by the Federal Program
Examples:
Fees for services
Use of rental property
Sale of commodities or items fabricated under the grant
agreement
• Deduct from program outlays
• If specified, an award may:
Add to project budget or
Use as a match
K. Real Property Acquisition Relocation
Assistance
• Uniform and equitable treatment of persons displaced by
federally-assisted programs from their homes, businesses
or farms
• Requirements for appraisals and property acquisitions
L. Reporting
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Standard financial reporting forms authorized by OMB
SF-269, SF-425, SF-1512, SD-270, SF-271, SF-272
Reporting under Payment Management System (PMS)
Performance Reporting
Special Reporting
M.
Subrecipient Monitoring
• Passing dollars through to another entity
• Pass through entity is responsible for:
Provide the CFDA title and number, award name and
name of Federal agency
Monitor that subrecipient administers funds in
compliance
Ensure required audits performed
Evaluate impact on pass through entities ability to
comply
N.
Special Tests and Provisions
• Unique to the Federal program
• Found in laws, regulations, and provisions of the
contract/grant
• Examples:
Background investigations
Certified payrolls performed
Establish
and maintain internal control
designed to reasonably ensure compliance
with Federal laws, regulations, and program
compliance requirements (A-102 & A-110)
A-133 requires auditors to obtain an
understanding of the organization’s internal
controls over Federal programs.
Intended to assist the entities and their
auditors in complying with these
requirements.
Objectives
of these internal controls
• Transactions properly recorded and accounted
for to:
Permit reliable financial statements and Federal
reports
Maintain accountability over assets; and
Demonstrate compliance with laws, regulations, and other
compliance requirements.
• Transactions are executed in compliance with:
Laws, regulations, and provisions of contract or grant
agreements that could have a direct and material
effect on the Federal program; and
Any other laws and regulations identified in
compliance supplements
• Funds, property, and other assets are
safeguarded against loss from unauthorized use
or disposition
Describes
the characteristic of internal
control to each of the 5 components:
1. Control Environment
2. Risk Assessment
3. Control Activities
4. Information and Communication
5. Monitoring
Provides
objectives of internal control
and examples of characteristics specific
to 13 of the 14 compliance requirements
(Omits Special Tests and Provisions)
Identify:
1. All federal awards received, expended, and
2.
3.
4.
5.
6.
the program under which received
CFDA title and number
Award number
Year
Name of Federal Agency and
Name of pass through entity
Maintain internal controls over Federal programs
Compliance with laws, regulations, contracts and
grant agreements
Prepare financial statements and the Schedule of
Expenditures of Federal Awards (SEFA)
Ensure audits are performed and submitted
when due
Follow up - corrective action on audit findings
• Prepare summary of prior audit findings and
corrective action plan
Submit the data collection form
Auditee
to prepare
Auditor to determine if presented fairly
in all material respects in relation to the
financial statements
Auditor to issue a report on the schedule
a)
b)
c)
d)
e)
f)
g)
h)
i)
Same period as the financial statements
Programs listed individually by federal agency
ARRA programs specifically identified
Each program within a cluster to be listed
separately and the cluster subtotaled
Catalog of Federal Domestic Assistance (CFDA#)
Name of pass-through entity, if a subrecipient, and
identifying numberNote to describe accounting
policy
Amounts provided to subrecipients
Total Federal awards expended during the period
Value of awards of noncash assistance, insurance or
loans and guarantees
Corrective Action Plan
At completion of the audit
Addresses each audit finding in CY report
Shall provide who, how, when:
• Name of contact person responsible for action
plan
• Corrective action planned
• Anticipated completion date
If
you don’t agree with the finding or
believe corrective action is not required
• Explain with specific reasons
Pass-Through Entity Responsibilities
Identify award detail (Includes CFDA#) to
subrecipient
Advise subrecipient of Federal requirements
Monitor the activities to ensure compliance
Ensure audit is done if expending $500,000 or more
of Federal dollars
Issue management decision on audit findings within
6 months
OMB
Circular A-133 Compliance
Supplement
• Available at:
http://www.whitehouse.gov/omb/circulars_default
• A-133
• A-87
• A-122
• A-21
• Others
Why
is this important?
What
does it mean to you?
To
stay in good standing with grantor
To
remain eligible for future funding
To
avoid having to pay Federal dollars back
To
avoid findings or questioned costs
To
further provide your service and meet
the entity’s mission