How to Develop Indirect Rates Under the New Super Circular. Part 1 Webinar 1 or 2 Slide Decks Rubino & Company, Chartered May 8, 2014

Similar documents
Indirect Cost Rates & What Happens Under. Paul H. Calabrese Rubino & Company, CPAs & Consultants Senior Manager

What Happens to Indirect Rates under the Uniform Guidance Bag Lunch Webinar November 19, 2015

Indirect Cost Rates For Nonprofit Organizations

Indirect Cost Rates For Nonprofit Organizations

Developing Indirect Cost Rates for Non Profits: Practical Approaches

How to Develop Indirect Cost Rates For Nonprofit Organizations

Introduction to Indirect Costs

Indirect Cost Rates A Non-Profit Perspective. Alex Weekes Principal ML Weekes & Company, PC

Ins and Outs of Super Circular II: Cost Principles & Audit Requirements

The Basics of F&A and How the Uniform Guidance Impacts Indirect Costs

Mark W. Stout, MBA DOI Interior Business Center Indirect Cost Services - Sacramento April 2017

Indirect Cost Rate Development for Non-Profits Navigating Accounting Standards and Best Practices to Calculate and Assign Expenses

Ins and Outs of Indirect Costs Under the Super Circular Webinar Series

Illinois Coalition Against Domestic Violence. Understanding the Uniform Guidance and Indirect Cost Rate March 16, 2016

U.S. Department of Housing and Urban Development Office of Housing Counseling

Cost Pools, Indirect Rates & Allocation Plans: Demystified

Ins and Outs of Indirect Costs Under the Super Circular Webinar Series

T-203 F&A Cost Rates and the Uniform Guidance, A Non-Profit Perspective

Basics of F&A: A University Perspective. Alex Weekes Principal ML Weekes & Company, PC

Webinar: Are you Prepared for the Supercircular? February 2014

Allocating Direct and Indirect Costs for Nonprofits

ONR SUBMISSION REQUIREMENTS FOR NONPROFIT INDIRECT COST RATE PROPOSALS - INITIAL CHECKLIST

U.S. Department of Housing and Urban Development Office of Housing Counseling

Texas Association of Community Action Agencies (TACAA) 2016 Conference. May 18 20, 2016 San Antonio, TX Holiday Inn Riverwalk Hotel.

INDIRECT COSTS. A Direct Explanation. July 18, What Federal Regulations Govern?

OMB Uniform Guidance Hot Topics and Implementation. July 18, 2014: The University of Alabama in Huntsville

Amy Roberts, Appalachian State University

Nonprofit Financial Management Network

6/5/2014. Cost Allocation Overview. Overview (continued) Overview. Overview (continued) Overview (continued)

The COGR Perspective on the OMB Uniform Guidance: A First Look

Initial COGR observations on definitions are intertwined with the applicable sections below.

HRSA/HAB Site Visits: Top Findings

U.S. Department of Housing and Urban Development Office of Housing Counseling

Navigating the OMB Super Circular

Uniform Guidance vs. OMB Circulars

Indirect Cost Allocation

COST ISSUES PART 2: INDIRECT COST RATES, WHAT THEY ARE & WHAT YOU NEED TO KNOW

Indirect Cost Recovery: What You Need to Consider. August 2017

Facilities & Administrative Costs: Balancing Sponsor Requirements and Institutional Needs

SINGLE AUDIT UPDATE. Presented By Joel Knopp, CPA

2017 Single Audit Update

2 CFR 215 (A-110) or 2 CFR 230 (A-122) Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards.

Administrative Procedure

2018 Single Audit Update

2018 V2. Federal Costing Principles

ONR Guidance for Indirect Cost Rate Proposals for Non-Profits with less than $10M Federal Funding of Direct Costs in a Fiscal Year

Indirect Cost Allocation. August 22 nd, 2013

COMPENSATION & PAYMENT PROVISIONS (COST REIMBURSABLE)

U.S. Department of Housing and Urban Development Office of Housing Counseling

Introduction to Indirect Costs

Child Care Associates

Preparing your AAA Area Plan Budget & Cost Allocation Plan. Fiscal Track AM Workshop Session May 29, :30 AM - Noon

Child Care Associates

ACCOUNTING SYSTEMS for SBIR/STTR AWARDS. Presented by: Mike Anderson

Omni Circular Key Area #5 Indirect Costs and the Omni Circular: What to Expect. Total Cost of Federal Awards. Costing Options:

Federal Grant Administration Guidelines

Service Center Policy and Procedures University at Albany

Sequestration and Terminations for Convenience

Understanding the Cost Accounting Standards. Bag Lunch Webinar May 9, 2018

Uniform Guidance Super Circular 2 CFR Part 200

PROCEDURE Determination of Allowable vs. Unallowable Expenses

December Facilities and Administrative Costs Primer The Research Foundation for The State University of New York

Implementation and Readiness Guide for the OMB Uniform Guidance Prepared by the Council on Governmental Relations (COGR) Introduction

Click to edit Master title style

Virginia Department of Transportation Indirect Cost Rate Submission and Review Process Effective January 1, 2019

VGFOA Spring Conference

University of Missouri System Accounting Policies and Procedures

Booth Management Consulting, LLC. Facilitated by Lee Deforest Drive, Suite 202, Columbia, MD 21046

Accounting System Requirements

INDIRECT COSTS. Yes, there are several different types of indirect cost rates. Examples include:

OMB. Uniform Guidance

PART 3 COMPLIANCE REQUIREMENTS

Uniform Guidance Update

GENERAL INSTRUCTIONS COVER SHEET AND CERTIFICATION C-1

Do You Get Federal Funds? Find out What s Changing with Uniform Guidance

2 CFR Part 200 Uniform Guidance

Effective Cost Allocation Strategies

East Harlem Scholars Academy Charter School

GROSSMONT CUYAMACA COMMUNITY COLLEGE DISTRICT AUXILIARY ORGANIZATION

How to Prepare for The New EDGAR Auditing Requirements Tiffany R. Winters, Esq. Brustein & Manasevit April 2015

Clayton Child Care, Inc.

PART 3 COMPLIANCE REQUIREMENTS

Keys to Submitting an Adequate Incurred Cost Proposal

GLOBAL DEVELOPMENT INCUBATOR, INC.

MISSISSIPPI DEPARTMENT OF EDUCATION

2 CFR 200 UNIFORM ADMINISTRATIVE REQUIREMENTS, COST PRINCIPLES, AND AUDIT REQUIREMENTS FOR. Kirsten Rigg

ADMINISTRATIVE PRACTICE LETTER

ODOT Contract Audit Circular No. 1

Contract Support Cost 101

HOPE COMMUNITY PUBLIC CHARTER SCHOOL, INC. d/b/a IMAGINE HOPE COMMUNITY CHARTER SCHOOL

FLORIDA DEPARTMENT OF ECONOMIC OPPORTUNITY WEATHERIZATION ASSISTANCE PROGRAM

Project Managers are expected to apply this guidance document when charging direct or indirect costs to grants.

GCS 224 Surviving DCAA Audits with GCS Premier. Presented by: Nicole Mitchell, Aronson & Company

Service Centers: Financial Compliance

CONTRACT ADMINISTRATION AND AUDIT SERVICES

June 30, 2016 and 2015

Click to edit Master title style

National Endowment for Democracy. Uniform Guidance Supplementary Financial Report Year Ended September 30, 2016

INDIRECT COST POLICY

Indirect Cost Rate Proposal and Master Schedule of Fees PRESENTATION BY: COUNTY OF FRESNO AUDITOR-CONTROLLER AUGUST 20, 2013

Transcription:

How to Develop Indirect Rates Under the New Super Circular Part 1 Webinar 1 or 2 Slide Decks Rubino & Company, Chartered May 8, 2014

Click Update to / Impact edit Master of Super Circular text styles Definitions of Direct Cost Allocations Definition o Third of level Indirect Cost Negotiation & Administration of Indirect Rates Types of Allocation Bases Simple, Multiple, Direct Allocation Methods Special Rates Problem of Double-Charging Statement of Functional Expense for Indirect Rate Development

Click To provide to edit participants Master text with styles both conceptual and hands-on tools for developing indirect rates for not-for-profits that receive federal rates. The session» Fifth will level cover different types of indirect rates: fringe, occupancy, and general and administrative. To provide participants with the new options available under the Super Circular given the fact of the administrative recovery restrictions under Ryan White programs.

Rubino o Third & level Company, CPAs & Consultants Paul H. Calabrese Senior Manager Tel: 301-214-4137 pcalabrese@rubino.com www.linkedin.com/in/pcalabrese https://twitter.com/paulcompliance All slides copyright 2014, Rubino & Company, Chartered

Federal agencies implement by 12/26/2014 Subpart F Audit Requirements become applicable with audits of fiscal years beginning on or after 12/26/2014 or effectively 1/1/15 end 12/31/15 Administrative (pre/post award) requirements and cost principles apply on new awards or additional / incremental funding on or after 12/26/14 Existing awards before 12/26/14 follow existing terms and conditions which are covered by the prior OMB Circulars A-110, A-122, A-133

Non-Federal entities wishing to implement entitywide system changes to comply with the uniform guidance (Super Circular) on or after 12/26/2014 will not be penalized by Federal agencies, in that they may still have older agreements covered by the prior OMB Circulars. FAQ Q III-5: Words in the uniform guidance: Must is a requirement. Should is a best practice or recommended approaches, COFAR wanted to bring to attention of non-fed entities

Responsible for administering Federal funds consistent with terms and conditions, program objectives of award Accounting practices must be: Consistent with cost principles Support accumulation of cost Adequate documentation to substantiate costs charged to Federal awards Cost principles are used as a guide to price fixed price contracts / subcontracts

Requirement to account to the Federal government for actual costs incurred 200.401(a)(5) reverse logic where principles do not apply May not earn or keep any profit 200.400 (g) The Non-Federal Entity (NFE) must promptly refund any balances of unobligated cash that the Federal awarding agency or pass-through entity paid in advance or paid and that is not authorized to be retained by the non-federal entity for use in other projects. 200.343(d)

The obligation of the Non-Federal Entity (NFE) to return Second any funds level due as a result of later refunds, corrections, or other transactions including final indirect cost Fourth rate level adjustments. 200.344 (a)(2) The 10% de minimis rate: per 200.414(f) free lunch? Never received a negotiated indirect rate Charge on a modified total direct cost base May use indefinitely until negotiate an indirect rate Direct and indirect costs charged consistently but not as both causing double-charging Use consistently on all Federal awards

Cannot spend more than 10% of Federal funds on administrative expenses in a grant year for Ryan White 10% de minimis rate per 200.414(f) NFE has existing negotiated indirect rate: One-time extension of current indirect rate For a period of up to 4 years If granted, cannot request a rate review until extension period ends At end of 4 year period, must re-apply to negotiate a new rate

Direct cost allocation principle 200.405(d) 1. If o cost Third benefits level two or more direct programs 2. In proportions that can be determined without undue effort or» cost Fifth level 3. Costs should be allocated to projects If 1 and 2 cannot determine proportions based on interrelation of work involved, then allocated on benefited projects on a reasonable documented basis. Purchase of equipment or capital assets for a specific award are assignable to that award only regardless of use on other projects or no longer needed as acquired.

Direct charging of admin staff wages may be appropriate when all items are met: 200.413(c) Administrative services are necessary to a project Individuals involved can be specifically identified to a project, such as time reports Administrative wages are included in the budget or prior written approval from agency Such costs are not recovered as indirect cost

Unallowable activities and donated services receive allocation of indirect costs 200.405(b) Costs allocable to a Federal award may not be charged» to Fifth cover level fund deficiencies to avoid restrictions in the regulations 200.405(c) Limitation on allowable costs 200.408 o If maximum amount allowable under a limitation is less than total amount determined, the delta is not recoverable and cannot be charged to another award.

Payments Second made level for costs determined to be unallowable must be refunded including interest Fourth to Federal level government 200.410 Unallowable by Federal awarding agency Cognizant agency for indirect cost Pass-through entity Either direct or indirect unallowable cost

Adjustments of previously negotiated indirect cost rates containing unallowable costs 200.411 Negotiated indirect cost rates later found to have costs: 1. Unallowable specified by Federal statutes, regulations or terms and conditions of a Federal award 2. Unallowable as not allocable to Federal award(s) o Must be adjusted for a refund o Adjustments are used to correct established negotiated rates o Will not re-open for rate negotiation o Applied to all types of rates: fixed, final, predeter, prov.

Adjustments of previously negotiated indirect cost o Third rates level containing unallowable costs 200.411 For projected rates of a future year, the costs are removed from cost pools and rates appropriated adjusted downward For historical rates of a past period, the unallowable costs will be computed by fiscal year and a cash refund including interest For current year rates, either a rate adjustment or refund per cognizant agency

Adjustments of previously negotiated indirect cost rates containing unallowable costs 200.411 o For multiple years, the proportional amount of unallowable costs in the base year will be extrapolated to the out-year rates

Assure proper expenditures 200.415(a) o Certifying project budgets, annual and final fiscal reports Fourth or vouchers level requesting payments By signing this» report, Fifth level I certify to the best of my knowledge and belief that the report is true, complete, and accurate, and the expenditures, disbursements and cash receipts are for the purposes and objectives set forth in the terms and conditions of the Federal award. I am aware that any false, fictitious, or fraudulent information, or the omission of any material fact, may be subject to criminal, civil or administrative penalties for fraud, false statements, false claims or otherwise.

Certification of indirect rates 200.415(b) o o o An o Indirect Third level Cost Rate Proposal (ICRP) must have a Certificate of Indirect Costs signed at a level not lower» Fifth than level VP or CFO Cost are not unallowable and not inallocable If an ICRP does not include a certification The agency can unilaterally disallow all indirect costs The agency can unilaterally establish their own rate based on historical cost or other such data, to ensure that unallowable costs won t be reimbursed.

To summarize...

Account for incurred cost Documentation Second level such as time reports which supports the incurrence and allocation of cost Identify unallowable cost Unallowable» Fifth items level remain in allocation base, receive a share of indirect cost Unallowable items, items not entitled to retain, profit/excess funds must be returned to agency Unallowable expenses determined later will be returned and rates adjusted downward

What is direct remains direct, same for indirect, no double Second charging,e.g. level 10% de minimis Consistent allocation to avoid double-charging Direct costs» Fifth more level latitude: proration of cost or admin salaries identified/supported Statutory limitations, limits the recovery in an award, even though the rate is determined higher - 10% limitation on Ryan White administrative cost

Cost Accounting Definitions

Segregate cost for each government grant Distinguish between direct and indirect cost Consistent cost allocation of indirect cost Identify unallowable, non-recoverable cost Assign cost to the appropriate accounting period Sufficient accounting controls to ensure compliance with government grant regulations Capable of performance measurement, such as provisional vs. actuals for indirect burden rates Facilitate the development of indirect cost rates

Direct Cost are costs specifically identified or traceable to a Federal award, project or activity 200.413(a) Examples: o Third direct level labor and related fringe benefit cost, direct material, supplies, consultants, sub-awards, travel 200.413(b) & Appendix IV B.3.b.(4)2 nd Direct charging of salaries of administrative personnel 200.413(c) [slide 13] Direct proration of cost between 2 or more activities without undue effort 200.405(d) Unallowable direct cost remain in base 200.413(e)

Click Develop to edit cost Master estimates text for styles grant proposals used in the SF 424a Manage within cost measurement and performance requirements Full Cost Recovery Difficult to achieve Certain grants restrict administrative cost Certain NEA vehicles exclude indirect State and local units of gov t limit rates

Limitation on Indirect Costs Second Award level specific rate (predetermined) Limitation on indirect cost recovery, i.e. if awardee» Fifth did level not provide an indirect rate percentage in 6j of the SF 424-a, the awardee is barred from claiming and recovering indirect cost for this grant

Click Indirect to edit rates Master synonymous text styles with: Second Burdens level Loading Overhead Types Fringe G&A (Indirect, Management & General from IRS Form 990) F&A: Facilities & Administrative rates

Indirect Click Cost to edit are costs Master not directly text styles identified with a single final cost objective (grant), but rather relates to two Second or more final level cost objectives, or a service center, like occupancy department. Indirect costs Fourth cannot level be economically traced to each grant so they must be placed in a cost pool to be allocated on a causal-beneficial basis to the final cost objective or grant. In developing a cost pool special care that costs can first be identified direct to a program, no doublecharging Appendix IV B.3.b.(4) 2 nd (paragraph) Typical indirect expenses are: office supplies, postage, local telephone, periodicals, memberships per Appendix IV B.3.b.(4) 2 nd

Indirect Rate Negotiation and Administration

Click to edit Master text styles OMB Circular A-122, Attachment A, C and 2 CFR 200.414(b) Due to diverse characteristics and accounting practices of nonprofits, it is not possible to specify the types of cost which may be classified as indirect in all situations.

OMB Circular A-122, Attachment A, A.6 Under o Third any level award, the allocation and reasonableness of certain expenses may be difficult to determine Purpose is to avoid subsequent disallowance or dispute Seek a written agreement with cognizant awarding agency in advance of incurrence of cost Examples provided such as pre-award costs

OMB Circular A-122, Attachment A, D.1.e Appendix IV B.1.e to 2 CFR 200 Period for allocating and accumulating incurred» indirect Fifth level cost to grants Base period equals the org s fiscal year Grants cross over two fiscal years o Two different indirect rates

Negotiation and Approval of Indirect Rates per OMB Circular A-122, Attachment A, E Agency Fourth with level largest dollar value = cognizant agency Appendix IV C.2 Indirect rate proposal submitted 90 days after new award to an organization App. IV C.2.b May not happen if you have program restrictions, o HRSA Part B, CFDA 93.914 limits adm. to 10% Issues when agency is not proactive in the negotiation and settlement of indirect rates

Click Negotiation to edit and Master Approval text styles of Indirect Rates Existing org s submit new rate proposals within Fourth 6 months level after the end of their fiscal year Appendix IV C.2.c Predetermined rate is based on estimate of costs to be incurred for the current or future fiscal year. The predetermined rate is not subject to adjustment. Appendix IV C.2.d

Fixed (ceiling) rates are similar to predetermined rates except: App. IV C.2.e The o Third difference level between the estimated and actual Fourth costs level of the period are carried forward» as Fifth an level adjustment to the subsequent period s indirect rate computation Final rate Appendix IV C.1.d & C.2.f Based on actual cost for period Once negotiated, not subject to adjustment

Provisional Rate Appendix IV C.1.e & C.2.f Temporary indirect cost rate pending final rate Used o Third for funding, level interim billing or cost reporting The results of any negotiation is distributed to other participating agencies Appendix IV C.2.g Negotiating rates must be accepted by ALL Federal awarding agencies 200.414 (c)(1) Many clients complain they cannot find the office for negotiating indirect rate Look at conditions clauses attached to grant

Basic Indirect Rate Mechanics

For example, fringe cost includes pension, medical insurance and payroll taxes for direct personnel, working on multiple programs, that cannot be economically assigned to each of those grants.

Each of the fringe expenses reside in a cost pool Second to be allocated level on a causal-beneficial basis o to Third the level final cost objective or grant. Fringe expenses is the numerator and total labor dollars is the denominator to develop a % via a fraction. Total labor has a functional relationship with fringe expense where total labor is the independent variable and fringe is the dependent variable.

Fringe Click Pool to edit & Base Master Example: text styles Fringe Second Indirect level Cost Pool: $1,500 Pension 1,500 Medical Insurance 500 Payroll Tax $3,500 Total Fringe $2,000 Direct Labor (D/L) Grant A 8,000 D/L Grant B $10,000 Total Grant D/L* (Allocation Base) $3,500/$10,000 = 35% Fringe Indirect Burden Rate *Missing indirect labor applied to G&A.

Fringe Click Application to edit Master Example: text styles Grant Second A: level $2,000 D/L 700 Fringe ($2,000 D/L x 35% fringe rate) 1,400 Other Direct Costs (ODCs) $4,100 Total cost for Grant A-final cost objective Grant B: $8,000 D/L 2,800 Fringe ($8,000 D/L x 35% fringe rate) 9,600 ODC $20,400 Total cost for Grant B-final cost objective

General fund = administrative costs Executive director s office Finance, HR, IT, Purchasing, Facility Mgmt. Office Space, Utilities, Audits, Insurance Value =» $150,000 Fifth level (A) Programs, Value = $1,000,000 (B) $900,000 in non-federal: programs, fundraising, membership, promotion, P/R $100,000 federal grant Fractional relationship between general fund (M&G) and Programs = 15%

Distribution of Indirect Cost Pool Using 15% Indirect Rate $135,000, 90% $15,000, 10% Federal Award of $100,000

Total Cost of Grant Second $100,000 level direct costs o Third $15,000 level applied indirect (15% x $100,000) $115,000 = total value of grant Total Cost Definition The sum of direct and indirect costs allocable to an award less credits, refunds, rebates; and excluding unallowable costs. OMB Circular A-122, Attachment A, A.1 and 200.402