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Uncovering the Hidden Liabilities in Your Office MASFAA Conference 2008 November 19, 2008 Kimberly TibbettsJean Ricker VP for ComplianceFinancial Aid Manager.

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Presentation on theme: "Uncovering the Hidden Liabilities in Your Office MASFAA Conference 2008 November 19, 2008 Kimberly TibbettsJean Ricker VP for ComplianceFinancial Aid Manager."— Presentation transcript:

1 Uncovering the Hidden Liabilities in Your Office MASFAA Conference 2008 November 19, 2008 Kimberly TibbettsJean Ricker VP for ComplianceFinancial Aid Manager Higher Education Asst. GroupFranklin W. Olin College of Engineering

2  You should leave this session knowing how to  locate tools with which to find the hidden liabilities in your office  put together a Compliance Committee  develop your own internal review plan  create a corrective action plan

3  Group Work to get you in the mood  FA Forensics at Work  Compliance Committee  Identify Areas of Liability  Develop a periodic review plan  Create an effective Corrective Action Plan  Open Discussion

4  1) New Academic Programs: Your Academic Department has created a new certificate program and failed to inform Financial Aid. What do you do?  2) Institutional Disclosure Requirements – Your Campus Security Office refuses to send out the annual crime statistic notification. What do you do?  3) SAP- Institutional vs. FA. A student is not making SAP for Financial Aid purposes but the institution is choosing to allow the student to remain enrolled and take courses. What do you do?  4) IT- system upgrades- your institutions integrated system periodically delivers updates/upgrades based on changes in DOE regulation- some FA related some institutionally related. Your IT Dept is behind in the installation of these upgrades which causes institutional vulnerability with regard to compliance. What do you do?  5) Withdrawals- your Registrar has a habit of back dating withdrawals and/or failing to notify FA when a student withdraws from the institution. What do you do?

5  Put together a Compliance Committee consisting of at least the following members:  FAO  Registrar  Bursar/Student Account Office  Admissions  Academic Affairs  Faculty  IT

6  Meet every other week for the first 6 – 12 months - monthly thereafter  Develop a list of topics to discuss  Currently existing issues  Upcoming changes to regulations  Solicit topics from other departments  More topics will emerge as more meetings take place

7  Allow time for each department to update the committee about what is going on in his/her area  This will be your opportunity to discover what the other departments are doing and if it will have an impact on the FAO  This opens up the opportunity for discussion and becomes a regulatory training moment  This sets the foundation for future collaboration with other departments

8  To ensure institutional compliance  To kindly remind all departments of their responsibilities as compliance officers  To find any hidden liabilities within your institution  To develop stronger partnerships with essential departments

9  Double Review Process  Create a policy and procedure (P&P) to support the following process to be performed every enrollment period  Secondary review of verification prior to disbursement  Secondary review of R2T4 prior to returning aid

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12  To find any hidden problems before they grow exponentially  If there is a consistent problem, this provides you with the opportunity to develop a Corrective Action Plan, adjust your P&P, and retrain your staff  To give the FAO time to correct the problem before the student leaves your institution

13  If your office is too busy to do a secondary review… do a mini audit before the end of the enrollment period  Remember…if you begin to find a significant number of problems, it would be best to utilize the Double Review Process

14  Select a small sampling of verified files  Review student eligibility  Review verification  Review the award  Review disbursed aid amounts  Select a small sampling of students who withdrew from the semester or institution  Review R2T4 process  Review NSLDS reporting  Cure files  Alter your P&P to reflect the changes  Train FAO personnel

15  Perform an internal compliance review to determine if there are any errors that can be corrected prior to the A133 review or before the aid year closes  Use the list of Common Findings and findings from your previous A133 reviews to develop a list of areas to review  If you have a Corrective Action Plan in place, be sure to test to ensure that your office is complying with its own plan

16  To find any hidden problems  It is always better to know the areas that may be problematic in an A133  To give the FAO time to correct the problem and develop a corrective action plan to have ready for the auditors if needed

17  Late Refund/Returns to Title IV Account  Incorrect Return of Title IV Funds Calculation  Entrance/Exit Counseling Deficiencies  Enrollment Report (SSCR) Issues  Repeat Finding-Failure to Take Corrective Action  Auditor Opinion Cited in Audit  Student Credit Balance Deficiencies  Verification Violations  Pell Over/Under Payments

18  A Corrective Action Plan must describe the corrective action taken or planned in response to findings identified.  Once a problem has been identified, either though an A133 or your own FA Forensics plan, you need to develop a corrective action plan to correct the problem and ensure that it does not occur again.

19  Identify issues  Schedule a meeting  Bring together all the folks who impact or are impacted by the issues  Be sure to include IT if the solution will require utilization of the system  Meet  Lay out the problem and explain why it is an issue  Explain the regulation that must be met  Brainstorm a solution

20  Document the solution  Implement the solution  Test the implemented solution  Conduct a follow up meeting if any tweaking is needed  Be sure to test this area in next year’s annual internal review audit

21  IFAP website  FSA Assessment  NASFAA Self Evaluation Guide  Annual Auditor Training Conference  Higher Education Assistance Group, Inc  Verification Review Form (www.heag.us)  Compliance/Efficiency Guide (www.heag.us)

22 Share your successes What have you implement at your school to ensure that your institution is compliant? How did you create a institution wide compliance team? Anything you would like to share with the group? Any problems to bring to the group?

23 Kimberly Tibbetts(617) 620-5875 VP for Compliance Higher Education Asst. Group kdowd@heag.cnc.net www.heag.us Jean Ricker (781) 292-2343 Financial Aid Manager Olin College of Engineering jean.ricker@olin.edu


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