Brustein & Manasevit, PLLC The Effort Required for Compensating Employees Tiffany R Winters, Esq. Brustein & Manasevit, PLLC

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Presentation transcript:

Brustein & Manasevit, PLLC The Effort Required for Compensating Employees Tiffany R Winters, Esq. Brustein & Manasevit, PLLC Spring Forum

Brustein & Manasevit, PLLC OMB Circulars Time and Effort Rule If federal funds used for salaries, then time distribution records are required Must demonstrate (allocability) That the employee worked on that specific federal program/cost objective 2

Brustein & Manasevit, PLLC Who must participate?  Any employees who are paid with federal program ◦ Not contractors  Some employees paid with non-federal funds When salaries are used for match purposes 3

Brustein & Manasevit, PLLC THE CURRENT OMB RULES A-87 : State and Local Educational Agencies A-21: Institutions of Higher Education A-122: Nonprofit Organizations 48 C.F.R. Part 31: For Profit Agencies 4

Brustein & Manasevit, PLLC A-87: If employee works 100% on single cost objective Semi-Annual Certification Completed at least every six months Signed by a supervisor with knowledge or the employee After-the-fact record (dated) Accounts for the total activity for which employee compensated Must coincide with one or more pay periods 5

Brustein & Manasevit, PLLC A-87: If employee works on multiple cost objectives Personnel Activity Reports After-the-fact record (dated) Accounts for the total activity for which employee compensated At least monthly (unless substitute system) Signed by the employee Must coincide with one or more pay periods 6

Brustein & Manasevit, PLLC OMB Circular A-21: Institutions of Higher Education More flexible rules and more discretion for professorial and professional staff 3 Options:  Plan Confirmation: Budgeted allocations for professional/professorial staff; updated to reflect any significant changes in actual work  Multiple Confirmation Records: Variety of records kept in combination at least monthly 7

Brustein & Manasevit, PLLC OMB Circular A-21: IHEs (cont.)  After-the-Fact Activity Reports: Professional/Professorial staff keep records every 6 months All other employees keep monthly records Signed by employee, principal investigator, or responsible official using suitable means of verification Must reflect activity applicable to each sponsored agreement and to each category needed to identify F&A Costs 8

Brustein & Manasevit, PLLC OMB Circular A-122: Nonprofit Institutions Similar to A-87 (but not identical) Need PARs to support salaries and wages of all staff paid (in whole or in part) with federal funds Monthly, after-the-fact records, signed by employee or supervisor with knowledge No semi-annual for employees working 100% on single cost objective 9

Brustein & Manasevit, PLLC For-Profits?????? 48 C.F.R. Part 31 Silent on required documentation…. So what does that mean??? 10

Brustein & Manasevit, PLLC OMB Super Circular Standards for Documentation of Personnel Expenses ~ Proposed Changes ~ Subtitle VI – General Provisions for Selected Items of Cost _.621 Selected Items of Cost C-10 Section (9) 11

Brustein & Manasevit, PLLC General Requirements The distribution of salaries and wages must be supported by certifications of the consistency of charges with the work executed All required certifications may be provided electronically Reports may use percentages to reflect categories or total activities 12

Brustein & Manasevit, PLLC Semi-Annual Certifications “Periodic Certifications” Expected to work on a single federal award or cost objective Must be supported by periodic certifications; That the employee worked solely on that program; Prepared at least semi-annually; AND Must be signed by the employee or responsible supervisory official. 13

Brustein & Manasevit, PLLC Certified Reports Certified reports reflecting the distribution of charges within the payroll for each employee (professional and nonprofessional) whose compensation is charged, in whole or in part, directly to Federal awards must be maintained Report can be integrated with or separate from payroll If integrated duplication of reports is not required 14

Brustein & Manasevit, PLLC Certified Reports (cont.) There is no single best method… but any method must meet the following requirements: Must be after-the-fact Unless a mutually satisfactory alternative is approved by the awarding agency Certification periods are to be established as appropriate to provide adequate oversight But can not exceed 12 months 15

Brustein & Manasevit, PLLC Certified Reports (cont.) Certified Report MUST be signed by the individual employee or an individual responsible for verification that the work was performed. If work under multiple awards and certification is performed by supervisory panel, each certifier need address only elements relevant to their function, but will have access to activity reports compliance with this section. 16

Brustein & Manasevit, PLLC Certified Reports (cont.) Budget estimates do not qualify as certified reports. For systems that meet these standards, the recipient WILL NOT BE REQUIRED to provide additional support or documentation for the effort actually performed. Practically, what does this mean?? 17

Brustein & Manasevit, PLLC Substitute Systems Substitute systems may be used in place of these reports if approved by the cognizant agency. These systems are subject to approval if required by the cognizant or oversight agency. May include random moment sampling, “rolling” time studies, case counts, or other quantifiable measures of employee effort. 18

Brustein & Manasevit, PLLC WHAT IS A SINGLE COST OBJECTIVE??? OCFO: “The criteria for whether an employee may document time and effort using a semiannual certification or must fill out a monthly PAR can be confusing.” 19

Brustein & Manasevit, PLLC What is a “Cost Objective”? A-87 Definition: A function, organizational subdivision, contract, grant or other cost activity for which cost data are needed and for which costs are incurred. 20

Brustein & Manasevit, PLLC Examples.... A Minimum Set-Aside or Maximum Cap: Title I, A - LEA Parent Involvement minimum (at least 1%); Title III, A – Cap on administration (no more than 2%) Program services Title I program services Flexibility Consolidated Administration Schoolwide Program 21

Brustein & Manasevit, PLLC OCFO Guidance It is possible for multiple programs to have the same cost objective, which creates confusion over whether the presence of a single cost objective or being funded by multiple programs should determine what time-and-effort documentation an employee must complete. 22

Brustein & Manasevit, PLLC OCFO Guidance (cont.) It is possible to work on a single cost objective even if an employee works on more than one Federal award or on a Federal award and a non-Federal award. The key to determining whether it is a single cost objective is whether the employee’s salary and wages can be supported in full from each of the Federal awards on which the employee is working or from the Federal award alone if the employee’s salary is also paid with non- Federal funds. 23

Brustein & Manasevit, PLLC OCFO Guidance Examples of Single Cost Objectives: Title I, Part A funds and State compensatory education funds An LEA supports a supplemental math teacher to serve low- achieving students with 50 percent Title I, Part A funds and 50 percent State compensatory education funds. Teaching math to low-achieving students is a single cost objective because it can be fully supported under Title I, Part A. Only a semiannual certification, therefore, is required even though the employee’s salary is supported by a Federal award and a non-Federal award. 24

Brustein & Manasevit, PLLC OCFO Guidance Examples of Single Cost Objectives: Title I, Part A funds and CEIS (comprehensive early intervening services) funds under IDEA A teacher works with low-achieving students and is supported with 60 percent Title I, Part A funds and 40 percent CEIS funds. Teaching low-achieving students is a single cost objective because it can be fully supported under both Title I, Part A and CEIS. Only a semiannual certification, therefore, is required even though the employee’s salary is supported by two Federal awards. 25

Brustein & Manasevit, PLLC OCFO Guidance Examples of Single Cost Objectives: Title I, Part A funds and local funds An LEA supports an elementary school teacher with local funds but pays her with Title I, Part A funds to provide after-school tutoring for low-achieving students. The portion of her time spent on after-school tutoring is easily separated from her teaching position by her schedule. Accordingly, the teacher’s after-school tutoring is a single cost objective and she need only file a semiannual certification for the time she works in the after-school program supported by Title I, Part A funds. 26

Brustein & Manasevit, PLLC OCFO Guidance Examples of Single Cost Objectives: State leadership funds under the Carl D. Perkins Career and Technical Education Act of 2006 (Perkins IV) and State funds A State curriculum specialist who develops new career and technical education courses and initiatives is funded 50 percent with Perkins IV funds reserved under section 112(a)(2) for State leadership and 50 percent with State general funds. Career and technical education curriculum development is a single cost objective because it can be fully supported with State leadership funds under Perkins IV. Only a semiannual certification, therefore, is required even though the employee’s salary is supported by a Federal award and State funds. 27

Brustein & Manasevit, PLLC SUBSTITUTE SYSTEMS AND OCFO CHANGES 28

Brustein & Manasevit, PLLC Substitute Systems Generally OMB Circular A-87 authorizes the use of substitute systems for allocating salaries and wages. ED must approve SEA’s system. Can include: Random moment sampling Case counts Other quantifiable measures of employee effort 29

Brustein & Manasevit, PLLC Substitute Systems Changes An SEA would be permitted to allow an LEA to use alternative documentation through approved substitute system. For example, could use a teacher's course schedule (instead of PARs) for an individual who works on multiple activities or cost objectives but does so on a predetermined schedule. An individual documenting time and effort under the substitute system would be permitted to certify time and effort on a semiannual basis, provided certain requirements are met. 30

Brustein & Manasevit, PLLC Substitute Systems Changes (cont.) The SEA must obtain from the LEA a management certification certifying that: Only eligible employees will participate Sufficient controls are in place to ensure that the schedules are accurate The certification must disclose any known deficiencies with the system or known challenges with implementing the substitute system. 31

Brustein & Manasevit, PLLC Substitute Systems Changes (cont.) The SEA must obtain from the LEA a management certification certifying that: 1.Only eligible employees will participate Employees must – Currently work on multiple activities or cost objectives (require PARs); Work on specific activities or cost objectives based on a predetermined schedule; and Not work on multiple activities or cost objectives at the exact same time on their schedule. 2.Sufficient controls are in place to ensure that the schedules are accurate 3.The certification must disclose any known deficiencies 32

Brustein & Manasevit, PLLC New Substitute Systems Requirements (1)System Guidelines. (2)In lieu of PARs, eligible employees may support a distribution of their salaries and wages through documentation of an established work schedule that meets the standards under section (3). (3)Each Employee’s work schedule must indicate the cost objective(s) that the employee worked on and account for the total hours compensated: Be certified at least semiannually; and Signed by the employee and a supervisory official having firsthand knowledge of the work performed by the employee. (4) Any revisions to an employee’s established schedule that continue for a prolonged period must be documented and certified. (5) PARs must be used when there is a significant deviation. 33

Brustein & Manasevit, PLLC Disclaimer This presentation is intended solely to provide general information and does not constitute legal advice. Attendance at the presentation or later review of these printed materials does not create an attorney-client relationship with Brustein & Manasevit, PLLC. You should not take any action based upon any information in this presentation without first consulting legal counsel familiar with your particular circumstances. 34