Procurement Leadership Council New Uniform Guidance Update & Discussion 9/2/14 Presented By: Jacob Godfrey UCSB Chief Procurement Officer and Materiel.

Slides:



Advertisements
Similar presentations
© 2014 University of New Hampshire. All rights reserved. Uniform Guidance Highlights What you really need to know.
Advertisements

Presented by: Kathryn Hodges, NH
The New Uniform Guidance
OMB Uniform Guidance 2 CFR Part 200.  The final guidance was issued on December 26, 2013 and supersedes and streamlines requirements from OMB Circulars.
4/28/20151 Presented by: Anne Taylor, NECTAC David Steele, OSEP OSEP Part C Fiscal Management Verification: What Is It And How Do I Prepare For It?
FEBRUARY 20, 2013 OMB’S PROPOSAL FOR GRANT REFORM.
Introduction to Uniform Guidance Presented to Engineering Research Network – Nov 19, 2014 by Sponsored Programs Accounting.
THE SUPER CIRCULAR – “OMNI CIRCULAR” THE ONE-STOP SHOP FOR FEDERAL ASSISTANCE OMB Revised Administrative, Cost, Audit Rules Governing All Federal Grants.
UNIFORM GUIDANCE Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards Presented by Colleen Ravenfeld Office.
External Auditors – Common Findings in Federal Programs Allen, Green & Williamson, LLP.
Grants Administration Updates - OMB’s Uniform Guidance Division of Grants Administration Office for Grants and Federal Fiscal Compliance Texas Education.
Grant Guidance Changes
Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards University Senate Meeting Martha Taylor.
Subrecipient Monitoring Webcast Presenters Pat O'Rourke, Irene St. Croix, Bridget Ware Department of Health and Human Services Health Resources and Services.
Presented by Edward A. Hofma, CPA, CGMA Principal in the CPA firm of Averett Warmus Durkee, PA 1417 East Concord Street Orlando, Florida (407) 849.
THE NEW OMB SUPERCIRCULAR: WHAT DOES IT MEAN TO YOU?
Accounts Payable/Purchasing RF Symposium March 2015 Dave Martin – Campus Financial Services Manager Megan Moran – AP/Purchasing Supervisor Ned Gellner.
Compliance Supplement  What is the Compliance Supplement  Important sections of the CS  For what should or should not be used  New Information for.
1 2 CFR Part 200 Uniform Guidance -- History & New Structure Steve Bradley, Director.
Uniform Guidance: Summary of Significant Changes 2 CFR PART 200—UNIFORM ADMINISTRATIVE REQUIREMENTS, COST PRINCIPLES, AND AUDIT REQUIREMENTS FOR FEDERAL.
Implementing the Uniform Guidance U.S. Department of Education.
Indirect Cost Presented by Bonita Brown HMEP Grant Program
UNIFORM GUIDANCE OVERVIEW. OMB Circulars Before and After A-21 Cost principles for Educational Institutions A-21 Cost principles for Educational Institutions.
OMB Uniform Guidance 2014 Implementation at the University of Washington Northwest Chapter of Internal Auditors August 5 th, 2014 Ted Mordhorst Asst. Dir.
Financial Management For Project Administrators. How Feds View Themselves.
Uniform Grant Guidance (2 CFR, Subtitle A, Chapter II, Part 200 Uniform Administrative Requirements, Cost Principles and Audit Requirements for Federal.
Not Your Father’s Single Audit Tammie Brown John Fisher U.S. Department of Health & Human Services.
FEDERAL LAW FOR GRANTS AND FEDERAL SPENDING GUIDELINES OMB Super Circular The Uniform Admin. Requirements, Cost Principles, and Audit Requirements for.
PREPAREDNESS GRANTS CHANGES & UPDATES Ohio Emergency Management Agency Stacie Massey, Administrative Officer.
Uniform Grant Guidance Laura Hirst Office of the Auditor General.
The Future is NOW The New Uniform Guidance 2 CFR 200 Joe Ellis June 2, 2015.
December 2009 Copyright © 2009 Mississippi Department of Education American Recovery and Reinvestment Act December 2009.
Procurement Policies under the Uniform Guidance U.S. Department of Education.
Presented by Raaj Kurapati and Charlene Hart. Introduction  The Single Audit Act Amendments of 1996 was enacted to streamline and improve the effectiveness.
UT-Arlington Accounting CPE Day August 13, 2014 SEFA Preparation and Subrecipient Monitoring.
Updates Concerning the Uniform Guidance Implementation.
The Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards The OMB SuperCircular Information for FTA Grantees.
Presented by: Dan Parker/FHWA. Streamlines the language from eight OMB circulars to one consolidated set of guidance. The following have been combined.
FHWA Implementation 2CFR 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards September 2015.
Uniform Guidance Updates: What PI’s and their staff need to know April 2, 2015 Syracuse University Office of Sponsored Programs.
Audit and Audit Resolution Presented by Wendy Spivey ADECA Audit Manager.
August, 2013 Grants Circular Reform Update Office of Management and Budget For more information visit
Improving Management of Federal Grant Dollars: Council On Financial Assistance Reform (COFAR) Priorities for FY13-15 The Council on Financial Assistance.
Office of Sponsored Programs- OMB Uniform Guidance October 21, 2015.
Uniform Grant Guidance Roundtable Discussion: October 5, 2015 Procurement 1.
The New Super Circular Inaugural Tribal Accounting Conference November 16, 2015 Morgan Aronson National Single Audit Coordinator
Financial Management Program Top Ten Things to Know About New Federal Grant Compliance Presented by: Tracy Arner, CPA 1.
OMB Uniform Guidance Training “Super-Circular” 2 CFR PART 200—UNIFORM ADMINISTRATIVE REQUIREMENTS, COST PRINCIPLES, AND AUDIT REQUIREMENTS FOR FEDERAL.
UNDERSTANDING THE BUY AMERICAN PROVISION for PROCUREMENT Ronna SeGraves, MS, RD, LD May 2016.
Maryland State Department of Education Brief Update on Select Fiscal Matters Related to Grant Issuance and Management Title I Spring Meeting 2016 Kim Stewart,
THE BIGGEST WINNER Uniform Guidance. Test Your Knowledge UG Basics Equipment & Facilities Shared Costs Items of Cost Bits & Pieces
OMB “Super Circular” New Purchasing Guidelines
Understanding the Uniform Guidance Effective Dates
The Ins and Outs of the Uniform Grant Guidance for Governments
Presented by: Belinda Rinker, JD Senior policy analyst
ETA Financial System Hot Topics
2 CFR 200- aka Uniform Guidance.
WHOI Procurement Uniform Guidance 2018
OMB Circular A110 and Uniform Guidance
What PIs working on federally sponsored projects need to know.
You Got a Grant, Now How Do You Spend It? Let’s Talk Procurement
Uniform Guidance - Procurement Implementation
Subrecipient vs. Contractor Determinations
What PIs working on federally sponsored projects need to know.
The New OMB SuperCircular: Impact on TEROs and Section 7(b) of the Indian Self-Determination and Education Assistance Act Council for Tribal Employment.
Single Audit Update Presented by:
Uniform Guidance – What Administrators and PIs Need to Know
PRE-QUALIFIED AND PREFERRED SUPPLIER PROGRAM
Uniform Guidance and Grants Accounting
Presentation transcript:

Procurement Leadership Council New Uniform Guidance Update & Discussion 9/2/14 Presented By: Jacob Godfrey UCSB Chief Procurement Officer and Materiel Manager

Uniform Guidance Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards supersedes and streamlines the following eight existing OMB Circulars: A-21 Cost Principles for Educational Institutions A-87 Cost Principles for State, Local and Indian Tribal Governments A-122 Cost Principles for Non-Profit Organizations A-110 Uniform Administrative Requirements for Grants and Other Agreements with Institutions of Higher Education, Hospitals and Other Non-Profit Organizations A-102 Grants and Cooperative Agreements With State and Local Governments A-133 Audits of States, Local Governments and Non-Profit Organizations A-50 Audit Follow-up A-89 Catalog of Federal Domestic Assistance This is a major reform of how the federal government provides assistance awards (e.g., grants and cooperative agreements) with the goal of increasing accountability and transparency while reducing the administrative burden on non-federal entities receiving federal awards.

Effective Date When does the Uniform Guidance become effective? Federal agencies must implement the requirements to be effective by December 26, Administrative requirements and cost principles will apply to new awards and to funding increments, in cases where the Federal agency considers funding increments to be an opportunity to modify the terms and conditions of the Federal award, to existing awards made on or after Dec 26, Existing Federal awards that do not receive incremental funding with new terms and conditions will continue to be governed by the terms and conditions of the Federal award

Effective Date and Procurement The Federal government will provide a grace period of one full fiscal year after the effective date of the Uniform Guidance (December 26, 2014 ) for non-Federal entities to comply with the procurement standards in the Uniform Guidance. However, in light of the new procurement standards, for procurement policies and procedures the non-Federal entity must document whether it is in compliance with the old or new standard, and must meet the documented standard. For example, the first full fiscal year for a non-Federal entity with a June 30 th year end would be the year ending June 30, The Single Audit Compliance Supplement will instruct auditors to review procurement policies and procedures based on the documented standard. For future fiscal years, all non-Federal entities will be required to comply fully with the uniform guidance

Impact on Strategic Sourcing (d) & (e) Explicitly encourages non-federal entities to build into their procurement policies practices that consolidate procurements where appropriate to make efficient use of Federal funds.

Procurement Claw (Sections & )

Impact on FARS/DFARS Fundamentally unchanged for acquisition of commercial items under federal contacts with FARS flow down provisions UG = Grants FARS = Contracts

Micro vs. Small vs. Over Threshold UGFAR Micro (less than to $3,000)Entity must distribute purchases equitably among qualified suppliers (policy?) Entity determines if price is reasonable (document?) Price reasonableness may need to justified if contracting officer knows that price is not reasonable or no known comparable pricing exists Small (less than $150,000)Entity must obtain quotations from an adequate (policy?) number of suppliers and maintain a detailed history of the procurement; quotation sources, basis for selection etc. Entity must obtain at least two quotations, unless small business concern, and document price reasonableness. Over ThresholdCompetitive proposal or sole source; document method of solicitation, price reasonableness, cost analysis, and basis of award.

Conflict of Interest The federal awarding agency must establish conflict of interest policies for Federal awards The non-Federal entity must also maintain written standards of conduct covering organizational conflicts of interests

State Definition - Warning State means any state of the United States, the District of Columbia, the Commonwealth of Puerto Rico, the Virgin Islands, Guam, American Samoa, the Commonwealth of the Northern Mariana Islands, and any agency or instrumentality thereof exclusive of local governments. This issue is being examined by UC OGC – impact TBD

Subrecipient and Contractor Determination , , & It is the substance of the award that determines how it should be treated, even if the pass-through entity or non-Federal entity receiving the award may call it by a different name.

Action Items UC Location to document compliance under old or new standards for the period 7/1/15 - 6/30/16 Consider “adequate # quotes” and “method of solicitation” policy Consider policy on Conflict of Interest Consider forming workgroup to develop standard policy/procedures/wf

Additional Resources UCOP: sponsors-agreements/federal-government/uniform-guidance/index.htmlhttp:// sponsors-agreements/federal-government/uniform-guidance/index.html UCSB: