Financial Monitoring of Subgrantees You need to know... The information in this session is based on CNCS and Federal laws, rules, and regulations; CNCS.

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Presentation transcript:

Financial Monitoring of Subgrantees

You need to know... The information in this session is based on CNCS and Federal laws, rules, and regulations; CNCS grant terms and provisions; and generally accepted accounting and financial principles and practices. As a state commission, national grantee, or parent organization you may impose additional requirements. 3

Welcome... Introduction of trainer and CNCS staff Program types represented –State Commissions – National Directs Questions –As we go... ask clarifying questions and provide your experiences –Questions at the end as time permits We will do small group activities as time permits 4

Session Objectives 1.Understand monitoring purposes and grantee’s responsibilities 2.Increase knowledge of monitoring principles and key review areas 3.Understand risk-based approach to monitoring 4.Identify and understand frequently found issues 5.Understand various methods, tools, and available resources 5

Session Outline Purpose of monitoring Grantee responsibilities Keys to effective monitoring Risk assessments Monitoring methods and tools Basic areas to review Frequent issues Small group activities Monitoring resources 6

Purpose of Financial Monitoring Ensure compliance with rules, regulations, and requirements Safeguard Federal funds against fraud, waste, and abuse Help identify actual and potential issues Identify technical assistance and training needs Ensure follow-up on issues and corrective actions 7

Grantee Responsibilities Even though a grantee subgrants Federal funds –Appropriate award documents and requirements –Program, financial, and management oversight –Award monitoring and compliance –Issue identification, reporting, and resolution –Possible liabilities and cost disallowances –Possible repayment of unallowable or disallowed costs Grantee Retains Overall Responsibility 8

Keys to Effective Monitoring Subgrant – Develop detailed agreement that defines expectations and roles of both parties Accountability and reporting – Clarify expectations on frequencies and requirements Training and technical assistance – Identify needs and invest time to orient and train subgrantees; provide assistance as needed Best practices – Identify and share effective practices with others to increase effective management Risk assessment – Conduct pre-award and post-award assessments to identify levels of risk and monitoring priorities Monitoring methods – Conduct continuous and scheduled monitoring using appropriate methods and tools 9

Assessment of Risk A careful, consistent process to examine factors that could cause financial or other harm to your programs Consider risk factors and identify level of risk or monitoring priorities Consider factors in: organizational, award, financial, compliance, program, and other areas Consider risks prior to making award and during award period Consider appropriate methods/techniques to minimize and monitor risks through a risk-based monitoring system 10

Risk-Based Monitoring System A written approach for assessing risks of subgrantees and determining appropriate strategies for monitoring them Establish appropriate risk factors to be considered Assign weights to various factors Review factors for each subgrantee Establish risk level for each subgrantee, e.g., H, M, L or 1, 2, 3 Review and adjust risk levels as changes occur Consider need, priorities, available resources, and frequency for monitoring Determine appropriate monitoring strategy and develop a plan for each subgrantee 11

Assessment Factors (examples) Organization, key financial and management experience with CNCS grants – staff and other changes Results of financial system survey/assessment Timeliness and accuracy of financial reports Meeting budgeted and minimum match Date and results of prior monitoring and compliance Appropriateness/timeliness of corrective actions Results of A-133 or other audits Programmatic factors 12

Monitoring Methods & Plan Methods Desk Reviews – office-based Site Visits – on-site monitoring at subgrantee Other – phone calls, s, financial reports, audit and other report reviews, approval requests, memos, letters, meetings, conferences, trainings, technical assistance Plan Identifies monitoring method(s) and tools to be used for each subgrantee, as well as frequency and emphasis, if any 13

Monitoring Tools Written checklist/questionnaire grouped by subject area with specific review items or elements Standardized, used consistently, updated as needed Includes: name of subgrantee, date, name of reviewer, items reviewed, and results of review Identifies needed or recommended actions and due date based on review findings Copy of completed tool and results provided to subgrantee and maintained by grantee in file and used for follow-up 14

Basic Financial Areas to Review Financial reports from subgrantees Identification of expenses to support reimbursement requests Supporting or source documentation for specific expenses and match Internal Controls – written policies and procedures, e.g., grievance procedures, criminal background check procedures, general organizational controls A-133 and other audit reports Other reports, s, correspondence, files 15

General Document Review Review each document for: –Appropriateness –Accuracy –Timeliness –Expected content and format and meeting requirements –Appropriate approvals –Other relevant, current, or frequent issues –Identification of follow-up monitoring needed 16

Key Site Visit Review Areas Financial accounting system – Adequate, generally accepted principles Award and regulatory requirements – Awareness of, understanding, compliance Grantee policies and procedures – Written, adequate, followed Internal controls and separation of duties – Written, adequate, followed Expenditures – Appropriately documented, recorded, allocated, allowable 17

Key Site Visit Review Areas (cont’d) Personnel time and activities – Appropriately documented and allocated Match (cash and in-kind, if applicable) – Appropriately documented, recorded, allocable Financial reports – Internal and external; supported by accounting records Participant files, if applicable – Complete, eligibility, time records, service, forms, prohibited activities, other Source documentation – Clear, retained, sufficient audit trail 18

Additional Review Areas Serve America Act – Grantee’s FFR ( AmeriCorps only ) must include: –Amount and source of other Federal funds used under grant, including subgrantees Need to obtain/verify this information from subgrantees Host Sites/Placements – Check participant files, including participant and supervisor time sheets, to confirm accuracy in reporting and appropriate participant activities 19

Categories of Monitoring & Audit Issues Questioned costs –Check for unallowable, unnecessary, and unsupported costs or participant costs before or after service begins/ends Compliance –Check for non-compliance with grant and regulatory requirements, policies, and procedures Internal controls –Check for weaknesses that affect safeguarding of funds and grant compliance such as in systems, policies, procedures, and practices 20

Frequent Issues Budgets and Reports Difference between financial reports and accounting records (don’t track back or reconcile) Costs not included or approved in budget Duplicative costs No periodic comparison of budgeted to actual expenditures Major variances between budgeted to actual expenditures Questioned or Unallowable Costs Missing or improper documentation Costs paid before or after grant period Non-compliance with applicable cost principles Expenditures Costs not properly documented, recorded, or tracked See Handout 1 21

Frequent Issues (cont’d) Travel, Contractor, and Consultant Costs Not justified or supported Consulting rate exceeds maximum allowed Reimbursement inappropriate Separation of Costs Not separated by direct/administrative, by grant, or by grant year Administrative Costs Exceeded 5%, if applicable Charged to program costs Indirect costs charged at unapproved, outdated, or inappropriate rate 22

Frequent Issues (cont’d) Accounting System Entries, transactions, and amounts not supported by source documentation or appropriately approved Audit Reports A-133 and other subgrantee audits not received, tracked, reviewed, or followed-up Non-Compliance Federal rules, regulations, and requirements Grant requirements and provisions Own policies and procedures Systems and Controls, Separation of Duties, Internal Controls Inadequate Reconciliations Not performed or not performed on a timely basis 23

Frequent Issues (cont’d) Personnel Costs Staff timesheets/records not signed/certified by individual or supervisor Staff time not properly documented and allocated to various activities Charges and costs not based on actual after-the-fact records, but on budgeted or pre-established amounts or percentages (not allowed for nonprofits) Timesheets do not comply with applicable OMB/CFR cost principles Match (Cash and In-kind) Shortfall Source not identified Not properly documented, recorded, or tracked Missing or improper source documentation Allocation – systems did not track Valuation – reasonableness – relation to award Inadequate system of tracking match expenditures 24

Frequent Issues (cont’d) Financial Reports Examples: financial reports, expense reports, reimbursement requests Delinquent – not submitted or late Inaccurate – math errors, mistakes from previous periods, needed revisions Don’t reconcile with or track back to accounting records Report budgetary data rather than actual expenditures Report same amount each month as 1/12 th of one year’s budget 25

Frequent Issues (cont’d) Eligibility for service is missing: citizenship, education attainment, age verification Criminal history checks not completed or improperly documented Missing, incomplete, or improper timesheets Timesheets not signed and dated by participant and supervisor (AmeriCorps) Improper living allowances – excessive payments, paid on an hourly basis, paid after exiting Failure to pay at current rate (below the minimum for full-time or above the maximum for any term type) Misapplication of FICA Service hours – unsupported, insufficient, before or after award member agreement was signed or after completion of term of service Incomplete or missing records, documentation, or forms Exceeded 20% of total hours spent on training and education activities – AmeriCorps only 26

Frequent Issues (cont’d) Documentation Common problems: – Does not support charges or transaction – Missing – Inadequate – Improper – Records or files not retained 27 Needed for systems, policies, procedures Needed for all financial transactions, entries 27

AmeriCorps Monitoring Approach Three stage approach: Prevent – focus on information, training, understanding to avoid issues Detect – develop early and more thorough ways to find or identify issues Enforce – develop ways to correct or resolve issues, or apply possible sanctions Approach applies to all monitoring areas, but with specific emphasis on Prohibited Activities by members 28

AmeriCorps Monitoring – Prohibited Activities (cont’d) Example... Prohibited Activities By Members Prevent: –Identify and list prohibited activities in various documents –Include in position descriptions –Require specific training on Detect: –Require an annual certification of monitoring –Review position descriptions –Interview members and supervisors –Use more in-depth and open-ended questions –Identify actual issues and questionable situations Enforce: –Follow-up on findings –Stop prohibited activities –Resolve questionable situations –Correct situation that led to issue –Report situation; consider appropriate sanctions 29

Activity Site Visit Monitoring 1.Break into small groups (3-5) 2.Review 1 or 2 assigned scenarios and findings 3.Identify issues (if any) and discuss: 1.Why are these issues? 2.What actions, if any should be taken – and by whom? 4.Group spokesperson reports out 5.General discussion by all See Activity 1 30

Activity True – False Activity See Activity 2 31

Financial Monitoring – Handouts EXAMPLE – Financial Site Visit Review Items Overview of Site Visit Monitoring Process See Handouts 2 & 3 32

Additional Resources Web Resources –Knowledge Network: management management Colleagues and Peers – Network and share best practices with others – Risk-based Monitoring Systems (examples) – Monitoring Tools, Checklists (examples) 33

Activity Financial Monitoring True/False Activity – review answers 34

Taking it Home! 1.Create a risk-based monitoring system 2.Establish a monitoring plan for each subgrantee 3.Develop/use appropriate desk, on-site, and other tools for financial monitoring 35

Questions? Open Wrap Up Evaluation 36