Post on 04-Jan-2016
Effort Reporting and the UG
Leading Excellence in Research Costing Practices
Conference October 13 - 15, 2015
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Topics
How does the implementation of the Uniform Guidance impact my institution
As an institution do you need to change or upgrade your current effort reporting system
Changes to Certification Frequency New Certification Methodologies (Project
Certification, Payroll Certification, FDP Pilot) Policy Updates
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Effort Reporting Basics Effort reporting is the process by which the salary charged to a
sponsored project is reviewed after-the-fact to assure that the salary charged was reasonable in relation to the effort expended on that project.
Effective December 26, 2014, the OMB Uniform Administrative Requirements, Cost Principles and Audit Requirements for Federal Awards (the Uniform Guidance) regulates effort reporting requirements for recipients of federal funding. Like Circular A-21, the Uniform Guidance requires an after-the-fact review of charges made to Federal awards that were based on budget estimates.
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Effort Reporting Life Cycle
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The Basic Idea
• In a grant proposal, we offer effort• At award time, we make a commitment of effort• Throughout the project, we charge salary to the
sponsor
Periodically, sponsors want to know:
• Have we devoted enough effort to justify the salary charges?• Even in cases where we are not charging salary to the sponsor, have we
fulfilled our commitments?
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What Changed with the UG?1. Requirements and standards have been
streamlined across most entities that receive Federal awards.
2. Specific frequency and methodology requirements have been eliminated.
3. New standards for documentation of personnel expenses have been defined.
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What are the New Standards of Documentation?Charges to Federal awards must be based on records that accurately reflect the work performed (2 C.F.R.§200.430(i)(1)). In addition, the records must:
Be supported by a system of internal control that provides reasonable assurance about the accuracy, allowability, and proper allocation of the charges
Be incorporated into the entity’s official records Reflect the total activity for which the employee is
compensated by the entity, not exceeding 100% of compensated activities, or Institutional Base Salary
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What are the New Standards of Documentation?Charges to Federal awards must be based on records
that accurately reflect the work performed (2 C.F.R.§200.430(i)(1)). In addition, the records must:
Encompass both federally assisted and all other activities compensated by the institution on an integrated basis, i.e. reflect 100% of the employee’s activities
Comply with the entity’s established accounting policies and practices
Support the distribution of the employee’s salary and wages among specific activities or cost objectives if the employee works on multiple activities
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Additional Guidance Phrases “suitable means of verification” and “first hand knowledge” are no
longer in the regulations. Budget estimates continue to be considered insufficient support for
charges Charges for non-exempt personnel must be supported by records
indicating the total hours worked each day. Charges for cost sharing or matching requirements must be supported in
the same manner as direct charges for personal compensation. The new guidance also encourages cognizant agencies to consider and
approve alternatives to traditional effort reporting, such as milestone- or performance-based approaches for compensation. These alternatives must be approved by the cognizant agency in advance
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What are Other Institutions Doing? Confirm effort reports on a schedule
that works for your institution. Reflect 100% of the individual’s
activities, including IBS Determine exactly who reviews and
confirms effort statements Audit trail capabilities and management
reports supporting internal controls
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QuizWhich of the following have specific federal mandates?Which are Institutional Options?
Mandated?
1. Must be certified by individual with first-hand knowledge
2. Medium of certifying/documentation (paper vs. electronic)
3. Exact frequency of effort certification/review/documentation
4. Report on each individual federal award YES
5. Results must be incorporated into institution’s official records YES
6. Level of detail regarding non-sponsored effort categories
7. Records must be supported by system of internal controls YES
8. Based on institutional base salary YES
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Audits and Settlements
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Contact Information
Jennifer Miles; Director, Sponsored Programs AccountingUniversity of Kentucky; jennifer.miles@uky.edu
Marty Bergerson; Manager, Huron Consulting Groupmbergerson@huronconsultinggroup.com