Subrecipient Policy: Difference between revisions
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[[Sponsored Programs]] | [[Sponsored Programs Costing]] | [[Institutional Base Salary]] | [[Sponsored Project Cost Share]] | [[Effort Certification]] | [[Cost Transfer]] | [[Service Center]] | [[Subrecipient Policy]] | [[On-Campus and Off-Campus Indirect Cost Rates on Federally Sponsored Projects]] | |||
<br /><br /> | <br /><br /> | ||
Policy No.: '''6108'''<br /> | |||
Effective Date: '''11/24/08'''<br /> | |||
Revised Date: '''08/11/22 '''<br /> | |||
Reviewed Date: '''08/11/22 '''<br /> | |||
<br /> | |||
<big>'''Subrecipient Policy'''</big> | |||
== Basis of the Policy == | == Basis of the Policy == | ||
Acceptance of federal awards obligates the University of Nebraska Medical Center (UNMC) to comply with the federal government’s rules, regulations and guidelines applicable to sponsored programs. Federal cost principles contained in [https://www.ecfr.gov/current/title-2/subtitle-A/chapter-II/part-200?toc=1 Office of Management and Budget’s (OMB) Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards or Uniform Guidance 2 CFR, Part 200] pertaining to federal grants and contracts must be followed. | |||
== Purpose of the Policy == | == Purpose of the Policy == | ||
As a condition of its acceptance of funding from sponsors, UNMC is obligated in its role as primary recipient to undertake certain stewardship activities as well as to comply with federal, state and local regulations. When UNMC assigns responsibility for conducting a portion of the work sponsored by an award to a subrecipient, UNMC remains responsible to the sponsor for both the management of funds and the meeting of performance goals. The purpose of this policy is to detail how UNMC will comply with these obligations<br /> | |||
'''Note:''' This policy does not include agreements for [[Vendors|vendors]], including items such as: consulting services or purchase orders for equipment, materials or other services, as explained below. | |||
== Explanation of Key Concepts == | == Explanation of Key Concepts == | ||
*When UNMC receives a federal award, UNMC is considered the primary recipient (or “prime”) of the federal funds and the subrecipient is the organization that receives the subcontract from UNMC. | |||
*A subrecipient is a legal entity and is generally a university or non-profit organization. | |||
* When UNMC receives a federal award, UNMC is considered the primary recipient (or “prime”) of the federal funds and the subrecipient is the organization that receives the subcontract from UNMC. | *The relationship established by the subrecipient agreement (also called subcontract agreement, or subgrant, or subaward) is between UNMC and the subrecipient. | ||
* | :*As an example, when UNMC subcontracts part of a federal award to another university, UNMC remains fully responsible for the entire federal award. | ||
* | *There is usually a legal contract between UNMC and the subrecipient. | ||
* | *A subcontract creates no direct contractual relationship between the subrecipient and the awarding agency. | ||
* | :*For example, if UNMC subcontracts part of an NIH award to another university, there is no contractual relationship between NIH and the other university. | ||
* | === Explanation of Vendors === | ||
* | Determination of whether the relationship is that of a subrecipient or a vendor is critical. [https://www.ecfr.gov/current/title-2/subtitle-A/chapter-II/part-200?toc=1 Uniform Guidance] contains definitions of vendors and subrecipients. | ||
*Vendors generally supply goods and services that are necessary to the completion of a project but are not part of a cooperative programmatic effort. | |||
*Vendors supply essential services or products to a program as a routine part of their daily business and are not subject to Uniform Guidance or the compliance requirements of the award terms and conditions. | |||
=== Explanation of Vendors | == Policy == | ||
It is the policy of UNMC to comply with federal regulations regarding subrecipient monitoring, when UNMC is the prime recipient of a federal award or contract. The following are the key compliance requirements: | |||
*Federal agencies hold prime recipients responsible for establishing monitoring systems and controls to give reasonable assurance that subrecipients are in compliance with federal policies. | |||
:*This means that when UNMC subcontracts part of a federal award to another organization, UNMC remains fully responsible to the federal government for the entire award (since UNMC is the “Prime”). | |||
*Properly executed subcontract agreements protect both UNMC and the subrecipient institutions by making clear the subrecipient’s responsibilities. | |||
* Vendors generally supply goods and services that are necessary to the completion of a project but are not part of a cooperative programmatic effort. | *The subcontracting agreement lays the groundwork for the collaborative arrangement between UNMC and the other organizations. A well-structured and inclusive contract is required. | ||
* | *Clear understandings of the respective roles and compliance with the terms and conditions of the award by Principal Investigators at both institutions are vital to the success of the project. | ||
*The monitoring of technical and financial activities associated with a subrecipient is an integral part of UNMC’s stewardship of sponsor funds. | |||
*The specific systems and controls adopted by UNMC for establishing and monitoring subrecipients are found in the UNMC [https://www.unmc.edu/spa/subcontracts/subrecipient-monitoring-procedure.html Subrecipient Monitoring Procedures] that explain all of the monitoring roles and responsibilities for: | |||
== Policy == | :*Principal Investigators | ||
:*Sponsored Programs Administration | |||
:*Sponsored Program Accounting | |||
It is the policy of UNMC to comply with federal regulations regarding subrecipient monitoring, when UNMC is the prime recipient of a federal award or contract. | :*Department Administrators | ||
* Federal agencies | |||
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* | |||
* | |||
* | |||
* | |||
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Refer to the Subrecipient Monitoring Procedures for specific obligations and guidance. | Refer to the Subrecipient Monitoring Procedures for specific obligations and guidance. | ||
== Additional Information == | == Additional Information == | ||
*[mailto:mhrncirik@unmc.edu Senior Manager, Financial Compliance and Cost Analysis] | |||
*[https://info.unmc.edu/management/finance/fincompliance/index.html Financial Compliance and Cost Analysis] | |||
*[https://www.unmc.edu/spa/subcontracts/subrecipient-monitoring-procedure.html UNMC Subrecipient Monitoring Procedures] | |||
*[https://www.ecfr.gov/current/title-2/subtitle-A/chapter-II/part-200?toc=1 Office of Management and Budget’s (OMB) Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards or Uniform Guidance 2 CFR, Part 200] | |||
*[https://www.ecfr.gov/current/title-2/subtitle-A/chapter-II/part-200/subpart-D/subject-group-ECFR031321e29ac5bbd/section-200.331 § 200.331 Subrecipient and contractor determinations, Uniform Guidance on Requirements for pass-through entities] | |||
This page maintained by [mailto:mhurlocker@unmc.edu mh]. | |||
This page | |||
Latest revision as of 13:40, August 19, 2024
Human Resources | Safety/Security | Research Compliance | Compliance | Privacy/Information Security | Business Operations | Intellectual Property | Faculty |
Sponsored Programs | Sponsored Programs Costing | Institutional Base Salary | Sponsored Project Cost Share | Effort Certification | Cost Transfer | Service Center | Subrecipient Policy | On-Campus and Off-Campus Indirect Cost Rates on Federally Sponsored Projects
Policy No.: 6108
Effective Date: 11/24/08
Revised Date: 08/11/22
Reviewed Date: 08/11/22
Subrecipient Policy
Basis of the Policy
Acceptance of federal awards obligates the University of Nebraska Medical Center (UNMC) to comply with the federal government’s rules, regulations and guidelines applicable to sponsored programs. Federal cost principles contained in Office of Management and Budget’s (OMB) Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards or Uniform Guidance 2 CFR, Part 200 pertaining to federal grants and contracts must be followed.
Purpose of the Policy
As a condition of its acceptance of funding from sponsors, UNMC is obligated in its role as primary recipient to undertake certain stewardship activities as well as to comply with federal, state and local regulations. When UNMC assigns responsibility for conducting a portion of the work sponsored by an award to a subrecipient, UNMC remains responsible to the sponsor for both the management of funds and the meeting of performance goals. The purpose of this policy is to detail how UNMC will comply with these obligations
Note: This policy does not include agreements for vendors, including items such as: consulting services or purchase orders for equipment, materials or other services, as explained below.
Explanation of Key Concepts
- When UNMC receives a federal award, UNMC is considered the primary recipient (or “prime”) of the federal funds and the subrecipient is the organization that receives the subcontract from UNMC.
- A subrecipient is a legal entity and is generally a university or non-profit organization.
- The relationship established by the subrecipient agreement (also called subcontract agreement, or subgrant, or subaward) is between UNMC and the subrecipient.
- As an example, when UNMC subcontracts part of a federal award to another university, UNMC remains fully responsible for the entire federal award.
- There is usually a legal contract between UNMC and the subrecipient.
- A subcontract creates no direct contractual relationship between the subrecipient and the awarding agency.
- For example, if UNMC subcontracts part of an NIH award to another university, there is no contractual relationship between NIH and the other university.
Explanation of Vendors
Determination of whether the relationship is that of a subrecipient or a vendor is critical. Uniform Guidance contains definitions of vendors and subrecipients.
- Vendors generally supply goods and services that are necessary to the completion of a project but are not part of a cooperative programmatic effort.
- Vendors supply essential services or products to a program as a routine part of their daily business and are not subject to Uniform Guidance or the compliance requirements of the award terms and conditions.
Policy
It is the policy of UNMC to comply with federal regulations regarding subrecipient monitoring, when UNMC is the prime recipient of a federal award or contract. The following are the key compliance requirements:
- Federal agencies hold prime recipients responsible for establishing monitoring systems and controls to give reasonable assurance that subrecipients are in compliance with federal policies.
- This means that when UNMC subcontracts part of a federal award to another organization, UNMC remains fully responsible to the federal government for the entire award (since UNMC is the “Prime”).
- Properly executed subcontract agreements protect both UNMC and the subrecipient institutions by making clear the subrecipient’s responsibilities.
- The subcontracting agreement lays the groundwork for the collaborative arrangement between UNMC and the other organizations. A well-structured and inclusive contract is required.
- Clear understandings of the respective roles and compliance with the terms and conditions of the award by Principal Investigators at both institutions are vital to the success of the project.
- The monitoring of technical and financial activities associated with a subrecipient is an integral part of UNMC’s stewardship of sponsor funds.
- The specific systems and controls adopted by UNMC for establishing and monitoring subrecipients are found in the UNMC Subrecipient Monitoring Procedures that explain all of the monitoring roles and responsibilities for:
- Principal Investigators
- Sponsored Programs Administration
- Sponsored Program Accounting
- Department Administrators
Refer to the Subrecipient Monitoring Procedures for specific obligations and guidance.
Additional Information
- Senior Manager, Financial Compliance and Cost Analysis
- Financial Compliance and Cost Analysis
- UNMC Subrecipient Monitoring Procedures
- Office of Management and Budget’s (OMB) Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards or Uniform Guidance 2 CFR, Part 200
- § 200.331 Subrecipient and contractor determinations, Uniform Guidance on Requirements for pass-through entities
This page maintained by mh.