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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 />
[[Sponsored Programs]] | [[Direct Cost]] | [[Facilities & Administrative Cost]] | [[Institutional Base Salary]] | [[Unallowable Cost Policy]] | [[Sponsored Project Cost Share]]  | [[Effort Certification]]  | [[Cost Transfer]]  | [[Service Center]] | [[Subrecipient Policy]]
Policy No.: '''6106'''<br />
<br /><br />
Effective Date: '''10/27/02''' <br />
 
Revised Date: '''04/28/23''' <br />
 
Reviewed Date: '''04/28/23'''   <br />
POLICY NO : '''6106'''<br />
<br />
 
<big>'''Cost Transfer Policy'''</big>
EFFECTIVE DATE: '''07/01/09'''
== 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 per the [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] require costs to be properly allocated to the program that received the benefits of the costs incurred.  
 
== Purpose of the Policy ==  
This policy establishes requirements for processing transfers of direct costs to sponsored accounts. Federal regulations, generally accepted accounting principles, and good management practices require that all costs incurred be appropriate to and for the direct benefit of the project charged, and that accounting records be maintained on a timely and accurate basis. The federal government considers an excess number of cost transfers to be a sign of ineffective financial controls.  
 
== Policy ==  
== Basis of the Policy ==
Although it is preferable to charge costs to the correct account when they are incurred, cost transfers may occasionally be necessary. These transfers must be properly documented and processed within a reasonable time (normally within 90 days of the original entry).  
 
 
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 per the OMB circular A-21 “Cost Principles for Educational Institutions” require costs to be properly allocated to the program that received the benefits of the costs incurred.
 
 
== Purpose of the Policy ==
 
 
This policy establishes requirements for processing transfers of direct costs to sponsored accounts. Federal regulations, generally accepted accounting principles, and good management practices require that all costs incurred be appropriate to and for the direct benefit of the project charged, and that accounting records be maintained on a timely and accurate basis. The federal government considers an excess number of cost transfers to be a sign of ineffective financial controls.
 
 
== Policy ==
 
 
Although it is preferable to charge costs to the correct account when they are incurred, cost transfers may occasionally be necessary. These transfers must be properly documented and processed within a reasonable time (normally within 90 days of the original entry).
 
 
== Requirements ==
== Requirements ==
*The costs being transferred to a federally sponsored award must be allowable to that award per UNMC Policy No. 6100, [[Sponsored Programs Costing]].
*For this policy and the cost transfer procedure, “federal award” includes both federal awards to UNMC and federal pass-throughs where UNMC received federal funding indirectly through another external entity.
*The transfer must be supported by the [https://info.unmc.edu/management/finance/spaccounting/cost_transfer_explanation_and_justification.doc Cost Transfer Explanation and Justification] form to clearly explain why the transfer is being made. The explanation must be sufficient for a reviewer to understand the transfer and conclude that it is appropriate. A statement that merely says "to correct error" or "to transfer to correct account" is not sufficient.
*Whenever possible the department creating the transfer must also maintain documentation for the original charge that is being moved, such as a copy of the original vendor invoice and SAP document.
*The transfer should be submitted as soon as possible after the error is discovered, and must normally be processed within 90 days of the original entry. Transfers or charges more than one year old will not be allowed without further review and approval by Business & Finance leadership ([mailto:skraftmann@unmc.edu Associate Vice Chancellor for Business and Finance]).
*In addition to the Cost Transfer Explanation and Justification questions, Sponsored Programs Accounting may require additional documentation for any cost transfer where the aggregate cost being moved to a federal award is greater than $500. If the documentation is not sufficient to support the transfer Sponsored Programs Accounting will reverse the entry.
*Under no circumstances may expenditures be placed on a sponsored account for reasons of convenience or funding availability with the intention that they will be moved at a later date. Costs may not be transferred to a project that is near completion in order to use up funds.
*If a cost transfer affects two departments, both departments must approve the cost transfer.
*Costs transfers that have been justified, documented and accepted as appropriate will not be allowed to be moved again.
*Retroactive payroll transfers can affect a previously certified effort report. Therefore, UNMC requires recertification of effort under specific circumstances as explained in UNMC Policy No. 6105, [[Effort Certification]] and the related procedure.
==Additional Information==
*[mailto:mhrncirik@unmc.edu Senior Manager, Financial Compliance and Cost Analysis]
*[mailto:skraftmann@unmc.edu Associate Vice Chancellor for Business and Finance]
*[https://info.unmc.edu/management/finance/fincompliance/index.html Financial Compliance and Cost Analysis]
*UNMC Policy No. 6100, [[Sponsored Programs Costing]]
*UNMC Policy No. 6105, [[Effort Certification]]
*[https://info.unmc.edu/management/finance/spaccounting/Cost_Transfer_Procedure.pdf UNMC Cost Transfer Procedure] 
*[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://info.unmc.edu/management/finance/spaccounting/cost_transfer_explanation_and_justification.doc Cost Transfer Explanation and Justification] form


   
This page maintained by [mailto:dpanowic@unmc.edu dkp].
* The costs being transferred to a federally sponsored award must be allowable to that award per UNMC Policy No. 6100, Direct Costs.
*    For this policy and the cost transfer procedure “federal award” includes both federal awards to UNMC and federal pass-throughs where UNMC received federal funding indirectly through another institution.
*    The transfer must be supported by the Cost Transfer Explanation and Justification form to clearly explain why the transfer is being made.  The explanation must be sufficient for a reviewer to understand the transfer and conclude that it is appropriate.  A statement that merely says "to correct error" or "to transfer to correct account" is not sufficient.
*    Whenever possible the department creating the transfer must also maintain documentation for the original charge that is being moved, such as a copy of the original vendor invoice, SAP document, etc.
*    The transfer should be submitted as soon as possible after the error is discovered, and must normally be processed within 90 days of the original entry.  Transfers or charges more than one year old will not be allowed.
*    In addition to the Cost Transfer Explanation and Justification questions, Sponsored Programs Accounting may require additional documentation for any cost transfer where the aggregate cost being moved to a federal award is greater than $500.  If the documentation is not sufficient to support the transfer Sponsored Programs Accounting will reverse the entry.
*    Under no circumstances may expenditures be placed on a sponsored account for reasons of convenience or funding availability with the intention that they will be moved at a later date.  Costs may not be transferred to a project that is near completion in order to use up funds.
*    If a cost transfer affects two departments, both departments must approve the cost transfer.
*    Costs transfers that have been justified, documented and accepted as appropriate will not be allowed to be moved again.
*    Retroactive payroll transfers can affect a previously certified effort report.  Therefore, UNMC requires recertification of effort under specific circumstances as explained in UNMC Policy No. 6105, Effort Certification and the related procedure.
 
Any questions about this policy should be referred to Financial Compliance and Cost Analysis.
 
Cost Transfer Procedure  / Office of Management and Budget Circular A-21 / Cost Transfer Explanation and Justification
 
 
This policy updates UNMC Policy #6101 issued on 10/27/02.
This page updated on Monday, July 13, 2009, by dkp.
 
Last Review by Policy Owner:  Tuesday, June 16, 2009.

Latest revision as of 13:57, August 14, 2023

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.: 6106
Effective Date: 10/27/02
Revised Date: 04/28/23
Reviewed Date: 04/28/23

Cost Transfer 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 per the 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 require costs to be properly allocated to the program that received the benefits of the costs incurred.

Purpose of the Policy

This policy establishes requirements for processing transfers of direct costs to sponsored accounts. Federal regulations, generally accepted accounting principles, and good management practices require that all costs incurred be appropriate to and for the direct benefit of the project charged, and that accounting records be maintained on a timely and accurate basis. The federal government considers an excess number of cost transfers to be a sign of ineffective financial controls.

Policy

Although it is preferable to charge costs to the correct account when they are incurred, cost transfers may occasionally be necessary. These transfers must be properly documented and processed within a reasonable time (normally within 90 days of the original entry).

Requirements

  • The costs being transferred to a federally sponsored award must be allowable to that award per UNMC Policy No. 6100, Sponsored Programs Costing.
  • For this policy and the cost transfer procedure, “federal award” includes both federal awards to UNMC and federal pass-throughs where UNMC received federal funding indirectly through another external entity.
  • The transfer must be supported by the Cost Transfer Explanation and Justification form to clearly explain why the transfer is being made. The explanation must be sufficient for a reviewer to understand the transfer and conclude that it is appropriate. A statement that merely says "to correct error" or "to transfer to correct account" is not sufficient.
  • Whenever possible the department creating the transfer must also maintain documentation for the original charge that is being moved, such as a copy of the original vendor invoice and SAP document.
  • The transfer should be submitted as soon as possible after the error is discovered, and must normally be processed within 90 days of the original entry. Transfers or charges more than one year old will not be allowed without further review and approval by Business & Finance leadership (Associate Vice Chancellor for Business and Finance).
  • In addition to the Cost Transfer Explanation and Justification questions, Sponsored Programs Accounting may require additional documentation for any cost transfer where the aggregate cost being moved to a federal award is greater than $500. If the documentation is not sufficient to support the transfer Sponsored Programs Accounting will reverse the entry.
  • Under no circumstances may expenditures be placed on a sponsored account for reasons of convenience or funding availability with the intention that they will be moved at a later date. Costs may not be transferred to a project that is near completion in order to use up funds.
  • If a cost transfer affects two departments, both departments must approve the cost transfer.
  • Costs transfers that have been justified, documented and accepted as appropriate will not be allowed to be moved again.
  • Retroactive payroll transfers can affect a previously certified effort report. Therefore, UNMC requires recertification of effort under specific circumstances as explained in UNMC Policy No. 6105, Effort Certification and the related procedure.

Additional Information

This page maintained by dkp.