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Charging of Direct and Facilities and Administrative/Indirect Costs |
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Effective: August 1996
Last Updated: June 2008 What's this?
Responsible University Officer:
- Vice President for Research
Policy Owner:
- Associate VP for Research Administration
Policy Contact:
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This policy and its procedures establish practices for defining, charging,
and coding direct and facilities and administrative (F&A or indirect) costs
to University sponsored projects. All costs incurred for the same purpose, in
like circumstances, are either direct costs only or F&A/indirect costs only.
Individuals involved in applying these practices must understand and comply
with this policy in order to:
- ensure that costs are properly charged and
- meet federal costing standards.
It is the University's policy that unless the institution has approved a reduction
or waiver in advance of proposal submission, full F&A is required.
In addition, this policy outlines the process to share indirect cost recovery
(ICR). A transparent, equitable way to allocate the ICR to all contributing
units is critical in promoting interdisciplinary projects. ICR must be shared
by the units contributing to the work of a sponsored project, usually in proportion
to their contribution. This policy establishes principles and procedure for
sharing ICR generated by all externally provided funds carrying indirect costs
with substantial contributions from more than one college.
This policy has been established to meet the compliance standards set forth
in Office of Management and Budget (OMB) Circular A-21, Cost Principles for
Educational Institutions. It also creates a uniform understanding about
how F&A should be shared when there are contributions from more than one
college. It is the responsibility of principal investigators, department heads
and administrators to understand and comply with this policy.
- Allocate
- Example: An educational institution normally allocates the cost of equipment
required to conduct a project directly to the sponsored agreement.
- Allocate means to assign an item of cost, or a group of items of cost, to
one or more sponsored agreements, function (e.g., research or instruction),
or subdivision (e.g., college or center). (adapted from Cost Accounting
Standards).
- "A cost is allocable to a particular cost objective if the goods or
services involved are chargeable or assignable to such cost objective in accordance
with relative benefits received or other equitable relationship."
(from OMB Circular A-21, Section C4).
- Allowable Costs
- Example: A piece of equipment required to conduct the study is an allowable
cost to the project but entertainment costs are not.
- Costs that are (a) reasonable; (b) allocable to sponsored agreements under
the principles and methods outlined in OMB Circular A-21; (c) given
consistent treatment through application of those generally accepted accounting
principles appropriate to the circumstances; and (d) conform to any limitations
or exclusions set forth in OMB Circular A-21 or in the sponsored agreement
as to types or amounts of cost items.
(OMB Circular A-21, Section C2).
- Direct Costs
- Example: Travel is normally charged as a direct cost to a project.
- "Those costs that can be identified specifically with a particular
sponsored project, an instructional activity, or any other institutional activity,
or that can be directly assigned to such activities relatively easily with
a high degree of accuracy."
(OMB Circular A-21, Section D1).
- Facilities and Administration Costs (F&A)
- According to OMB Circular A-21, F&A costs are "costs that
are incurred for common or joint objectives and, therefore, cannot be identified
readily and specifically with a particular sponsored project, an instructional
activity, or any other institutional activity." Examples include operation
and maintenance expenses, and costs incurred for sponsored projects administration.
For more detailed information, see Appendix
C - Understanding F&A Costs.
F&A costs are synonymous with indirect costs.
- Indirect Costs
- See "Facilities and Administration."
- Indirect Cost Rate or F&A Cost Rate
- A composite rate applied as a percentage of the sponsored project's direct
costs to recover the University's F&A/indirect costs. In business and
industry, this is known as “overhead.” The federally negotiated
F&A/indirect cost rates for research and other sponsored activities are
developed by the University in accordance with OMB Circular A-21 and
negotiated on behalf of all federal agencies with the Department of Health
and Human Services (DHHS).
- The rate is variable according to the type of project and where it is being
conducted. See the F
and A Rate Chart associated with this policy.
- OMB Circular A-21
- Office of Management and Budget Circular A-21, Principles for Determining
Costs Applicable to Grants, Contracts, and Other Agreements with Educational
Institutions.
This document is a set of uniform regulations that the University must
follow in regards to charging of costs to grants, contracts, and other agreements
with educational institutions. Each federal agency implements these regulations
in its own policy handbook. The OMB Circular is the backbone of agency regulations;
the agency cannot impose regulations that are inconsistent with the Circular
or impose additional requirements.
- Proposal Routing Form
- An internal form used to route a proposal for sponsored funding through
the process of administrative review and approval.
- Reasonable Costs
- "A cost may be considered reasonable if the nature of the goods or
services acquired or applied, and the amount involved therefore, reflect the
action that a prudent person would have taken under the circumstances prevailing
at the time the decision to incur the cost was made."(OMB Circular
A-21, Section C3).
- Sponsored Project
- An externally funded activity that is governed by specific terms and conditions.
Sponsored projects must be separately budgeted and accounted for subject to
terms of the sponsoring organization. Sponsored projects may include grants,
contracts, and cooperative agreements for research, training, and other public
service activities.
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- Unallowable Costs
- Example: Entertainment costs (on Federally-sponsored projects).
- "Unallowable cost means any cost which, under the provisions of any
pertinent law, regulation, or sponsored agreement cannot be included in prices,
cost reimbursements, or settlements under a .. sponsored agreement to which
it is allocable."
(CAS 9905.505).
- Principal Investigators
- Ensure the appropriateness of all charges on sponsored projects. Ensure
the consistent application of direct costing practices to their federally
sponsored projects with the assistance of the unit administrator and Sponsored
Projects Administration. Prepare proposal budgets, justify expenses, charge
costs, and track expenses. Determine whether it is appropriate to request
an F&A reduction. Write the reduction request and forward for review.
Assist with negotiating ICR sharing agreements.
- Unit Administrator
- Assist principal investigators in preparing proposal budgets, justifying
expenses, charging costs and tracking expenses. Ensure consistency of charging
practices within the unit, review sponsored project proposals for justification
of direct costs requested, especially when costs normally charged as F&A/indirect
are proposed as direct costs. Assign the appropriate function code for nonsponsored
accounts. In conjunction with principal investigators, maintain financial
records for reviews by internal or external auditors.
- Department Head
- Establish effective processes and controls that will ensure compliance with
this policy. Communicate these practices to all responsible employees within
the college and departments.
- Evaluate F&A reduction requests. If concurring with the request, sign
and forward to collegiate research associate dean. Otherwise, deny request
and return it to the principal investigator.
- Collegiate Research Associate Dean
- Establish effective processes and controls that will ensure compliance with
this policy. Communicate these practices to all responsible employees within
the college and departments.
- Evaluate F&A reduction requests. Either sign and return to principal
investigator, forward to associate vice president for research administration
or deny request and return it to the department head and principal investigator.
- Associate Vice President for Research Administration
- When appropriate, evaluate F&A reduction requests and send response
to principal investigator, department head, collegiate research associate
dean, and grant administrator in Sponsored Projects Administration.
- Sponsored Projects Administration (SPA)
- Assist in interpretation of federal regulations, such as OMB Circular A-21.
Develop and maintain policies and procedures in accordance with the regulations.
Establish sponsored project accounts in the University's accounting system
and assign the appropriate function codes. Maintain files of sponsors' published
F&A policy documents. Maintain F&A rate charts. Contact principal
investigator to determine whether a F&A reduction has been approved.
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There are no FAQ for this policy.
- Amended:
- July 2008 - Updated Policy and procedure to reflect Enterprise Financial
System rollout.
- Amended:
- February 2008 – Added Appendix D, Scenarios for Allocating Indirect
Cost Recovery (ICR) Funds.
- Amended:
- June 2007 – In Procedure 2.1.3.3, removed references to "waiver."
Also changed reasons why a reduction might be granted and the process for
obtaining a reduction. In procedure 2.1.3.4, updated the procedure to require
ICR sharing for proposals meeting the criteria. Replaced Appendix C, Questions
and Answers of F&A Costs with brochure, Understanding F&A Costs.
- Amended:
- November 2005 – In Procedure 2.1.3.1, clarified section on charges
based on actual usage. Added new Procedure 2.1.3.4, Sharing Indirect Cost
Recovery Among Collaborating Collegiate Units.
- Amended:
- June 2005 – Updated rate information and corrected links.
- Amended:
- October 2003 - Added information regarding charging cell phones and pagers.
Added F&A Waiver Request form.
- Amended:
- September 2002 - Updated procedure for cost waivers to route cost waiver
requests to the Assistant Vice President for Research, rather than to the
Vice Provost for Research. Responsibilities section updated to reflect this
change.
- Amended:
- September 2000 - Former Procedures 2.1.3.1, 2.1.3.2 and Mark Brenner memo
on Interpretations of Allowable Direct Costs merged into Procedure 2.1.3.1
- Charging Direct Costs to Sponsored Projects. Added new procedure
2.1.3.2 - Charging Facilities and Administrative (Indirect) Costs to Sponsored
Projects, using information from former policy 2.1.8, Requesting Facilities
and Administrative (Indirect) Cost Waivers. Procedure 2.1.3.3 and 2.1.3.4
superceded by policy and procedure on removing uncollectible costs charged
to sponsored projects. Added new Procedure 2.1.3.3 - Obtaining Facilities
and Administrative (Indirect) Cost Waivers using information from former
procedure 2.1.8.1, Requesting Facilities and Administrative (Indirect)
Cost Waivers. Moved the F&A/Indirect Cost Rate Chart from the former
policy on obtaining a F&A cost waiver to the policy on charging direct
and indirect costs. Added new appendix, Questions and Answers regarding Facilities
and Administrative / Indirect Costs (formerly on the Vice President for Research's
website).
- Made policy and its procedures consistent in their application to federally
versus nonfederally sponsored projects. Revisions only differentiate between
the two groups in the section on justifying charging administrative expenses
to projects.
- In the policy, added some definitions and changed others to match federal
definitions.
- In the procedure on charging direct costs, changed the focus to emphasize
identifying the cost to the project and provided instructions for adequately
justifying the proposed charges.
- Effective:
- August 1996
- Supersedes:
- Guidelines for Charging Costs Directly to Grants and Contracts - July 1994;
As of September 2000, Policy 2.1.8 - Requesting Facilities and Administrative
(Indirect) Cost Waivers.
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