As of April 4, 2022, the U.S. Department of Education (Department) issued a notice regarding the automatic extension of HEERF grantees' performance period. The performance period for all open HEERF grants with a balance greater than $1,000 is extended through June 30, 2023.
Please find additional information on the Federal Register.
Per new direction from the U.S. Department of Education, issued on March 22, 2021, the HEERF I/II/III expenditures do not have to be directly related to changes in the delivery of instruction. The notification states that the HEERF funds may be used more broadly to defray the following costs:
As a general guidance, to support institutional decisions on allowable expenditures and identifying students with exceptional need, each district or institution should document internal policies on interpretations of the various USDE guidance and FAQs, at any point in time, and maintain for audit purposes.
Note: Please continue to discuss and obtain guidance from your legal counsel and auditors on all HEERF questions.
Institutions can use unspent institutional HEERF I funds, as of December 27, 2020 (enactment date of CRRSAA), under the expanded and allowable uses of HEERF II.
1. What are the various allocations funded through CARES Act HEERF?
The CARES Act provided the following allocations under HEERF. See the US Department of Education (USDE) webpage for more details.
HEERF by Allocation Type | |||||
---|---|---|---|---|---|
USDE Effective Date | Allocations Type | Opportunity Number | CDFA | CARES ACT SECTION | Certification of Agreement Deadlines |
4/9/2020 | Student Aid | ED-GRANTS-041020-003 | CFDA:84:425E | 18004(a)(1) | 9/30/2020 |
4/21/2020 | Institutional Portion | ED-GRANTS-042120-004 | CFDA:84:425F | 18004(a)(1) | 9/30/2020 |
4/30/2020 | HBCU | ED-GRANTS-043020-001 | CFDA:84:425J | 18004(a)(2) | 9/30/2020 |
4/30/2020 | TCCU | ED-GRANTS-043020-002 | CFDA:84:425K | 18004(a)(2) | 9/30/2020 |
4/30/2020 | MSI | ED-GRANTS-043020-003 | CFDA:84:425L | 18004(a)(2) | 9/30/2020 |
4/30/2020 | SIP | ED-GRANTS-043020-004 | CFDA:84:425M | 18004(a)(2) | 9/30/2020 |
4/30/2020 | FIPSE | ED-GRANTS-043020-005 | CFDA:84:425N | 18004(a)(3) | 9/30/2020 |
8/19/2020 | IREPO | ED-GRANTS-082120-001 | CFDA:84:425P | 18004(a)(3) | 10/10/2020 |
2. Do I have to submit a separate Certification of Agreement for each type of allocation?
Yes. Each allocation listed above must have a separate certification of agreement because each provides distinct uses for the funds and reference the applicable sections of the CARES Act. In addition, each allocation type has a specific opportunity number and corresponding CFDA number. These two corresponding numbers are required in G5 to receive and drawdown the appropriate funds.
3. What are the reporting requirements for the Student Aid portion of the HEERF allocations?
HEERF Quarterly and Annual reports are required. There are several elements which are required to be reported each quarter on your institutions website for the CARES Act HEERF student portions, institutional, HBCU, TCCU, MSI, and SIP. For more information and details on what should be reported, please see the USDOE’s Reporting and Data Collections webpage.
4. What data are institutions required to report for Institutional and Other HEERF (HBCU, TCCU, MSI, SIP, FIPSE, and IREPO?
The USDOE developed “Budget and Expenditure” form for quarterly reporting of HEERF Institutional, MSI, and SIP expenditures. See USDOE’s Reporting and Data Collections webpage for the form, which should be filled out and linked to your main website, similar to the student portion reported information.
5 . Will the HEERF allocations be audited by the federal government?
Yes. The HEERF allocations are subject to the federal single audit (district’s annual audit).
6 . Are COVID-19 Expenditures Exempt from 50% Law?
Yes. Trailer Bill AB 94 – Postsecondary Education Trailer Bill exempts COVID-19 Expenditures from the 50% law and requires a community college district to exclude from that computation any expenditures incurred by that district during a state or local declared emergency related to the COVID-19 pandemic that are not otherwise normal expenditures that would have been incurred by that district. The exemption is in effect through July 1, 2021.
7 . Are CARES Act emergency financial aid grants (under section 3504, 18004, or 18008) to Students required to be included as gross income and taxable?
No. Emergency financial aid grants under the CARES Act for unexpected expenses, unmet financial need, or expenses related to the disruption of campus operations on account of the COVID-19 pandemic, such as unexpected expenses for food, housing, course materials, technology, health care, or childcare, are qualified disaster relief payments under section 139 of the Internal Revenue Code. This grant is not includible in your gross income.
8. How did the Federal Government determine the total amount of CARES Act funding each college would receive?
The CARES Act stipulates a funding formula to divide these funds among institutions. The formula has two distinct parts:
The CARES Act then divides the Formula Funds into two categories based on conditions for their use:
Emergency Student Financial Aid
At least 50% of funds must go to emergency financial aid for students. Also referred to as the Advanced Funds, Emergency Financial Aid Grants to Students, Section 18004 Student Funds, or CARES Act Student Aid Funds)
Institutional Funds
The remaining balance can be used at the institution’s discretion to cover costs associated with the interruption of instruction and significant changes to the delivery of instruction due to the coronavirus. Institutions may also use the funds to make additional emergency financial aid grants to students, provided that such emergency financial aid grants are for expenses related to the disruption of campus operations due to coronavirus. (Also referred to as Recipient’s Institutional Costs Funds, Institutional Portion of the Higher Education Emergency Relief Fund, and Section 18004 Institutional Funds).
9. How can Emergency Student Financial Aid funds be used?
On October 14 , 2020, the U.S. Department of Education (USDE ) issued a HEERF FAQ Rollup document which combines several other guiding documents and provides further guidance and clarification on the emergency student aid funds.
At least 50% of the funds each institution receives must go towards emergency student financial aid for expenses related to the disruption of campus operations due to coronavirus, including eligible expenses under a student’s cost of attendance (e.g., food, housing, course materials, technology, healthcare, and child care).
The U.S. Department of Education guidelines for emergency CARES Act grants that stipulates:
10. How can Institutional Funds be used?
On October 14, 2020, the U.S. Department of Education (USDE) provided a HEERF FAQ rollup document on Institutional Fund uses. This document combines several guidelines and conditions that apply to the institutional use allocation:
11. What is the deadline (project period or period of performance) for institutions to spend HEERF funds received under the CARES Act?
All institutions were given 1 calendar year (365 days) from the date of award in their HEERF Grant Award Notification (GAN) to complete the performance of their HEERF grant.1 Therefore, for example, if a grantee received a GAN on April 7, 2020, the one calendar year period of performance for their HEERF grant would be through April 6, 2021. Please note that after the end of the year-long period of performance, grantees have an additional 90 calendar days to liquidate their obligations made during their year-long period of performance as part of the grant closeout procedures (2 CFR § 200.343(b)).
12. Is it possible for institutions to request an extension of time to expend HEERF funds?
The Department understands that some grantees, even given the emergency nature of the HEERF grant, may be unable to obligate funds by this time. Consequently, no-cost extensions (NCEs) of up to 12 months are available as provided for in 2 CFR § 200.308(d)(2) . NCEs may not be exercised merely for the purpose of using unobligated balances. Given the emergency nature of HEERF grants, the Department does not intend an NCE to extend longer than 12 months. HEERF grantees are encouraged to discuss any need for an NCE with their respective program officer well in advance of the end of their grant period of performance.
13. Can institutions charge indirect costs against the HEERF I institutional portion?
It depends. If institutions have remaining HEERF I funds, as of 12/27/2020, those funds can cover indirect cost at the federally approved indirect cost rate, or at the 10 percent di minimus, if an institutions does not have a federally approved indirect cost rate.
14. Can institutions charge HEERF I Institutional portion for lost revenues?
It depends. If institutions have remaining HEERF I funds, as of 12/27/2020, those funds can cover lost revenues.
HEERF II General FAQs
1. Is the HEERF II funding new funding or does this allocation also include the CARES Act HEERF I funding?
The Higher Education Emergency Relief Fund II (HEERF II) is authorized by the Coronavirus Response and Relief Supplemental Appropriations Act, 2021 (CRRSAA), Public Law 116-260, signed into law by President Donald J. Trump on Dec. 27, 2020. This funding is an additional amount of funding to the HEERF I funds authorized on March 27, 2020.
2. When can we expect to receive HEERF II funds?
The funds became available January 14, 2021; the day the US Department of Education (USDOE) announced and posted the information on their website.
3. Why does the initial Federal Grant Award Notice have the prior budget dates?
The USDOE will reissue GANs. The initial GANs have the wrong budget term.
4. What is the deadline (project period or period of performance) for institutions to spend HEERF funds received under the CARES Act?
The HEERF II require funds be spent within one-year. For HEERF I, the start date is based on the certification and agreement date, and the HEERF II start date is based on the GAN date. All institutions were given 1 calendar year (365 days) from the date of award in their HEERF Grant Award Notification (GAN) to complete the performance of their HEERF grant.1 Therefore, for example, if a grantee received a GAN on April 7, 2020, the one calendar year period of performance for their HEERF grant would be through April 6, 2021. Please note that after the end of the year-long period of performance, grantees have an additional 90 calendar days to liquidate their obligations made during their year-long period of performance as part of the grant closeout procedures (2 CFR § 200.343(b)).
HEERF II Student Portion FAQs
5. What amount of HEERF II funds must my institution devote to financial aid grants to students?
The CRRSAA requires that institutions receiving HEERF II funding provide the “same amount” of funding in financial aid grants to students that it was required to provide under its original Student Aid Portion (CFDA 84.425E) allocation amount, as listed on the CARES Act Section18004(a)(1) allocation table (HEERF II). See the allocation columns in green for your respective allocation amounts.
HEERF II Institutional Portion FAQs
6. How has the use of funds changed for institutional uses?
Institutions have expanded flexibility in their use of supplemental Institutional Portion funds (CFDA 84.425F). Under section 18004(c) of the CARES Act, institutions were required to use their Institutional Portion awards to cover any costs associated with significant changes to the delivery of instruction due to the coronavirus and/or for additional emergency financial aid grants, subject to certain limitations.
In contrast, allowable uses under the CRRSAA for Institutional Portion awards include:
Similar to what was required for Institutional Portion awards under Section 18004 of the CARES Act and the Department’s Certification and Agreement for those funds, under section 314(d)(3) of the CRRSAA, no supplemental Institutional Portion awards or new Institutional Portion awards may be used to fund contractors for the provision of pre-enrollment recruitment activities; marketing or recruitment; endowments; capital outlays associated with facilities related to athletics, sectarian instruction, or religious worship; senior administrator or executive salaries, benefits, bonuses, contracts, incentives; stock buybacks, shareholder dividends, capital distributions, and stock options; or any other cash or other benefit for a senior administrator or executive.
HEERF II and III can also cover lost revenues associated with the COVID-19, such as enrollment fees and charges (including unpaid student accounts receivable or other student account debts).
Payroll
Lost Revenues (See USDE Lost Revenue FAQs)
9. What is Lost Revenue?
Lost revenue refers to revenues an institution expected to receive but reduced or eliminated due to COVID-19. As such, lost revenue estimates are acceptable.
10. When may an institutions charge lost revenue to its HEERF grant award?
An institution may charge lost revenue to its grant at the end of the period that it is using to estimate lost revenue. If using the fiscal year period, then at the end of that period.
11. What are potential sources of lost revenue that may or may not be reimbursable under the HEERF grant programs?
12. How may an institution calculate its estimated lost revenue? (See table on page 6 and Question 9)
The CRRSAA does not specify how institutions may calculate their lost revenue. Accordingly, institutions have flexibility to calculate a reasonable estimated lost revenue. For example, an institution may use a year-over-year comparison using the prior year or a comparison using 3- or 5- year combined average as baseline revenue.
13. How will the effects of HEERF be reflected in SEFA and what year? (See Question 8)
HEERF II expenditures and lost revenue charged in fiscal year 2021 should be in the fiscal year 2021 SEFA because the award permitting the estimated lost revenue and expenses back to March 13, 2020, did not occur until fiscal year 2021.
Reimbursement of Indirect Costs (See USDE HEERF II FAQs #8)
An indirect cost rate allows an institution to recover a portion of administrative costs incurred to implement the federal grant programs. This rate is specified in an institution’s negotiated indirect cost rate agreement. If an institution does not have a current negotiated rate with its cognizant agency, for indirect costs, it may appropriately charge the de minimis rate of 10% percent of Modified Total Direct Costs (MTDC). If an institution has or had a negotiated rate, they cannot use the 10% de minimus.
14. Can an institution claim indirect costs to the HEERF grants?
Yes, The HEERF II and III grants allow institutions to claim indirect costs and a reasonable amount of administrative costs.
15. Is there any guidance available for charging indirect costs to HEERF grants?
a) Identify budgeted indirect costs allowable for inclusion or exclusion:
EXPENSE CATEGORY | ANNUAL EXPENSE | AMOUNT OF INDIRECT (10%) |
---|---|---|
Total Personnel | $190,000 | $19,000 |
Fringe @ 20% | $38,000 | $3,800 |
Travel | $10,000 | $1,000 |
Supplies | $15,000 | $1,500 |
Contractual 1 | - | - |
Project Evaluator | $30,000 | $2,500 |
Website Design | $75,000 | $2,500 |
Communications Materials | $10,000 | $1,000 |
Total Contractual | $115,000 | $6,000 |
Other | $1,000 | $100 |
Total Direct | $369,000 | - |
Indirect (10%) | $31,400 | $31,400 |
Total Costs | $400,400 | - |
Expenses must be charged consistently