Title: LOCAL REVOLVING LOAN FUND (RLF)
1- LOCAL REVOLVING LOAN FUND (RLF)
2Local Revolving Loan Funds
- Indications that HUD and GAO will heavily monitor
and audit the RLF activities - HUD is finalizing rules and regulations
- Following primarily based on DCAs traditional
approach to Revolving Loan Funds - --------------------------------------------------
------------ - Loan payments capitalize local RLF
- RLFs can be used for local economic development
needs and must be CDBG-eligible - RLF funds should be used first for new projects.
Additional stimulus funds should be used to fill
financial gaps
3Local Revolving Loan Funds
- Administered by local government with DCAs
oversight and guidance (as needed) - Currently 66 RLFs throughout Georgia, with
- 33 million in RLF assets
- 12 million in cash
- 21 million in loan receivables
- 9,729 jobs created
- RLF must be used in a timely manner at least
one new loan every five (5) years rule subject
to future HUD regulations - For RLF cash balances greater than 125k, cash
balance should be maintained at less than 30 of
total RLF assets rule subject to future HUD
regulations
4Local Government RLF Responsibilities
- Maintenance of an accounting and financial
management system that complies GAAP, DCAs
guidelines for RLF financial management systems,
and HUD regulations - Maintenance of a loan servicing and monitoring
capacity system to ensure that loan payments are
collected, that loan covenants are enforced, and
that loan secured assets are maintained UCC
filings, etc. - Maintenance of a well documented application and
selection process - Capacity to review and analyze funding requests
to determine whether such projects represent
prudent investments - Maintain and structure RLF so that local
administrators can assess the RLFs loan
portfolio status and quickly identify any problem
areas that need attention.
5RLF Administrative Costs
- 10 per annum based on program income derived for
a particular period fiscal year, calendar year,
etc - Administrative costs must be adequately
documented only eligible costs are ACTUAL costs
incurred
6Federal OMB Circulars
- In absence of, in conjunction with, or
complimenting HUD regulations, Local Governments
RLF expenses must adhere to Federal Office of
Management and Budget (OMB) Circulars - A-87
- A-133
- A-123
7OMB Circular A-87 Requirements
- The RLF expense must be
- Necessary and reasonable for the proper and
efficient performance and administration of the
federal award - Authorized or not prohibited under State or local
laws or regulation - Accorded consistent treatment
- Adequately documented
8OMB Circular A-87 Requirements
- What are Reasonable Costs?
- Costs that do not exceed that which would be
incurred by a prudent person - Generally recognized as ordinary and necessary
- Controlled by factors such as sound business
practices and arms length bargaining i.e., no
conflicts of interest - Costs at market prices for comparable goods or
services
9OMB Circular A-133 Requirements
- Primarily to assist Local Governments auditors
- Local Government is charged with maintaining
adequate internal control over Federal programs.
The internal control exhibited by the Local
Government should provide reasonable assurance
that the Federal program is being managed in
compliance with laws, regulations, and the
provisions of contracts or grant agreements
10OMB Circular A-123 Requirements
- Improper Payments Information Act
11OMB Circular A-123 Requirements
- An improper payment includes any payment that was
made to an ineligible recipient or for an
ineligible service, duplicate payments, payments
for services not received, and payments that are
for the incorrect amount - An improper payment is also defined as any
payment that should not have been made or that
was made in an incorrect amount under statutory,
contractual, administrative, or other legally
applicable requirements - when an agencys review i.e., an audit is
unable to discern whether a payment was proper as
a result of insufficient or lack of
documentation, this payment must also be
considered an error.
12OMB Circular A-123 Requirements
- What may constitute an improper loan payment?
- Disbursements to borrowers or other third-party
payments that are based on incomplete,
inaccurate, or fraudulent information. - These improper loan payment disbursements may
include - Duplicate disbursements
- Disbursements in the incorrect amount
- Loan funds used for purposes other than those
allowed by law, program regulations, or HUD/State
policy
13OMB Circular A-123 Requirements
- Agencies shall have a cost effective program of
internal control to prevent, detect, and recover
overpayments to contractors resulting from
payment errors.
14OMB Circular A-123 Requirements
- How can Local Government identify, eliminate, and
recover improper payments? - Prevention
- Prevention activities are proactive and made
prior to payment issuance to assure payment is
accurate when made - Examples include pre-payment audits, due
diligence based on risk prioritization, and
predictive modeling
15OMB Circular A-123 Requirements
- How can Local Government identify, eliminate,
- and recover improper payments?
- Detection
- Detection activities occur subsequent to payment
and test the accuracy of payment processes to
identify errors made during those processes. - Examples include routine payment verification,
quality control reviews of a universe of payments
using different criteria than used on the
front-end - Data matching to compare data fields or sets to
confirm consistent input - Data mining to detect payment patterns or
anomalies for isolation and subjected to further
review
16OMB Circular A-123 Requirements
- How can Local Government identify,
- eliminate, and recover improper payments?
- Recovery
- Recovery or collection activities refer to
efforts directed toward recapturing improperly
made payments. - For example, Local Government can obligate
contractors to assume financial responsibility
for any payment errors deemed as unallowable
contract costs - Local Government may impose financial penalties
on contractors when payment errors exceed certain
thresholds - Local Governments may, along with demanding
repayment, impose sanctions or other punitive
measures against contractors
17Things to Remember
- Local Government is responsible for ensuring
RLFs allowable costs - Exercise Due Diligence and actively monitor loan
status - Ensure loans are for program eligible activities
- Document, document, document, and document!
- HUD and GAO will be heavily auditing
- HUD regulations may be amended in future
18Program Manager Contact Information
- Michael Casper RLF Program Manager
- (404) 679-0594
- michael.casper_at_dca.ga.gov
- OMB Circulars may be obtained at
- www.whitehouse.gov/omb/circulars/