Title: Federal Grants Management Compliance for NIH SBIR/STTR
1National Institutes of Health
Overview and Compliance for NIH SBIR/STTR
ASSISTING WITH COMPLIANCE Brian Albertini
Chief Grants Management Officer National
Institute of Nursing Research SBIR/STTR
NATIONAL CONFERENCE OMAHA, NE JUNE 30, 2009
2Overview
- Roles and Responsibilities
- Eligibility for SBIR and STTR
- Application Process
- Award Actions
- Post Award Requirements
- Compliance Basics
3NIH Staff Roles
- Grants Management Officer (GMO)
- Signs awards, ensures compliance and reviews
prior approval requests. - Grants Management Specialist (GMS)
- Handles day to day activities and manages a
grant portfolio. - Program Official (PO)
- Scientific, and/or technical aspects of grant
- Scientific Review Administrator (SRAs)
- Manage the activities of Scientific Review
Groups (aka, peer reviewers)
4 NIH Staff - Responsibilities
-
- Prior approval items (when required)
- GM Staff - review for compliance with policies
and regulations - PO Staff - change in scientific scope
- Noncompetitive applications (Annual progress
report) - GM - review for administrative compliance
- PO - review scientific progress
- Closeout for projects (Final reports)
- GM - all close-out documents
- PO - review final scientific progress report
5Eligibility Grantee Institution
- The award is made to the institution, not an
individual/PI - The Institution Official (IO)
- Is legally responsible for the proper conduct and
execution of the project - Provides fiscal management of the project
- Provides oversight on allocation decisions
- Ensures compliance with Federal laws and
regulations, and policies and procedures
6Principal Investigator (PI)
- Works with the Institution Official
- Is responsible for the scientific and/or
technical aspects of the grant. - Handles day-to-day management of the project.
- Is responsible for the scientific conduct of the
project and must provide the required progress
reports.
7SBIR and STTR Overview
- See NIH SBIR/STTR website
- http//grants1.nih.gov/grants/funding/sbir.htm
- Phase I Feasibility/design (R43/R41)
- Normally 6 months (SBIR) to 1 year (STTR)
- Normally 100,000 Total Award (Direct costs
Indirect costs Fee) - Phase II Full RD continuation of Phase I
(R44/R42) - Only Phase I awardees eligible for for Phase II
- Normally Two Years and 750,000 Total Award
(Direct Indirect costs Fee) - Phase III Commercialization
- No SBIR or STTR funding
8SBIR/STTR Eligibility
- For-profit U.S. business firm
- 51 U.S. owned by individuals independently
operated - Small Business Concern (SBC) located in the U.S.
- 500 or fewer employees, including affiliates
- See SBA regulations for SBIR STTR ownership
9 SBIR and STTR Eligibility
- Eligibility determined at time of award.
- All project activities should be performed in the
United States. - Normally Not-To-Exceed Funding Levels.
- Project period
- SBIR Phase I - request 12 months budget period
if project has - Vertebrate Animals research
- Human subjects involvement
- Third party (consortium/contracts)
10SBIR and STTR Application Process
- Electronic Application through Grants.gov
- Use Parent FOA and SF424 RR forms
- New Applicant Organizations need
- Tax Identification Number
- DUNS
- Human Subjects FWA for grantee (SBC)
- Animal Assurance for grantee (SBC)
- Required for SF424RR submission
- Annual Reporting required Misconduct in
Science to the Office of Research Integrity (ORI)
11SBIR Requirements
- P.I. primarily employed by SBC gt50
- Dont confuse employment w/Time and Effort
- PI employment is rarely negotiable
- Phase I (R43) - third party involvement
- Normally NTE 33 of total award amount
- Includes consultants consortia
- Does not include fee for service contracts
- May exceed 33 if requested, justified, and
approved by reviewers and program - Justify deviations from SBA guidelines in funding
levels project period in the application
12SBIR Requirements Phase II
- Commercialization Plan required for All Phase II
applications and Fast-Track - Phase II (R44)
- PI employment at least 51 by SBC
- Third party costs normally NTE 50
- Total amount awarded normally NTE 750,000 (D.C.,
FA fee) for two years
13STTR Phase I (R41) II (R42)
- Single, partnering Research Institution Minimum
30 effort/budget - STTR subaward budget page and letter from RI
required in application (Small Business Minimum
40) - Principal Investigator
- Minimum 10 time effort
- Must have formal agreement with SBC
- Commercialization Plan for Phase II
14Types of Costs For Grants
- Indirect Costs/FA Costs
- Not Easily Identified With A Specific Project
- Fringe Benefits, Overhead, Exec. salaries
- Direct Costs
- Easily Identified With A Specific Project
- Direct Salaries Wages
- Materials Supplies
- Consultants Subcontracts
- Unallowable Costs -- Government will not
reimburse! http//www.arnet.gov/far/loadmainre.htm
l
15Percentage Calculations
- Work Performance (Research Activities)
- Normally based on total award amount
- Formula for STTR is based on Total Cost less any
requested Fee - Explain in budget justification for exceptions
- Fee/profit (NTE 7)
- ONLY for SBIR/STTR grantee (SBC)
- May be based on total DC FA
- Grantee must justify this in the application
- All other mechanisms prohibited from fee/profit
on grants
16 Phase I and Indirect Cost Rates
- If you have a current negotiated ICR agreement
with NIH or another Federal Agency, request the
ICR stated in the agreement - PHASE I If no current negotiated rate
agreement, indirect costs funded cannot exceed
40 of total direct costs. - NIH does not negotiate rates for Phase I SBIR or
STTR awards.
17 Phase II - Indirect Cost Rates
- If you have a current negotiated rate agreement
use the ICR stated in the agreement. - Per the NIH guide notice dated 01/21/2009
http//grants.nih.gov/grants/guide/notice-files/NO
T-OD-09-038.html - If you do not have a current negotiated ICR
agreement and your proposed indirect costs
exceed 40 of total direct costs, rates must be
reviewed by NIH/DFAS. The Awarding IC may elect
to restrict indirect cost recovery to 10 of
Salaries Wages until DFAS negotiation is
complete. - If proposed indirect costs are 40 or less of
total direct costs, you do not need to provide
supporting documentation or negotiate the rate -
18Questions about Indirect Costs?
- NIH Division of Financial Advisory Services
(DFAS) - http//oamp.od.nih.gov/dfas/rates.asp
- Raphael Woodruff, Acting Branch Chief
- Ph (301) 496-2444
- Attend the IDC Workshop at the Conference!!
19- Award Actions
- Science with Strings Attached
20Notice of Grant Award (NGA)
- A legally binding contract with the government
- Official notice that an award has been made
- NGA includes
- Funding level (amount available for project)
- Periods of support (Project and budget period
- Terms and conditions (Restrictions/requirements)
- NIH contact information
21Grantee Acceptance
- The grantee indicates acceptance of the terms
and conditions of the award by drawing down funds
against the grant from the Payment Management
System. - DHHS Division of Payment Management
- http//www.dpm.psc.gov
22Expanded Authorities
- NIH awards are under EA, which means
- 90 day pre-award cost authority at grantees own
risk - Reasonable rebudgeting authority
- gt 25 of total award may be unreasonable
- Grantees under expanded authorities may
- Change consortium participant
- Extend project period through the NIH Commons for
additional 12 months
23No-cost Extensions
- Grantee may extend (without additional funds) the
final budget period of the project up to 12
months via the NIH commons up to 90 days prior to
the end date of the award. (one-time only).
24Award Elements
- Under the Expanded Authorities for select phase I
and all Phase II awards - Carryover (Only on for multi year awards)
- The authority to expend funds from the previous
budget period. - Streamlined Non-competing Award Process (SNAP
uses PHS 2590 forms) - Eliminates need for annual submission of budget
with progress report and annual submission of
Financial Status Report (FSR).
25Additional Terms and Conditions
- Restrictive/Requirement/Informational Terms May
specify required action on the part of the
grantee to remove restriction, provide updates,
or restrict efforts or activities. (e.g., IDC
rate negotiation, human subjects etc.) -
- Close-out reporting requirements
- Included in the Final year Notice of Grant Award
(NGA) - Financial, invention and final progress reports
26Close Out Requirements
- Due within 90 days of the end of the project
period to the awarding Institute/Commons - Final Progress Report (no form, format included
in final Notice of Grant Award terms!) - Final Invention Statement - Form HHS 568
- Final Financial Status Report SF 269A or SF 269
-
27Post Award
- These requests should come to NIH in writing.
28Prior NIH Approval Required
- Change of PI and other Key personnel named in
Notice of Grant Award - Change of Grantee Organization
- Change of Scope
29Change in Scope
- Change in the specific aims from those approved
in the competing application - Substitution of one animal model for another
- Any change from the approved use of animals or
human subjects - Shifting the research emphasis from one disease
area to another - Adding a new subcontract if more than 25 of
Total Costs for the year
30Additional Prior Approval Requirements
- Written notification via email should be made if
one of the following occurs - Successor-in-interest
- Name change
- Merger or acquisition
-
31 Additional Prior Approval Requirements
- Any changes involving the Principal Investigator
or other key personnel should also be promptly
reported if they plan to - Withdrawal from the project entirely.
- Are absent three months or more.
- Reduce time devoted to the project by 25 or
more. - Key personnel named in the NGA Terms of Award
32 Submitting prior approval
- Requests for project changes that require NIH
approval must be submitted with the concurrence
of Institutional Official (IO). - An e-mail request is acceptable
- Sent through the IO to the awarding institute
GMO and Program Official
33Compliance
- Compliance Basics
- Internal Controls
- Financial Conflict of Interest
-
34 Compliance Basics
- Misuse of funds
- Unallowable costs
- Allocation of costs
- Accelerated expenditures
- Large unobligated balances
- Cost transfers
- Financial Conflict of interest
35 Compliance Problems
Common Contributors
- Lack of understanding of roles and
responsibilities of institutional staff - Inadequate resources
- Outdated or nonexistent policies and procedures
- Inadequate staff training and education
- Inadequate systems
- Perception that internal control systems are not
necessary
36Why is Compliance Important?
- It strengthens the relationship of trust that
exists between federal sponsor and grant
recipient - It suggests a presence of the stewardship
necessary to properly safeguard the Federal
investment in biomedical research - Compliance Program Guidance
- for Recipients of NIH Research Grants
- http//grants.nih.gov/grants/compliance/complianc
e.htm
37Internal Controls
- Are budgetary controls in effect to preclude
incurred expenses/obligations from exceeding
total awarded funds or budget cost categories? - Is there a separation of duties (record keeping/
cash receipts/ cash payments)? - Are all accounting entries adequately documented?
(Journal Chart of Accounts?)
38Internal Controls Capability
- The grantee organization must have
- a job cost accounting system,
- an adequate timekeeping system,
- must segregate direct and indirect costs.
- Must have written policies procedures
- Federal Financial and Business Management Systems
- Sample Policies and Procedures - http//www2.niddk.nih.gov/Funding/Grants/ffbms.htm
-
39Who is Accountable?
- The Company is accountable for the finances and
the administration of the grant - The PI is accountable for the research
- The PI makes budget allocation decisions
- The Company exercises oversight on
- budget allocation decisions
40 NIH Compliance Activities
- Institutional compliance process
- Technical assistance
- Corrective action process
- Settlement process
- Outreach
- Educational seminars
- National and regional meetings
- NIH Regional Seminars
- Proactive Compliance Site Visits
- Targeted Site Reviews (FCOI)
41 What do Grantees Need to know?
- Code of Federal Regulations (CFR)
- 42 CFR Part 52 Grants for Research Projects
- http//www.access.gpo.gov/nara/cfr/waisidx
_03/42cfr52_03.html - 45 CFR Parts 74 and 92 Public Welfare,
Administrative Requirements - (74) http//www.access.gpo.gov/nara/cfr/waisidx_
04/45cfr74_04.html - (92) http//www.access.gpo.gov/nara/cfr/waisidx_
04/45cfr92_04.html - 45 CFR Part 46 Public Welfare, Protection of
Human Subjects - http//www.access.gpo.gov/nara/cfr/waisidx_04/45c
fr46_04.html
42What do Grantees Need to Know?
- OMB Circulars - http//www.whitehouse.gov.ombcircu
lars/ - Administrative Requirements or Standards
-
- A-102 Uniform Administrative Requirements for
Grants and Cooperative Agreements awarded to
State and Local Governments and Indian Tribes - A-110 Uniform Administrative Requirements for
Grants and Agreements awarded to Universities,
Hospitals, and Other Non-Profit Organizations (
for-profits at NIH) - These include pre-award and post-award
requirements
43 What do Grantees Need to Know?
-
- Cost Principles Applicable OMB Circulars and
CFRs - A-21 Cost Principles for Educational
Institutions - A-87 Cost Principles for State and Local
Governments and Indian Tribes - A-122 Cost Principles for Non-Profit
Organizations - 45 CFR Part 74, Appendix E Principles for
Determining Costs Applicable to Hospitals - 48 CFR Subpart 31.2 (Federal Acquisition
Regulation) Applicable to For-profit
organizations
44 What do Grantees Need to Know?
- Audit Requirements
- Applicable OMB Circular and Regulations
-
- A-133 Audits of States, Local Governments, and
Non-Profit Organizations - 45 CFR Part 74.26 Audits of For-Profit and
- Foreign Organizations
45 What do Grantees Need to Know?
- NIH Grants Policy Statement
- http//odoerdb2.od.nih.gov/gmac/nihgps_2003/index
.htm - Notice of Grant Award (Read it before you start!)
- NIH Guide to Grants and Contracts
- (Stay on top of new requirements)
- http//grants.nih.gov/grants/guide/index.html
46Financial Conflict of Interest
- Expectation Companies must establish written
policies and procedures to address financial
conflict of interest for their investigators.
These standards are designed to ensure that
investigators maintain research objectivity in
the design, conduct, analysis and reporting of
research funded under grants.
47Financial Conflict of Interest
- Identified a conflict of interest? You must
- Notify Chief GMO to assure that the conflicting
interest is being managed, reduced, or eliminated - Provide additional information, if requested
- FCOI must be addressed in consortium, consultant
and employee contractual agreements - See the NIH Guide
- http//grants2.nih.gov/grants/guide/notice-files/
NOT-OD-OO-040.html - FCOI regulations exclude Phase I SBIR and STTR!
48Requirements!
- All SBIR/STTR recipients must register with SBA
Tech-Net for reporting purposes - http//tech-net.sba.gov
- Register NOW with Grants.gov and eRA
- http//era.nih.gov/ElectronicReceipt/preparing.htm
4 - REQUIRED PUBLIC ACCESS POLICY
- http//grants.nih.gov/grants/guide/notice-files/NO
T-OD-09-071.html
49ARRA and SBIR/STTR
- If an application is awarded using ARRA funding,
specific reporting and transparency requirements
must be complied with - Specific Terms and Conditions applied to ARRA
awards are viewable on the link - http//grants.nih.gov/grants/policy/NIH_HHS_ARRA_
Award_Terms.pdf -
50NIH Information Sources
For NIH Grantees
- Notice of Grant Award (read it!)
- Provides terms of award and agency contacts
- Frequently Asked Questions
- http//www.grants.nih.gov/grants/funding/giofaq.ht
m - Grants Information
- grantsinfo_at_nih.gov (contact email address)
- NIH Grants Policy Information
- http//grants1.nih.gov/grants/policy/policy.htm
51QUESTIONS??
-
- E-mail sbir_at_od.nih.gov
- Thank You!