GAP NO. 200.280
Monitoring Subrecipients - Federal Funds

I. General
II. Awards of Federal Funds to Subrecipients
III. Monitoring Non-profit Subrecipients Receiving Federal Funds of $500,000 or Greater per Year
IV. Initial Assessment and Ongoing Monitoring - Duke University Guidelines
V. Roles and Responsibilities
VI. Monitoring For Subrecipient Conflict of Interest (COI)
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I. GENERAL

A subrecipient (subcontractor or subawardee) is a third-party organization that receives funding from Duke to collaborate in carrying out an externally funded program.

Duke University is responsible for monitoring the programmatic, financial, and conflict of interest (COI) status of its sponsored research award subrecipients. Subrecipient monitoring responsibilities are shared among the department (the PI and the grant administration staff) and the Pre- and Post-award offices.

The following guidelines and procedures are provided to address institutional responsibilities and to assist responsible faculty and staff in ensuring that subrecipients conduct their portions of research projects in compliance with regulations and that their expenses are reasonable and allowable.

 

II. AWARDS OF FEDERAL FUNDS TO SUBRECIPIENTS

OMB Circular A-133 "Audits of Institutions of Higher Education and Other Non-profit Institutions" requires that institutions receiving federal awards:

Any recipient of federal awards providing federal funds to a subrecipient must determine: (1) whether the subrecipient meets the audit requirements of the circular; and (2) whether the subrecipient has spent the federal funds in accordance with applicable laws and regulations.

When Duke University subcontracts out a portion of a Federal award, the subaward agreement will include language:

 

III. MONITORING NON-PROFIT SUBRECIPIENTS RECEIVING FEDERAL FUNDS OF $500,000 OR GREATER PER YEAR

If a non-profit subrecipient receives $500,000 or more per fiscal year in federal funds, Duke must ensure they are in compliance with OMB Circular A-133. Each subrecipient should provide the Office of Sponsored Programs at Duke University with an audit report in compliance with A-133. If the audit report is not received in a timely manner, the Office of Sponsored Programs will inform the appropriate Pre-award Office and the proper course of action will be determined.

All documentation received will be reviewed and maintained by the Office of Sponsored Programs. Audit reports received from subrecipients will be kept on file for a minimum of three years from their issuance.

If the documentation indicates instances of non-compliance with federal laws and regulations affecting the subcontract issued by Duke University , the Office of Sponsored Programs will contact the subrecipient and inform them that they need to provide evidence of corrective action. The Office of Sponsored Programs will maintain a current listing of all subrecipients from which corrective action is expected and ensure that follow-up occurs on a timely basis. If the subrecipient fails to establish that corrective action has been taken, the Office of Sponsored Programs will inform the appropriate Pre-award Office and the proper course of action will be determined. In noted instances of non-compliance, the Office of Sponsored Programs will maintain documentation of action taken and the results of such action.

 

IV. INITIAL ASSESSMENT AND ONGOING MONITORING - DUKE UNIVERSITY GUIDELINES

The frequency and scope of departmental monitoring procedures should be determined jointly by the Pre- and Post-award Offices. A "risk-based" approach to subrecipient monitoring is recommended with the frequency and intensity of monitoring driven by the considerations stated below. Taking this approach thereby focuses monitoring on the subrecipients who are at greatest potential risk for non-compliance. The following factors may be considered by the Pre- and Post-award Offices in assessing level of risk:

 

V. ROLES AND RESPONSIBILITIES

Roles:

Responsibilities:

Principal Investigators (PIs) have primary responsibility for:

Departmental Grant administrators have responsibility for:

The Pre-award Officers (Office of Research Administration and Office of Research Support) have responsibility for:

The Post-award Officers (Office of Sponsored Programs) have responsibility for:

 

VI . Monitoring for Subrecipient Conflict of Interest (COI)

When a Principal Investigator has an interest in or a relationship with the subrecipient entity, it shall be disclosed.


GAP History
Issued: January 1997
Revised: September 2001
Revised: February 2003
Revised: September 2006
Revised: February 2007