Happy New Year … I’ve just returned to the office and read the ETO & TEGL on high risk grants. Before, I submit a response to the SIMS, I wanted to run my thoughts by you to see if I’m overlooking anything. In the section “Requirements to Notify the Non-Federal Entity…”, I would recommend a two-step approach such as: 1. Suggest an additional step where the GO determines a “reasonable” time frame for the entity to demonstrate good faith effort in responding to the conditions. Any grantee should be able to provide sufficient documentations within 2 months (3 at the most) on how they are responding. They should provide input bi-monthly or monthly at minimum on their progress. Frequent input will allow ETA to provide prompt response on their
You cannot analyze data until you have brought the relevant data that will answer the question you are asking. A new feature of Excel 2016 is the built-in function which makes getting and transforming your data much faster and easier and allows you to find and gather all your data into one place. These new capabilities were only available previously as a separate add-in called Power Query. Now they can be found built into Excel 2016. They can be accessed from the Get & Transform group located on the Data tab.
I believe one of these two houses is good for you. After calculating your financial income after the taxes remove. We take your yearly gross incomes from Mr. Younger and Mrs. Younger. The yearly Gross income that you guys make is $45,301. Afterward, we will remove the 6. 27% of your incomes for taxes. At the end after the taxes removed, we will have $42,460. 63, however, we want the monthly income, so we divide that by 12 and get $3538. 38. So your monthly income is $3538. 38, and using the Reed Karaism study, we could only use 25% of your monthly gross income, and so 25% if your monthly income is $11,325. 25. Base on the results, I choose two houses that best fit want you to need and want.
You say that “The main issues that are to be addressed when dealing with the homeless youth are their concerns as a whole meaning what they believe should be addressed”. What are these issues? I think it may be helpful to define homeless youth with an age range and then include data telling the percentage of people within that age range who are homeless. Also are you targeting homeless youth or homeless children, or both? The reader wants to know why the project is relevant. In order to determine relevance the problem clearly defined and data needs to be used to support the
Developing the second project helped me feel more confident about using Articulate e-learning authoring software. Using Storyline 2 certainly represented a bigger learning curve than the one gained through Articulate Presenter. I was able to create interactive e-learning, conditional interactivity, and software simulations. Additionally, I had the opportunity to apply instructional design steps, concepts, and principles learned throughout the program. I personally believe that I did a good job at establishing performance based objectives and aligning assessment activities that measured the stated training objectives. Implementing this project was an interesting experience in terms of comparing the guidelines that are appropriate for inform programs and perform programs. For example, for the second project, which was performance-based, it was appropriate to incorporate practice activities and feedback. Overall, the my biggest takeaway from this project is the satisfaction
To achieve this accomplishment I must communicate with the NRSA Payback officials, Grantees, University Business Officials, and Principal Investigators verbally and in written correspondence. As well, regular tracking of these items are communicated to Grants Management Specialists via an Excel spreadsheets I created to send the information utilizing
Formalized the Office of Financial Administration oversight on the timely submission of 9130 reports to E-Grants as well as the judicious review and determination on the acceptance or rejection of the 9130 reports by ETA’s reviewing staff.
The actions outlined in the district’s proposal must be completed no later than December 15, 2016. No later than November 29, 2016, FSDB must provide the bureau a draft of the proposed OPP for the bureau’s review. If upon review, bureau staff determine that the OPP does not contain all of the aforementioned components or identify language that violates provisions under federal regulations or statue rules, the bureau will notify FSDB no later than December 1, 2016. As verification of completion FSDB must submit a final copy of the OPP no later than January 6, 2017.
You already provided the cost for each process. However, I forgot to ask about the arrangements for payment of expenses and the legal fees.I would really appreciate more information on that respect.
Agencies have to take certain steps before implementing or issuing a proposed rule. There is information
The public federal grant register is sponsored by the U.S. government. It was established in 2002 as a result of the President’s Management Agenda. It is managed by the Department of Health and Human Services and operates under the governance of the Office of Management and Budget. The federal agencies awarding grants are the U.S. Agency for International Development, Corporation for National and Community Service, U.S. Department of Agriculture, U.S. Department of Commerce, U.S. Department of Defense, U.S. Department of Education, U.S. Department of Energy, U.S. Department of Health and Human Services, U.S. Department of Homeland Security, U.S. Department of Housing and Urban Development, U.S. Department of the Interior, U.S. Department of Justice, U.S. Department of Labor, U.S. Department of State, U.S. Department of Transportation, U.S. Department of Treasury, U.S. Department of Veterans Affairs,
Furthermore, the EO sets several deadlines: 45 days for relevant agencies to submit a plan to the Director of the Office of Management and Budget; 120 days to submit a draft final report with recommendations; and 180 days for the plans to be finalized. While the varying agencies are interpreting the EO and reevaluating relevant policies, involvement is viable. Any party with an interest in the continuation, modification, or cancellation of any policy included in the immediate review should consider the opportunities to participate in this decision-making process. Subsequently, the varying agencies are directed to coordinate an effort to realize their recommendations and to “suspend, revise, or rescind, or publish for notice and comment proposed rules suspending, revising, or rescinding, those actions, as appropriate and consistent with law.” The effort to realize the recommendations and reverse any burden identified should be consistent with the policy objectives previously mentioned.
The agencies should decide if the action meets the threshold requirements or not. And prepare an EIS which describes in detail the effect of proposed activities. Also, the status makes it clear when the EIS must be completed and published the proposed rule in the Federal Register. is primarily procedural and timing is always the main theme. The agencies should combine NEPA with other planning as soon as possible to reflect the environmental values. And the NEPA needs agencies to go deep into the environmental consequences. EA shall be prepared early enough to serve an important contribution to making the decision.
No response by an agency within 30 days shall mean the agency does not object to the proposed minor modification. If no agency or USAG-KA objects or disagrees with the proposed minor modification, the modification shall be deemed to be in effect upon close of the 30-day comment period. If an agency or USAG-KA objects or disagrees with the proposed minor modification, the modification is not in effect and shall not be considered a minor modification as proposed.
Acceptance of a grant from the NEA creates a legal obligation on the part of the grantee to use the funds in accordance with the terms of the grant and to comply with the grant's provisions and conditions. The grantee thus assumes full responsibility for the conduct of project activities and becomes accountable for meeting Federal standards in the areas of financial management, internal control, audit and reporting to the NEA.
In the meantime, businesses cannot afford to sit back and wait for definitive law in this area, since a new federal Executive Order, EPA regulations, SEC guidance and private sector programs have gone into effect which apply to a wide variety of companies and public agencies. All organizations that are subject to these new requirements should be incorporating them into their planning and taking steps to ensure compliance.