Receiving a PPP or EIDL grant or loan for COVID-19 would not necessarily make a small business ineligible to receive a grant from Fund payments made to a recipient. 13. on In the context of acquisitions of real estate and acquisitions of equipment, this means that the acquisition itself must be necessary. 03/03/2023, 43 Register (ACFR) issues a regulation granting it official legal status. Federal Register. on Share with Us. Hazard pay means additional pay for performing hazardous duty or work involving physical hardship, in each case that is related to COVID-19. Is the cost of this expanded workers compensation coverage eligible? Section 601 of the Social Security Act, as added by section 5001(a) of Division A of the Coronavirus Aid, Relief, and Economic Security Act (CARES Act) established the Coronavirus Relief Fund (the Fund) and appropriated $150 billion for payments by Treasury to States, tribal governments, and certain local governments. Avery Street A3-G, Bureau of the Fiscal Service, P.O. Data sources and the distribution methodology for units of local government. The final rule contains no requirements subject to the Paperwork Reduction Act. Is there a Catalog of Federal Domestic Assistance (CFDA) number assigned to the Fund? racist or sexually-oriented language. May payments from the Fund be used to assist individuals with enrolling in a government benefit program for those who have been laid off due to COVID-19 and thereby lost health insurance? COVID-19 Response and Resources - The Hopi Tribe May Fund payments be provided to non-profits for distribution to individuals in need of financial assistance, such as rent relief? One year later, American Rescue Plan Act funds allocated $31 billion for infrastructure needs and other federal programs for . Investing in housing and neighborhoods, such as affordable housing development, housing vouchers and housing navigation assistance to facilitate moves to neighborhoods with high economic opportunity. Attorney Advertising. No payments from the Fund may be provided to the Association of Community Organizations for Reform Now (ACORN) or any of its affiliates, subsidiaries, allied organizations, or successors. Consistent with the needs of all local governments for funding to address the public health emergency, States should transfer funds to local governments with populations of 500,000 or less, using as a benchmark the per capita allocation formula that governs payments to larger local governments. Learn more about PPP COVID-19 EIDL This low-interest loan provides help to businesses experiencing revenue loss. In addition, guardians or payees of enrolled tribal member children as of September 9, 2021, as determined by the Tribes Enrollment department records, shall qualify for two payments for each minor child in their care, each payment in the amount of $1,000.00. Marie. documents in the last year, 26 If a State determines that expanding meat processing capacity, including by paying overtime to USDA meat inspectors, is a necessary expense incurred due to the public health emergency, such as if increased capacity is necessary to allow farmers and processors to donate meat to food banks, then such expenses are eligible expenses, provided that the expenses satisfy the other requirements set forth in section 601(d) of the Social Security Act outlined in the Guidance. from 36 agencies. Previous guidance regarding the requirement that payments from the Fund may only be used to cover costs that were incurred during the period that begins on March 1, 2020, and ends on December 31, 2021 focused on the acquisition of goods and services and leases of real property and equipment, but the same principles apply to acquisitions and improvements of real property and acquisitions of equipment. 1503 & 1507. This prototype edition of the The Canada Community Revitalization Fund provides up to $750,000 or $1 million to not-for-profit organizations, municipalities, public institutions and Indigenous communities for projects to revitalize communities across Canada. Putting this requirement together with the other provisions discussed above, section 601(d) may be summarized as providing that a State, local, or tribal government may use payments from the Fund only to cover previously unbudgeted costs of necessary expenditures incurred due to the COVID-19 public health emergency during the covered period. Initial guidance released on April 22, 2020, provided that the cost of an expenditure is incurred when the recipient has expended funds to cover the cost. The Interim Final Rule prescribes the methodology to be used, and compares actual revenue to anticipated revenue in 2020, 2021, 2022 and 2023. Tribe ATG Final Distribution Welfare Assistance CV Distribution ALASKA Afognak 218,806 4,158 ALASKA Agdaagux Tribe of King Cove 437,612 8,391 ALASKA Akhiok . Every adult tribal member is eligible for this assistance and eligibility is not based on household size. documents in the last year, by the Energy Department 0 10. Reduction in revenue is measured relative to the revenue collected in the most recent full fiscal year prior to the COVID-19 public health emergency (2019). Oneida Nation | Tribal relief plan for membership set If capital improvement projects are not necessary expenditures incurred due to the COVID-19 public health emergency, then Fund payments may not be used for such projects. Treasury made payments beginning on May 5, 2020, based on population to all Tribal governments submitting correct payment information, other than Alaska Native corporations, and made payments beginning on June 12, 2020, based on employment and expenditures to Tribal governments that received payments based on population and that provided supplemental information before established deadlines. Public Call Information: Dial: 800-437-2398 Conference ID: 8287097. read on federalregister.gov. As discussed in the Guidance above, the CARES Act provides that payments from the Fund must be used only to cover costs that were not accounted for in the budget most recently approved as of March 27, 2020. 12. Other eligible expenditures include payroll and benefit costs of educational support staff or faculty responsible for developing online learning capabilities necessary to continue educational instruction in response to COVID-19-related school closures. The lost wages assistance payment to the ineligible individual would be deemed to be an ineligible. 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This result provides equitable treatment to governments that, for example, instead of having a few employees who are substantially dedicated to the public health emergency, have many employees who have a minority of their time dedicated to the public health emergency. If a government deposits Fund payments in a government's general account, it may use those funds to meet immediate cash management needs provided that the full amount of the payment is used to cover necessary expenditures. In addition, expenses that have been or will be reimbursed under any federal program, such as the reimbursement by the federal government pursuant to the CARES Act of contributions by States to State unemployment funds, are not eligible uses of Fund payments. COVID-19-related expenses of public hospitals, clinics, and similar facilities. Are costs associated with increased solid waste capacity an eligible use of payments from the Fund? Email: admin@pintnetwork.com. Are recipients permitted to use Fund payments to pay for unemployment insurance costs incurred by the recipient as an employer? Furthermore, in all cases it must be necessary that performance or delivery take place during the covered period. The purpose of the meeting is to review their two statements on voting rights and Alaska Native concerns. The $1.9 trillion American Rescue Plan Act allocated $20 billion in Fiscal Recovery Funds (FRF) to tribes. Yes. Governments have discretion to determine how to tailor assistance programs they establish in response to the COVID-19 public health emergency. Expenses related to developing a long-term plan to reposition a recipient's convention and tourism industry and infrastructure would not be incurred due to the public health emergency and therefore may not be covered using payments from the Fund. Treasury is pleased to accept requests for Coronavirus State and Local Fiscal Recovery Funds. CARES Guidelines The following examples help illustrate how the presumption may or may not be used: Example 1: State A may transfer Fund payments to each school district in the State totaling $500 per student. Overview. If a government determines that the issuance of TANs is necessary due to the COVID-19 public health emergency, the government may expend payments from the Fund on the interest expense payable on TANs by the borrower and unbudgeted administrative and transactional costs, such as necessary payments to advisors and underwriters, associated with the issuance of the TANs. Fund payments may not be used for government revenue replacement, including the replacement of unpaid utility fees. and the frequently asked questions document dated October 19, 2020,[2] 8. Eligible expenditures include, but are not limited to, payment for: 3. has no substantive legal effect. Thus, a grant or loan, for example, provided by a recipient using payments from the Fund must be used by the subrecipient only to purchase (or reimburse a purchase of) goods or services for which receipt both is needed within the covered period and occurs within the covered period. Investments in improvements to water and sewer infrastructure, including projects that address the impacts of climate change. A program that is aimed at assisting small businesses with the costs of business interruption caused by required closures should be tailored to assist those businesses in need of such assistance. 1. The Guidance provides examples of broad classes of employees whose payroll expenses would be eligible expenses under the Fund.