Background: Under the Coronavirus Aid, Relief, and Economic Security (CARES) Act and the Paycheck Protection Program and Health Care Enhancement Act (PPPCHE), a $175 billion Provider Relief Fund was established to support healthcare providers amidst COVID-19. In April 2020, the U.S. Department of Health & Human Services (HHS) distributed $50 billion of this funding to Medicare providers in a Phase 1 general distribution. HHS is currently accepting applications from Medicare, Medicaid, CHIP, and dental healthcare providers for a Phase 2 general distribution (application deadline has been extended through September 13, 2020). Eligible providers can expect to receive up to 2% of their annual patient revenues in a Phase 2 general distribution of Provider Relief Funds. HHS will continue distributing funds in various targeted and general distributions until all are distributed over the coming months.
On July 30, 2020,HHS updated the Provider Relief Fund FAQs on their website to address the question of whether or not Provider Relief Fund distributions count towards the Single Audit threshold. These FAQ responses are repeated below in their entirety.
Are Provider Relief Fund payments fund payment to non-Federal entities (states, local governments, Indian tribes, institutions of higher education, and nonprofit organizations) subject to Single Audit? (Modified 7/30/2020)
Provider Relief Fund General and Targeted Distribution payments (CFDA 93.498) and Uninsured Testing and Treatment reimbursement payments (CFDA 93.461) to non-Federal entities are Federal awards and must be included in determining whether an audit in accordance with 45 CFR Part 75, Subpart F is required (i.e., annual total federal awards expended are $750,000 or more).
Audit reports must be submitted electronically to the Federal Audit Clearinghouse.
(Requirements for audit of payments to commercial organizations are discussed in a separate question.)
Are Provider Relief Fund payments to commercial (for-profit) organizations subject to Single Audit in conformance with the requirements under 45 CFR 75 Subpart F? (Modified 7/30/2020)
Commercial organizations that receive $750,000 or more in annual awards have two options under 45 CFR 75.216(d) and 75.501(i): 1) a financial related audit of the award or awards conducted in accordance with Government Auditing Standards; or 2) an audit in conformance with the requirements of 45 CFR 75 Subpart F.
Provider Relief Fund General and Targeted Distribution payments (CFDA 93.498) and Uninsured Testing and Treatment reimbursement payments (CFDA 93.461) must be included in determining whether an audit in accordance in accordance with 45 CFR Subpart F is required (i.e., annual total awards received are $750,000 or more).
Audit reports of commercial organizations must be submitted directly to the U.S. Department of Health and Human Services, Audit Resolution Division at AuditResolution@hhs.gov.
Single Audit, previously known as the OMB Circular A-133 audit, is an organization-wide financial statement and federal awards’ audit of a non-federal entity that expends $750,000 or more in federal funds in one year. It is intended to provide assurance to the Federal Government that a non-federal entity has adequate internal controls in place and is generally in compliance with program requirements.
HoganTaylor Can HelpMany healthcare providers who have never been subject to an audit may find themselves subject to one during 2020 or 2021 due to the Provider Relief Fund alone. If your organization is impacted by these requirements, please reach out to a HoganTaylor business advisor to discuss any questions you may have. INFORMATIONAL PURPOSE ONLY. This content is for informational purposes only. This content does not constitute professional advice and should not be relied upon by you or any third party, including to operate or promote your business, secure financing or capital in any form, obtain any regulatory or governmental approvals, or otherwise be used in connection with procuring services or other benefits from any entity. Before making any decision or taking any action, you should consult with professional advisors. |