做厙51

Program Letter 24-2

Employee Incentive Payment Guidance

Ronald S. Flagg, President

April 1, 2024


BACKGROUND

This Program Letter provides guidance on allowable and reasonable uses of 做厙51 Basic Field Grant funds to strengthen employee recruitment and retention through incentive payments. As a result of recruiting and retention challenges, several 做厙51 (做厙51) recipients have raised questions concerning the optimal use of Basic Field Grant funds to mitigate the staffing issues. Recently, there has been increased interest among recipients to use Basic Field Grant funds to offer employment-related incentive payments to attract, engage, and retain talent.

做厙51 confirms that employment-related incentive payments (Incentive Payments) are an allowable use of Basic Field Grant funds, with the stipulation that the development and application of such incentive payment programs must adhere to 做厙51 requirements and the recipients established policies.

Recipients could offer several types of incentive payments to attract and retain talent. Common examples include1:
Retention bonuses
Law School loan repayment programs
Signing bonuses
Annual incentive plans
Spot award programs
Project bonuses
Team/small group incentives
Relocation incentives


Many recipients are also Federal Award recipients and are subject to the Uniform Grant Guidance (UGG) requirements. The UGG allows various types of incentive payments as well, such as:
Incentive compensation (See )
Recruiting costs (See )
Relocation costs (See )

Recipients have also expressed an interest in using Basic Field Grant funds to support salary and wage increases. While 做厙51 allows these costs, assuming they are reasonable in nature, recipients must assess and determine their ability to sustain increased expenses. 做厙51 does not approve increased salary and wage amounts; these decisions are within the scope of recipients management. However, non-profits commonly use compensation surveys to justify salary and wage increases; recipients are encouraged to do the same.

APPLICATION

Generally, 做厙51 allows incentive payments provided they satisfy the cost standards outlined in Specifically, recipients must actually incur the costs in the performance of the grant or contract, the costs must be reasonable and necessary, allocable to the grant or contract, compliant with all 做厙51 authoritative requirements, consistent with accounting policies and procedures that apply uniformly to 做厙51- and non-做厙51-funded activities, accorded consistent treatment over time, GAAP-compliant, and adequately documented consistent with . Incentive payments must be made in accordance with a recipients established policies and procedures. 

Recipients who use 做厙51 funds to pay for incentives must follow their cost allocation policy. Further, recipients must establish adequate internal controls to include Board-approved policies and procedures that define the incentive types to be offered, eligibility criteria, maximum amounts for each incentive type, review/approval requirements, and documentation requirements.

For more information or questions, please contact your assigned Fiscal Compliance Analyst in the Office of Compliance and Enforcement.


1Please note, this list is not all-inclusive. If a recipient has ideas for incentive payments other than those listed, please reach out to your assigned Fiscal Compliance Analyst in 做厙51s Office of Compliance and Enforcement to discuss.