DINAP-ICR-Supporting-Statement 8 13 09

DINAP-ICR-Supporting-Statement 8 13 09.doc

Financial and Program Reporting and Performance Standards System for Indian and Native American Programs Under Title I, Section 166 of the Workforce Investment Act (WI A)

OMB: 1205-0422

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SUPPORTING STATEMENT FOR REQUEST FOR OMB APPROVAL

UNDER THE PAPERWORK REDUCTION ACT OF 1995


TABLE OF CONTENTS



SECTION PAGE


A. JUSTIFICATION 2

A.1 Circumstances Necessitating Data Collection 2


A.2 How, by Whom, and For What Purpose the Information is to be Used 6


A.3 Use of Technology to Reduce Burden 8


A.4 Efforts to Identify Duplication 8


A.5 Methods to Minimize Burden on Small Businesses 8


A.6 Consequences of Less Frequent Data Collection 8


A.7 Special Circumstances for Data Collection 9


A.8 Federal Register Notice and Consultation Outside the Agency


A.9 Payment of Gifts to Respondents 9


A.10 Confidentiality Assurances 9


A.11 Additional Justification for Sensitive Questions 10


A.12 Estimates of the Burden of Data Collection 10


A.13 Estimated Cost to Respondents 11


A.14 Estimates of Annualized Costs to Federal Government 11


A.15 Changes in Burden 11


A.16 Tabulation of Publication Plans and Time Schedules for the Project 11


A.17 Approval Not to Display OMB Expiration Date 12


A.18 Exeptions to OMB Form 83-1…………………………………………………………….. 12



B. Collection of Information Employing Statistical Methods 12



  1. JUSTIFICATION



The Department of Labor, Employment and Training Administration (ETA) requests approval for modifying the existing program reporting and recordkeeping requirements of the Indian and Native American programs authorized under Public Law 105-220, Workforce Investment Act of 1998 (WIA), section 166.


Each grantee administering funds under the Indian and Native American programs is required to submit a Comprehensive Services Program (CSP) Report (ETA 9084) and Standardized Participant Record Data, a Supplemental Youth Services (SYS) Program Report (ETA Form 9085), and a quarterly financial report form, ETA 9080.


The accuracy, reliability, and comparability of program reports submitted by grantees expending Federal funds are fundamental elements of good public administration and are necessary for maintaining and demonstrating system integrity. The use of a standard set of data elements, definitions, and specifications at all levels of the workforce system helps improve the quality of performance information that is received by the Department. The common measures are an integral part of ETA’s performance accountability system and ETA will continue to collect from grantees the data on program activities, participants, and outcomes that are necessary for program management and to convey full and accurate information on the performance of workforce programs to policymakers and stakeholders.


Section 185 of the WIA requires funds recipients to keep records and submit such reports as may be required by the Secretary of Labor “to permit the tracing of funds to a level of expenditure adequate to ensure that the funds have not been spent unlawfully.” The current WIA section 166 program regulations at 20 CFR 667.300 require quarterly financial reports from all “direct grant recipients.” The Final Rule at 20 CFR 668.610 mandates an annual and “interim reports on program participants and activities” for the section 166 grantees


Emergency Approval Requested.


Emergency approval is requested for this extension with revision request because The American Recovery and Reinvestment Act of 2009 (The Recovery Act), specifically Division A, Title VIII, of P.L. 111-5, added a temporary funding increase for an Indian and Native American component of a youth program, necessitating the collection of some additional data elements to ETA-9085. In addition, this information must be collected monthly to properly account for Recovery Act funds, beginning July 15, 2009.


Because INA Youth program reports are submitted 45 days after the end of the calendar quarter (which is beyond the Recovery Act’s statutory time requirement) a monthly report will be required to make information available on www.recovery.gov 10 days after the end of the calendar quarter.


INA grantees will report aggregate counts of all Recovery Act youth participants, including the characteristics of participants, the numbers of participants in summer employment, services received, attainment of a work readiness skill, which is required in the Recovery Act, and completion of summer youth employment. Currently, the number of participants in summer employment and attainment of a work readiness skill are not being collected under the quarterly program report.


Beginning with the April – June, 2009 quarter, INA grantees will begin submitting the ETA form 9085 youth program report for the “regular” SYS program on a quarterly basis. These reports will be due 45 days after the end of the calendar quarter. In addition to the quarterly program report, INA grantees must submit a monthly Recovery Act report which is due by the 15th of the following month. The first monthly Recovery Act report will be due on July 15th for the month of June. For this first report, INA grantees will be required to include any Recovery Act participants that participated in the program prior to June 2009.


1 – ETA Form 9084 (OMB Approval No. 1205-0422) expires 12/31/09. Extension is requested with no changes.


2 - ETA Form 9085 (OMB Approval No. 1205-0422) expires 12/31/09. Extension with changes to the form is requested.


Each Indian and Native American (INA) grantee receiving WIA, Section 166 funds to administer the Comprehensive Services Program (CSP) are required to submit a CSP Report (ETA Form 9084) on quarterly basis. Grantees receiving WIA Section 166 Supplemental Youth Services (SYS) funds currently submit SYSP Report (ETA Form 9085) semi-annually. However, request to modify and extend the exiting ETA Form 9085 report that will be submitted each quarter by INA grantees is based on the following:


Background. The Employment and Training Administration (ETA) requires the collection and reporting of data on eligible persons served under the WIA, Section 166 Supplemental Youth Service Program (SYSP) to assess the performance and delivery of services. The recent release of additional funds under the Recovery Act is intended to serve a greater number of youth and requires the collection and reporting of participant data to evaluate program performance.


INA grantees will be required to submit quarterly participant data reports on all youth served by the SYSP (See Frequency of Reporting below) and will also be required to distinguish between youth served with Recovery Act funds and youth served with regular WIA Section 166 funds and report "Recovery Act" youth through a supplemental (monthly) youth report. In this supplemental report, INA grantees will report aggregate counts of all Recovery Act youth participants, including the characteristics of participants, the numbers of participants in summer employment, services received, attainment of a work readiness skill, required by the Recovery Act, and successful completion of summer youth employment.


The Recovery Act makes it necessary to create additional fields in ETA-9085 because of 1) a change in eligibility, increasing the age limit to 24; and 2) an emphasis on using funds specifically for summer employment. By aligning Recovery Act with regular program reporting in ETA-0985, the grantees will report critical information with a minimal additional burden.


Changes to Youth Reporting. Changes that have been made to the Supplemental Youth Services Program (SYSP) Report (ETA Form 9085) are provided below. The data elements provided below are also highlighted in yellow on the form that is included in the attached reporting instructions.


Changes Made in Order to Incorporate Recovery Act Participants

Reporting frequency will be monthly (Recovery Act Report only);

Age requirement for eligibility has been increased to 24 (Recovery Act

participants only);

● Collect information on participants in summer employment;

● Collect information on participants that exited summer employment;

● Collect information on participants that successfully completed work readiness;

Collect information on participants that successfully completed summer employment;

● Work Readiness Attainment Rate added as an indicator; and

● Summer Employment Completion Rate added as an indicator.


Non Recovery Act Changes to Apply to the Regular SYS Program

Reporting frequency changed from semi-annual to Quarterly;

Collect information on number of youth served with disabilities;

Collect information on number of in-school youth served;

Collect information on number of out-of-school youth served;

Collect information on the number of youth served between the ages

14–18, 19–21 and

Collect information on number of eligible veterans served.


Frequency of Reporting. Beginning with the April – June 2009 quarter, INA grantees will submit the ETA Form 9085 youth program report for the “regular” SYSP on a quarterly basis. These reports are due 45 days after the end of the calendar quarter. In addition to the quarterly program report, INA grantees must also submit a monthly Recovery Act report by the 15th of the following month. The first monthly Recovery Act report will be due on July 15th for the month of June. For this first report, grantees include any Recovery Act participants that participated in the program prior to June 2009.


Mechanism for Reporting. The INA program has contracted with Social Policy Research Associates and Heitech Services, Inc., to revise the existing Bear Tracks youth software to collect data on both Recovery Act and regular Section 166 youth participants. The database was released in mid June 2009. The on-line reporting system located at www.etareports.doleta.gov is used to submit the monthly Recovery Act report and the quarterly report, except that a button was added for the monthly Recovery Act report.

Performance Outputs and Outcomes.


    1. The Recovery Act specifies “Work Readiness” as the program outcome measure. Additionally, output information will be collected as referenced in Section 5 of this TEGL. Examples include:


  • participants in summer employment;

  • participants that exited summer employment;

  • participants that successfully completed work readiness;

  • participants that successfully completed summer employment; and

  • Summer Employment Completion Rate.


B. The regular youth program will continue to provide complete, comprehensive information as required in Form 9085.


Transparency and Accountability. The Recovery Act contains many provisions stressing transparency and accountability in the use of the funding provided by the Act, including the creation of a new website, www.recovery.gov. The emphasis on these provisions, along with national interest in the effect the Recovery Act has on the nation’s economy, means increased attention to the workforce system’s implementation of the Recovery Act. Consistent with the law, ETA will make the reported information publicly available on www.recovery.gov.


A.1 Circumstances Necessitating Data Collection


ETA’s statutory and regulatory authority to administer the Indian and Native American programs includes provisions allowing for the requirement of performance reporting from grantees. The WIA includes provisions that require each grantee to furnish to the Secretary such information and reports as are necessary or appropriate for carrying out the purposes of section 166 of the Act.


Information is collected through ETA’s Indian and Native American programs’ reporting and recordkeeping system under the following authorities:


WIA section 166


(e) Program Plan.— In order to receive a grant or enter into a contract or cooperative agreement under this section an entity described in subsection (c) shall submit to the Secretary a program plan that describes a 2-year strategy for meeting the needs of Indian, Alaska Native, or Native Hawaiian individuals, as appropriate, in the area to be served by such entity. Such plan shall—

(1) be consistent with the purpose of this section;

(2) identify the population to be served;

(3) identify the education and employment needs of the population to be served and the

manner in which the activities to be provided will strengthen the ability of the individuals

served to obtain or retain unsubsidized employment;

(4) describe the activities to be provided and the manner in which such activities are to be

integrated with other appropriate activities; and

(5) describe, after the entity submitting the plan consults with the Secretary, the performance

measures to be used to assess the performance of entities in carrying out the activities

assisted under this section.


(h)(2)(a)— “establishing regulations to carry out this section, including performance measures for entities receiving assistance under such subsection, taking into account the economic circumstances of such entities; and”


WIA Regulations Final Rule 20 CFR Part 652 et al.


§ 668.600

  1. The INA grantee is responsible to the Native American community to be served by INA funds.

  2. The INA grantee is also responsible to the Department of Labor, which is charged by law with ensuring that all WIA funds are expended:

    1. According to applicable laws and regulations;

    2. For the benefit of the identified Native American client group; and

    3. For the purposes approved in the grantee’s plans and signed grant document.

§ 668.610

(a) Each INA grantee must establish its own internal policies and procedures to ensure accountability to the INA grantee’s governing body, as the representative of the Native American community(ies) served by the INA program. At a minimum, these policies and procedures must provide a system for governing body review and oversight of program plans and measures and standards for program performance.

(b) Accountability to the Department is accomplished in part through on-site program reviews (monitoring), which strengthen the INA grantee’s capability to deliver effective services and protect the integrity of Federal funds.

(c) In addition to audit information, as described at §668.850 and program reviews, accountability to the Department is documented and fulfilled by the submission of reports. For the purposes of report submission, a postmark or date indicating receipt by a private express delivery service is acceptable proof of timely submission. These report requirements are as follows:

(1) Each INA grantee must submit an annual report on program participants and activities. This report must be received no later than 90 days after the end of the Program Year, and may be combined with the report on program expenditures. The reporting format is developed by ETA, in consultation with the Native American Advisory Council, and published in the Federal Register (Attachment D).

(2) Each INA grantee must submit an annual report on program expenditures. This report must be received no later than 90 days after the end of the Program Year, and may be combined with the report on program participants and activities.

(3) INA grantees are encouraged, but not required, to submit a descriptive narrative with their annual reports describing the barriers to successful plan implementation they have encountered. This narrative should also discuss program successes and other notable occurrences that effected the INA grantee’s overall performance the year.

(4) Each INA grantee may be required to submit interim reports on program participants and activities and/or program expenditures during the Program Year. Interim reports must be received no later than 45 days after the end of the reporting period.

§ 668.620

Indicators of performance measures and levels of performance in use for INA programs will be those indicators and standards proposed in individual plans and approved by us, in accordance with guidelines we will develop in consultation with INA grantees under WIA section 166 (h) (2) (A).

WIA section 185 broadly addresses reports, recordkeeping and investigations across programs authorized under title I of the Act. The provisions of section 185:


  • Require the Secretary to ensure that all elements of the information required for reports be defined and reported uniformly (WIA section 185(d)(2));

  • Direct each state and each Local Board and each recipient (other than a sub-recipient, sub-grantee, or contractor of a recipient) to prescribe and maintain comparable management information systems, in accordance with the guidelines that shall be prescribed by the Secretary designed to facilitate the uniform compilation, cross tabulation, and analysis of programmatic, participant and financial data, on statewide, local area, and other appropriate bases, necessary for reporting, monitoring, and evaluating purposes, including data necessary to comply with section 188 (WIA section 185(c)(2));

  • Require that recipients of funds under title I of WIA shall maintain records and submit reports containing such information as the Secretary may require “…to permit the tracing of funds to a level of expenditure adequate to ensure that the funds have not been spent unlawfully”. The WIA section 166 regulations (20 CFR 667.300) require quarterly financial reports from all “direct grant recipients”; and

  • Specify that the reports shall include information about programs and activities carried out under title I of WIA pertaining to:

  • Relevant demographic characteristics (including race, ethnicity, sex, and age) and other related information regarding participants;

  • Programs and activities in which participants are enrolled, and the length of time that participants are engaged in such programs and activities;

  • Outcomes of the programs and activities for participants, including the occupations of participants and placement for participants in nontraditional employment;

  • Specified costs of the programs and activities; and

  • Information necessary to prepare reports to comply with section 188 and 29 CFR Part 37 (section 185(d) (1) (a-e)).

A.2 How, by Whom, and For What Purpose the Information is to be Used


Grantees will be expected to implement revised recordkeeping and reporting requirements with available funds. The implementation of the proposed reporting requirements will organize collected data and standardize the measurement of performance. At a minimum, information collected and reported through the CSP ETA Form 9084, SYS Program ETA Form 9085, and ETA Form 9080 (financial) will be used by grantees and ETA for the following purposes:


  1. To provide program and performance, including financial performance, information to stakeholders including participants, businesses, taxpayers, Congress and others;

  2. To continuously improve the quality, effectiveness and efficiency of customer services delivered through the Indian and Native American programs;

  3. To provide management information for use in Federal program administration and oversight, including grant-specific participation, service, and outcome summaries. Selected demographic information will also be used to demonstrate compliance with all applicable laws and regulations, and to prepare and maintain grantee management reports; and

  4. To measure compliance with the Government Performance and Results Act (GPRA) and to assess the program using the Administration’s Performance Assessment Rating Tool (PART).


A.3 Use of Technology to Reduce Burden


In order to comply with the Government Paperwork Elimination Act, ETA is streamlining the collection of the Indian and Native American programs’ participant data and the preparation of quarterly performance reports by providing a common case management and reporting system, formally called the Native American Workforce Investment Act (NAWIA) System, as well as uniform report formats and data definitions to grantees across ETA programs. All of the Indian and Native American programs’ reports will be submitted to ETA via the Internet. Grantees will collect, retain, and report all information electronically through the NAWIA management information system. All grantees currently submit financial status reports (ETA Form 9080) via the Internet and ETA’s Enterprise Business Support System (EBSS).


A.4 Efforts to Identify Duplication


The WIA section 166 program is unique, both by law and regulation. No other data source will supply the information needed to account for and evaluate the section 166 programs.


A.5 Methods to Minimize Burden on Small Businesses


No small businesses entities are impacted.


A.6 Consequences of Less Frequent Data Collection


The WIA is specific about reporting requirements and reporting frequency. The Department would not be in compliance with the statute if it did not comply with these requirements.


The Final Rule at 20 CFR 667.300 which governs the due date states:

§ 667.300(a) General. All States and other direct grant recipients must report financial, participant, and performance data in accordance with instructions issued by DOL. Required reports must be submitted no more frequently than quarterly within a time period specified in the reporting instructions. Collection of this information is absolutely necessary to ensure proper accountability of Federal funds and ensuring that the funds are being spent for the purposes intended by the Congress. This collection of information gives staff the ability to provide timely technical assistance to grantees that are failing below acceptable performance levels. The collection of fewer data elements would seriously hamper the ability of the Department to respond to data requests from Congress and the Administration and compromise the Department’s efforts to comply with the GPRA.


A.7 Special Circumstances for Data Collection


The data collection involves a special consideration for the collection of unemployment insurance wage data to track common measures. Currently, mechanisms are not in place to provide access to wage records for section 166 grantees. As specified in Training and Employment Guidance Letter No. 17-05, “For these grantees, supplemental sources of data will be permitted as an interim means of reporting on the earnings measure until all grantees in a program have access to wage records.”


A.8 Federal Register Notice and Consultation Outside the Agency


A Notice inviting public comment on this emergency Information Collection Request is being published in the Federal Register.


A.9 Payment of Gifts to Respondents


There is no payment of gifts to respondents under this data collection.


A.10 Confidentiality Assurances


ETA and its contractor for the Native American Workforce Investment Act (NAWIA) System is responsible for protecting the confidentiality of the INA participant and performance data and will maintain the data in accordance with all applicable federal laws, with particular emphasis on compliance with the provisions of the Privacy and Freedom of Information Acts. The Department works diligently to ensure the highest level of security whenever personally identifiable information is stored or transmitted. All contractors that have access to individually identifying information are required to provide assurances that they will respect and protect the confidentiality of the data. ETA’s Performance and Technology Office (PROTECH) has been an active participant in the development and approval of data security measures – especially as they apply to the agency’s on-line grantee reporting system (EBSS) that will collect personally identifiable data on a quarterly basis.


A key concern is for the protection of participant social security numbers (SSNs), which is voluntarily provided by the individual as part of this information collection request. The SSN is being requested in order to validate common measures and to match program participant records with state/federal wage record databases. The NAWIA System includes a statement that informs the individual where the information he/she has provided is being stored, the name and location of the system, and that the information is protected in accordance with the Privacy Act. When participant files are retrieved within the NAWIA System, only the last four digits of the social security number will be displayed. Any information that is shared or made public is aggregated by the grantee or ETA and does not reveal personal information on specific individuals.


A.11 Additional Justification for Sensitive Questions


While sensitive questions will be asked of participants in the proposed data collection, for the purpose of collecting demographic data, the confidentiality of participants will be protected as discussed in section A.10. In addition, security mechanisms will be built into the NAWIA data collection system by the ETA contractor as well as the agency’s on-line grantee reporting system. Participant responses to these sensitive questions will allow ETA to comprehensively evaluate the effectiveness of the INA program.


A.12 Estimates of the Burden of Data Collection


The annual national burden for the INA reporting system has three components: (1) the quarterly Comprehensive Services Program reporting burden (ETA Form 9084); (2) the Standardized Participant Information Record (SPIR) data collection burden; and (3) the quarterly Supplemental Youth Services Program reporting burden, ETA Form 9085, revised with added data elements:

  • Number of out-of-school youth age 22-24 (Recovery Act WIA Youth program)

  • Work readiness attainment rate (Recovery Act WIA Youth program)

  • Summer employment completion rate (Recovery Act WIA Youth program)


This response provides a separate burden estimate for each of these components. Of the total 127 grantees who respond to the Comprehensive Services Program and SPIR data collection components, 85, the federally recognized tribal government grantees, also respond to the Supplemental Youth Services Program data collection component. Grantees participating in the demonstration project under Public Law 102-477 are not affected by this information collection request and have not been included in the following burden estimates.


(1). Quarterly Comprehensive Services Program Report Burden


The INA quarterly report burden for ETA Form 9084 assumes that all grantees will use the ETA-provided NAWIA System to generate ETA Form 9084. The NAWIA System is designed to apply edit checks to participant data and to generate facsimiles of the aggregate information on enrollee characteristics, services provided, and supplemental outcomes data in quarterly report format. The burden includes reviewing and correcting errors identified by the grantee in the participant-level data and generating, reviewing, and approving the aggregate quarterly reports. It is assumed that each grantee will spend approximately twenty-four (24) hours per quarter preparing this report.


Report

Hrs. Per Year Per Grantee

Total Number of Grantees

Annual National Hours

Applicable Hourly Rate

Annual National Burden Dollars

ETA Form 9084

24 x 4 = 96

127

96 x 127 = 12,192

$23.13

12,192 x 23.13 = $282,000.96


(2). SPIR Data Collection Burden


The INA SPIR data collection burden considers the amount of participant and performance-related information collected and reported on the participant record that would not have to be collected by the grantees as part of their customary and usual burden to run the program. Thus the burden reflects the information collected solely to comply with the federal reporting requirements. The data collection burden includes program run times to extract program participant data, formatting, data editing and checking, and transmitting the files to the Department. It is assumed that each grantee will spend approximately 2.5 hours per record preparing this report annually.


Record Type

Hrs. Per Record

PY 08 Participants, total for 127 grantees or 162.36 av. Annual responses per grantee

Annual National Burden Hours

Applicable Hourly Rate

Annual National Burden Dollars

SPIR Data

2.5

14,868 (adults) + 5,752 (youth) =

20,620

2.5 hrs x 20,620 participants =

51,550 hours

$23.13 x 51,550 hours

$1,192,351.50


(3). Monthly Supplemental Youth Services Program Report Burden (only for tribal government grantees) The INA monthly burden for ETA Form 9085 assumes that all grantees will use the ETA-provided NAWIA System to generate ETA Form 9085. The NAWIA System is designed to apply edit checks to participant data and to generate facsimiles of the aggregate information on enrollee characteristics, services provided, and outcomes data in quarterly report format. The burden includes reviewing and correcting errors identified by the grantee in the participant-level data and generating, reviewing, and approving the aggregate quarterly reports. Each grantee has spent approximately twenty-four (24) hours per quarter preparing this report.


Report

Annual hrs per Grantee

Grantees (tribal only)

Annual National Hours

Applicable Hourly Rate

Annual National Burden Dollars

ETA Form 9085

26

85

26x12 months =312 hours per grantee

$23.13

$7,216.56

Total



312 annual hrs per grantee x 85 grantees =26,520 hours


26,520 hours x $23.13 =

Total annualized $613,407.60

All hourly rates used to calculate cost are the average hourly earnings in the Bureau of Labor Statistics’ management analyst occupational category within state and local government (July 2004, National Compensation Survey, U.S. Bureau of Labor Statistics, Supplementary Table 3.1).


Estimated Total Burden Hours (section 166):

Required Section 166 Activity/Report

Number of Respondents

Responses Per Year

Total Responses

Average Hours Per Response

Annual Burden Hours

ETA Form 9084 (CS)

127

4

508

24

12,192

SPIR Data

127

1

20,620

2.5

51,550

ETA Form 9085 (SYS)

85

12

1020

26

26,520

TOTAL





90,262


A.13 Estimated Cost to Respondents


  1. Start-up/capital costs: $0


There are no start-up costs, as ETA provides grantees with a NAWIA data collection and reporting system that grantees use to collect and maintain participant data, apply edit checks to validate the data, and generate all quarterly reports for electronic submission to the Department. Also, grantees submit Financial Status Reports via the Internet and EBSS.

  1. Annual costs: $0


There are no annual costs, as ETA is responsible for the annual maintenance costs for the NAWIA data collection and reporting system and EBSS. All costs to maintain and disclose these data are covered by the existing WIA section 166 grant funds.



A.14 Estimates of Annualized Costs to Federal Government


The annual costs of maintaining the NAWIA system and developing training and technical assistance guides, estimated to be $20,000, are borne by ETA.


ETA collects and maintains all quarterly reports through its Office of Performance and Technology’s on-line Enterprise Business Support System (EBSS). Since the electronic mechanisms for collecting and storing grantee performance data on a quarterly basis are already in place to support other ETA programs, the annualized cost to the Federal government to incorporate the INA reports will be minimal. The annual costs of maintaining the INA quarterly reports and records through EBSS, matching SPIR data with state UI wage records and other Federal employment databases, and generating quarterly performance reports for each grantee based on the common measures is estimated to be $115,000. For the quarterly performance reports (ETA Forms 9084, 9085), it is estimated that staff spend approximately 320 hours per quarter monitoring the data, providing technical assistance for grantee report submissions, preparing special aggregate reports for internal program management purposes, and generating specific responses to Congressional and other inquiries. Using an average hourly staff rate of $35.83, the estimated annual cost to the Federal government is $11,466. The hourly rate used to calculate cost is the average hourly rate for a GS-13 (Step 1) employee in the Federal service (based on 2005 GS locality pay schedules http://www.opm.gov/oca/05tables/.) The total estimated annual cost to the Federal government for this data collection is $20,000 + $115,000 + 11,466 = 146,466.


A.15 Changes in Burden


A few data elements specific to the Recovery Act requirements were added to ETA-9085, and reporting on this form will be submitted monthly rather than quarterly to more closely track progress. The increase in burden hours is due to the increase to monthly reporting for ETA-9085, and the change in estimated time to fill out the form from 24 hours to 26 hours. The amount of the increase is mitigated by the fact that the current number of non-profit operators of Indian and Native American Programs has dropped from 44 to 42, while the current number of tribal government grantees, the only grantees receiving funds for youth programs, has dropped from 98 to 85; the balance have transferred to the Bureau of Indian Affairs' accounting system. In addition, ETA-9080 is discontinued; it was replaced by ETA-9130, which is accounted for in OMB Control No. 1205-0461. Finally, there are no annual costs to respondents; this cost was inadvertently included in the previous submission and is now corrected.


A.16 Tabulation of Publication Plans and Time Schedules for the Project


Grantees will submit all performance reports on a quarterly basis to ETA within 45 days of the end of each quarter. Quarterly report data will be analyzed by ETA staff and used to evaluate performance outcomes and program effectiveness.

Each year, ETA issues an annual report summarizing program performance based on the Secretary’s goals. Data contained in the INA reports will be included in these reports. The data will also be used to prepare GPRA reports, management and budget reports, and other ad hoc reports. All aggregate reports will be made available on the Internet and accessible to the public.




Product


Submission Date


Comments


ETA Form 9084:

CS Program Report


Within 45 days after the end of the quarter.


SPIR Data


Within 45 days after the end of the quarter.

Quarterly program reports (ETA Forms 9084, 9085, and 9080) and SPIR data will be submitted electronically using ETA’s On-Line Enterprise Business Support System (EBSS).


ETA Form 9085:

SYS Program Report







Within 45 days after the end of the quarter and then monthly.





.


A.17 Approval Not to Display OMB Expiration Date


The expiration date for OMB approval will be displayed.


A.18 Exceptions to OMB Form 83-I


No exceptions are requested in the “Certification of Paperwork Reduction Act Submissions.”



  1. Collection of Information Employing Statistical Methods


This data collection does not employ any statistical methods.

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