Summary of Changes to SSBCI Application and SSBCI Allocation Agreement
As a result of internal conversations and a holistic review of
the reporting requirements, the SSBCI Program changed the data
captured in the Quarterly Reporting, Section 4.7 of the Allocation
Agreement and the Annual Report, Section 4.8 of the Allocation
Agreement. These changes can be broadly categorized as accomplishing
the following:
The State Small Business Lending Fund Program and the SSBCI
Program have harmonized their definitions to provide more clarity
about the scope of individuals who must issue the statutory
certification.
The new language reflects the addition of the SSBCI Policy
Guidelines to the section of the agreement which references the
national standards. With these changes, the states must comply with
the SSBCI Policy Guidelines and later revisions to them, the national
standards (once created) and financial management systems.
The new language in Section 8.2 of the Allocation Agreement
provides additional clarity that the Application and any changes or
supplements thereto is incorporated into the “Entire
Agreement”.
The new language in Section 8.3 of the Allocation Agreement provides additional clarity about process and form for amendments.
The Allocation Agreement now includes 2 new annexes: (1) a form
of legal opinion that will be considered satisfactory to Treasury is
now included in the Allocation Agreement; (2) the new annual
reporting requirements necessitated additional explanation of
calculations for purposes of determining leverage calculations with
respect to subsequent year reporting.
The SSBCI Application is revised to clarify the kind of
information the SSBCI Program needs in the letter from the governor,
or chief executive of a territory or municipality designating the
appropriate agency(s) to run the SSBCI-supported programs.
The SSBCI Application is revised to be more specific about the
kind of information the SSBCI Program requests to respond to
questions about outreach to underserved communities and to clarify
that this outreach requirement applies to both CAPs and OCSPs.
The SSBCI Application is revised to clarify the kind of
information the SSBCI Program needs when analyzing the narrative
description of applicant OCSPs.
The SSBCI Application is revised to reflect an expanded time
horizon for applicants to consider when responding to questions about
the reasonableness of the leverage expectation calculations.
The SSBCI Application is revised to require financial statements and audits from applicants when such documents are referenced as evidence demonstrating the sufficiency of internal controls for an existing program.
The SSBCI Application adds a new section for applicants to
include a narrative statement from the applicant relating to its plan
to meet the reporting requirements and other covenants included in
the agreement.
File Type | application/vnd.openxmlformats-officedocument.wordprocessingml.document |
Author | Reference |
File Modified | 0000-00-00 |
File Created | 2021-02-01 |