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Coronavirus Relief Fund <br />Frequently Asked Questions <br />1 <br />Updated as of August 10, 2020 <br />The followinganswers to frequently asked questionssupplement Treasury’s Coronavirus Relief Fund <br />(“Fund”) Guidance for State, Territorial, Local, and Tribal Governments, dated April 22, 2020, <br />2 <br />(“Guidance”).Amounts paid from the Fund are subject to the restrictions outlined in the Guidance and <br />set forth insection 601(d) of the Social Security Act, as added by section 5001 of the Coronavirus Aid, <br />Relief, and Economic Security Act (“CARES Act”). <br />A. Eligible Expenditures <br />1.Are governments required to submit proposed expenditures to Treasury for approval? <br />No. Governments are responsible for making determinations as to what expenditures are necessary <br />due to the public health emergency with respect to COVID-19and do not need to submit any <br />proposed expenditures to Treasury. <br />2.The Guidance says that funding can be used to meet payroll expenses for public safety, public <br />health, health care, human services, and similar employees whose services are substantially <br />dedicated to mitigating or responding to the COVID-19 public health emergency.How does a <br />governmentdetermine whether payroll expenses for a given employee satisfy the “substantially <br />dedicated” condition? <br />The Fund is designed to provide ready funding to address unforeseen financial needs and risks created <br />by the COVID-19 public health emergency. For this reason, and as a matter of administrative <br />convenience in light of the emergency nature of this program, a State, territorial, local, or Tribal <br />government may presume that payroll costs for public health and public safety employees are <br />payments for services substantially dedicated to mitigating or responding to the COVID-19 public <br />health emergency, unless the chief executive (or equivalent) of the relevant government determines <br />that specific circumstances indicate otherwise. <br />3.The Guidance says that a cost was not accounted for in the most recently approved budget if the <br />cost is for a substantially different use from any expected use of funds in such a line item, <br />allotment, or allocation.What would qualify as a “substantially different use” for purposes of the <br />Fund eligibility? <br />Costs incurred for a “substantially different use” include,but are not necessarily limited to,costs of <br />personnel and services that were budgeted for in the most recently approved budget but which, due <br />entirely to the COVID-19 public health emergency, have been diverted to substantially different <br />functions. This would include, for example, the costs of redeploying corrections facility staff to <br />enable compliance with COVID-19 public health precautions through work such as enhanced <br />sanitationor enforcing social distancing measures; the costs of redeploying police to support <br />management and enforcement of stay-at-home orders; or the costs of diverting educational support <br />staff or faculty to develop online learning capabilities, such as through providing information <br />technology support that is not part of the staff or faculty’s ordinary responsibilities. <br /> <br />1 <br />On August 10, 2020, these Frequently Asked Questions were revised to add Questions49–52. The previous <br />revision was made on July 8. <br />2 <br />The Guidance is available at https://home.treasury.gov/system/files/136/Coronavirus-Relief-Fund-Guidance-for- <br />State-Territorial-Local-and-Tribal-Governments.pdf. <br />1 <br /> <br /> <br />