Laserfiche WebLink
Note that a public function does not become a “substantially different use” merely because it is <br />provided from a different location or through a different manner. For example, although developing <br />online instruction capabilities may be a substantially different use of funds, online instruction itself is <br />not a substantially different use of public funds than classroom instruction. <br />4.May a State receiving a payment transfer funds to a local government? <br />Yes, provided that the transfer qualifies as a necessary expenditure incurred due to the public health <br />emergency and meets the other criteria of section 601(d) of the Social Security Act. Such funds <br />would besubject to recoupment by the Treasury Departmentif they have not been used in a manner <br />consistent with section 601(d) of the Social Security Act. <br />5.May a unit of local government receiving a Fund payment transfer funds to another unit of <br />government? <br />Yes. For example, a county may transfer funds to a city,town,or school district within the county <br />and a county or city may transfer funds to its State, provided that the transfer qualifies as a necessary <br />expenditure incurred due to the public health emergency and meets the other criteria of section 601(d) <br />of the Social Security Act outlined in the Guidance. For example, a transfer from a county to a <br />constituent city would not be permissible if the funds were intended to be used simply to fill shortfalls <br />in government revenue to cover expenditures that would not otherwise qualify as an eligible <br />expenditure. <br />6.Is a Fund payment recipient required to transfer funds to a smaller, constituent unit of government <br />within its borders? <br />No. For example, a county recipient is not required to transfer funds to smaller cities within the <br />county’s borders. <br />7.Are recipients required to use other federal funds or seek reimbursement under other federal <br />programs before using Fund payments to satisfy eligible expenses? <br />No. Recipients may use Fund payments for any expenses eligible under section 601(d) of the Social <br />Security Act outlined in the Guidance. Fund payments are not required to be used as the source of <br />funding of last resort. However, as noted below, recipients may not use payments from the Fund to <br />cover expenditures for which they will receive reimbursement. <br />8.Are there prohibitions on combining a transaction supported with Fund paymentswith other <br />CARES Act funding or COVID-19 relief Federal funding? <br />Recipients will need to consider the applicable restrictions and limitations of such other sources of <br />funding. In addition, expenses that have been or will be reimbursed under any federal program, such <br />as the reimbursement by the federal government pursuant to the CARES Act of contributions by <br />States to State unemployment funds, are not eligible uses of Fund payments. <br />2 <br /> <br /> <br />