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9.Are States permitted to use Fund payments to support state unemployment insurance funds <br />generally? <br />To the extent that the costs incurred by a state unemployment insurance fund are incurred due to the <br />COVID-19 public health emergency, aState may use Fund payments to make payments toits <br />respective state unemployment insurance fund, separate and apart from such State’s obligation to the <br />unemployment insurance fund as an employer. This will permit States to use Fund payments to <br />preventexpenses related to the public health emergency fromcausingtheirstate unemployment <br />insurance fundsto become insolvent. <br />10.Are recipients permitted to use Fund payments to pay for unemployment insurance costs incurred <br />by the recipient as an employer? <br />Yes, Fund payments may be used for unemployment insurance costs incurred by the recipient as an <br />employer(for example, as a reimbursing employer)related to the COVID-19 public health <br />emergency if such costs will not be reimbursed by the federal government pursuant to the CARES <br />Act or otherwise. <br />11.The Guidance states that the Fund may support a “broad range of uses” including payroll <br />expenses for several classes of employees whose services are “substantially dedicated to mitigating <br />or responding to the COVID-19 public health emergency.” What are some examples of types of <br />covered employees? <br />The Guidance provides examples of broad classes of employees whose payroll expenses would be <br />eligible expenses under the Fund.These classes of employees include public safety, public health, <br />health care, human services, and similar employees whose services are substantially dedicated to <br />mitigating or responding to the COVID-19 public health emergency.Payroll and benefit costs <br />associated with public employees who could have been furloughed or otherwise laid offbut who were <br />instead repurposed to perform previously unbudgeted functions substantially dedicated to mitigating <br />or responding to the COVID-19 public health emergency are also covered. Other eligible <br />expenditures include payroll and benefit costs of educational support staff or faculty responsible for <br />developing online learning capabilities necessary to continue educational instruction in response to <br />COVID-19-related school closures.Please see the Guidance for a discussion of what is meant by an <br />expense that was not accounted for in the budget most recently approved as of March 27, 2020. <br />12.In some cases, first responders and critical health care workers that contract COVID-19 are <br />eligible for workers’ compensation coverage. Is the cost of this expanded workers compensation <br />coverage eligible? <br />Increased workers compensation cost to the government due to the COVID-19 public health <br />emergency incurredduring the period beginning March 1, 2020, and endingDecember 30, 2020,is an <br />eligible expense. <br />13.Ifa recipient would have decommissioned equipment or not renewed a lease on particular office <br />spaceor equipmentbut decides to continue to use the equipment or to renew the leasein orderto <br />respond to the public health emergency, are the costs associated with continuing to operate the <br />equipment or the ongoing lease payments eligible expenses? <br />Yes.To the extent the expenses were previously unbudgeted andare otherwise consistent with <br />section 601(d) of the Social Security Act outlined in the Guidance, such expenses would beeligible. <br />3 <br /> <br /> <br />