Laserfiche WebLink
<br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br />Local Assistance Procedures Manual Exhibit 10-K <br /> Consultant Annual Certification of Indirect Costs and Financial Management System <br />EXHIBIT 10-K CONSULTANT ANNUAL CERTIFICATION OF <br />INDIRECT COSTS AND FINANCIAL MANAGEMENT SYSTEM <br />(Note: If a Safe Harbor Indirect Cost Rate is approved, this form is not required.) <br />Consultant’s Full Legal Name: <br />Important: Consultant means the individual or consultant providing engineering and design related <br />services as a party of a contract with a recipient or sub-recipient of Federal assistance. Therefore, the <br />Indirect Cost Rate(s) shall not be combined with its parent company or subsidiaries. <br />Indirect Cost Rate: <br />Combined Rate % OR <br />Home Office Rate % and Field Office Rate (if applicable) % <br />Facilities Capital Cost of Money % (if applicable) <br />Fiscal period * <br />* Fiscal period is annual one year applicable accounting period that the Indirect Cost Rate was developed (not <br />the contract period). The Indirect Cost Rate is based on the consultant’s one-year applicable accounting period <br />for which financial statements are regularly prepared by the consultant. <br />I have reviewed the proposal to establish an Indirect Cost Rate(s) for the fiscal period as specified above and have <br />determined to the best of my knowledge and belief that: <br />• All costs included in the cost proposal to establish the indirect cost rate(s) are allowable in <br />accordance with the cost principles of the Federal Acquisition Regulation (FAR) 48, Code of <br />Federal Regulations (CFR), Chapter 1, Part 31 (48 CFR Part 31); <br />• The cost proposal does not include any costs which are expressly unallowable under the cost <br />principles of 48 CFR Part 31; <br />• The accounting treatment and billing of prevailing wage delta costs are consistent with our <br />prevailing wage policy as either direct labor, indirect costs, or other direct costs on all federally- <br />funded A&E Consultant Contracts. <br />• All known material transactions or events that have occurred subsequent to year-end affecting the <br />consultant’s ownership, organization, and indirect cost rates have been disclosed as of the date of <br />this certification. <br />I am providing the required and applicable documents as instructed on Exhibit 10-A. <br />Financial Management System: <br />Our labor charging, job costing, and accounting systems meet the standards for financial reporting, accounting <br />records, and internal control adequate to demonstrate that costs claimed have been incurred, appropriately <br />accounted for, are allocable to the contract, and comply with the federal requirements as set forth in Title 23 <br />United States Code (U.S.C.) Section 112(b)(2); 48 CFR Part 31.201-2(d); 23 CFR, Chapter 1, Part 172.11(a)(2); <br />and all applicable state and federal rules and regulations. <br />Our financial management system has the following attributes: <br />• Account numbers identifying allowable direct, indirect, and unallowable cost accounts; <br />• Ability to accumulate and segregate allowable direct, indirect, and unallowable costs into separate cost <br />Page 1 of 2 <br />March 2018 <br />EXHIBIT 1