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In general, individuals receiving benefit payments or other types of Federal awards are <br />excluded from reporting information under Section 1512 of the Act. In certain cases, <br />individual loan recipients (as either prime- or sub - recipients) may be required to comply <br />with Section 1512 reporting requirements — for example, if the recipient is a sole <br />proprietorship. Individuals other than sole - proprietorships are not subject to Section <br />1512 reporting requirements, for example individuals receiving direct loans for purchase <br />or refinancing of a single family home. <br />The relevant Federal agency managing a loan program with Recovery Act dollars must <br />issue supplemental guidance detailing instances in which individual recipients of loan <br />funds (including 100 percent guaranteed loans financed through the Federal Financing <br />Bank) are required to meet the requirements of Section 1512 and this Guidance. <br />The Federal agency or prime recipients awarding funds to individuals will report the <br />aggregated amounts disbursed to individuals. Section 2.4 of this Guidance provides <br />further instruction on aggregate reporting for prime- or sub - recipients. <br />As mentioned in Section 1.3, a list of Federal programs subject to the Recovery Act <br />recipient reporting requirements will be published on OMB's website and <br />www.Recovery.gov as supplemental material to this Guidance. There are some Federal <br />programs that received Recovery Act funds that do not appear on the list. These include <br />mandatory programs, programs and accounts directly used in the operations of Federal <br />agencies, programs contained in Division B of the Act, and other programs providing <br />benefits to individuals, which are specifically not subject to the Section 1512 reporting <br />requirements. The Federal agencies awarding funds for these programs will continue to <br />report the amounts disbursed for these programs and this information will be available to <br />the public on www.Recoveiy.gov. <br />2.3 What are the respective responsibilities of prime recipients and sub - recipients <br />in meeting Section 1512 reporting requirements? <br />The accompanying illustration demonstrates the basic framework for prime recipient and <br />sub - recipient reporting. <br />