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From: Research <research(a)utsa.edu>
Date: Monday, February 10, 2025 at 8:27 PM
To: Jill Johnstone King <jill.johnstoneking(a)utsa.edu>, Lori Schultz
<lori.schultz(a)utsa.edu>, Diana Huffaker <diana.huffaker(a)utsa.edu>
Subject: NIH Guide Notice on F&A Rates – Impact on Your Grant
[cid:311f3406-7d0d-49b3-b001-6ad0f423263e]
Dear Colleagues,
On Friday, the National Institutes of Health (NIH) released a guide
notice<https://grants.nih.gov/grants/guide/notice-files/NOT-OD-25-068....
announcing a standardized 15% Facilities & Administrative (F&A) cost rate,
replacing previously negotiated rates. This change is stated to apply to all current
grants for go-forward expenses starting February 10, 2025, as well as all new NIH grants
moving forward.
We understand that this raises concerns about the financial and administrative impact on
your projects. Your research is at the heart of our mission, driving discovery,
innovation, and impact across disciplines. F&A costs are vital to sustaining a robust
research enterprise, supporting essential infrastructure, compliance, and administrative
functions that make high-quality research possible. The uncertainty surrounding this
change has created significant discussion across the research community, and we want to
assure you that we are fully engaged in monitoring the situation. Legal challenges have
already been filed, and we anticipate further developments in the coming weeks.
Although the outcome of these actions remains uncertain at this moment, we are working
closely with our peers and external partners to advocate for fair reimbursement.
Additional context and background is available on the Federal Research Policy Update
page.<https://utsacloud-my.sharepoint.com/:u:/g/personal/jill_johnston...
Background:
F&A costs, also referred to as indirect costs, are vital to the research enterprise.
They cover essential infrastructure and administrative support needed to conduct
high-quality, compliant, and safe research. Without adequate F&A reimbursement,
universities must absorb these expenses from other funds, potentially limiting the scope
and impact of the direct research activities and investment in our research enterprise
because of redirecting resources to cover expenses.
For your awareness, the AAMC provides the following position
statement<https://www.aamc.org/news/press-releases/aamc-statement-dras...
and resources about facilities and administrative (F&A) expenses on the AAMC’s
website<https://www.aamc.org/what-we-do/mission-areas/medical-research...;,
including:
1. About Facilities and Administrative
Costs<https://www.aamc.org/what-we-do/mission-areas/medical-research/f...
2. Fact Sheet: Facilities and Administrative Costs of
Research<https://www.aamc.org/media/81711/download?attachment>
3. Frequently asked
questions<https://www.aamc.org/media/81716/download?attachment> (FAQ)
4. A
comparison<https://www.aamc.org/media/81721/download?attachment> of foundations’
support for F&A to government support
5. An infographic
illustrating<https://www.aamc.org/media/81706/download?attachment> what types of
expenses are and are not supported by F&A reimbursement.
Our Ongoing Response
Our leadership team is working closely with UT System, legal affairs, our federal
consultants, and national research organizations to assess the implications and advocate
for our research community. As you might imagine, national higher education associations,
including the Association of American Universities (AAU), the American Council on
Education (ACE), the Association of Public and Land-grant Universities (APLU), and the
Association of American Medical Colleges (AAMC), have expressed concerns about this new
15% cap. Legal challenges to halt or modify the policy appear likely, and we anticipate
further developments in the coming weeks. We will continue to monitor these discussions
closely and communicate directly with impacted researchers as we receive more
information.
Key Considerations for NIH-Funded Researchers
· Proposal Submissions: Until we issue further guidance, all NIH
proposals should continue to be submitted in accordance with UTSA’s full F&A rate.
Applications for fellowships and training grants should be submitted with their stipulated
rates.
· New, Continuing, and Supplemental Awards: The Office of Sponsored
Projects (OSP) will hold any NIH awards that specifically reference the 15% F&A rate
until this issue is resolved. This includes pass-through awards where UTSA is a
subrecipient. OSP will not set up pre-award accounts for these awards.
· Budget Implications: We recommend that investigators continue to
prepare proposals based on current guidelines. If changes are implemented, existing and
future budgets may need adjustments, but OSP will provide guidance to ensure a smooth
transition.
Next Steps
We know that uncertainty around funding policies can be frustrating, but please know that
we are watching this issue closely and will continue to advocate for the great work being
done here at UTSA. We will provide updates as soon as definitive information becomes
available.
If you have immediate concerns regarding your NIH-funded projects, please contact your
program officer or sponsor contact.
For UTSA-specific questions, Lori Schultz, Senior Associate Vice President for Research
Administration, is monitoring the situation and is available to assist. Thank you for your
patience as we navigate this evolving situation. We understand the challenges this may
present and will continue to share information and guidance as we learn more.
Sincerely,
[cid:daa0a89b-3356-452d-bf19-169a9a239806]
JoAnn Browning, Ph.D., P.E., Dist.M. ASCE
Interim Vice President for Research
The University of Texas at San Antonio
Office of Research
One UTSA Circle
San Antonio, TX 78249-3209
[Creating Bold Futures]