| TABLE OF CONTENTS | ||
I. State Aid Programs that Reimburse Districts for Computer Technology Expenses |
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| Instructional Computer Hardware and Technology Equipment Aid | 1 | |
| Building Aid for Computer Technology | 3 | |
| Aid for Computer Software Purchases | 4 | |
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Computer Administration Aid for Large 5 City School Districts and Non-Components of BOCES |
5 | |
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II.
Additional Recommendations to School Districts Regarding Claims For
State Aid Programs that Reimburse Districts for Computer Technology Expenses |
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Aid is based on the lesser
of actual purchase or lease expenses in the base year or a maximum aid based
on wealth ratio, technology factor ($24.20 in 2007-08) and the number of
public and non public students attending schools in the district in the prior
year. Expenditures for repair and staff development may constitute up to
20% of the calculated maximum aid.
The aid is paid in the spring
of the aid year together with the Textbook, Software and Library aid payments.
To see your district’s
aid calculation on the State Aid Web site (http://stateaid.nysed.gov), choose
the output report titled Instructional Computer Hardware and
Technology Equipment Aid on your district page..
·
Purchase
or lease of micro and /or mini computer equipment or terminals for
instructional purposes, including: mini-computers; microcomputers; peripheral
devices, including printers, video display plotters, and desk storage units;
telecommunications hardware, including modems;
special hardware boards;
cables; audio, video,
touch-sensitive and other electronic to human machine interface hardware; and other such computer
hardware as may be required for the operation of a computer- based
instructional program.
·
Technology
equipment used for instructional purposes, defined as: equipment with a useful
life, used in conjunction with/in support
of educational programs including but not limited to video, solar energy,
robotic, satellite, laser and such other equipment as the commissioner shall approve,
provided that expenses for the purchase or lease of such equipment shall not be
used to claim any other aid.
·
Repair
of technology equipment, defined as: the diagnosis of required repairs and the
acquisition and replacement of parts of a nonfunctioning item of computer
hardware, as defined above. (Repairs must render the hardware functional at a
cost that is significantly less than total replacement.)
·
Training
and staff development for instructional
purposes.
·
Some
examples of purchases that could be claimed for aid, with parenthetical
justification: Mouse for computer used for instructional purposes (a peripheral
device); computer tables/workstations/desks for use with computers used for
instructional purposes (desk storage units); TV/VCR brackets for mounting (if
required for operation); printer cartridges for printers used to print from
computers used for instructional purposes (required for operation); RAM
upgrades for computers used for instructional purposes (special hardware
board); expenses for technology conference (if conference is staff development
for instructional purposes); maintenance contracts for older equipment (if
determined to fit within the definition of “repair” and if term does not exceed
the period of probably usefulness); service contracts for hardware used for
instructional purposes (if services fit the definition of repair and if the
contract does not exceed the period of probable usefulness).
·
Some
examples of purchases that could not be claimed for aid, with parenthetical
justification: Internet connectivity (not hardware or equipment), T1
communication line access and use (not hardware or equipment), e-mail services
(not hardware or equipment), mileage (not hardware or equipment), IT director
(not hardware or equipment), carts for mobile computers (no, unless required
for the operation of a computer-based instructional program; i.e., multiple
classrooms need the computers to implement the program requiring computers to
be moved in order to be used), consultant fees (not hardware or equipment);
expenses aided under BOCES technology COSERS.
C. Distinguishing between hardware and equipment for instructional versus non-instructional purposes
1. Both the law and regulation pertaining to this aid clearly state that expenditures for all equipment, repair and staff development claimed for this aid must be for instructional purposes only. Due to advances in computer technology, there may be situations where a particular equipment purchase supports both instructional and non-instructional use. In such instances, districts should claim for purposes of this aid only the instructional portion of the expense, as determined by applying a reasonable method of proration.
2. The law and regulation include the following terms as guidance for determining aid eligibility: “used for instructional purposes,” “used in conjunction with or in support of educational programs” and “ …required for the operation of a computer-based instructional program. Based on the intent of the law and on the technology now in use in the schools, expenditures eligible for aid include expenditures for:
· Computers and other technology equipment used by students for purposes directly associated with their instructional program or Individual Education Program (IEP) in the case of students with disabilities. Examples of eligible purchases: computers for students supporting a computer-based science curriculum, computers with web access for in-class social studies research, computers with remedial reading or reinforcing software; video equipment used by a teacher to present the instructional program.
· Examples of hardware/equipment purchases that would not be considered instructional: computers supporting bus routing software, computers used by business office staff, computers used by administrative staff for attendance recordkeeping and reporting, computers used by subject area department heads.
3. Districts must be able to
document purchases claimed for reimbursement under Instructional Computer
Hardware and Technology Equipment Aid, including staff development expenses,
and must be able to demonstrate that the purchases are being used in a manner
consistent with the guidelines presented above.
D. Where to report expenditures for this aid
Report the expenditures for this aid in the following ST-3 / DEA locations:
Schedule
A4, General Fund
A2630.22 State Aided Computer Hardware – Purchase
A2630.4 Contractual and Other - State Aided Computer Hardware – Lease
A2630.4 Contractual and Other - State Aided Computer Hardware – Repair
A9785.6 Installment Purchase Debt – Principal - State Aided Computer Hardware
A9785.7 Installment Purchase Debt – Interest - State Aided Computer Hardware
Schedule
F2, Debt Service Fund
V9785.6 Installment Purchase Debt – Principal - State Aided Computer Hardware
V9785.7 Installment Purchase Debt – Interest - State Aided Computer Hardware
DEA, Form F
(Financial Data)
Entry 141 State Aided Computer Hardware – Staff Development
E.
Deadlines
for submission
Expenses should be submitted
with the district’s State Aid claim by September 1 of the claim
year. State aid claims, including ST-3 and Form F data, must be submitted to
State Aid by no later than June 30th of the aid year to be eligible
for payment as a current year aid. For
example, claims for the aid year 2007-2008 must be submitted by June 30, 2008
to be paid as a 2007-2008 current aid payment.
Statute of Limitation: After
June 30th of the aid year, claims for aid payments must be submitted
no later than one year after the close of the school year for which aid is
being claimed. Any payment resulting
from claims after June 30th will be processed as a prior year revision and not
a current year aid payment. For example,
claims for the aid year 2007-2008 must be submitted by June 30, 2009 in order
to be eligible for State Aid payments.
Certain expenditures for
computer equipment may be included in approved expenditures for Building Aid if
the cost is less than $10,000 but the installation is part of a larger
construction project whose cost does exceed $10,000. Such installations for
which the cost is greater than $10,000 are also eligible if the specific
installation is approved by the Commissioner; i.e., is a project that has been
approved by the Facilities Planning Office.
B. Aidable expenditures based on Education Law 3602 (6)b(1)
·
Incidental
costs for computer equipment installed as original equipment in a new building
or a new addition;
·
For
approved computer classrooms in new buildings/additions, or alterations to an
existing classroom to create a new computer classroom: the incidental costs for
original purchase and installation of hardware (including computer hardware)
and conduit, wiring, powering and testing of hardware installations;
·
For
building-wide and campus-wide local area network (LAN) systems wiring, and
in-building elements of other wide area networks (WAN): the original purchase
and installation of conduit, wiring, powering and testing of hardware
installations, network server and operating system software
·
Such
expenses claimed for Building Aid shall not be claimed for other aid; e.g.,
expenses cannot be claimed for Computer Hardware and Technology Equipment Aid
or Software Aid, etc...
·
An
approved construction project must be established in order to claim these
expenses under Building Aid. Please contact the Facilities Planning Office at
518-474-3906 for more information.
These expenses become aidable project expenses once a construction project has been approved by the Facilities Planning Office, and should be included in any procedural reporting of project costs, estimated and actual.
D. Deadlines for submission
Costs associated with
technology projects as described in this section should be included in total
estimated project costs at the outset of the project approval process. The
final deadline for adjusting these costs would be the deadline for submission
of the final cost report for the project. For more information on final cost
report due dates, visit the Facilities Planning website at
www.emsc.nysed.gov/facplan/.
Software Aid is the lesser of a district’s prior year reported expenditures or $14.98 X the number of public and nonpublic students attending schools in the district in the prior year.
B. Aidable expenditures based on Education Law 751 and 8 NYCRR 21.3
·
The
purchase price of prepared educational programs that are subject-oriented, for
use by students in conjunction with computers; such programs shall be required
for use as a learning aid in a particular class or program;
·
The
cost of freight or postage for transporting the software from the vendor to the
district is aidable; however, expenditures relating to distribution, storage,
recordkeeping or administration may not be included for computer software aid
purposes, but they may be included for regular operating aid purposes;
ADDITIONAL NOTES ON SOFTWARE EXPENDITURES:
1.
Computer
software programs which are religious in nature or content shall not be
purchased or loaned by a school district
2.
Districts
must maintain a separate record of expenditures incurred from Aid for Computer
Software Purchases
3.
School
districts are not required to purchase or acquire software programs, the cost
of which exceeds $14.98 X the number of public and nonpublic students
attending schools in the district in the prior year. Software purchased or
acquired must be loaned to public and nonpublic students on an equitable basis.
ST-3 Annual
Financial Report General Fund Schedule A-4 at A2630.46 (State
Aided Computer Software)
D. Deadlines for submission
Expenses should be submitted with the rest of the district’s State Aid claim by September 1 of the claim year. Pursuant to Education Law Section 751 (4), the aid amount for each district must be frozen on April 30th of the current aid year (e.g., April 30, 2008 for 2007-08 aid). Therefore, changes to ST-3 expenditures generating Software Aid must be received in the State Aid Unit before that date.
Computer Administration Aid for Large 5 City School Districts and Non-components of BOCES
A. About the aid
The city school districts of
those cities having populations in excess of one hundred twenty-five thousand
inhabitants, and any other school district which was not a component of a board
of cooperative educational services in the base year, are eligible for Computer
Administration Aid.
An aid ratio is multiplied by the lesser of (1) expenses for approved computer services in the base year or (2) the maximum allowable expense equal to the product of $62.30 and the enrollment of pupils attending the districts’ public schools in the base year.
The aid is paid as part of General Aid. To see your district’s aid calculation on the State Aid Web site: choose the output report titled: General Formula Aid Output Report(GEN).
B. Aidable
expenditures based on NYCRR 175.17
(1)
The
following services related to pupil records:
·
maintenance
and reporting of basic student data;
·
maintenance
and reporting of attendance;
·
test
scoring and reporting; and
·
student
scheduling;
(2)
The
following services related to employee records:
·
maintenance
and reporting of attendance; and
·
substitute
teacher scheduling;
(3)
The
following services related to central business administration:
·
accounting;
·
recordkeeping;
·
payroll
information; and
·
retirement
systems records;
(4)
Administrative
costs actually incurred, up to a maximum of five percent of the cost of all
other services which are approvable in accordance with this subdivision; and
(5) Such other services as
may be approved by the commissioner.
ADDITIONAL NOTES ON COMPUTER ADMINISTRATION EXPENDITURES:
1.
Computer
services approved for Computer Administration Aid shall not be used to claim
reimbursement under the provisions of any other law or regulation.
2. A certification report of actual expenditures for Computer Administration Aid and the administrative portion of such expenditures, must be submitted to the office of State Aid.
Expenditures should be
reported on Form F #157 of the State Aid Data Entry Assistant.
Expenses should be submitted with the district’s State Aid claim by September 1 of the claim year.
Statute of Limitation: Claims
for aid payments must be submitted no later than one year after the close
of the school year for which aid is being claimed. Any payment resulting from claims after the
end of the aid year will be processed as a prior year revision and not a
current year aid payment. For example, revisions to actual 2006-07 expenditures
for Computer Administration Aid claims for the aid year 2007-2008 must be
submitted by June 30, 2009 in order to be eligible for State Aid
payments/adjustments.
II.
ADDITIONAL RECOMMENDATIONS
TO SCHOOL DISTRICTS REGARDING CLAIMS FOR STATE AID PROGRAMS THAT REIMBURSE
DISTRICTS FOR COMPUTER TECHNOLOGY EXPENSES*
A. Establish the eligibility of technology related expenditures to ensure appropriate coding/reporting at the time of disbursement, especially where purchases or services have eligible and ineligible components.
B. Adopt comprehensive written policies and procedures governing the accountability and safeguarding of inventory items. These should address acquisition, use, control, protection, maintenance and disposal of outdated or unusable equipment.
C. Establish and maintain a perpetual inventory control record for all technology equipment, including procedures to add equipment received and remove equipment that is disposed of in a timely manner.
D. Institute procedures to take and record items immediately upon receipt.
E. Conduct periodic physical inventories and reconcile the results to the perpetual inventory control record to verify the appropriate location of equipment. Determine whether any equipment is missing and verify the accounting for recent purchases.
F. Review the processes for identifying, recording and reporting aid-eligible technology expenditures to ensure that the district receives the appropriate amount of aid.
G. Ensure that sufficient documentary evidence for cost allocation determinations is available for review.
H. If purchasing equipment through BOCES as a shared service, perform an adequate analysis to demonstrate that the purchasing the equipment through BOCES is cost-effective without regard to the availability of State Aid. (Education Law Section 1950 4.d. (2-a) requires the component school district to demonstrate that expenditures for certain technology categories are more cost effective through BOCES, without considering State Aid, than procuring the goods or services directly.)
* Based on recommendations
made in the Audit of State Aid for Computer Technology completed by the Office
of the State Comptroller in March 2003.