Date post: | 16-Dec-2015 |
Category: |
Documents |
Upload: | violet-daniels |
View: | 219 times |
Download: | 3 times |
The Role of State Agencies in Post-Issuance Compliance
Georgia State Financing and Investment Commission
Agenda
I. Use of Bond Proceeds
II. Post Issuance Compliance a. Definitionb. Importancec. Elements of a Post-Issuance compliance program
III. Asset Tracking
IV. Expenditures Eligible for Reimbursement
V. Spend-Down
VI. Private Use Restrictions
VII. Fall Bond Sale
VIII. Questions
2
Use of Bond Proceeds
• As part of agency request for bonds to be sold, agencies certify, in their board resolutions, to the following:
• Project is ready and proceeds will be spent timely• Proceeds will be used for qualified tax-exempt use
and no private use will occur• No private use has occurred in previously financed
projects• Life of assets will equal the life of the bonds
3
What is Post-Issuance Compliance?
• For GSFIC: policies and procedures to ensure bond-funded projects maintain compliance with state and federal law over the life of the bonds.
• For agencies receiving proceeds: A process for ensuring adequate records exist to document the use of bond proceeds and compliance with applicable state and federal law.
4
Why is Post-Issuance Compliance Important?
IRS is increasing its efforts to make sure issuers are complying with federal tax regulations on an on-going basis for the life of the bonds
ARRA bonds likely audited
IRS audits can be expensive, difficult, and time consuming
State’s AAA credit and reputation with investors
5
Georgia’s Reputation : One of only eight triple AAA States
Georgia North Carolina Virginia Maryland Delaware Missouri Utah Iowa
6
American Recovery and Reinvestment Act (ARRA)
The $787 billion American Recovery and Reinvestment Act (ARRA, or as it is more often called, the Stimulus Bill) was signed into law by President Obama on February 17, 2009.
One purpose of the Act was to lower borrowing costs for state and local governments and governmental agencies to encourage them to initiate capital projects and increase employment in the construction industry.
ARRA created incentives for K-12 projects, energy renewal projects and economic development projects by creating deep interest rate subsidies to governmental issuers.
7
Georgia’s ARRA Issuance to Date
TYPE OF BOND ISSUANCE TO DATE(FEDERALLY TAXABLE
DIRECT PAY)
BABs Build America Bonds(35% Interest Subsidy)
$756,956,000
RZEDBs Recovery Zone Economic Development Bonds (45% Interest Subsidy)
$136,535,000
QSCBs Qualified School Construction Bonds (100% Interest Subsidy)
$105,755,000
QECBs Qualified Energy Conservation Bonds(70% Interest Subsidy)
$0
8
Elements of GSFIC’s Post-Issuance Compliance Program
Written policies and procedures Investment and Arbitrage Rebate compliance Expenditure and Asset Records Private business use compliance Retention guidelines (life of bonds + 5 yrs.)
9
Post Issuance Compliance - continued
For all state agencies receiving bond proceeds, GSFIC needs your help in four (4) important areas:
o Asset Trackingo Expenditures Eligible for Reimbursemento Spend-Downo Private Use Restrictions
10
Asset Tracking
For each bond issue, the State must keep records documenting the:
o actual assets financed with bond proceedso actual placed in service dateso expected economic lives of the assets
11
Asset Tracking- continued
Before any payment from bond proceeds, state agencies are required to:
● submit to GSFIC a preliminary Asset Tracking Form via eBonds not later than the first request for payment submitted for a project.
At project completion or on an ongoing basis:
● submit the final Asset Tracking Form with the final request for reimbursement,
● maintain up-to-date records at the Agency as to the location, disposition, or transfer of any project or equipment financed with bond proceeds while those bonds are outstanding, and
● retain copies of all Asset Tracking Forms together with all other required project documentation for five (5) years after the final bond payment date.
12
Expenditures Eligible for ReimbursementSAO Policy: http://sao.georgia.gov/vgn/images/portal/cit_1210/44/28/156958065AM_GSFIC.pdf
GSFIC Reimbursement Policy:http://gsfic.georgia.gov/vgn/images/portal/cit_1210/20/50/122070564Request%20for%20Reimbursement.pdf
It is the responsibility of GSFIC to determine if payments made for projects are reimbursable from general obligation bond proceeds for projects managed by GSFIC, as well as for projects managed by an Agency.
The authorization of the bonds in the Appropriations Act controls the use of bond proceeds.
Legislative and gubernatorial intent are also considered.
Only capital expenditures can be reimbursed from general obligations bonds proceeds. Agency operational expenditures may not be paid from bond proceeds. Examples of capital expenditures include:
o Acquisition of lando Construction of new buildings, renovation of existing buildingso Equipment with a useful life commensurate with the term of the bondso Fixed or loose equipment directly associated with new construction or renovation projectso Professional services as design, engineering, commissioningo Initial landscapingo Parking lots
Useful life of asset should match life of bonds.
13
Expenditures Eligible for Reimbursement- continued (Purchase of Vehicles)
When tax-exempt bonds are used to purchase cars, vans, or buses, those vehicles must be used for the governmental purpose of the agency during the period the bonds are outstanding.
The vehicles may not be leased to, or used by, private parties for non-governmental activities during that period.
If the vehicles are no longer needed (or are no longer available for use due to wear or tear, damage, etc.) and/or are sold or disposed of for cash before the final maturity of the bonds financing the initial vehicle purchase, the agency must spend the amounts received from the disposition on vehicles or other capital equipment used for the governmental purpose of the agency.
The agency must maintain records of the amounts received pursuant to the disposition of the vehicles and the expenditures made with those funds. The agency also must maintain records for the secondary equipment purchased (through the final maturity of the bonds financing the initial vehicle purchase).
14
Expenditures Ineligible for Reimbursement
Examples of operating expenditures NOT eligible for reimbursemento Personal serviceso Lease paymentso Maintenance agreements for copiers or computerso Depletable/disposable itemso Moving Costso Decorative itemso Office supplieso Fuel oilo Termite inspectionso Drug tests for employeeso Annual fire inspectionso Lab monkeys
15
IRS Spend Down Requirements for GO Bond Proceeds GSFIC issues the State’s general obligation bonds under “the three-year
spend down rule.” Under this rule it is expected that the construction of the projects will be completed within three years of issuance.
Further, Federal arbitrage regulations require that the State affirm that the State’s bond proceeds for capital projects be spent as follows:
o 5% spent (or contractually obligated) within six months of issuance;o 85% spent within three years of issuance; and o 100% spent within five years.
The redirect and compliance exchange processes are mechanisms to help agencies meet these deadlines in the event a project is delayed.
After five years, any unspent bond proceeds will be returned to GSFIC and used to retire debt.
16
Spend-Down - continued In accordance with the State Accounting Office’s Statewide Accounting
Directive regarding Interagency Receivables and Payables, requests for reimbursement should be sent to GSFIC on a periodic basis, preferably monthly, but at a minimum, quarterly.
Requests for reimbursement that are not received in a timely manner, or contain invoices over one hundred twenty (120) days old will require additional justification.
GSFIC will review requests for reimbursement promptly and, if deemed a proper application of general obligation bond proceeds, will authorize payment within 30 days of the request for reimbursement date. If part, or all, of a request for reimbursement is denied by GSFIC, the denied expenditure will remain the responsibility of the Agency.
When in doubt – ASK!
17
Private Use Restrictions
Private Business Use, as defined by the Tax Code is the use (directly or indirectly) of a facility financed with tax-exempt bonds in a business or trade carried on by a non-governmental user.
State Agencies in their board resolutions certify that the projects financed with GO Bonds will not be used for any non‑governmental purpose, or any purpose that would give rise to private business use.
GSFIC must be notified and approval granted, in advance, for all proposed instances of private business use.
18
Private Use Restrictions- continued Private Use may include:
o management or service contractso leaseso research contracts (including any with federal government)o parking contractso use of space within a public use facility by a private citizen or
company for the operation of a business enterprise, even if that enterprise serves the visiting public, agency clients or customers, or state employees
o naming rights for buildings and athletic facilitieso use by the federal governmento other examples include: food services located in a bond funded
facility operated by a private vendor, prison facility operated by a private vendor, land leased to a private entity. (janitorial services ok)
19
Private Use Restrictions-continued
One way to accommodate private business use is through the use of “Qualified Management Agreements.” (QMAs)
In general, for a management, service, research or parking contract to be a QMA, the compensation for services rendered must:
o be reasonable,
o not give the service provider ownership interest in the financed facility, or
o not provide for compensation based in whole or in part on a share of the net profits of the operations of the facility.
20
Fall Bond Sale
Agency requests due September 9th
Total requests = $253,800,000o 5 year bonds = $41,800,000o 20 year bonds = $212,000,000
Sale expected early November
Proceeds should be available early December
21
QUESTIONS?