Title 2 published on 02-May-2017 03:25
The following are
ALL rules, proposed rules, and notices (chronologically) published in the Federal Register relating to 2 CFR Part 3485 after this date.
2012-03-28; vol. 77 # 60 - Wednesday, March 28, 2012
77 FR 18671 - Implementation of OMB Guidance on Nonprocurement Debarment and Suspension
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DEPARTMENT OF EDUCATION
Final regulations and request for technical comments.
These final regulations are effective April 27, 2012. In order for us to consider your comments, we must receive them on or before April 27, 2012.
2 CFR Part 3485
The Secretary of the Department of Education (Department) establishes a new part in 2 CFR that adopts the Office of Management and Budget's (OMB's) guidance, as supplemented by this new part, as the Department's regulations for nonprocurement debarment and suspension. The Secretary removes regulations that contain the Department's current implementation of the Governmentwide common rule on nonprocurement debarment and suspension. The Secretary also amends regulations to correct citations as appropriate. The new part will serve the same purposes as, and is substantively identical to, the nonprocurement suspension and debarment common rule published in the Federal Register on November 26, 2003. On August 31, 2005, OMB established interim final guidance that was substantively identical to the common rule and directed Federal agencies to adopt those guidelines as regulations. On November 15, 2006, OMB published final guidance. These final regulations adopt the OMB guidance as regulations of the Department. In addition, the Department adds those requirements that describe how the Department implements suspension and debarment requirements in the context of Title IV of the Higher Education Act of 1965, as amended (HEA). This regulatory action is an administrative simplification that makes no substantive change in the Department's policy or procedures for nonprocurement debarment and suspension. We do not intend any substantive changes to the Department's debarment and suspension regulations. To be sure we achieved that objective, we ask for technical comments about whether the new regulations are substantively different than the existing regulations.