![]() Eight of the 11 tribes GAO spoke with reported using HHS-funded technical assistance providers, including a tribally-focused center that was established after the enactment of the Fostering Connections Act. HHS provided assistance to tribes interested in directly operating a title IV-E program through its regional offices, headquarters office, and technical assistance providers. ![]() HHS recognizes that termination of parental rights may not be part of an Indian tribe's traditional beliefs however according to the agency it lacks the statutory authority to provide a general exemption for tribal children from the requirement. In addition, 7 of these 11 tribal officials reported that incorporating termination of parental rights-which severs the legal parent-child relationship in certain circumstances-into their tribal codes was challenging because it conflicts with their cultural values. For example, officials from 6 of 11 tribes developing title IV-E programs that GAO interviewed said that the requirement to electronically submit case-level data on all children in foster care was challenging. ![]() Given tribes' resource constraints and cultural values, adopting some title IV-E requirements has been difficult. By contrast, some other programs administered by HHS offer tribes additional flexibilities, provided they are consistent with the objectives of the program. While the Fostering Connections to Success and Increasing Adoptions Act of 2008 (Fostering Connections Act) allows tribes to administer a title IV-E foster care program, it generally did not modify title IV-E's requirements for tribes. According to GAO's interviews with tribal and Department of Health and Human Services (HHS) officials, the resource constraints faced by tribes include limited numbers of staff and staff turnover. EPA OIG Mandatory Disclosure Submission Form (pdf) (1.Indian tribes developing title IV-E foster care programs faced resource constraints and reported challenges adopting some program requirements.Receipt of any information via the OIG telephone hotline will not be considered as fulfilling mandatory disclosure requirements. Mandatory disclosures are required to be in writing. Download EPA OIG Mandatory Disclosure Submission Form and email completed form to the COVID-19 lockdown, the EPA OIG is unable to review disclosures received by physical mail or fax until further notice.Submit the mandatory disclosure information through the Online Submission Form.You are not required to use one of the following disclosure form options, but you should include the information requested by the form in whatever disclosure you submit. How to Submit Mandatory Disclosure s to EPA OIG ยง 200.113 requires that grantees disclose-in a timely manner and in writing-to the awarding agency all violations of federal criminal law involving fraud, bribery, or gratuities that could potentially affect the federal award. The Code of Federal Regulations at 2 C.F.R. ![]() FAR 52.203-7 and FAR 3.502-2 set forth requirements for contractors and subcontractors to provide notice, in writing, to the OIG if the contractor or subcontractor has reasonable grounds to believe that there has been a violation of the Anti-Kickback Act of 1986. FAR 52.203-13 sets forth requirements for contractors and subcontractors to disclose to the OIG, in writing, any credible evidence that a principal, employee, or agent of the contractor or subcontractor has committed a violation of the civil False Claims Act. FAR 52.203-13 sets forth requirements for contractors and subcontractors to disclose to the OIG, in writing, any credible evidence that a principal, employee, or agent of the contractor or subcontractor has committed a violation of Federal criminal law involving fraud, conflict of interest, bribery, or gratuity violations found in Title 18 of the U.S. ![]() Violations of Federal Criminal Law Involving Fraud, Conflict of Interest, Bribery, or Gratuities.The following FAR provisions require that contractors and subcontractors disclose violations of the following federal statutes to the OIG: The Federal Acquisition Regulation consists of uniform policies and procedures governing the acquisition process for federal agencies. Contractor and Subcontractor Mandatory Disclosures ![]()
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