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Navigating Conflicting Information in Title IV Administration

College Aid Services

As Title IV administrators, we’re all too familiar with the term “conflicting information.” ” It’s a staple in our daily operations in higher education, and its regulatory definition can be found in 34 CFR 668.16(f), f), 34 CFR 668.16(b)(3), b)(3), and 34 CFR 668.54(a)(2).

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Upcoming Webinars Offer Title IV Recertification Training to Eligible Institutions

College Aid Services

Federal Student Aid is hosting a pair of webinars later this year to train administrators on the recertification process for Title IV programs, which must be submitted 90 days before the expiration of their school’s Program Participate Agreement (PPA).

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Guidelines for Applying for Title IV Eligibility for Direct Assessment (Competency-Based) Programs

College Aid Services

In a Dear Colleague letter, the Department of Education provided the requirements for institutions who want to receive Title IV aid for direct assessment programs.

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FSA Reminds Schools to Disclose Related Party Transactions in Audited Financial Statements

College Aid Services

The electronic announcement below describes the federal requirements for Title IV institutions to disclose all related party transactions in their audited financial statements in accordance with guidance set by the AICPA.

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FSA Releases Guidelines for Direct Assessment Programs

College Aid Services

In a Dear Colleague letter, the Department of Education provided the requirements for institutions who want to receive Title IV aid for direct assessment programs.

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What universities should do now in the uncertain OPM landscape

EAB

Specifically: “ Entities performing the functions of student recruiting and retention, the provision of software products and services involving Title IV administration activities, and the provision of educational content and instruction are defined as third-party servicers.”