¹û¶³´«Ã½Â鶹Éç

¹û¶³´«Ã½Â鶹Éç - I Banner
An aerial view of ¹û¶³´«Ã½Â鶹Éç's Moscow campus.

Virtual Tour

Experience ¹û¶³´«Ã½Â鶹Éç with a virtual tour. Explore now

A student works at a computer

SlateConnect

U of I's web-based retention and advising tool provides an efficient way to guide and support students on their road to graduation.

Physical Address:
Morrill Hall 105

Mailing Address:
875 Perimeter Drive MS 3010
¹û¶³´«Ã½Â鶹Éç
Moscow, ID 83844-3010

Phone: 208-885-5663

Email: vpresearch@uidaho.edu

Web: ORED

Physical Address:

Morrill Hall Room 414
Moscow, ID  83844

Mailing Address:
875 Perimeter Dr., MS 3010
Moscow, ID  83844-3010

Phone: 208-885-2258

Email: ored-ora@uidaho.edu

Web: ORA Website

Physical Address:

Morrill Hall Room 209
Moscow, ID  83843

Mailing Address:
875 Perimeter Dr., MS 3020
Moscow, ID  83844-3020

Phone: 208-885-6651

Fax: 208-885-4990

Email: osp@uidaho.edu

Web: OSP Website

Physical Address:
Morrill Hall 105
Moscow, ID 83844-3003

Mailing Address:
875 Perimeter Drive
MS 3003
Moscow, ID 83844-3003

Email: ott@uidaho.edu

Web: OTT

Facilities and Administrative Rates

Below are the currently negotiated rates for Indirect Costs (F&A, Overhead).

Sponsor policies on limitations to F&A rates must be provided in writing prior to proposal submission. Absent a written sponsor policy, only the Vice President for Research and Economic Development may grant a waiver of or reduction in overhead rates. Due to State requirements prohibiting the subsidy of for-profit entities, such sponsors may not limit the F&A rate and are subject to the Industry rates below.

Our rates after June 30, 2024, are predetermined per the schedule in the F&A rate agreement. Pending approval, the rate agreement is expected to be extended for an additional two years until June 30, 2026.

Download a copy of the current Indirect Rate Agreement.

Definitions of all terms used below, including types of F&A base; on-campus; off-campus, Ag & Forest Experiment Station and project type are located on the Definitions page.

Current Rates for Facilities and Administrative (F&A) Costs

On Campus Rates

  • Prior F&A rate schedule = 47.50%
  • New Schedule FY21 = 47.50%
  • New Schedule FY22 = 48.50%
  • New Schedule FY23 = 50%
  • New Schedule FY24 = 50%
  • New Schedule FY25 - Predetermined = 50%
  • Industry Prior rate schedule and FY21 = 50.30%
  • Industry FY22 to FY25 = 57.13%

Off Campus Rates

  • New Schedule FY21 to FY25 = 26%
  • Industry Prior rate schedule and FY21 = 29.30%
  • Industry FY22 to FY25 = 31.27%

Base – Modified Total Direct Cost (MTDC)

On Campus Rates

  • Prior F&A rate schedule = 58%
  • New Schedule FY21 = 58%
  • New Schedule FY22 to FY25 = 59.70%
  • Industry Prior rate schedule and FY21 = 84.30%
  • Industry FY22 to FY25 = 83.74%

Off Campus Rates

  • New Schedule FY21 to FY25 = 26%
  • Industry Prior rate schedule and FY21 = 49.30%
  • Industry FY22 to FY25 = 50.30%

Base – Modified Total Direct Cost (MTDC)

On Campus Rates

  • Prior F&A rate schedule = 35%
  • New Schedule FY21 = 35%
  • New Schedule FY22 to FY25 = 38%
  • Industry Prior rate schedule and FY21 = 42.50%
  • Industry FY22 to FY25 = 50.10%

Off Campus Rates

  • New Schedule FY21 to FY25 = 26%
  • Industry Prior rate schedule and FY21 = 32.90%
  • Industry FY22 to FY25 = 34.82%

Base – Modified Total Direct Cost (MTDC)

  • Prior F&A rate schedule = 36%
  • New Schedule FY21 = 36%
  • New Schedule FY22 to FY25 = 39%
  • Industry Prior rate schedule and FY21 = 51.40%
  • Industry FY22 to FY25 = 53.32%
  • Base – Modified Total Direct Cost (MTDC)

Does not including federal pass-thru

  • All Rates FY21-FY25 = 20%
  • Base – Total Direct Cost (TDC)

FAQs – When F&A Rates Change

A: For those awards that will be subject to changing rates, the net effect is minimal: For an award with $100,000 in total direct and indirect expenses for the year, the increase from 47.5% to 48.5% would be a maximum of $456.00 (less than half a percent of the expenses); the increase from 48.5% to 50% would be $673.00 (0.67% of the expenses).

The university has been operating under ‘provisional’ rates since FY20, therefore the new agreement could be applied to any awards with a start date on or after 7/1/2019. However, the VP for Research has elected to apply the new rate agreement only to awards received and effective after the date the rate agreement was signed (4/28/2021). Awards received and effective prior to 4/28/2021 will be ‘grandfathered in’ at the final rate for the prior agreement.

Supplemental funding will be subject to the same rate agreement as the original award.

Banner is set up with effective dates for each rate. For example, the on-campus research rate is set up as 47.5% through 6/30/2021; 48.5% through 6/30/2022; and 50.0% for costs posting to the system 7/1/2022 or thereafter. These rates will now display on your monthly summary report for ease of reference.

All of the off-campus rates (other than industry rates) will stay the same because the administrative portion of the rate is capped. On campus rates will change as follows:

  • Organized Research – Will change to 48.5% effective 7/1/2021 and 50.0% effective 7/1/2022
  • Instruction – Will change to 59.7% effective 7/1/2021
  • Other Sponsored Activity (e.g., Public Service/Outreach/Other) – Will change to 38% effective 7/1/2021
  • Ag & Forestry Experiment Station – Will change to 39% effective 7/1/2021
  • For industry rates please use the table on our website.

Since the net effect of the rate change is not large, and the timing and breakdown between costs subject to or not subject to F&A is not known, it is not a requirement to do a budget adjustment at setup. However, we recommend working with your departmental grant administrator to regularly review the balance between direct and indirect costs.

F&A will be charged in full and any total cost overruns are the responsibility of the unit.

Unless there is not sufficient time to rework the budget, we recommend that you update the budget prior to submission to the sponsor. Since rates are increasing, any changes at the award stage will affect what you are able to expend in direct costs, so it is better to prepare for that sooner rather than later.

Sponsors are aware that institutions regularly negotiate new rates, and they are bound by guidance in 2 CFR 200 that requires Sponsors to accept the negotiated rates in effect at the time of the award unless the program has a defined rate limitation. All awarded proposals received on/after 4/28/2021 will use the new rate schedule.

Federal guidance requires that the negotiated rate schedule in effect at the time of the initial award be used for the life of the award, with “life” meaning each competitive segment of a project. Therefore any ongoing current awards would keep the old rate schedule and any new awards would be subject to the new rate schedule. However, if the university is operating under a “provisional” rate during the time period when the award becomes effective then a downward adjustment would be made to ensure compliance with federal policies. Additional detailed FAQs will be developed if this situation arises.

F&A FAQs

Prepared by the Association of American Universities and the Association of Public and Land-grant Universities in October 2013. Reused with permission.

In order to perform research on behalf of federal agencies, universities incur a variety of costs they would not otherwise have, both leading up to and while conducting a specific research project. Facilities and Administrative (F&A) costs, often referred to as indirect costs, cover a portion of the university’s infrastructure and operational costs related to federally-funded research. Such shared costs encompass the maintenance of sophisticated, high-tech labs for cutting-edge research; utilities such as light and heat; telecommunications; hazardous waste disposal; and the infrastructure necessary to comply with various federal, state and local rules and regulations.

Indirect cost payments are actually reimbursements for costs that universities have already paid for expenses incurred in conducting federally-sponsored research. Universities and the federal government both contribute to the cost of supporting the infrastructure and environment necessary to keep labs running and research advances coming. Universities typically pay many of these costs in advance, and the federal government reimburses them for part of that expense. Such shared costs include the portion of construction and upkeep of labs that are devoted to federally-sponsored research projects. These costs also include expenses such as utilities, telecommunications, radiation safety and hazardous waste disposal, security and fire protection and liability insurance. F&A costs also cover the personnel, paperwork, and other costs involved in complying with various federal, state, and local rules and regulations. This includes, for example, compliance with human or animal subject protection rules, biosecurity regulations, chemical safety rules and regulations to guard medical research from conflicts of interest. Research could not be conducted without these necessary expenses.

No, it is not true. A university’s indirect cost rate does not indicate the percentage of the total federal research grant spending for indirect costs. Rather, a second calculation must be done to determine that percentage.

Here’s how it works: In order to determine the level of reimbursement, a university and the federal government periodically assess all of these shared costs and work together to figure out the appropriate federal share. The overall figure is ultimately calculated as a percentage of the amount the federal government awards for direct research costs (not a percentage of the overall funds, the figure most people see, which is a common misperception). 

For example, after reviewing all of the expected costs and looking at past research projects, a university and the federal government may determine that an amount equal to 50 percent of direct research costs is appropriate for the federal government to contribute toward F&A costs. In that case, if the federal government awards a university $300,000 for the direct research portion of a grant then it also awards $150,000 for F&A costs, for a total of $450,000. These overall institutional indirect cost rates are then applied uniformly to each grant at the university to avoid the very tedious and expensive process of computing the additional costs for individual awards.
(Note: In practice, the total F&A reimbursement would likely be slightly less since certain elements of direct costs are excluded from the F&A calculation.)

Yes, universities use their own funds for research. Universities are the second leading sponsor of research conducted on their campuses. They fund nearly 20 percent of university research expenditures — significantly exceeding the combined total of state, industry, foundation, and other nonfederal support, which equals only about 10 percent of total support for academic research. Over the past 20 years, according to National Science Foundation (NSF) data, the university share of support for university-based research has grown faster than any other sector. Included in this amount are the costs of compliance and administration which are above the cap for which the federal government reimburses costs; universities subsidize these costs from their own financial resources.

Total F&A costs for research performed by universities are, on average, comparable to if not slightly less than other research performers, such as federal laboratories and private contractors. Moreover, since 1991, the Office of Management and Budget (OMB) has had in place a cap of 26 percent on the percentage of government funds that can be provided to universities to cover administrative expenses (including costs incurred by the university to comply with federally mandated regulations). Universities are the only sector with such a cap. They are always mindful of their responsibility to be good stewards of federal resources and to contain costs to get the most out of federal research project grants.

No, this is prohibited by current OMB rules. Rules outlined in the federal guidance specifically requires universities to ensure the federal government does not subsidize other nonfederal activity in the reimbursements it provides for indirect costs associated with the performance of federal research. Under these rules, universities must demonstrate and explain exactly how they do that and thus are held accountable. In fact, all the funds received from any source go into the F&A base, from which the rate is calculated. What this means is that additional dollars from foundations or industry go into the denominator of the rate calculation. This has the effect of lowering the final F&A rate, actually reducing the total reimbursement from the federal government.

Historically, most foundations view their grants as supporting an activity or a scientist currently doing research in an area of science that falls within the mission of the foundation, and therefore supplementing existing support the researcher or university has from other sources. Until recently, the amounts of funding provided by foundations have been relatively small, compared to what federal agencies provide, for example. This is still the case for many foundations, although fairly new foundations such as the Gates Foundations have provided much larger grants, with specific project goals and expectations. While these larger organizations acknowledge the reality and necessity of F&A costs, they continue to only pay 10 or 20 percent. So most universities decide to accept such grants, knowing that the university (not the federal government) will be subsidizing the research conducted under such grants, and possibly end up with a somewhat lower F&A rate in its next rate negotiation. This is one of the key ways universities leverage their own funds to support research.

No, this is prohibited by current OMB rules which require that indirect cost reimbursements be based only on research space, not on education or other university facilities. Research costs are accounted for with a great deal of care. In recent years, federal agencies have increased audits and oversight of university accounts. The government requires yearly independent audits of university accounts in accordance with government prescribed guidelines. OMB has tightened the rules governing accountability several times over the past 15 years. In addition, historically, most research facilities have been planned and funded by universities. In committing to a major new research facility, a university assumes all of the risk. It plans the building, raises the capital, and then constructs the facility. Only after that process is completed — and then only if the faculty can successfully compete for research dollars — does the university recover some portion of the costs already incurred through its negotiated facilities and administrative cost rate. Again, indirect cost payments are actually reimbursements for allowable research expenses already paid for by universities.

The percentage resulting from the F&A calculation varies from university to university because actual costs vary based on a variety of factors that include energy costs for heating and cooling, which depends upon geographic location, the age and condition of facilities and buildings, and the amount of renovation and construction needed to house certain types of research projects.

Universities have a limited number of funding sources. The primary funding sources for research universities to perform their research and educational missions are tuition, research grants and contracts, philanthropy, endowment income and, in the case of public institutions, state appropriations. When universities are unable to recover the full allowable costs of research, they must rely on other primary funding sources to make up the difference. A cap on F&A costs might result in: 

  • Institutions refusing to accept research awards that require significant institutional subsidy
  • Yhe deterioration of research facilities as the risk becomes too great to invest institutional funds
  • A substandard compliance environment because institutions cannot afford to pay for mandated compliance costs
  • Increases in tuition rates to cover costs that have been shifted to the institution

Each of these would result in harm to not only the institutions conducting research, but the nation which would lose its competitive edge in science and innovation.

Indirect costs recovered by both public and private institutions across the nation have remained, as a fraction of total costs, flat for decades. For example, according to NIH’s FY2014 Congressional Justification, the agency’s percent of total funding going towards indirect costs has remained unchanged, at approximately 27-28 percent of total funding, for more than a decade.

A university’s specific percentage rate is applied to all federal grants moving forward for a three or four-year period. During that time, the federal government requires a rigorous review and audit of a university’s facilities and administration expenses to ensure that the school is using the funds appropriately. The rate is reexamined at the end of that period, and upward or downward adjustments are made as warranted.

Physical Address:
Morrill Hall 105

Mailing Address:
875 Perimeter Drive MS 3010
¹û¶³´«Ã½Â鶹Éç
Moscow, ID 83844-3010

Phone: 208-885-5663

Email: vpresearch@uidaho.edu

Web: ORED

Physical Address:

Morrill Hall Room 414
Moscow, ID  83844

Mailing Address:
875 Perimeter Dr., MS 3010
Moscow, ID  83844-3010

Phone: 208-885-2258

Email: ored-ora@uidaho.edu

Web: ORA Website

Physical Address:

Morrill Hall Room 209
Moscow, ID  83843

Mailing Address:
875 Perimeter Dr., MS 3020
Moscow, ID  83844-3020

Phone: 208-885-6651

Fax: 208-885-4990

Email: osp@uidaho.edu

Web: OSP Website

Physical Address:
Morrill Hall 105
Moscow, ID 83844-3003

Mailing Address:
875 Perimeter Drive
MS 3003
Moscow, ID 83844-3003

Email: ott@uidaho.edu

Web: OTT