United States Department of Agriculture
Food and Nutrition Service
Southeast Region
Policy 250.14-04 and 210.15-01: Questions and Answers for Single Inventory Recordkeeping
The Food and Nutrition Service issued a memo on July 13, 2001 waiving the part of §250.14(e) that requires schools and child care centers to take an annual physical inventory of commodities in storage facilities. The memo also waives the part of §250.16(a)(2) that requires them to maintain commodity inventory records. The waiver permits SDAs to allow schools and childcare centers to adopt a single inventory recordkeeping method that will account for commodities along with purchased food, and current regulatory requirements to maintain USDA commodities separate from purchased inventory will be waived. While general guidance for using this method accompanied the waiver, additional questions have arisen. The following guidance is provided in response to those questions and applies only when a State has adopted the new recordkeeping method.
1.
Q. Does the
single inventory recordkeeping system apply only to commodities with commercial
labels?
A. No.
When the school or childcare center adopts the single inventory system,
it applies to all commodities regardless of whether they have commercial labels
or USDA labels.
2. Q. How does the recordkeeping change affect the OMB Circular A-133 Single Audits?
A.
Guidance for the OMB Circular A-133 is based on the Part 250
regulations. Since the specific regulations for maintaining a separate
inventory for commodities are being changed, this will not be part of OMB audit
requirements. The compliance supplement
will be updated to reflect the changes.
The value of commodity expended during the past year is a required factor to
determine whether the school food authority exceeds the value threshold and
must have a Single Audit. Included in
the compliance supplement update will be guidance for deriving the expended
commodity value to be used for this purpose.
3.
Q. How long is the waiver in effect?
A. The waiver is in effect until
regulatory changes are made.
4.
Q. Does the SDA continue to decide the value of
the commodities to be used by the schools and child care centers?
A. Yes. The SDA must assign the value of the
commodity using one of the following three methods described in
§250.13(a)(5): the actual
cost-per-pound data; the estimated cost-per-pound data provided by USDA; or the
USDA commodity file cost as of a specified date. Most SDAs are already using one of these methods and, therefore,
will not need to do anything differently.
5.
Q. What basis should schools and centers use
for establishing their inventory values?
A. Schools and centers are going to need to value inventory for three different
situations.
6. Q. How
will the value of commodities used by food service management companies (FSMC)
be determined and passed to the SFA if inventory is not kept separate?
A. The single inventory method does not
change the requirements at §210.16(a)(6).
This provision requires that all Federally donated foods received by the
SFA and made available to the FSMC accrue only to the benefit of the SFA’s
nonprofit food service. The SFA should
continue to use its existing method for ensuring the value of purchased product
inventories and donated food inventories accrue to the benefit of the SFA’s
nonprofit food service account. FNS is
exploring whether additional guidance on commodity value pass through is
needed.
7. Q. How does a State that wishes to adopt the new inventory method proceed?
A. Properly implementing the single inventory recordkeeping system involves several State agencies. The steps leading to successful implementation are:
The State CND, SDA and State Financial Division should jointly identify all areas of State recordkeeping and procedures that will require change as a result of losing the ending commodity inventory value. Then, new procedures should be developed. The USDA Regional Office should be notified of the implementation date. State auditors should be consulted regarding the recordkeeping changes. The waiver notice will need to go to school systems and centers for them to use with local auditors. School systems and centers will need proper training on the new method as well as any adjustment to the State reporting system.