E-5. May an SEA or LEA use Title V-A funds to award grants and contracts?E-6.May an SEA or LEA use funds for personnel?E-7.May an LEA use funds for direct administrative costs?
F. PARTICIPATION OF CHILDREN ENROLLED INPRIVATE NONPROFIT SCHOOLS
F-1.How may private school children receive services under Title V-A?F-2.What administrative requirements apply regarding the provision of services to privateschool children?F-3.How may an LEA ensure that Title V-A services are provided in a proper manner for the benefit of private school students and personnel?F-4.May private school children and personnel receive services under any Title V-Ainnovative program area?F-5.How does an SEA calculate the amount of funds to be distributed to the LEAs?F-6.What are the obligations of LEAs to private schools that did not participate in Title V-A programs in the preceding year?F-7.What happens if an LEA chooses not to participate in the Title V-A program?F-8.Would it be beneficial for SEAs and LEAs, in working with private school officials inimplementing Title V-A, to create
Non-Public School Working Groups
?
G. REPORTING REQUIREMENTS
G-1. What reporting responsibilities do LEAs have under Title V-A?G-2. What reporting responsibilities do SEAs have under Title V-A?
H
.
FISCAL REQUIREMENTS
H-1.Is there a non-supplanting requirement under Title V-A?H-2.May Title V-A funds be used for State-mandated activities?H-3.What should an SEA or LEA consider to ensure that its use of Title V-A funds does notresult in supplanting?H-4.Does a maintenance-of-effort requirement apply to the Title V-A program?
I. OTHER APPLICABLE STATUTES AND REGULATIONS
I-1.What general statutory and regulatory provisions apply to Title V-A?
J. FLEXIBILITY
J-1.How do the principal flexibility provisions of the NCLB Act affect the Title V-A program?
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