20 C.F.R. PART 667--ADMINISTRATIVE PROVISIONS UNDER TITLE I OF THE WORKFORCE INVESTMENT ACT
TITLE 20--Employees' Benefits
CHAPTER V--EMPLOYMENT AND TRAINING ADMINISTRATION, DEPARTMENT OF LABOR
PART 667--ADMINISTRATIVE PROVISIONS UNDER TITLE I OF THE WORKFORCE INVESTMENT ACT
Subpart A--FUNDING
|
When do Workforce Investment Act grant funds become available?
|
|
|
What award document authorizes the expenditure of Workforce Investment Act funds under title I of the Act?
|
|
|
What is the period of availability for expenditure of WIA funds?
|
|
|
What is the Governor/Secretary Agreement?
|
|
|
What planning information must a State submit in order to receive a formula grant?
|
|
|
How are WIA title I formula funds allocated to local workforce investment areas?
|
|
|
What ''hold harmless'' provisions apply to WIA adult and youth allocations?
|
|
|
Does a Local Board have the authority to transfer funds between programs?
|
|
|
What reallotment procedures does the Secretary use?
|
|
|
What reallocation procedures must the Governors use?
|
|
|
What responsibility review does the Department conduct for awards made under WIA title I, subtitle D?
|
|
Subpart B--ADMINISTRATIVE RULES, COSTS AND LIMITATIONS
|
What general fiscal and administrative rules apply to the use of WIA title I funds?
|
|
|
What administrative cost limits apply to Workforce Investment Act title I grants?
|
|
|
What Workforce Investment Act title I functions and activities constitute the costs of administration subject to the administrative cost limit?
|
|
|
What requirements relate to the enforcement of the Military Selective Service Act?
|
|
|
Are there special rules that apply to veterans when income is a factor in eligibility determinations?
|
|
|
May WIA title I funds be spent for construction?
|
|
|
Are employment generating activities, or similar activities, allowable under WIA title I?
|
|
|
What other activities are prohibited under title I of WIA?
|
|
|
What are the limitations related to religious activities?
|
|
|
What prohibitions apply to the use of WIA title I funds to encourage business relocation?
|
|
|
What procedures and sanctions apply to violations of 667.260 through 667.268?
|
|
|
What safeguards are there to ensure that participants in Workforce Investment Act employment and training activities do not displace other employees?
|
|
|
What wage and labor standards apply to participants in activities under title I of WIA?
|
|
|
What health and safety standards apply to the working conditions of participants in activities under title I of WIA?
|
|
|
What are a recipient's obligations to ensure nondiscrimination and equal opportunity, and what are a recipient's obligations with respect to religious activities?
|
|
Subpart C--REPORTING REQUIREMENTS
|
What are the reporting requirements for Workforce Investment Act programs?
|
|
Subpart D--OVERSIGHT AND MONITORING
|
Who is responsible for oversight and monitoring of WIA title I grants?
|
|
|
What are the oversight roles and responsibilities of recipients and subrecipients?
|
|
Subpart E--RESOLUTION OF FINDINGS FROM MONITORING AND OVERSIGHT REVIEWS
|
What procedures apply to the resolution of findings arising from audits, investigations, monitoring and oversight reviews?
|
|
|
How do we resolve investigative and monitoring findings?
|
|
|
What is the Grant Officer resolution process?
|
|
Subpart F--GRIEVANCE PROCEDURES, COMPLAINTS, AND STATE APPEALS PROCESSES
|
What local area, State and direct recipient grievance procedures must be established?
|
|
|
What processes do we use to review State and local grievances and complaints?
|
|
|
How are complaints and reports of criminal fraud and abuse addressed under WIA?
|
|
|
What additional appeal processes or systems must a State have for the WIA program?
|
|
|
What procedures apply to the appeals of non-designation of local areas?
|
|
|
What procedures apply to the appeals of the Governor's imposition of sanctions for substantial violations or performance failures by a local area?
|
|
Subpart G--SANCTIONS, CORRECTIVE ACTIONS, AND WAIVER OF LIABILITY
|
What procedure do we use to impose sanctions and corrective actions on recipients and subrecipients of WIA grant funds?
|
|
|
Who is responsible for funds provided under title I of WIA?
|
|
|
What actions are required to address the failure of a local area to comply with the applicable uniform administrative provisions?
|
|
|
How do we handle a recipient's request for waiver of liability under WIA section 184(d)(2)?
|
|
|
What is the procedure to handle a recipient's request for advance approval of contemplated corrective actions?
|
|
|
What procedure must be used for administering the offset/deduction provisions at section 184(c) of the Act?
|
|
Subpart H--ADMINISTRATIVE ADJUDICATION AND JUDICIAL REVIEW
|
What actions of the Department may be appealed to the Office of Administrative Law Judges?
|
|
|
What rules of procedure apply to hearings conducted under this subpart?
|
|
|
What authority does the Administrative Law Judge have in ordering relief as an outcome of an administrative hearing?
|
|
|
What special rules apply to reviews of NFJP and WIA INA grant selections?
|
|
|
When will the Administrative Law Judge issue a decision?
|
|
|
Is there an alternative dispute resolution process that may be used in place of an OALJ hearing?
|
|
|
Is there judicial review of a final order of the Secretary issued under section 186 of the Act?
|
|
|
Are there other remedies available outside of the Act?
|
|