In the wake of the Office of Management and Budget's (OMB) recent directive to temporarily halt federal financial assistance, federal agencies are now under a tight deadline to conduct a detailed analysis of their programs. This requirement, stemming from the now rescinded Memorandum M-25-13, aligns with the Trump Administration's broader strategy to realign federal spending with its policy priorities, including energy independence and the reduction of inflation.
Deadline and Requirements
By February 7, 2025, all federal agencies that provide financial assistance were required to complete and submit a comprehensive spreadsheet to the OMB. This document is crucial for assessing the alignment of federal programs with the administration's priorities and determining the future of funding obligations. Agencies are encouraged to expedite this process for all programs, as additional deadlines for subsequent periods will follow.
Key Analysis Points (provided by OMB)
The analysis requires agencies to address several critical questions regarding their programs:
- Pending Funding Announcements: Agencies must identify if there are any pending announcements for funding that could be affected by the pause.
- Anticipated Obligations and Disbursements: Agencies need to report any expected obligations or disbursements of funds before March 15, 2025, and provide estimated dates for these financial activities.
- Statutory Requirements: Programs with statutory mandates for fund obligations or disbursements through March 15 must be highlighted.
- Nongovernmental Organization (NGO) Funding: Agencies must disclose if their programs provide federal funding to NGOs that support or provide services to removable or illegal aliens.
- Foreign Assistance and Overseas Activities: Programs that qualify as foreign assistance or support overseas activities must be identified.
- Climate Finance and Energy Resource Impact: Agencies need to assess if their programs are impacted by the revocation of the U.S. International Climate Finance Plan or impose burdens on domestic energy resource development.
- DEI and Equity-Related Programs: Programs that include DEI mandates or related activities must be scrutinized, particularly those affected by recent executive orders.
- Gender Ideology and Abortion Support: Agencies must determine if their programs promote gender ideology or support activities related to abortion, as identified in the Hyde Amendment.
- Executive Order Compliance: Any program activities that conflict with executive orders issued since January 20, 2025, must be reported.
Implications for CFOs and Organizations
This analysis is part of a broader effort to ensure federal programs align with the administration's policy goals. For CFOs and organizations reliant on federal funding, this process introduces significant uncertainty and necessitates strategic planning to mitigate potential disruptions.
CFOs should:
- Assess Funding Risks: Identify programs at risk of funding delays or reductions and develop contingency plans.
- Monitor Agency Communications: Stay informed about updates from federal agencies and the OMB regarding program evaluations and funding status.
- Engage Stakeholders: Keep leadership and program teams informed about potential changes in funding availability and prepare for increased oversight.
- Coordinate Reporting and Compliance: Ensure compliance with new requirements and enhance documentation procedures for potential audits.
As federal agencies undertake this comprehensive analysis, the landscape of federal financial assistance remains in flux. Organizations must remain vigilant and proactive, leveraging strategic planning and engagement to navigate this period of uncertainty. By staying informed and prepared, they can maintain operational integrity and stakeholder confidence amid evolving federal priorities.
For additional information on the executive orders see our insight titled “Federal Assistance Updates and Next Steps”.