The Coronavirus Aid, Relief, and Economic Security Act (CARES Act) was signed on March 27th, 2020 to assist those who experienced economic hardship as a direct result of the COVID-19 pandemic. Approximately $14 billion of the CARES Act funding was provided to the Office of Postsecondary Education as the Higher Education Emergency Relief Fund (HEERF).
In April 2020, the UPMC Schools of Nursing (SON) completed applications to participate in the three programs made eligible to our institution.
Program: HEERF Student Aid Portion
Cares Act Section: 18004(a)(1)
Eligibility: All Title IV participating schools
Note: Students cannot apply for assistance directly from the U.S. Department of Education but should contact their institutions for further information and guidance.
View the allocation table.Program: HEERF Institutional Aid Portion
CARES Act Section: 18004(a)(1)
Eligibility: All Title IV participating schools
View the allocation table.Program: Fund for the Improvement of Postsecondary Education (FIPSE) Formula Grant
CARES Act Section: 18004(a)(3)
Eligibility: Public and private nonprofit institutions of higher education that are eligible under Part B of Title VII of the HEA and received less than $500,000 total from HEERF (a)(1) and (a)(2) programs
View the allocation table.
The HEERF Student Aid funding is a stipend provided directly to students to assist with the expenses related to the disruption of campus operations due to the coronavirus.
For a student to qualify for CARES Act HEERF Student Aid funding, the UPMC SON is requiring all of the following:
In May 2020, the US Department of Education announced a 30 day reporting requirement for all institutions participating in the HEERF Student Aid program. As of August 31, 2020, the reporting requirement has been changed to a quarterly basis.
All reports can be found via the links below:
The US Department of Education granted institutions of higher education the use of up to 50 percent of the funds they receive to cover any costs associated with significant changes to the delivery of instruction due to the coronavirus.
Permissible expenses covered under the Institutional Aid portion include but are not limited to, costs associated with significant changes to the delivery of instruction, costs associated to orders, waivers and safeguards set forth by government officials and/or outstanding expenditures associated to the loss of revenue.
Expenses that will not be covered under the Institutional Aid portion of the CARES Act include payments made to contractors for the provision of pre-enrollment recruitment activities, endowments or capital outlays associated with facilities related to athletics, sectarian instruction, or religious worship.
On October 13, 2020 the US Department of Education released further guidance regarding the reporting requirement for the Institutional Aid funding. All institutions participating in the HEERF Institutional Aid program are required to submit reports on a quarterly basis.
All reports can be found via the links below:
Additional funding was made available to Public and private nonprofit institutions of higher education that are eligible under Part B of Title VII of the HEA and received less than $500,000 total from HEERF (a)(1) and (a)(2) programs.
On October 13, 2020 the US Department of Education released further guidance regarding the reporting requirement for the Institutional Aid funding. All institutions participating in the HEERF FIPSE program are required to submit reports on a quarterly basis.
All reports can be found via the links below: