HEERF Awarding Report – September 2020
The following are taken from documentation provided by the U.S. Department of Education (USDOE):
"The CARES Act provides institutions with significant discretion on how to award this emergency assistance to students. This means that each institution may develop its own system and process for determining how to allocate these funds, which may include distributing the funds to all students or only to students who demonstrate significant need."
"The only statutory requirement is that the funds be used to cover expenses related to the disruption of campus operations due to coronavirus (including eligible expenses under a student’s cost of attendance, such as food, housing, course materials, technology, health care, and childcare)."
"With that said, I would like to encourage the leadership of each institution to prioritize your students with the greatest need, but at the same time consider establishing a maximum funding threshold for each student to ensure that these funds are distributed as widely as possible. As a point of reference, you might consider using the maximum federal Pell grant as that threshold."
To be eligible to receive emergency aid, you must have met all of the qualifications below:
Be enrolled at The University of West Alabama (UWA) in a degree or certificate program in the Spring 2020 semester
Have a high school diploma or a General Education Development (GED) certificate, or have completed homeschooling
Be a U.S. citizen or national, permanent resident, or an eligible noncitizen
Not be in an exclusively online degree program (Bachelor of Science in Nursing)
Have submitted a 2019-20 Free Application for Federal Student Aid (FAFSA)
The U.S. Dept. of Ed. awarded UWA $1,192,293 in funding to be given directly to students. For the Spring Semester, 2020 we had 1349 registered on-campus students and issued federal aid to 966. Out of our registered students for the spring, 440 had zero EFC, 261 were also Pell eligible based on EFC higher than zero, and 265 other federal aid recipients. This represents the three tiers of categorized need used for distributing the HEERF monies.
Example: Per Student Per Tier
440 Zero EFC $1250 Each $550,000
261 Pell Eligibility $1000 Each $261,000
262 All Others w/FA $750 Each $198,750
277 Non-Fed Aid Students $500 Each $138,500
70 Increase by Need $500 Each $35,000
$1,183,250 (Transmitted) $1,192,293 (Total Funding)
This left $44,043 of aid that could be used for students who may have experienced a greater impact due to the changes, or who were later found to be eligible. Students were able to apply for additional funding to help with expenses incurred as a result of course changes from campus to online this spring. The application was open until June 12, 2020.
The additional funding was distributed on a case-by-case basis upon review of the student narrative on their request, and/or by special consideration at the bequest of the student after the initial disbursements were made. At $500 each, we were able to fulfill 70 additional student requests. As of today, there is $9,043 remaining to aid students this fall.
No application was necessary to be included in the initial distribution of funds. All eligible students were awarded and had grant funds disbursed via check in standard mail. If you think you were eligible and overlooked, please contact the Financial Aid Office.
If you received an email from the UWA Financial Aid Office inviting you to apply for additional CARES grant funding, you are eligible to apply. Follow the instructions in the email to complete the application. Funds are limited and upon review of a committee will be disbursed to those who exhibit an extremely high amount of unexpected costs.
The USDOE has asked the University to identify the estimated total number of students eligible to participate in programs under Section 484 in Title IV of the Higher Education Act of 1965. As of June 6, 2020, the University estimates that this number is approximately 1,300. This figure represents those current UWA students who have demonstrated their Title IV eligibility and have a valid 2019-20 FAFSA on file as of this precise date, less those who were enrolled exclusively in online programs as of March 13, 2020. It is possible, however, that some portion of these students, while Title IV eligible, did not incur eligible CARES Act expenses.
As noted above, according to the CARES Act and guidance from the Department of Education, the “sole and exclusive purpose” for these student grants is for “expenses related to the disruption of campus operations due to coronavirus, such as food, housing, course materials, technology, health care, and child-care expenses.” Loss of income is not covered by these grant funds. All applicants seeking additional funding are required to attest that they have incurred a high number of eligible expenses.