Direct Loan Quality Assurance Policy and Procedures
2019/2020 Direct Loan Quality Assurance Policy and Procedures Summary.
Following published guidance by the Department of Education on November 13, 2013, the RNCM established this Direct Loan Quality Assurance Policy and Procedures Summary.
All policies and procedures concerning Title IV funding are designed with these Quality Assurance principles in mind, these include but are not limited to all financial aid policies in the student handbook, all polices in the internal Financial Aid Policy and Procedures manual. From the Department of Education:
Direct Loan Quality Assurance Requirement Overview
The Direct Loan Program regulations at 34 CFR 685.300(b) (9) require schools to implement and document a quality assurance process to ensure that they are complying with program requirements and meeting program objectives.
A school should have a quality assurance process in place that documents that the school is:
- Reporting loan records, disbursements, and adjustments to disbursements correctly to the Common Origination and Disbursement (COD) System
- Disbursing and returning loan funds in accordance with regulatory requirements
- Disbursing the correct loan amount to the correct student
- Completing monthly reconciliation and Program Year Closeout
To be effective, the steps for implementing a Direct Loan quality assurance process will be unique to each school and need to take into account the characteristics of a school’s academic policies and programs and its borrower population. Schools are encouraged to use self-assessments to examine their procedures and take action on an ongoing basis to strengthen areas of risk.
Options for Meeting the Direct Loan Quality Assurance Requirement
The Department of Education (the Department) does not mandate the method by which schools meet the quality assurance requirement. Schools may have institutional-designed assessments and quality assurance processes in place to ensure that the Direct Loan quality assurance requirement is met.
Reporting loan records, disbursements, and adjustments to disbursements correctly to the Common Origination and Disbursement (COD) System
Description of Process
The FAA utilizes our SIS to originate all Federal Direct Loans. The SIS generates a disbursement roster available to the FAA, the Head of Student Services, and relevant staff members. Using information managed by the Head of Student Services the SIS verifies enrollment of students on the list and then provides approval of disbursements to the end user. The end user draws down the funds, posts the credits to the student accounts, and refunds any excess payments within three days, meeting the Federal requirements to post the credits within three days and disburse refunds within 14 days. We exceed the requirement by completing the process within three days total.
Measurable Assessment
- Ensuring all loan records maintain “Registered” status within our SIS until the end of the year closeout
- Responding in timely manner to COD School Monitoring Reports, COD 30 Day Warning Reports
- Comparing the COD Pending Disbursement Reports and Actual Disbursement Reports with the SIS records
Disbursing and returning loan funds in accordance with regulatory requirements
Description of Process
For any student requesting FSA, before any loan is initiated, the RNCM require an ISIR (from the FAFSA), a signed in-house loan request form (which specifies the loan amount the student is requesting), Entrance Counseling, and a signed Master Promissory Note. Any comment codes on the ISIR must be resolved. The FAA independently verifies the aggregate loan limit in NSLDS for each student. If any of these items are not received or if any of these items are flagged by either our SIS or COD, we do not initiate loans or disburse funds to the student.
RNCM uses the advance payment method. Using the SIS in consultation with the Head of Student Services, the FAA confirms that the student has met SAP and enrollment requirements. Once confirmed, the FAA requests the disbursements using our SIS which utilizes COD integration. Once the FAA imports the approved and booked notification from COD into our SIS, the Head of Student Services initiates the drawdown of funds in G5. Each step of the process is documented.
The FAA utilizes our SIS to originate all Federal Direct Loans. The SIS generates a disbursement roster available to the FAA, the Head of Student Services, and the end user. Using information managed by the Head of Student Services the SIS verifies enrollment of students on the list and then provides approval of disbursements to the end user. The end user draws down the funds, posts the credits to the student accounts and refunds any excess payments within three days, meeting the Federal requirements to post the credits within three days and disburse refunds within 14 days. We exceed the requirement by completing the process within three days total.
Our SIS identifies and notifies the Head of Student Services and the FAA of a student enrollment status change, thus indicating a potential change in their FSA funds. The student may also report such a change to the FAA.
The FAA notifies the end user to return funds to the cash control account or to reduce a subsequent cash draw.
The FAA and end user, using the SIS, accumulate this data.
All faculty and staff are required to use the SIS to document student information including information regarding a student’s FSA eligibility. The FAA reviews student accounts on a routine basis. Additionally, the SIS alerts the FAA to any urgent issues regarding a student’s FSA eligibility.
Measurable Assessment
- Ensuring all loan records maintain “Registered” status within our SIS until the end of the year closeout
- Monitoring the enrollment, SAP, and eligibility alerts within the SIS and responding appropriately
- Responding in a timely manner to COD School Monitoring Reports, COD 30 Day Warning Reports
- Comparing the COD Pending Disbursement Reports and Actual Disbursement Reports with the SIS records
Disbursing the correct loan amount to the correct student
Description of Process
The FAA schedules disbursement dates for approved funds. The end user uses those schedules to draw down funds. This occurs at least once per academic term.
Direct Loan funds are drawn down based upon the disbursement schedule and immediately applied to student accounts with refunds processed for any accounts with credit balances. Occasionally, as in the case of the CARES Act funding, other funding is requested and received through G5. In these rare instances, the FAA verifies and requests these funds using the SIS in separate and distinct batched disbursements. The Controller draws down the approved funds. The SIS tracks the use of these funds separately from the funds used in the Direct Loan program.
Measurable Assessment
- Ensuring all loan records maintain “Registered” status within our SIS until the end of the year closeout
- Monitoring the enrollment, SAP, and eligibility alerts within the SIS and responding appropriately
- Responding in a timely manner to COD School Monitoring Reports, COD 30 Day Warning Reports
- Comparing the COD Pending Disbursement Reports and Actual Disbursement Reports with the SIS records
Completing monthly reconciliation and Program Year Closeout
Description of Process
The RNCM receives the SAS through EdConnect, monthly, and works with the end user to create a monthly reconciliation document that shows a balance between our SIS, COD, and G5.
Measurable Assessment
- Maintaining timely and accurate monthly reconciliation records
- Maintaining timely and accurate year-end closeout documentation.