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CERTIFICATION ON LAST PAGE <br />J,R. SMITH, CLERK <br />2 C.F.R. §200.432 defines the term conference as "a meeting, retreat, seminar, symposium, workshop or <br />event whose primary purpose is the dissemination of technical information beyond the non -Federal entity <br />and is necessary and reasonable for successful performance under the Federal award." <br />Rule 691-42.002(3), Florida Administrative Code, defines the term conference as: <br />The coming together of persons with a common interest or interests for the purpose of <br />deliberation, interchange of views, or for the removal of differences or disputes and for discussion <br />of their common problems and interests. The term also includes similar meetings such as <br />seminars and workshops which are large formal group meetings that are programmed and <br />supervised to accomplish intensive research, study, discussion, and work in some specific field or <br />on a governmental problem or problems. A conference does not mean the coming together of <br />agency or interagency personnel. <br />For travel to a conference or convention to qualify for reimbursement, the cost must be reasonable and <br />attendance at the conference must be necessary for the successful completion of a task required by this <br />Agreement. <br />Provided the cost qualifies as reasonable and necessary for the successful completion of a task required <br />by this Agreement, travel to a conference that complies with the requirements of Rule 691-42.004, Florida <br />Administrative Code, satisfies the minimum level of service for conference travel under this Agreement. <br />In pertinent part, Rule 691-42.004(1), Florida Administrative Code, states "No public funds shall be <br />expended for attendance at conferences or conventions unless: <br />• The main purpose of the conference or convention is in connection with the official business <br />of the state and directly related to the performance of the statutory duties and responsibilities <br />of the agency participating; <br />• The activity provides a direct educational or other benefit supporting the work and public <br />purpose of the person attending; <br />• The duties and responsibilities of the traveler attending such meetings are compatible with <br />the objectives of the conference or convention; and <br />• The request for payment of travel expenses is otherwise in compliance with these rules. <br />Provided the cost qualifies as reasonable and necessary for the successful completion of a task required <br />by this Agreement, and provided any related travel complies with the requirements of Rule 691-42.004, <br />Florida Administrative Code, conferences may qualify for reimbursement under this Agreement: <br />Requests for reimbursement for payment of the registration fee or for a conference or convention must <br />include: <br />• A statement explaining how the expense directly relates to the Recipient's successful <br />performance of a task outlined in this Agreement; <br />• A copy of those pages of the agenda that itemizes the registration fee; <br />• A copy of local travel policy; and, <br />• A copy of the travel voucher or a statement that no travel costs were incurred, if applicable. <br />When a meal is included in a registration fee, the meal allowance must be deducted from the <br />reimbursement claim, even if the traveler decides for personal reasons not to eat the meal. See section <br />112.061(6)(c), Florida Statutes (`No one, whether traveling out of or in state, shall be reimbursed for any <br />meal or lodging included in a convention or conference registration fee paid by the state"). A continental <br />breakfast is considered a meal and must be deducted if included in a registration fee for a convention or <br />conference. However, in the case where a meal is provided by a hotel or airline, the traveler shall be <br />allowed to claim the meal allowance provided by law. <br />