Final RPPR Instructions

FINAL RPPR PRA Instructions.pdf

Grantee Reporting Requirements for Materials Research Science and Engineering Centers (MRSECs)

Final RPPR Instructions

OMB: 3145-0230

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Mar, Sharon
Feldman, Jean I.; DiEuliis, Diane
Santonastasso, Mary F.; Bell, Dale; Plimpton, Suzanne H.; Hunt, Alexander T.; Malanoski, Margaret A.
FINAL RPPR PRA Instructions
Friday, May 14, 2010 3:33:08 PM

All,
 
Below are the finalized PRA instructions for agencies on the RPPR.  Diane- please distribute to the
RBM and Jean- please distribute to the RPPR working group. 
 
Thanks again everyone for your help and have a great weekend!
 
Sharon
 
Paperwork Reduction Act approval process for Research Performance
Progress Report (RPPR)
According to the recently issued OMB/OSTP RPPR policy letter, agencies will be required to use the
RPPR format for use in submission of annual or other interim progress reports on research and
research-related grants and cooperative agreements.  This format is intended to replace
performance reporting formats now used by agencies for these types of awards, and thereby
increase the consistency of reporting and reduce paperwork burdens.
OMB seeks to facilitate use of the RPPR for agencies by clarifying the applicability of the Paperwork
Reduction Act (PRA).  OMB will apply the PRA in four different ways, depending on the nature of
the requested changes made by agencies as follows:
·

Agencies that currently collect the mandatory or optional information covered by the RPPR
components and associated instructions, may submit a “non-substantive change” request
to OMB for review and approval under the PRA.  This type of request may be submitted
directly to OIRA for expedited review without prior public notice and comment. 

·

Agencies that currently collect some of the mandatory information covered by the RPPR
components and associated instructions and elect to collect more mandatory information,
must request OMB approval of a “revision” under the PRA.  Since the mandatory RPPR
information has already been subject to one round of public notice and comment under
NSF’s Federal Register 60-day notice, OMB will require only a 30-day FR notice from
agencies opting to add additional mandatory information to their existing collection.

·

Agencies that currently collect some mandatory information and elect to collect additional,
questions covered in an optional RPPR component must request OMB approval of a
“revision” under the PRA.  This type of request involves the normal PRA public notice and
comment process, which will result in a new three-year OMB approval.  

·

Agencies that do not currently have their own specific performance reporting format(s) and
need to adopt the RPPR, must request a “new” collection under the PRA, which also
involves the normal PRA public notice and comment process. 

Please note that any additional agency and/or program-specific reporting that agencies may
develop will require OMB review and clearance under the PRA.  We encourage agencies to minimize
reporting burden and limit to the degree to which they supplement the standard categories. 

 
 
Sharon Mar
Policy Analyst│Information Policy
OMB│Office of Information and Regulatory Affairs
Tel: 202.395.6466│Fax: 202.395.5167│[email protected]

 


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