Final Rule - Title IV-E Foster Care Eligibility Reviews [Binder] [3]
Images (71)
Document
| id |
id
621038518
|
|---|---|
| contentType |
contentType
document
|
| source |
source
import
|
Source image fields (6)
Extracted text
OCR Page 1 of 71the child and family service review process to help States
identify areas where needed improvements can lead to better
outcomes.
Comment: We received a number of comments requesting that
the child and family services reviews include the full range of
training activities permitted under title IV-E, including pre-
employment training of State staff and long-term training that
permits staff to obtain social work degrees.
Response: We have proposed to review staff and provider
training according to State plan requirements in those areas, as
stated in the NPRM. Although pre-employment and long-term staff
training are allowable expenses under title IV-E training costs,
there are no State plan requirements for these activities that
would be subject to the child and family services review.
Comment: Several commenters expressed concern that the
child and family services review does not include the ASFA
requirements.
Response: The child and family services review does examine
a State's compliance with several requirements of the ASFA.
However, the rule does not specifically cite the ASFA in
-132-
Relations
belongs_to