Attached are answers to a series of questions which we have received concerning the new two-tiered reimbursement system mandated for FDCHs in the CACFP.
Recently, we were asked whether state agencies are required to make public release announcements on behalf of their CACFP institutions. If the state is not required to do so, does the state have the option to publish an announcement for CACFP institutions in conjunction with other child nutrition programs, and if so, does this announcement relieve the institutions of their responsibility for releasing a public notification?
This memorandum addresses provisions which reduce the number of reimbursable meals that can be claimed by camps and migrant site in SFSP and child care centers in CACFP.
This memorandum responds to regional requests at the Seattle meeting for clarification regarding States’ authority to maintain a list of seriously deficient day care home providers.
Among the provisions of Pro-Children Act of 1994 are those which forbid smoking within any indoor facility owned, leased or contracted for the provision of regular or routine health care or day care or early childhood development services to children.
This notice announces the annual adjustments to the national average payment rates for meals served in child care, outside-school- hours care and adult day care centers, the food service payment rates for meals served in day care homes, and the administrative reimbursement rates for sponsors of day care homes to reflect changes in the Consumer Price Index.
As promised at the National Summer Food Service Program and Child and Adult Care Food Program Conference in Baltimore, this memorandum provides a re-statement of the FNS policy regarding the definition of group and family day care homes in the CACFP.
This memorandum follows up on our Oct. 8, 1993 memorandum on day care homes and is intended to reaffirm the policy on rental homes. The memorandum did not specifically address this issue and as a result a number of questions have been asked.
It has come to our attention that several states are allowing child care conducted in buildings which are not private residences to be considered day care homes for purposes of CACFP. This memorandum clarifies our policy on the participation of group and family day care homes.
PL 101-147 provided for additional administrative payments to sponsoring organizations wishing to expand into rural and low-income areas.