Office of the Provost
Office of the Provost

Use of Research Funds

Office of the Provost
Vice Provost for Research
Updated March 2022

Georgetown University research funds are intended to support a broad range of research activities, according to the guidelines outlined below.

Definitions

For the purposes of this policy, the term “research funds” refers to:

(i) any grant funds received from an external sponsor to support budgeted research activities, and

(ii) other research funds typically held in a faculty member’s research account, including:

Principles

(i) University policies apply to the use of all university funds, including research funds, and should be beneficial to the university.

(ii) Research funds should be used for costs directly related to research and should not be used for personal or other non-research expenses.

(iii) External research funds must be used in a manner consistent with the requirements of the sponsor, and be “reasonable, allocable, and allowable.” For example,

(iv) Financial prudence should be exercised, and extravagance or the appearance thereof should be avoided.

(v) All assets purchased with research funds remain the property of the university, including equipment, supplies, etc.

(vi) Apart from course buy-outs (see below), and certain dependent care expenses (see next point), expenses that simply provide additional time to faculty are generally not allowed.

(vii) Dependent-care expenses that facilitate conference attendance and other short term research travel are allowable, in accordance with the sponsor’s policies and approval processes, if any* (1)

(viii) Research funds cannot be used to pay for services that are otherwise provided free of charge by the university (e.g., document shredding)

Examples

Generally allowable expenditures include, for example:

Generally not allowable expenditures include, for example:


(1) The Uniform Guidance, Article 200.474(c)(1)(ii) says that this is allowable “provided that it is consistent with the non-Federal entity’s documented travel policy for all entity travel.” So for Federal grants, this will be an allowable expense once the University’s travel policy is revised.

(2) Clerical help is allowable on Federal awards with the Agency’s prior written approval. There are strict criteria for what information must be included in the proposal or the post-award request for approval.

(3) Research centers and initiatives that are wholly or partly funded by external sources may use their share of the IDC, or direct costs as allowed by the sponsor, to cover items such as furniture and other office expenses. Furniture for individual faculty offices is the responsibility of the relevant department or school.