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Grant Management for Community Health Centers

Last updated: April 15, 2026

TLDR

Community health centers receiving HRSA Health Center Program funding face some of the most rigorous federal grant compliance requirements in the nonprofit sector. Section 330 grants, Uniform Guidance cost reporting, and the dual obligation to serve as both a healthcare provider and federal grant recipient create compliance demands that standard donor CRMs cannot address.

Community health centers occupy a unique compliance position: they are both healthcare providers regulated by HRSA program requirements and federal grant recipients subject to Uniform Guidance. This dual obligation creates compliance demands that exceed what standard donor management tools or general nonprofit accounting software can address.

HRSA Section 330: The Core Federal Program

The HRSA Health Center Program, authorized under Section 330 of the Public Health Service Act, is the primary federal funding source for community health centers. Section 330 grants support operations at federally qualified health centers (FQHCs) and FQHC Look-Alikes, which receive enhanced Medicaid and Medicare reimbursement rates in exchange for serving all patients regardless of ability to pay.

Section 330 grantees must comply with 42 CFR Part 51c program requirements in addition to standard federal grant compliance under 2 CFR 200. Program requirements include maintaining a governing board with majority patient representation, operating a sliding fee discount program, providing services in a defined health professional shortage area or medically underserved area, and reporting detailed patient and service data annually through the Uniform Data System.

Financial compliance under Section 330 requires tracking grant expenditures by program activity, maintaining documented cost allocation methodologies for shared costs, and demonstrating that grant funds were used exclusively for services delivered to health center patients. When a health center receives both Section 330 base funding and a separate Section 330 expanded services supplement, each award’s expenditures must be tracked independently.

Uniform Data System Reporting

The HRSA UDS is an annual reporting requirement that integrates financial and clinical data in a way that few other federal grant programs require. Health centers must report patient demographics, visit counts by payer type (Medicaid, Medicare, CHIP, uninsured), services delivered, clinical quality measures, and financial data — all in a single annual submission.

The financial portion of UDS reporting requires reconciling grant expenditures with patient visit counts. This means the organization’s financial records must be organized to support the UDS categories throughout the year, not just at reporting time. Health centers that maintain grant records in general ledger accounts that do not map to UDS categories spend significant staff time reformatting data for each annual submission.

Cost Allocation Under 2 CFR 200

Community health centers receiving federal funding must apply Uniform Guidance cost principles from 2 CFR Part 200 to all federal awards. For health centers, cost allocation is particularly complex because most costs — staff, facilities, medical supplies — support multiple programs simultaneously.

A documented cost allocation methodology is not optional: it is a requirement. The methodology must be consistently applied, logically connect costs to the activities that generate them, and survive scrutiny from HRSA program officers and OIG auditors. Health centers that apply arbitrary allocation percentages without documentation face findings when federal reviewers examine their records.

Multi-Award Management

Most operational health centers manage multiple HRSA awards simultaneously: a base Section 330 grant, possibly expanded service awards, capital improvement grants for facility upgrades, and co-located behavioral health grants from SAMHSA. Each award has separate reporting requirements, separate budget categories, and separate period of performance dates.

Managing multiple HRSA awards in spreadsheets creates reconciliation risk. When a cost is shared across two programs, tracking the allocation in a spreadsheet requires manual updates in multiple places. When a program officer requests documentation of expenditures under a specific award, assembling that documentation from a spreadsheet-based system is slow and error-prone.

Grant management software that maintains fund-level accounting — tracking each dollar under its award, period, and cost category — reduces both the daily administrative burden and the risk of findings during site visits or audits.

There are approximately 1,400 HRSA-funded health center organizations operating more than 14,000 service delivery sites across the US

Source: HRSA Health Center Program 2023 National Data

HRSA Health Center Program grants totaled $6.6 billion in FY2023, making it one of the largest federal grant programs for nonprofit health providers

Source: HRSA Budget and Performance

See GrantPipe in a Community Health Centers workflow

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There are approximately 14,000 community health centers in the United States that could benefit from unified donor and grant management.

Key Pain Points for Community Health Centers

  • HRSA Section 330 grants require cost reporting that integrates with clinical operations data
  • Uniform Guidance (2 CFR 200) compliance applies to all federal awards, requiring documented cost allocation
  • Multi-year HRSA awards have annual budget reporting requirements with strict prior approval rules for modifications
  • Federal health center grants often require matching documentation for expanded service programs

Common Grant Types

  • HRSA Health Center Program (Section 330)
  • HRSA Service Area Competition (SAC) grants
  • HRSA Look-Alike designation awards
  • HHS Substance Abuse (SAMHSA) co-located program grants
  • State primary care association pass-through grants

Compliance Notes

Community health centers receiving HRSA Section 330 grants must comply with 42 CFR Part 51c program requirements, Uniform Guidance cost principles under 2 CFR 200, and HRSA's UDS (Uniform Data System) reporting requirements. Annual cost reports must reconcile financial data with patient visit counts. Budget modifications above certain thresholds require prior HRSA approval. Organizations must also comply with HIPAA for any patient data referenced in grant reports.

Frequently asked

Frequently Asked Questions

What grants do community health centers typically receive?
Community health centers primarily receive HRSA Health Center Program grants (Section 330), which fund operations at federally qualified health centers (FQHCs) and FQHC Look-Alikes. Many also receive HRSA Service Area Competition (SAC) grants for geographic expansion, SAMHSA grants for behavioral health co-location, and state primary care association pass-through funding. Large centers may manage 5-10 separate federal and state awards simultaneously, each with distinct compliance requirements.
What HRSA compliance requirements apply to community health center grants?
HRSA Health Center Program grantees must comply with 42 CFR Part 51c (program requirements), 2 CFR 200 (Uniform Guidance cost principles), and HRSA's annual Uniform Data System (UDS) reporting requirements. Financial compliance includes maintaining documented cost allocation methodologies, tracking allowable vs unallowable expenses, and submitting annual financial reports that reconcile grant expenditures with patient visit data. Budget modifications above the 10% threshold require prior HRSA approval.
What restricted fund tracking issues arise in community health grants?
HRSA grants are program-specific: Section 330 funds can only be used for services delivered to health center patients. When a health center operates multiple HRSA grant programs (e.g., a standard Section 330 plus a SAMHSA behavioral health award), each program's funding must be tracked separately. Cost allocation across shared staff, facilities, and overhead requires documented methodologies that hold up to a HRSA site visit or OIG audit. Commingling funds across programs is the most common finding in HRSA compliance reviews.
How do I report on a HRSA Health Center Program grant?
HRSA requires annual UDS (Uniform Data System) reports that combine financial data with clinical service data, including patient visit counts by payer type, services delivered, and patient demographics. Financial reports must show expenditures against approved budgets by program activity. Mid-year progress reports are required for some grant types. All reports are submitted through HRSA's Electronic Handbooks (EHBs) system. Health centers should maintain documentation in a format that maps directly to UDS categories throughout the year, not just at reporting time.
What does a federal health center grant audit check?
HRSA site visits and OIG audits of community health center grants focus on: whether grant funds were used for allowable program activities, whether cost allocation methodologies are documented and consistently applied, whether the organization meets HRSA program requirements (board composition, sliding fee scale, service area requirements), and whether financial management systems provide adequate internal controls over federal funds. Organizations that lack documented cost allocation policies or maintain grant records in spreadsheets face significant risk during site visits.