Use of Appropriated Funds to Purchase Kitchen Appliances

ACQUISITION NEWSFLASH – FEBRUARY 3, 2005

Please see below the new policy and procedures for purchasing kitchen appliances including refrigerators, microwaves, and coffee makers for central kitchen areas.

  1. It is important that the appliances purchased with appropriated funds be located only in common areas where they are available for use by all personnel and are not reserved for the sole use of an individual.
  2. Use of appropriated funds to furnish goods, such as the coffee itself or microwavable foods, is not authorized. These remain costs each employee is expected to bear.
  3. The acquisition file must justify the purchase of the appliances by identifying the benefit to the Government. Further, it must document that the requested equipment meets the minimum necessary to support the intended users.
  4. The IC’s Executive Officer or designee (delegable to no more than one level below) must concur with the justification. The individual responsible for ordering the equipment cannot begin the acquisition process without written evidence of the IC Executive Officer’s (or designee’s) concurrence.

 

FEB – 1 2005

 

TO: Executive Officers and Chief Contracting Officers
FROM: Head of the Contracting Activity and Director, Office of Acquisition Management and Policy Director and Deputy Chief Financial Officer, Office of Financial Management
SUBJECT: Use of Appropriated Funds to Purchase Kitchen Appliances

On June 25, 2004, the General Accounting Office, (since renamed the Government Accountability Office – GAO), issued a decision on the subject “Use of Appropriated Funds to Purchase Kitchen Appliances”. This decision establishes that appropriations are available to pay for items ordinarily considered to be personal in nature, such as kitchen appliances, when the primary benefit of their use accrues to the agency, notwithstanding a collateral benefit to the individual. This decision is a departure from prior decisions where GAO “generally viewed kitchen equipment, such as refrigerators, microwaves, and coffee makers, as a personal expense that an employee was expected to bear from his or her own salary”.

GAO now recognizes that the availability of kitchen equipment can contribute to the efficient operation of an agency and the health of personnel, and is one of many small but important factors that can assist federal agencies in recruiting and retaining the best work force and supporting valuable human capital policies. Further, having centralized appliances may allow agencies to better manage the safety of the buildings by limiting individual use of extension cords for personal appliances. GAO concluded that providing such equipment for employee use benefits the agency in a number of ways, including increased employee productivity, health, and morale, that when viewed together, justify the use of appropriated funds to acquire the equipment.

NIH Institutes, Centers and other components may use appropriated funds to purchase kitchen equipment, including refrigerators, microwaves and commercial coffee makers for central kitchen areas when they determine that these appliances reasonably relate to efficient performance of activities and provides other benefits, including the assurance of a safer workplace.

It is important that the equipment purchased with appropriated funds not be reserved for the sole use of an individual, and must be located only in common areas where they are available for use by all personnel.

NOTE: Use of appropriated funds to furnish goods, such as the coffee itself or microwavable foods, is not authorized. These remain costs each employee is expected to bear.

 

The acquisition file must justify the purchase of the equipment by identifying the benefit to the Government. Further, it must document that the requested equipment meets the minimum necessary to support the intended users. The requesting IC’s Executive Officer (delegable to no more than one level below) must concur with the justification.

The individual responsible for ordering the equipment cannot begin the acquisition process without written evidence of the requesting IC’s Executive Officer (or designee) concurrence.

  1. BACKGROUND
  2. POLICY
  3. RESPONSIBILITIES/PROCEDURES

 

This memorandum supersedes all previous guidance.

Diane J. Frasier Kenneth Stith
Head of the Contracting Activity
Director, Office of Acquisition Management and Policy
Director, Office of Financial Management
Deputy Chief Financial Officer

If you have any questions regarding these changes, you may contact the Purchase Card Helpline on 301-435-6606 or the Simplified Acquisition Helpline on 301-496-0400.

 

[Top]

Last Modified On: Dec 14, 2017