503.2 - University of North Carolina at Chapel Hill Procedure on Writing off Uncollectible Accounts

Summary

Accounts should be written off when all collection procedures, including those required by the Office of the Attorney General (OAG), have been conducted without results and management deems the accounts uncollectible.

Body

Procedure Statement

Accounts should be written off when all collection procedures, including those required by the Office of the Attorney General (OAG), have been conducted without results and management deems the accounts uncollectible.

Uncollectible accounts may be written off the University's financial accounting system and no longer recognized as collectible receivables for financial reporting purposes, but the legal obligation to pay the debt still remains. Accounts written off remain debts to the University until discharged by the OAG, the Office of University Counsel, or are collected.

In order for the accounts to be written off, a memorandum must be submitted to the University Controller. The memorandum should include the justification for the write-off, collection efforts made supported by account detail for approval and posting.

Accounts with balances of $10 or less may be written off without additional collection procedures if approved by management.

Accounts with balances of less than $50 which have had no response from internal collections procedures outline in Finance Procedure 503.1 - Procedure on Collecting Past Due Accounts Receivable may be written off if approved by management.

For accounts $50 or greater, additional collection procedures must be followed, including referral to the OAG, referral to collection agencies and the Setoff Debt Collection Act (SODCA) - for at least one collection cycle - and the State Employees Debt Collection Act (SEDCA), if applicable. At six months after assignment to a collection agency, the debt may be considered for write-off (except for federal student loans). If, after twelve months after assignment to a collection agency, management determines that it is not cost-effective to consider pursuing the debt, a write-off may be considered.

A write-off of a debt does not remove the obligation of the debtor and is not discharged until authorized by law, the OAG or paid. Unless prohibited by law, written off accounts should continue to be submitted to SODCA.

The Office of the State Controller (OSC) requires that the reasons for writing off an account and compliance with this write-off policy/procedure must be adequately documented. Such documentation must be readily available for audit.

Consult with Cash Management for guidance on recording debt write-offs and maintaining SODCA submissions.

Interagency receivables (between the University and other N.C. state agencies) cannot be written off without OSC's approval. If the University is unable to collect receivables from another state agency, the University should contact OSC's Statewide Accounts Receivable Management Unit for assistance. The Controller (OSC) has the authority to process the interagency transactions that the Controller (OSC) considers necessary under the circumstances.

Federally-sponsored student loans should be written off and no longer considered a debt of the agency when assigned to the U.S. Department of Education or other applicable federal agency.

Establishing an Allowance for Doubtful Accounts

The dean, director, or department chair is responsible for establishing an allowance for doubtful accounts to reflect the amount of accounts receivable that they estimate will be uncollectible. The establishment of an allowance ensures that the University's receivables are not overstated for financial reporting purposes.

Given the unique nature of operations, the method of establishing an allowance for doubtful accounts is left to the division's/department's discretion. However, the estimated allowance should be based upon historical data or other pertinent information relative to the receivables in question. If a division or department needs guidance in establishing an allowance for doubtful accounts, the University Controller's office should be contacted.

Forms and Instructions

Related Data

Related Policies

  • Finance Policy 503 - University of North Carolina at Chapel Hill Policy on Accounts Receivable

History

Revised:

  • February 18, 2016: Added link to new Procedure 503.3.
  • June 29, 2015: Added information on collecting accounts and Related Data item.
  • July 1, 2010

Details

Details

Article ID: 131526
Created
Thu 4/8/21 9:10 PM
Modified
Tue 10/31/23 1:18 PM
Responsible Unit
School, Department, or other organizational unit issuing this document.
F&O-Finance
Issuing Officer
Name of the document Issuing Officer. This is the individual whose organizational authority covers the policy scope and who is primarily responsible for the policy.
Issuing Officer Title
Title of the person who is primarily responsible for issuing this policy.
Int. ED Assoc. Entities/Assoc Controller
Next Review
Date on which the next document review is due.
02/28/2019 12:00 AM
Last Review
Date on which the most recent document review was completed.
02/28/2018 12:00 AM
Last Revised
Date on which the most recent changes to this document were approved.
02/28/2018 12:00 AM
Effective Date
If the date on which this document became/becomes enforceable differs from the Origination or Last Revision, this attribute reflects the date on which it is/was enforcable.
02/28/2018 12:00 AM
Origination
Date on which the original version of this document was first made official.
01/23/2004 12:00 AM