Post by parvej64 on Oct 26, 2023 3:42:46 GMT
considering applications for changes to the project or assessing periodic/final reports. Beneficiaries are often forced to wait several months for the acceptance of reported changes, and reports are often assessed with delays of many months. Such situations hinder effective project management and cause delays, including delays in payment of the final payment. The proposed changes should therefore be assessed as a step in the right direction.
Beneficiaries must, however, remember that the entry into force of the simplifications does not release them from the obligation to maintain research documentation and precisely authenticate progress in project implementation. The facilities do not limit the photo retouching control rights of the intermediary institution (NCBR) and other authorized entities. catalog of institutions, To sum up, the changes proposed by NCBR should speed up and facilitate the settlement of projects financed from POIR. Some of the proposed simplifications.
Were written quite enigmatically (e.g. regarding the conditions for changing elements of the pilot line) and will probably require clarification in the future, but the initiative itself should please the Beneficiaries. The process of project implementation and its settlement before NCBR will be less bureaucratic, and the time for processing changes will be shortened. However, it is impossible not to notice limiting substantive reporting are aimed more at relieving the Intermediate Body itself than out of concern for the comfort of the Beneficiaries.
Beneficiaries must, however, remember that the entry into force of the simplifications does not release them from the obligation to maintain research documentation and precisely authenticate progress in project implementation. The facilities do not limit the photo retouching control rights of the intermediary institution (NCBR) and other authorized entities. catalog of institutions, To sum up, the changes proposed by NCBR should speed up and facilitate the settlement of projects financed from POIR. Some of the proposed simplifications.
Were written quite enigmatically (e.g. regarding the conditions for changing elements of the pilot line) and will probably require clarification in the future, but the initiative itself should please the Beneficiaries. The process of project implementation and its settlement before NCBR will be less bureaucratic, and the time for processing changes will be shortened. However, it is impossible not to notice limiting substantive reporting are aimed more at relieving the Intermediate Body itself than out of concern for the comfort of the Beneficiaries.