For other versions of this document, see http://wikileaks.org/wiki/CRS-RL31668 ------------------------------------------------------------------------------ Order Code RL31668 Federal Pell Grant Program of the Higher Education Act: Background and Reauthorization Updated January 30, 2008 Charmaine Mercer Analyst in Education Policy Domestic Social Policy Division Federal Pell Grant Program of the Higher Education Act: Background and Reauthorization Summary The Federal Pell Grant program, authorized by the Higher Education Act (HEA), is the single largest source of grant aid for postsecondary education attendance funded by the federal government. It is estimated to provide nearly $14 billion in FY2007 to about 5.3 million undergraduate students. For FY2007, the maximum Pell Grant was funded at $4,310. With the expiration of the HEA, the Congress is likely to debate what changes may be needed in the Pell Grant program as part of its consideration of HEA reauthorization. Pell Grants are need-based aid intended to be the foundation for all federal student aid awarded to undergraduates (eligibility is limited to undergraduates). There is no absolute income threshold that determines who is eligible and who is ineligible for Pell Grants. Nevertheless, Pell Grant recipients are primarily low- income. In FY1999, an estimated over 90% of Pell Grant recipients considered to be dependent upon their parents had total parental income below $40,000. Of Pell Grant recipients considered to be independent of their parents, over 90% had total income below $30,000. Among the issues that may be debated by the Congress during the HEA reauthorization process is the extent to which the Pell Grant program continues to act as the foundation for all federal need-based aid for undergraduates. Concern has been raised about the diminished role that the Pell Grant may be playing. For example, need-based aid recipients are as likely to borrow subsidized loans under the Federal Stafford Loan program as they are to receive Pell Grants. This overarching issue may trigger consideration of various steps to increase the amount of Pell Grant aid flowing to the neediest students. This might include deliberation over raising the Pell Grant minimum award (those with the smallest grants are the least needy of Pell recipients), converting the program into an entitlement possibly with higher annual maximum grants. Converting the program to an entitlement is also seen by some as a response to the periodic uncertainty about the adequacy of the annual appropriation to meet program costs and resulting funding shortfalls. Other issues that may engage the Congress include whether some element of academic merit should be introduced into the process of determining Pell eligibility and level of Pell assistance. This report will be updated to reflect major legislative action to reauthorize the Pell Grant program. Contents Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 1 How the Program Works . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 2 Student Eligibility . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 2 Award Rules . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 3 Key Concepts . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 3 Award Rules . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 5 Institutional Role . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 5 Program Funding . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 7 Annual Appropriation and Program Costs . . . . . . . . . . . . . . . . . . . . . . . . . . . 7 Authorized Maximums and Appropriated Maximums . . . . . . . . . . . . . . . . . 8 Surpluses and Shortfalls . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 10 FY2001-FY2005: The Growth of the Shortfall . . . . . . . . . . . . . . . . . . 11 FY2006: Eliminating the Funding Shortfall . . . . . . . . . . . . . . . . . . . . 13 Characteristics of Recipients . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 14 Income . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 16 Enrollment Status . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 19 Type and Control . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 19 Role of the Pell Grant . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 20 Purchasing Power . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 20 Pell Grant Recipients and Other Federal Aid . . . . . . . . . . . . . . . . . . . . . . . . 22 Possible Reauthorization Issues . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 24 Entitlement . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 24 Minimum Grant . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 25 Academic Merit . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 26 List of Figures Figure 1. Authorized Maximum Grants, Appropriated Maximum Grants, and Average Awards, FY1973-FY2007 . . . . . . . . . . . . . . . . . . . . . . . . . . . 10 Figure 2. Estimated Number of Pell Grant Recipients, FY1973-FY2007 . . . . . . 16 Figure 3. Percentage of Tuition, Fees, Room and Board Covered by the Appropriated Maximum Pell Grant, FY1973-FY2006 . . . . . . . . . . . . . . . . 21 List of Tables Table 1. History of Pell Grant Appropriations and Program Costs, FY1973-FY2007 . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 7 Table 2. History of Authorized Maximum Grants, Appropriated Maximum Grants, and Average Awards, FY1973-FY2007 . . . . . . . . . . . . . . . . . . . . . . 9 Table 3. FY2001-FY2005 Pell Grant Shortfalls . . . . . . . . . . . . . . . . . . . . . . . . . 13 Table 4. Estimated Annual Number of Pell Grant Recipients, FY1973-FY2007 . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 15 Table 5. Estimated Pell Grant Participation by Income, 2000-2003 . . . . . . . . . . 18 Table 6. Estimated Distribution of Undergraduates and Pell Grant Recipients by Enrollment Status, 2000-2003 . . . . . . . . . . . . . . . . . . . . . . . . 19 Table 7. Estimated Distribution of Undergraduates and Pell Grant Recipients by Type and Control of Enrolling Institution, 2000-2003 . . . . . 20 Table 8. Pell Grant Recipients' Participation Rates and Average Awards in Other Aid Programs, FY2003 . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 23 Table 9. Estimated Impact of Increasing the Minimum Pell Grant for Award Year 2007-2008 . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 26 Federal Pell Grant Program of the Higher Education Act: Background and Reauthorization Introduction The Federal Pell Grant program, authorized by Title IV of the Higher Education Act (HEA), is the single largest source of grant aid for postsecondary education attendance funded by the federal government. It is estimated to have provided approximately $14 billion to about 5.3 million undergraduate students in FY2007. Pell Grants are need-based aid intended to be the foundation for all federal student aid awarded to undergraduates. The U.S. Department of Education (ED) estimates that, in FY2006, Pell Grants constituted approximately 17% of all federally supported aid, including grants, loans, and work opportunities, that benefit postsecondary education students at all levels.1 The statutory authority for the Pell Grant program was most recently reauthorized by the College Cost Reduction and Access Act of 2007 (P.L. 110-84) through FY2017. However, a comprehensive reauthorization of the HEA has not occurred since the HEA Amendments of 1998 and still awaits congressional attention. Most recently, the HEA was amended and extended by the Third Higher Education Extension Act of 2007 (P.L. 110-109) until March 31, 2008.2 As it deliberates on the reauthorization of the HEA, the Congress may debate what changes, if any, to make to the Pell Grant program. This report reviews how the program works and provides analysis of program funding, recipients (numbers and characteristics), and the role being played by the program in the distribution of federal student aid. It concludes with an examination of several Pell-related issues that may be considered by the Congress in the HEA reauthorization process. This report will be updated to reflect major legislative action to reauthorize the Pell Grant program. 1 Percentage calculated from data presented in U.S. Department of Education, Fiscal Year 2008 Budget Summary, p. 54. Total federal student aid excludes $31 billion in consolidation loans under which borrowers consolidate prior loans. If consolidation loans are included, the Pell percentage falls to approximately 12%. 2 The original termination date for most of the provisions of the HEA was September 30, 2003. This termination date was extended through FY2004 by the General Education Provisions Act (GEPA). A series of subsequent measures -- P.L. 108-366, P.L. 109-81, P.L. 109-150, P.L. 109-212. P.L. 109-238, P.L. 109-292, P.L. 110-44, P.L. 110-51, and P.L. 110-109 -- have temporarily extended the HEA program and provision authority. CRS-2 How the Program Works This section provides an overview of the structure of the Pell Grant program and the process through which grants are made to students. It describes student eligibility, the award rules for determining students' grants, program funding, and the role played by postsecondary institutions in the program. Briefly, the Pell Grant program provides grants (i.e., aid that does not have to be repaid) to needy undergraduates. In any year, federal funding is available to ensure that all eligible students attending eligible institutions receive Pell Grants.3 To apply for these grants, students must complete the Free Application for Federal Student Aid (FAFSA) with requested financial and other information, and submit it to a "central processor" under contract with ED. The central processor provides each applicant with a Student Aid Record (SAR) and each institution of higher education (IHE) designated by the applicant with an Institutional Student Information Record (ISIR); these documents contain the information submitted on the FAFSA and the calculated expected family contribution (EFC). The EFC is what is expected to be contributed by the student and his or her family toward postsecondary education expenses (the EFC is described in detail below). Pell Grants are portable, that is, the grant aid follows the student to the eligible postsecondary education institutions in which they enroll. Institutions that receive valid SARs or valid ISIRs for students meeting all other program eligibility requirements must disburse Pell Grants to them. The size of the grants is based, principally, on the financial resources that students and their families are expected to contribute toward postsecondary education expenses, and the maximum grant that the annual appropriations process sets for the program. Student Eligibility To be eligible for a Pell Grant, a student must meet requirements that apply to federal student aid in general and requirements specific to the Pell Grant program. Among the requirements generally applicable to federal student aid are the following: ! Students must be enrolled for the purpose of earning a degree or certificate at an eligible institution. ! Students must have a high school diploma or the recognized equivalent.4 Absent such diploma or its equivalent, students must 3 As explored below, if costs for the Pell Grant program exceed the current fiscal year's appropriation, additional funds can be used from the subsequent year's appropriation. This process of ensuring that grant payments will be made has led some to liken the program to a "quasi entitlement." The issue of making the program into an actual entitlement is discussed later in this report. 4 Students completing home schooling as recognized under state law are considered to be eligible. CRS-3 demonstrate an ability to benefit from postsecondary education by passing an examination approved by ED. ! Students have to maintain satisfactory academic progress while enrolled in postsecondary education in order to be eligible for federal student aid. Satisfactory progress is delineated by policies developed by each participating IHE. ! Conviction for possession or sale of drugs can disqualify students for federal student aid.5 ! Students are ineligible if they are in default on a Title IV student loan or have failed to repay an overpayment on a Title IV grant. ! Students must meet citizenship requirements.6 ! Males between 18 and 25 years of age must register with the selective service system in order to eligible for federal student aid. Pell-specific requirements include the following: ! Full-time and part-time7 undergraduates8 are eligible to receive Pell Grants. ! There is no statutory limit on the number of years in which students can receive grants. ! Students who are incarcerated in a federal or state penal institution are ineligible for Pell Grants. ! The program provides assistance only to financially needy students as determined under the program's award rules (see below). Award Rules Key Concepts. An eligible student's annual Pell Grant is determined on the basis of a set of award rules. Certain concepts are key to an understanding of the application of these award rules. Appropriated Maximum Pell Grant. The appropriated maximum Pell Grant is specified in the annual appropriations legislation for the U.S. Department of Education. That legislation appropriates funding for the Pell Grant program and sets the maximum award that can be made during the fiscal year. The Revised 5 For additional information on drug convictions and student aid eligibility see CRS Report RS21824, Student Eligibility: Drug Convictions and Federal Financial Aid, by Charmaine Mercer and Laura L. Monagle. 6 Generally, students must be U.S. citizens or U.S. permanent residents. Individuals with several other entrance statuses can qualify for aid. Individuals in the U.S. on a temporary basis, such as those with a student visa or an exchange visitor visa are not eligible for federal student aid. 7 Less than half-time students are eligible. 8 Students enrolled on at least a half-time basis in a postbaccalaureate program required by a state for K-12 teacher certification or licensure are also eligible. Such a program cannot not lead to a graduate degree and the enrolling higher education institutions must not offer baccalaureate degrees in education. CRS-4 Continuing Appropriations Resolution, 2007, set the maximum appropriated Pell Grant award at $4,310 for award year 2007-2008.9 This maximum award is different from the authorized maximum Pell Grant which is the annual maximum Pell Grant specified in the HEA. This topic is explored further in the section below on program funding. Additionally, the College Cost Reduction and Access Act of 2007 included mandatory funding for the Pell Grant program to increase the amount of the maximum appropriated award. Specifically, the maximum appropriated award would be increased by the following amounts: ! $490 for award years 2008-2009 and 2009-2010; ! $690 for award years 2010-2011 and 2011-2012; and ! $1,090 for award year 2012-2013. This newly added provision specifies that any individual who qualifies for a Pell Grant award under the provisions associated with the current appropriated maximum Pell Grant award is eligible to receive this "add-on" amount. For example, for the 2008-2009 award year, assuming the maximum appropriated Pell Grant award remains $4,310, an individual who qualifies for a Pell Grant award of $500 would receive an additional $490 for a total of $990 because he/she qualified under the provisions for a $4,310 maximum award. Thus, if a person is eligible for a Pell Grant award of at least $200 on the basis of the appropriated maximum award, this individual would receive the "add-on" amount in any given award year. Expected Family Contribution. The EFC is the amount that the federal need analysis system determines can be expected to be contributed by a student and his or her family toward the student's cost of education. This calculation is based on consideration of available income and, for some families, available assets. Basic living expenses, federal income tax liability, retirement needs, and other expenses are taken into account in this process. Different EFC formulas are applied to three different groups of students -- those who are considered dependent on their parents (the EFC formula assesses the financial resources of both the parents and the dependent student); independent students with no dependents, other than a spouse, if any; and independent students with dependents other than a spouse (e.g., children).10 The EFC determination utilizes financial information submitted by the aid recipient on the FAFSA. Cost of Attendance. The cost of attendance (COA) is a measure of a student's educational expenses. In general, it is the sum of tuition and fees; an 9 Award year 2007-2008 began July 1, 2007, and ends June 30, 2008. 10 For federal student aid purposes and the calculation of the EFC, an individual is considered independent of his or her parents (i.e., parental income and assets are not considered in determining the EFC), if the individual is at least 24 years old by December 31 of the award year, is an orphan or ward of the state (or was until age 18), is a veteran of the armed forces or active duty military, is a graduate or professional student, is married, has dependents other than a spouse, or is deemed independent by a financial aid officer for "other unusual circumstances." CRS-5 allowance for books, supplies, transportation, and miscellaneous personal expenses; and a room and board allowance.11 Award Rules. The primary Pell Grant award rule is that a student's annual grant is the least of the maximum appropriated Pell Grant minus EFC or COA minus EFC.12 Additionally, by law, a Pell Grant award cannot be less than $400. For those students whose Pell Grant would be between $200 and $400, the law provides a $400 grant. Those whose calculated Pell Grant is less than $200 receive no grant. Prior to the enactment of the College Cost Reduction and Access Act of 2007, there was a third award rule, tuition sensitivity, that functioned to reduce the amount of the Pell Grant award for students attending higher education institutions with very low tuition charges. The tuition sensitivity provision was first adopted by the Higher Education Amendments of 1992 and was intended to protect a base amount of the Pell Grant maximum award and make a portion of increases above that base sensitive to tuition. More specifically, tuition sensitivity reduces the Pell Grant award received by a small number of the low-income students who also attend institutions with very low tuition charges. For FY2007, the only students whose Pell Grant would possibly be reduced under tuition sensitivity are those students whose tuition charges (and any allowances for dependent care or disability related expenses) are less than $805, whose EFCs are 800 or less, and whose total COA is $3,500 or higher. However, this provision was eliminated by the College Cost Reduction and Access Act of 2007, effective July 1, 2007. Finally, an important feature of the Pell Grant award rules is that the grant is determined without consideration of any other financial assistance a student may be eligible to receive or may be receiving. This reflects the intention to make the Pell Grant the foundation to which other assistance is added. Institutional Role An eligible institution's role in the Pell Grant program primarily involves determining student eligibility, disbursing awards, adjusting awards to ensure that students do not receive more assistance than they are eligible for, record keeping, and reporting to ED.13 11 It can also include an allowance for dependent care expenses (for students with dependents); costs associated with study abroad programs for students engaged in such programs; expenses associated with a disability for students with disabilities; and the costs associated with employment under a cooperative education program. Students who are less than half-time are eligible for room and board costs for no more than three semesters, of which no more than two can be consecutive. 12 The HEA prohibits the Pell Grant from exceeding the difference between the COA and the EFC. This precludes the awarding of a Pell Grant in excess of what a student might need to cover COA after taking EFC into account. 13 Much of the information in this section is based on the U.S. Department of Education's Federal Student Aid Handbook for 2006-2007, available on the web at [http://ifap.ed.gov/ IFAPWebApp/currentSFAHandbooksPag.jsp]. CRS-6 To be eligible for HEA Title IV programs, including the Pell Grant program, an institution must be a public or private nonprofit IHE, a proprietary postsecondary institution, or a postsecondary vocational institution. Among other requirements14, it must be legally authorized by its state to provide a postsecondary education, must be accredited by a nationally recognized accrediting agency or meet alternative requirements, and admit as regular students only individuals with a high school diploma or the equivalent, or individuals beyond the age of compulsory school attendance. ED certifies an institution for participation in HEA Title IV programs based on consideration of its institutional eligibility, administrative capacity, and financial responsibility. The institution must then enter into a program participation agreement with ED which delineates the requirements and responsibilities for participating institutions. In addition to other Title IV eligibility requirements, a high student loan default rate can render an institution ineligible for the Pell Grant program. This applies if an institution is ineligible for the Federal Family Education Loan program or Direct Loan program under HEA Title IV as a result of its loan default rate determined by the Secretary of Education for FY1996 or subsequent fiscal years. An eligible institution calculates a student's Pell Grant award using the COA and enrollment status it has determined for the student, and applying these values with the student's EFC to the Pell Grant payment schedules published annually by ED. Pell Grants must be paid out in installments over the academic year. A student receives a Pell Grant only for the payment period for which he or she is enrolled. Generally, institutions credit a student's account with the Pell payment to meet unpaid tuition, fees, room, and board; any remaining Pell funds are paid directly to the student to cover other living expenses. Based on estimates of the funds an institution needs to cover initial Pell payments, ED establishes an initial authorization of Pell Grant funding against which an institution may request funds. This initial authorization level is adjusted as the award year advances to reflect actual disbursements. Institutions can receive federal payments for Pell awards in several different ways. For most schools, the advance payment method is used under which an institution receives federal funds prior to making payments to students. Schools for which ED has concerns about their ability to meet Title IV participation requirements may be required to use the reimbursement payment method under which the institution is paid back for funds it has disbursed to students. In addition, the Pell Grant program pays participating institutions an administrative cost allowance of $5 per enrolled Pell recipient. 14 For additional information on institutional eligibility and federal student aid, see CRS Report RL31926, Institutional Eligibility for Participation in Title IV Student Aid Programs Under the Higher Education Act: Background and Issues, by Rebecca Skinner. CRS-7 Program Funding The Pell Grant program is the federal government's single largest source of grant aid for postsecondary education students. This section reviews recent program funding trends, exploring the difference between the annual appropriation for the program and program costs, and the issue of annual shortfalls or surpluses in funding. It also provides data on the appropriated maximum and authorized maximum Pell Grants, as well as annual average grant awards. Pell funding appropriated for a particular fiscal year is generally intended to support awards during an award year that begins on the July 1 that falls in that fiscal year and ends the following June 30. For example, FY2007 Pell appropriated funds are intended principally to support awards made between July 1, 2007 and June 30, 2008. Further, Pell Grant appropriations are available for obligation over a two-year period; for example, the FY2007 appropriation became available for obligation upon enactment of the FY2007 appropriations legislation15 and can be obligated through September 30, 2009. As is discussed later in a separate section on surpluses and shortfalls in the Pell Grant program, the annual Pell appropriation has been used to meet prior year costs or carried over to meet future costs. Annual Appropriation and Program Costs Table 1 provides the annual appropriation by fiscal year for the Pell Grant program and the estimated annual costs of the program. Given the possible use of a fiscal year's appropriation for Pell Grants for multiple award years, or the appropriation of funds specifically to meet shortfalls from prior years, it is not surprising that the annual appropriated amount does not precisely equal the program costs for any year. The question of annual surpluses or shortfalls has vexed the program on many occasions. It is considered separately below. Table 1. History of Pell Grant Appropriations and Program Costs, FY1973-FY2007 (dollars in millions, rounded to nearest million) Fiscal Year Appropriations Estimated Costs 1973 122 48 1974 475 358 1975 840 926 1976 1,326 1,475 1977 1,904 1,524 1978 2,160 1,541 1979 2,431 2,357 1980 2,157 2,387 1981 2,604 2,300 1982 2,419 2,421 1983 2,419 2,797 15 P.L. 110-5, Revised Continuing Appropriations Resolution, 2007, was enacted on February 15, 2007. CRS-8 Fiscal Year Appropriations Estimated Costs 1984 2,800 3,053 1985 3,862 3,597 1986 3,580 3,460 1987 4,187 3,754 1988 4,260 4,476 1989 4,484 4,778 1990 4,804 4,935 1991 5,376 5,793 1992 5,503 6,176 1993 6,462 5,654 1994 6,637 5,519 1995 6,147 5,472 1996 4,914 5,780 1997 5,919 6,331 1998 7,345 7,233 1999 7,704 7,218 2000 7,640 7,965 2001 8,756 9,996 2002 11,314 11,656 2003 11,365 12,731 2004 12,007 13,140 2005 12,365 12,718 2006 17,345a 12,907 2007 13,661 12,981b Sources: U.S. Department of Education, End of Year Report: 2004-2005 Title IV/Federal Pell Grant Program; U.S. Department of Education, Fiscal Year 2008 Justifications of Appropriation Estimates to the Congress, vol. II, p. O-26. a. This amount includes $4.3 billion in mandatory funding to eliminate the program's accumulated funding shortfall. b. This amount does not include the costs of increasing the maximum Pell Grant award from $4,050 to $4,310 for FY2007, which was enacted by P.L. 110- 5. Authorized Maximums and Appropriated Maximums Although the authorizing statute sets the authorized maximum Pell award for each year, this authorized maximum is overridden by the appropriations process that sets the appropriated maximum award. This latter amount is the one applied in awarding funds. The authorized maximum grant and the appropriated maximum grant have been equal in only three instances during the program's history (FY1975, FY1976 and FY1979) In all other years, the appropriated maximum has been less than the authorized maximum. CRS-9 Table 2. History of Authorized Maximum Grants, Appropriated Maximum Grants, and Average Awards, FY1973-FY2007 Authorized Appropriated Estimated Fiscal Year Maximum Grant ($) Maximum Grant ($) Average Award ($) 1973 1,400 452 270 1974 1,400 1,050 628 1975 1,400 1,400 761 1976 1,400 1,400 759 1977 1,800 1,400 758 1978 1,800 1,600 814 1979 1,800 1,800 929 1980 1,800 1,750 882 1981 1,900 1,670 849 1982 2,100 1,800 959 1983 2,300 1,800 1,014 1984 2,500 1,900 1,111 1985 2,600 2,100 1,279 1986 2,600 2,100 1,301 1987 2,300 2,100 1,303 1988 2,500 2,200 1,399 1989 2,700 2,300 1,438 1990 2,900 2,300 1,449 1991 3,100 2,400 1,530 1992 3,100 2,400 1,543 1993 3,700 2,300 1,506 1994 3,900 2,300 1,502 1995 4,100 2,340 1,515 1996 4,300 2,470 1,577 1997 4,500 2,700 1,696 1998 4,500 3,000 1,876 1999 4,500 3,125 1,915 2000 4,800 3,300 2,040 2001 5,100 3,750 2,298 2002 5,400 4,000 2,436 2003 5,800 4,050 2,467 2004 none specified 4,050 2,469 2005 none specified 4,050 2,456 2006 none specified 4,050 2,494 2007 none specified 4,310 2,456 Sources: U.S. Department of Education, End of Year Report: 2004-2005 Title IV/Federal Pell Grant Program; U.S. Department of Education, Fiscal Year 2008 Justifications of Appropriation Estimates to the Congress, vol. II, p. O-26. This report was released prior to P.L. 110-5 being enacted, and thus the FY2007 estimates do not take into account the increased appropriated maximum award. CRS-10 The appropriated maximum award is often used as a gauge of the program's support for low-income college students because this is the amount that the neediest students (those with an EFC of $0) are likely to receive. During the annual appropriations process, there is frequently a debate about setting the maximum award. The figure below depicts the change over time in the size of the authorized maximum grant (none specified for FY2007), appropriated maximum grant, and the average award. During the mid to late 1990s, the gap between the authorized and appropriated maximums was largest. Not unexpectedly, the average annual award generally tracks changes in the appropriated maximum. Surpluses and Shortfalls As mentioned, the annual appropriations legislation for ED provides funding for the Pell Grant program and sets the maximum Pell Grant to be awarded (the appropriated maximum grant). These appropriated funds are available for two fiscal years. In general that means that an annual appropriation is typically available for obligation on October 1 of the fiscal year in which the appropriation is made and remains available for obligation through September 30 of the following fiscal year. For example, the FY2006 appropriation became available for obligation with the enactment of the FY2006 appropriations legislation (December 30, 2005) and can be obligated through September 30, 2007. The Pell Grant award year runs from July 1 of one year to June 30 of the following calendar year (e.g., 2006-2007 award year begins July 1, 2006, and ends June 30, 2007). As a result, the period of availability of the appropriated funds overlaps multiple award years. Figure 1. Authorized Maximum Grants, Appropriated Maximum Grants, and Average Awards, FY1973-FY2007 $7,000 $6,000 Authorized Maximum $5,000 Grant $4,000 Appropriated Maximum Grant $3,000 Est Average $2,000 Award $1,000 $0 197 3 1 97 6 1 979 1 98 2 198 5 1 98 8 1 991 1 99 4 1 997 2 00 0 2 00 3 200 6 Sources: U.S. Department of Education, End of Year Report: 2004-2005 Title IV/Federal Pell Grant Program; U.S. Department of Education, Budget Service, budget tables for various years. CRS-11 The annual appropriation level and maximum grant are determined well in advance of the award year they are intended to support. The annual appropriation is determined on the basis of estimates of the program costs that are likely to be incurred at the chosen maximum grant. To the extent those estimates of future program costs are inaccurate, the annual appropriation may be too much or too little. In the event of a surplus, the authorizing statute provides ED with limited carryover authority. What has been of most concern to federal policymakers recently are the measures that can be taken to address a funding shortfall. The HEA requires the Secretary of Education, when he or she has determined that the appropriated funds are insufficient to satisfy all Pell entitlements,16 to notify each House of Congress of the shortfall, identifying how much more is needed to meet those entitlements. Prior to the Higher Education Amendments of 1992 (P.L. 102-325), the Secretary of Education had statutory authority under the HEA to reduce awards to respond to a shortfall in appropriated funds.17 Reductions were made in awards in eight years using this authority (the last in 1990-1991). After this HEA authority was repealed, appropriations legislation for FY1994-FY2001 continued to provide the Secretary with reduction authority, but that authority was not used.18 The FY2002 and subsequent appropriations legislation have not included such language. The Secretary can respond to a shortfall in Pell Grant funding by "borrowing" from the next year's appropriation. As noted earlier, the Pell Grant appropriation is available for obligation for two fiscal years. This permits ED to use funds from two fiscal years' appropriations to meet one award year's costs. FY2001-FY2005: The Growth of the Shortfall. The experience to date of the Pell Grant program with the FY2001-FY2006 appropriations offers the most recent examples of responses to a Pell Grant shortfall (Table 3). The most recent ED estimate is that the FY2005 shortfall for the program was approximately $4.3 billion. How that program shortfall was reached is delineated in the table and text below. 16 The authorizing statute speaks of entitlements when it describes the award determined for a student based on the published award schedule. 17 Some form of authority to reduce awards was provided to the Secretary between the inception of the program in 1972 and the 1992 amendments. Immediately prior to its repeal in 1992, this provision permitted reduction in awards only within certain limits. No award could be reduced for students whose EFC was $200 or less (i.e., the awards for the neediest students would be protected). A schedule of reductions for other awards had to use a "single linear reduction formula" that applied uniformly increasing percentage reductions as initial entitlements decreased. No award could be made to a student whose initial award was reduced to less than $100 under the reduction formula. 18 The appropriations legislation required the Secretary to reduce awards using fixed or variable percentages, or using a fixed dollar reduction, if, prior to issuing the payment schedules, he or she determined that appropriated funds could not fully fund the appropriated maximum grant. A schedule of reduced grants would then be published. CRS-12 Appropriations law for FY2001 set the maximum Pell Grant at $3,750 and appropriated $8.756 billion. In January 2001, ED estimated that FY2001 program costs at that maximum grant level would be $9.115 billion, and that the difference between the appropriation and program costs would be made up by $359 million in surplus funds from the prior year.19 As Table 3 shows, as of January 2005 the FY2001 program costs were $9.996 billion. In addition, only an estimated $328 million was available in surplus funds. This left an estimated $912 million shortfall for FY2001 in the Pell Grant program; ED covered that shortfall by borrowing from the FY2002 appropriation which became available for obligation during the 2001- 2002 award year. The initial FY2002 appropriation for the program was $10.314 billion, intended to fund a $4,000 maximum grant. In its FY2003 budget request, ED estimated that FY2002 program costs would be $10.730 billion,20 well in excess of the appropriated level and more than ED had estimated during the FY2002 appropriations process. Given that ED was using FY2002 appropriated funds to cover the FY2001 shortfall, the Department requested an FY2002 supplemental appropriation of $1.276 billion. The Congress responded by increasing the available FY2002 appropriation by $1 billion. The more recent estimates for FY2002 from ED shown in Table 3 demonstrate how volatile program cost estimates have been during this period. Currently, ED estimates that FY2002 program costs were $11.664 billion. Coupled with a $1 billion supplemental appropriation enacted into law, the total FY2002 appropriated funds were $11.314 billion. Of this amount, an estimated $912 million was used to cover the FY2001 shortfall, leaving the available funding $1.262 billion below what was needed to cover the FY2002 program costs. In March 2003, the department estimated program costs for FY2003 (maximum Pell Grant of $4,000) at $11.67 billion. This estimate assumed $292 million in savings from anticipated enactment of legislation authorizing the Internal Revenue Service (IRS) to match aid applicant data with federal income tax returns -- in the absence of this legislation (which, to date, has not been enacted), total estimated program costs were pegged at $11.962 billion. The more recent ED estimates show FY2003 program costs of $12.730 billion. As the FY2002 and FY2003 cost estimates rose, the FY2003 year shortfall rose (in part, because the shortfall from FY2002 grew). In March 2003, the FY2003 shortfall was estimated to be $1.538 billion (or $1.83 billion with the addition of the $292 million assumed to be saved by the IRS match). As illustrated in Table 3, the estimated current year shortfall for FY2003 is now $2.627 billion. For FY2004, ED initially estimated that program costs would be $11.410 billion (assuming, among other things, a $4,000 maximum grant and implementation of the IRS match), and that the shortfall would be $549 million. This estimate was prepared prior to enactment of the FY2003 appropriations legislation, which raised the 19 U.S. Department of Education, Budget table identified as Department of Education Fiscal Year 2001 Congressional Action, dated January 23, 2001. This table states that this program cost estimate was prepared December 2000. 20 U.S. Department of Education, FY2003 Education Budget Summary, Appendix 2, detailed budget table, dated February 4, 2002. CRS-13 maximum Pell Grant to $4,050. As a result, the data shown for FY2004 in Table 3 differ significantly from these early estimates. ED attributes the current shortfalls to significant growth in the maximum appropriated Pell Grant in recent years and "unexpected growth" in the number of Pell applicants and recipients. According to ED, between the 1995-1996 and 2000- 2001 award years, the number of valid applicants grew by no more than 2.6% from one year to the next. The increase from 2000-2001 to 2001-2002 was an estimated 8.6% and from 2001-2002 to 2002-2003, an estimated 8.9%. Much of this increase is attributed to growth in the number of independent students applying for and receiving Pell Grants. ED estimated that these high rates of annual increase would subside, beginning in 2003-2004, but still remain above historical levels.21 Table 3. FY2001-FY2005 Pell Grant Shortfalls (in millions of dollars, except for appropriated maximum grant) Estimated Estimated From Estimated Current Annual Appropriated Fiscal Prior Prior Year Year Program Maximum Year Appropriation Year Used Shortfall Shortfall Costs Grant 2001 8,756 328 -- -912 9,996 3,750 2002 11,314a -- -912 -1,262 11,664 4,000 2003 11,365 -- -1,262 -2,627 12,730 4,050 2004 12,007 -- -2,627 -3,737 13,117 4,050 2005 12,365 -- -3,737 -4,300 12,928 4,050 Source: U.S. Department of Education, unpublished data. a. Includes $1 billion in FY2002 supplemental funding. FY2006: Eliminating the Funding Shortfall. Pursuant to the terms of the FY2006 Budget Resolution (H.Con.Res. 95), $4.3 billion was appropriated to eliminate the Pell Grant program's cumulative funding shortfall. Specifically, budget authority up to $4.3 billion was granted to eliminate the shortfall for all awards made through award year 2005-2006. The funds were appropriated in the FY2006 appropriations legislation for Labor, Health and Human Services, and Education (P.L. 109-149). In addition, to limit the possibility of future funding shortfalls, H.Con.Res. 95 provides that if the appropriations of discretionary new budget authority enacted for the program are insufficient to cover the full costs in the upcoming year, including any funding surplus or shortfall from prior years, the budget authority counted against the bill for the program shall be equal to the adjusted full cost. It further states that the budget authority for the program shall be based on the maximum appropriated award amount and any changes to the eligibility criteria. 21 U.S. Department of Education, Fiscal Year 2005 Justifications of Appropriation Estimates to the Congress, vol. 2, pp. N-24, N-25. CRS-14 Characteristics of Recipients The Pell Grant program reaches a sizeable portion of undergraduates each year. In FY2003 (award year 2003-2004), 26.8% of all undergraduates were estimated to have received Pell Grants.22 According to ED estimates, the annual number of Pell Grant recipients rose markedly from the program's inception with FY1973 funding. As shown in Table 4 and Figure 2, the number of recipients grew steadily until 1992. There was a drop in recipients over the following three-year period, followed by fluctuation in the number of recipients until growth resumed in FY2000. Given the substantial growth in recipients since FY1999, the percentage of all undergraduates receiving Pell Grants today is probably higher than was reported for FY1999. 22 Unless noted, the data in this section describing the characteristics of Pell Grant recipients are CRS estimates from the 2003-2004 National Postsecondary Student Aid Study (NPSAS) administered by the U.S. Department of Education. This is a survey of a statistically representative sample of undergraduate, graduate, and first professional students. For this analysis, just the undergraduate data were analyzed. Unless noted, any direct comparisons in the text based on NPSAS data have been found to be statistically significant at the 95% confidence level at least. That is, there is only a 5% or less probability that these differences are due to chance. CRS-15 Table 4. Estimated Annual Number of Pell Grant Recipients, FY1973-FY2007 Estimated Number of Fiscal Year Pell Grant Recipients 1973 176,000 1974 567,000 1975 1,217,000 1976 1,944,000 1977 2,011,000 1978 1,893,000 1979 2,538,000 1980 2,708,000 1981 2,709,000 1982 2,523,000 1983 2,759,000 1984 2,747,000 1985 2,813,000 1986 2,660,000 1987 2,882,000 1988 3,198,000 1989 3,322,000 1990 3,405,000 1991 3,786,000 1992 4,002,000 1993 3,756,000 1994 3,675,000 1995 3,612,000 1996 3,666,000 1997 3,733,000 1998 3,855,000 1999 3,764,000 2000 3,899,000 2001 4,341,000 2002 4,779,000 2003 5,140,000 2004 5,302,000 2005 5,129,000 2006 5,165,000 2007 5,274,000 Sources: U.S. Department of Education, End of Year Report: 2004- 2005 Title IV/Federal Pell Grant Program (for FY1973-FY2003); U.S. Department of Education, Fiscal Year 2008 Justifications of Appropriation Estimates to the Congress, vol. 2, p. O-33. CRS-16 Figure 2. Estimated Number of Pell Grant Recipients, FY1973-FY2007 6,000,000 5,000,000 4,000,000 3,000,000 2,000,000 1,000,000 0 1 97 3 1 97 5 1 97 7 1 97 9 1 98 1 1 98 3 1 98 5 1 98 7 1 98 9 1 99 1 1 99 3 1 99 5 1 99 7 1 99 9 2 00 1 2 00 3 2 00 5 2 00 7 Sources: U.S. Department of Education, End of Year Report: 2004-2005 Title IV/Federal Pell Grant Program (for FY1973-FY2004); U.S. Department of Education, Budget Service, budget table entitled Department of Education Fiscal Year 2006 President's Budget (for FY2005); U.S. Department of Education Budget Service, budget table entitled Department of Education Fiscal Year 2008 Congressional Action, (for FY2006 and FY2007). What are the characteristics of the students receiving Pell Grants? Three characteristics are explored below -- income, enrollment status, and type and control of enrolling institution. Income There is no absolute income threshold that determines who is eligible or who is ineligible for Pell Grants.23 Nevertheless, Pell Grant recipients are primarily low- income. In FY2003 (award year 2003-2004), an estimated 38% of dependent Pell Grant recipients had total parental income below $20,000 and over 80% (84%) had total income of less than $40,000.24 Independent Pell Grant recipients' income is generally lower than their dependent counterparts. Nearly 40% (39.6%) of independent Pell Grant recipients had total income of less than $10,000; over slightly more than 85% (85.7%) had total income below $30,000. 23 As has been described, eligibility for a Pell Grant depends to a great extent on the EFC calculated for a student and his or her family. The EFC can be affected by a host of factors other than a family's income. This includes, among other factors, family size, number in college, the student's dependency status, and assets. 24 Total income for dependent students is the total income of their parents. This includes most taxable and untaxed income. For independent students, total income is the taxable and untaxed income for the students and their spouses, if any. CRS-17 Given the focus of the program on needy students, it is not surprising that much higher percentages of low income undergraduates receive Pell Grants. This might be considered a Pell participation rate. Table 5 shows the percentage of dependent and independent undergraduates from different income levels who were Pell recipients in FY2003. Two participation rates are provided for each income level; one measuring the percentage of all undergraduate students (of the relevant dependency status) who were Pell recipients and the other providing the percentage of undergraduate aid applicants (of the relevant dependency status) who received Pells. Focusing on the lowest income categories,25 it is estimated that approximately 59.2% of all dependent undergraduates from families with total income of less than $10,000 were Pell recipients, and 79.70% of the aid applicants from that income category were Pell recipients. About 50% (49.6%) of all independent undergraduates with total income of less than $5,000 were Pell recipients, and about 75% of the aid applicants in that category received Pells. Table 5 shows that, in general, as income rose, participation rates in the Pell program dropped for dependent and independent students. 25 In the rest of this analysis, references to individuals from the lowest income categories are to dependent students with total income of less than $10,000 (about 5% of dependent undergraduates) and independent students with total income of less than $5,000 (about 10% of independent undergraduates). CRS-18 Table 5. Estimated Pell Grant Participation by Income, 2000-2003 Estimated Percentage Receiving Pell Grants Total Income All Students Federal Aid Applicants Dependent Undergraduates $10,000-$19,999 65.7 83.2 $20,000-$29,999 62.5 77.2 $30,000-$39,999 43.3 61.1 $40,000-$49,999 24.2 37.5 $50,000-$59,999 9.0 14.0 $60,000-$69,999 3.0 5.3 $70,000 or more 0.4 0.7 Independent Undergraduates Less than $5,000 49.6 75.0 $5,000-$9,999 63.2 82.0 $10,000-$19,999 48.2 67.2 $20,000-$29,999 26.7 55.3 $30,000-$49,999 22.3 45.2 $50,000 or more 1.3 5.0 Source: CRS estimates from 2000-2003 NPSAS. Given the intended purpose of the Pell Grant program to provide low-income students with the foundation of their aid, it is noteworthy that a substantial portion of very low income undergraduates did not receive a Pell Grant. Apparently, a large percentage of these very low income students did not apply for federal financial aid.26 The percentage of dependent undergraduates from the lowest income category who received a Pell Grant increased markedly if aid application is taken into account, rising from 59.2% to 79.7%. A similar increase in participation characterized the lowest income independent undergraduates when aid application is considered -- from 49.6% to 75.0%. Nevertheless, even among aid application filers, a relatively significant portion of the lowest income students did not receive Pell Grants. It is possible that many of these lowest income students who did not apply for aid may have believed they were not financially eligible for aid, or they may have had sufficient resources to meet their costs.27 At least some of those who believed they 26 It should be noted that the ability to speak with confidence about the income levels of students who did not file the FAFSA is adversely affected by certain data quality issues. For non-aid filers, income information comes from surveys of students and from imputation. According to the NPSAS code book in the Data Analysis System, these income data are "much less reliable" than those from aid filers. 27 An analysis of 1995-1996 NPSAS data found these to be the two primary reasons offered (continued...) CRS-19 were ineligible for aid may have actually been eligible.28 Among other possible explanations is that very low-income students in particular find the federal financial aid application process too complex to pursue or that such students are more likely not to know that aid is available. Enrollment Status Pell recipients, regardless of dependency status, are more likely to be exclusively full-time students than are undergraduates as a whole and far less likely to be enrolled exclusively half-time. Table 6 shows the distribution of dependent and independent undergraduates in general and Pell recipients in particular by enrollment status. Table 6. Estimated Distribution of Undergraduates and Pell Grant Recipients by Enrollment Status, 2000-2003 Enrollment Status All Students Pell Recipients Dependent Undergraduates Exclusively part-time 17.1% 12.2% Mixed (status changed 18.6% 21.0% during enrollment period) Total 100.0% 100.0% Independent Undergraduates Exclusively full-time 33.8% 49.7% Exclusively half-time 52.1% 29.5% Mixed (status changed 14.1% 20.8% during enrollment period) Total 100.0% 100.0% Source: CRS estimates from 2000-2003 NPSAS. Due to rounding, sum of column entries may not equal column totals. Type and Control Compared to all undergraduates, Pell Grant recipients are less likely to be enrolled in public two-year institutions and more likely to be enrolled in proprietary institutions. Table 7 shows the distribution of dependent and independent undergraduates and Pell Grant recipients by the type and control of the institutions they attended. 27 (...continued) by low-income students who did not file for federal financial aid. (U.S. Department of Education, Low-Income Students: Who They Are and How They Pay for Their Education, NCES 2000-169, March 2000.) 28 Ibid., p. 22. It is stated, "In some cases, the belief that their family income was too high for them to qualify for aid may simply have been erroneous." CRS-20 Table 7. Estimated Distribution of Undergraduates and Pell Grant Recipients by Type and Control of Enrolling Institution, 2000-2003 Type and % Dependent % Independent % Dependent % Independent Control Undergraduates Undergraduates Pell Recipients Pell Recipients Public 4-year 39.6 20.5 37.8 22.6 Private 4-year 16.9 10.1 18.0 10.6 Public 2-year 31.4 49.1 27.4 38.5 Proprietary 3.7 11.7 7.9 19.4 More than one institution during 8.4 8.6 8.8 8.9 enrollment period Total 100.0 100.0 100.0 100.0 Source: CRS estimates from 2003-2004 NPSAS. Due to rounding, sum of column entries may not equal column totals. Role of the Pell Grant The Pell Grant is intended to function as the foundation aid for needy undergraduates; all other federal need-based aid is to build on the Pell Grant. As described earlier, other financial aid received by a student is not taken into account in determining a student's Pell Grant. How well does the Pell Grant currently function as the foundation aid? This section explores this question by analyzing the purchasing power of the Pell Grant and the distribution of other federal aid to Pell recipients. Purchasing Power The appropriated maximum Pell Grant, available to students with zero EFCs, is often used as a gauge of the Pell Grant program's level of support in each year. In FY2001, the appropriated maximum grant ($3,750) covered 73% of the average tuition, fees, room, and board at public two-year institutions, 41% at public four-year institutions, and 16% at private four-year institutions. Figure 3 below compares the appropriated maximum grant to average undergraduate tuition, fees, room, and board charges at public two-year, public four-year, and private four-year institutions CRS-21 between FY1973 and FY2006.29 It is evident that the maximum was at its peak relative to these average charges during the 1970s. Figure 3. Percentage of Tuition, Fees, Room and Board Covered by the Appropriated Maximum Pell Grant, FY1973-FY2006 120.0% 100.0% Public 4-year 80.0% Public 2-year 60.0% Private 4- year 40.0% Cost of Attendance 20.0% Cap% 0.0% 1 973 1 97 6 197 9 1982 1 98 5 198 8 1991 1 994 1 99 7 2000 2 003 2 00 6 Source: U.S. Department of Education, Digest of Education Statistics 2005, Table 312; The College Board, Trends in College Pricing 2006, Table 1. Importantly, the purchasing power of the Pell Grant through FY1992 (1992- 1993 award year) was constrained by a statutory cap on the percentage of COA that a Pell Grant could cover, depicted as black dots in Figure 3. From FY1973 to FY1984, the cap was 50%; from FY1985 to FY1992, the cap was 60%. After that time there has been no absolute limit on the percentage of COA that can be covered.30 29 The data used for Figure 3 are average undergraduate tuition and fees paid by full-time equivalent students. The room and board amounts are full-time charges. The average full cost of attendance for federal need analysis purposes would be higher than these so-called fixed charges, including additional expenses for such things as books and transportation. The inclusion of full-time room and board in Figure 3 may be somewhat problematic particularly at the community-college level because these charges are not adjusted for part- time enrollment and may not reflect the actual costs faced by students living off campus. But, as noted later in this section, the overall conclusions regarding Pell Grant purchasing power apply regardless of the charges used. The source of these data is the U.S. Department of Education's Digest of Education Statistics 2005, Table 312. Prices for public and private four-year institutions for academic years 1973-1974, 1974-1975, and 1975-1976 are not available from ED. For this figure, they were estimated based on the annual rates of change in prices for "other" public or private four-year institutions (these institutions do not include public or private universities) for which ED did have data. Private two-year institutions are not considered because they account for very few students. 30 In place of the absolute cap on the percentage of COA that the Pell Grant could cover, the (continued...) CRS-22 Still, it must be stressed that it is not clear what impact the COA cap would have had on the coverage data presented in this figure. First, the expenses covered in the figure are averages, meaning that students actually faced charges that ranged above and below the levels shown. Second, charges for tuition, fees, room, and board do not constitute the full costs that make up COA. As a result, annual percentages of average COA covered by the appropriated maximum Pell Grant would have been lower than the percentages delineated in this figure.31 Nevertheless, even if one assumes that the percentage of coverage by the maximum Pell Grant of tuition, fees, room, and board would have been limited to the 50% or 60% caps, these caps would have had no impact on the coverage of average public and private four-year expenses shown here from FY1985 onward. As a result, it is evident that from the mid 1980s through the early 1990s, the appropriated maximum Pell Grant lost ground relative to average tuition, fees, room, and board at public and private four-year institutions. Despite recent increases in coverage, the FY2006 percentages remain below the FY1985 percentages (54% for public four- year colleges and 23% for private four-year colleges). Indeed, for private four-year institutions, the peak purchasing power which occurred in the mid to late 1970s (when the percentage of these average costs covered at those institutions was well in excess of 30%) would not have been affected by the COA caps since average charges in that sector were always below the caps. The erosion depicted in Figure 3 is found when other comparisons are made. For example, the trend lines are very similar if the annual average Pell Grant is compared to average tuition, fees, room, and board, or if either the appropriated maximum or average grant is compared to just tuition and fees.32 Pell Grant Recipients and Other Federal Aid One measure of the role that the Pell Grant plays as the foundation award is the extent to which undergraduates who received federal need-based student aid from the HEA33 were Pell recipients. Data from FY2003 suggest that Pell Grants alone may not have constituted the primary foundation for these students. In FY2003, although nearly two-thirds of federal need-based aid recipients received Pell Grants, a comparable portion of need-based aid recipients borrowed Stafford Subsidized Loans.34 30 (...continued) HEA now provides the tuition sensitivity amount. This was described earlier and is considered in greater detail in the concluding section of reauthorization issues. 31 Data for the average COA from a consistent source over this time period are not available. 32 The percentage of costs covered varies significantly depending upon which Pell measure is used (the appropriated maximum or average) or which set of prices is used (tuition, fees, room, and board, or just tuition and fees). 33 Pell Grants, Federal Supplemental Educational Opportunity Grants, Federal Perkins Loans, Federal Work-Study earnings, and Stafford Subsidized Loans. 34 Further, one-third of federal need-based aid recipients secured Stafford Unsubsidized (continued...) CRS-23 These data certainly raise questions about the foundation role intended for the Pell Grant program. The extent to which need-based aid recipients borrowed Stafford Loans, whether subsidized or unsubsidized, is troubling to policymakers and analysts who believe that borrowing imposes a burden on low-income families that may adversely affect students' enrollment patterns.35 Another approach to delineating the role of Pell Grants is to explore the extent to which Pell recipients, as a group, relied solely in FY2003 on the grant to meet college charges without having to secure other federal aid, particularly loans with their repayment obligation. In FY2003, for just 15.8% of Pell recipients was that grant their only source of aid. As shown in Table 8, Pell Grant recipients participated in other federal student aid programs, sometimes at a high rate. Among the federal need-based student aid, Pell recipients were most likely to also be borrowing Stafford Subsidized Loans (over 56% of Pell recipients received these loans -- average amount of $3,219). Table 8. Pell Grant Recipients' Participation Rates and Average Awards in Other Aid Programs, FY2003 Average Amount of Aid % of Pell Recipients Awarded Under This Program Who Also Received Aid Program to Participating Under This Program Pell Recipient ($) Federal Supplemental 22.3 697 Educational Opportunity Grants Federal Work-Study 11.3 1,798 Stafford Subsidized Loans 56.5 3,219 Stafford Unsubsidized Loans 31.6 3,234 Federal Perkins Loans 8.1 1,965 All Non-Federal Grants 49.3 3,310 All Non-Federal Loans 6.9 4,608 Source: CRS estimates from 2003-2004 NPSAS. The overall price of education has an impact on the extent to which Pell recipients secure Stafford Loans. For Pell recipients attending public two-year institutions, where the average cost of attendance is lower than at public four-year institutions and, particularly, at private four-year institutions, the propensity for borrowing was much less than for Pell recipients as a whole. For FY2003, 25.8% of Pell recipients at public two-year institutions borrowed Stafford Subsidized Loans, and 11.1% borrowed Stafford Unsubsidized Loans. 34 (...continued) Loans. 35 See, for example, Advisory Committee on Student Financial Assistance, Empty Promises: The Myth of College Access in America, June 2002, pp. 11-13. CRS-24 Possible Reauthorization Issues This section provides brief overviews of several issues that may be considered by the Congress as it deliberates on the Pell Grant program. There is an overarching question which, to some extent, links the first three specific issues described below. As was delineated earlier, there may be some question about whether the Pell Grant is playing the foundation role intended for it, particularly for the neediest students. Steps to increase the targeting of Pell Grant assistance to such students may be debated by the Congress during this reauthorization process and are part of the initial issues discussed below. At various points in the analysis below, FY2007 cost estimates of changes to the program are presented and compared to an estimate of the FY2007 cost under current law at a $4,310 maximum appropriated grant. These estimates were made using the Pell Grant estimation model of the U.S. Department of Education's Budget Service.36 Entitlement The Pell Grant program is subject to annual appropriations. As delineated earlier, the authorized maximum award has usually been higher than the maximum set in the appropriations process; the last time they both were the same was for FY1979. Further, given the difficulty in estimating program costs, the annual appropriation has in several years been significantly less than what was needed to meet those costs, causing shortfalls and leading to reductions in grants, borrowing from subsequent years' appropriations, or supplemental appropriations. As a result, in many years, there may be uncertainty among students, their families, and higher education institutions about the level of support the program will provide. One response to these circumstances has been the proposal that the Pell Grant program be made into an entitlement. As a consequence, its funding would be mandatory. This would preclude shortfalls, support a maximum Pell Grant at the level set in the authorizing legislation, and reduce annual uncertainty about the program. Advocates of this step may also stress that funding higher maximum Pell Grants would direct greater funding to the neediest students. Congress has wrestled with this issue in the past. Indeed, during legislative action on the Higher Education Amendments of 1992, the House and Senate education committees approved versions of a reauthorized HEA that would have made the program an entitlement. These provisions were not enacted. Concerns about the consequences of making the Pell Grant an entitlement have centered on several issues. Questions are raised about the cost of doing so. For example, if the authorized maximum Pell Grant for FY2005 (award year 2005-2006) 36 The ED Budget Service model's version U2008 was utilized for the present analysis (2007). CRS does not make official congressional cost estimates of federal programs or legislative proposals; that is the responsibility of the Congressional Budget Office. Estimates of costs and the number and characteristics of recipients included in this report are intended to suggest the relative magnitude and nature of the impact of changes in the Pell Grant program. CRS-25 of $5,800 were to be funded, total program costs are likely to be about $19.8 billion, a more than 41.4% increase in the estimated cost of the program. Minimum Grant There has been long-standing interest in ensuring that the Pell Grant program serves needy students and in maximizing the grant that can be awarded to those students. This interest is often heightened by efforts to expand eligibility for the program because as additional, presumably higher income, students are drawn into the program, raising the appropriated maximum grant (which would focus greater amounts of funding on the neediest students) becomes more costly (a higher maximum generally means somewhat more aid for all students eligible for assistance). Further, with the recent growth in federal support for middle-income students through the federal income tax system,37 concern has been raised about the continued federal commitment to aid for low-income students.38 Among the changes to the Pell Grant program that might be considered in any effort to target the grants more fully on low-income students and, if possible, increase the size of their grants,39 is raising the minimum grant. As has been described, under current law, the minimum Pell Grant annual award for any recipient is $400. Any applicant eligible for a Pell Grant of at least $200 but less than $400 is awarded the $400 minimum (this retention of grantees eligible for between $200 and $399 and the boost in their grants to $400 is identified in this discussion as the minimum grant "bump"). Overall, any increase in the minimum Pell Grant will reduce the number of recipients and program costs. The impact may actually be more significant with regard to recipients than to program costs. Based on the estimated consequences for program costs and recipients shown in Table 9, it appears that, without a very large increase in the minimum Pell Grant, what is gained financially by a greater targeting on low-income Pell recipients may not be enough to support a substantial increase in the appropriated maximum Pell Grant for remaining eligible students. Table 9 shows estimates for the impact of three different increases in the minimum Pell Grant for award year 2007-2008: $400 (a "true" $400 minimum without the $200 bump), $600, and $800. For all of these estimates, the maximum 37 CRS Report RL31484, Higher Education Tax Credits: Targeting, Value, and Interaction with Other Federal Student Aid, by Adam Stoll and James B. Stedman; and CRS Report RL31129, Higher Education Tax Credits and Deduction: An Overview of the Benefits and Their Relationship to Traditional Student Aid, by Adam Stoll and Linda Levine. 38 See, for example, Thomas R. Wolanin, Rhetoric and Reality: Effects and Consequences of the HOPE Scholarship, The Institute for Higher Education Policy, April 2001. 39 Various options for achieving such changes were proposed prior to the last reauthorization of the HEA. See, for example "Rethinking the Allocation of Pell Grants," by David W. Breneman and Fred J. Galloway, in Financing Postsecondary Education: The Federal Role, October 1995. See [http://www.ed.gov/offices/OPE/PPI/FinPostSecEd/breneman.html]. CRS-26 appropriated Pell Grant was fixed at $4,310, the level that applies to award year 2003-2004. Table 9. Estimated Impact of Increasing the Minimum Pell Grant for Award Year 2007-2008 Estimated Decrease in Estimated Decrease in Program Minimum Recipients from Current Law Costs from Current Law ($) $400 (no bump) 56,000 (1.0% decrease) 18.4 million (0.1% decrease) $600 135,000 (2.5% decrease) 51.3 million (0.4% decrease) $800 228,000 (4.3% decrease) 105.5 million (0.8% decrease) Source: Cost estimates based on ED's Budget Service Pell Grant model. These selected increases in the minimum annual Pell Grant have a greater impact in percentage terms on the number of recipients than on the total costs of the program. This general pattern is not surprising. An increase in the Pell Grant minimum affects those recipients with the smallest grants -- only those recipients whose current Pell Grant falls below the new minimum lose eligibility, while those with larger grants are unaffected. Thus, for example, establishing a true $400 minimum (no bump) decreases program costs by at most $400 per recipient losing eligibility.40 Raising the minimum grant by more substantial amounts will lead to proportionately greater reductions in program costs, although more recipients will be affected and will lose larger grants. Academic Merit The Pell Grant program does not currently have any eligibility requirement based on academic merit. In a period of increasing federal interest in improving student outcomes at all levels of education and holding recipients of federal funds accountable for academic improvement, the Congress may consider merit-based proposals for the Pell Grant program during the HEA reauthorization. At present, students have to maintain satisfactory progress in order to continue to receive a Pell Grant. Satisfactory progress is defined by participating institutions and is often viewed as a minimal academic standard. Proposals to strengthen the academic standards supported by the program or introduce academic merit to the program may take the form of raising the academic performance requirements that students must meet in order to receive a Pell Grant after the initial year of eligibility; providing additional Pell Grant assistance to students who demonstrate high levels of academic performance; precluding the use of Pell Grant funding to support any 40 Under a no-bump $400 minimum, the actual decrease from current law may be less than $400 for some current recipients losing eligibility. This may arise, in part, because Pell Grants must be paid out to recipients in installments over the academic year. As a consequence, a change in enrollment status may lead to receipt of total Pell Grant funding of less than $400. For example, a student enrolled full-time for the fall semester and eligible for the minimum award of $400, could receive an initial payment of $200 for the first semester. If he or she did not enroll for the second semester, the second payment is not made and the total Pell aid received would be $200. CRS-27 form of remedial education;41 or limiting the number of years in which Pell Grant assistance can be received to accelerate program completion. Issues raised by such proposals include concern about their disproportionate impact on needy students who must rely on the Pell Grant to meet college costs. As a consequence, attention may be directed to the relationship between Pell-linked academic accountability, if any, and other accountability provisions that the Congress might consider for the HEA and the higher education community in general. Further, if the current program is retained but new funding is directed to needy students meeting academic merit requirements, concerns may be raised about the impact on funding for the basic Pell Grant.42 41 Currently, a student may receive federal financial assistance for up to a year's worth of remedial education. A student cannot receive aid if he or she is enrolled in a program composed solely of remedial work, or if the remedial course work is required for admission to an eligible program. 42 Congress has chosen not to fund the Academic Achievement Incentive Scholarships, authorized by the Higher Education Amendments of 1998, which would have doubled the amount of Pell assistance provided to eligible incoming higher education students who graduated in the top 10% of their high school class. ------------------------------------------------------------------------------ For other versions of this document, see http://wikileaks.org/wiki/CRS-RL31668