In general, no. Subrecipient institutions that meet the compliance requirements of the regulations will have their own reporting process; however, the subrecipient will need to provide the 91̽»¨with the appropriate assurances as part of the subaward agreement. In the rare case where the 91̽»¨might decide to manage a subrecipient’s SFI disclosures, the 91̽»¨would be responsible for reporting the subrecipient’s disclosures to the sponsor.