
January 16, 2026
One of the most persistent challenges I see among government agencies and grant-funded organizations is a deep attachment to historical precedent: the belief that because something worked in the past, it will continue to work tomorrow. In the context of federal financial assistance, that mindset is increasingly a liability rather than an asset.
Not long ago, federal funding environments tended to evolve incrementally. Programs came with predictable guidance, familiar compliance frameworks, and a cadence that allowed for planned execution. Grantees could rely on historical playbooks, template answers, and precedent-based decision-making.
Today, that is no longer the case. We are living through a period of unprecedented volatility in federal funding characterized by:
In this environment, the old playbook is insufficient.
Let’s be clear: precedent isn’t inherently bad. It can be useful when the context remains stable. But when context shifts significantly—like it has over the past several years—relying on historical practice without adjustment creates risk.
1. It ignores systemic changes driven by policy and enforcement. Many organizations treated early ARPA guidance as temporary flexibility; we are now seeing those decisions revisited under more stringent compliance expectations. What was acceptable in 2020–2021 may lead to audit findings or questioned costs today.
2. It limits innovation and strategic positioning. Federal agencies themselves are modernizing operations, data standards, and outcomes expectations. Grantees that cling to prior methods may miss opportunities to align earlier with emerging priorities like performance measurement, equity outcomes, and cross-program interoperability.
3. It creates vulnerability under audit and oversight. Auditors—and increasingly enforcement bodies like OIG or the new DOJ fraud division—are not evaluating compliance based on yesterday’s norms. They are applying current standards, which often reflect updated guidance and evolving federal expectations.
4. It undermines competitive advantage. Organizations that adapt to new requirements early are far better positioned in pursuits, negotiations, and reimbursements. They are seen as partners in compliance—not reactive responders.
Build the capacity to:
This turns compliance into a competitive strength rather than a trailing obligation.
Today’s funders and oversight bodies expect measurable outcomes—not just activities. Past performance is valuable, but data demonstrating impact, efficiency, accountability, and return on investment is far more persuasive in the current environment.
Rather than waiting for the “next version” of guidance, embed incremental policy updates into standard operating procedures. Think of governance as a living system, not a fixed artifact.
Stop auditing for what has already happened. Start auditing for what could happen—especially with compliance, risk, and fraud expectations.
In a landscape defined by accelerated change, uncertainty, and expanded expectations, being anchored solely to “how we’ve always done it” is not resilience—it’s stagnation.
To succeed—whether in securing funding, executing complex programs, or defending actions under scrutiny—organizations must adopt a forward-thinking, adaptive posture. This doesn’t mean abandoning all past knowledge; it means blending experience with flexibility and strategic anticipation.
The organizations that thrive aren’t those who knew what to do yesterday—they are the ones who are ready for what comes next.
Managing grants efficiently, without compromising compliance and integrity, can be a challenging task. If your organization is navigating the complexities of grant management, we can help you enhance oversight, streamline processes, ensure outcomes and reduce the risks of waste, fraud, and abuse. Reach out today to learn how our expertise in grants management can ensure your programs meet their goals, stay compliant, and make the best use of taxpayer dollars.
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