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Find similar grantsUrban Waters Small Grants Program is sponsored by U.S. Environmental Protection Agency (pass-through). Supports urban water-related projects in Georgia; not currently accepting proposals but worth monitoring.
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Or search similar grants →According to the current listing, eligibility includes: Nonprofits engaged in urban water restoration, particularly those in underserved communities. Confirm the full requirements in the official notice before applying.
The current listing shows up to ~$60,000. Verify award ceilings, matching requirements, and allowable costs in the official notice.
This listing does not include a published deadline, but it is a twice per year program. Check the official notice for the current cycle's exact dates.
Urban Waters Small Grants Program is funded by U.S. Environmental Protection Agency (pass-through). Verify program details on the funder's official page before applying.
This opportunity targets applicants in Georgia. If your organization operates elsewhere, check the official notice for location requirements.
Applications go through the funder's official portal — the Apply Now link on this page goes there directly.
The DOJ Bureau of Justice Assistance FY2026 Project Safe Neighborhoods formula program anticipates $19 million with a $1 million award ceiling and a requirement that 30% of funds support gang task forces. With a Grants.gov deadline of August 20, 2026, here is how the formula pass-through actually works, why the U.S. Attorney and the state administering agency both matter, and how community-based partners get funded.
Read articleThe May 29 OMB rewrite of 2 CFR Part 200 quietly rebuilds the pass-through entity compliance architecture. Proposed §200.332 strengthens subrecipient risk assessment, monitoring documentation, and remediation triggers. A new requirement mandates that every subaward be reported to SAM.gov with the reported records confirmed in performance reports — converting subaward administration from a back-office accounting function into a public-record certification regime. For the universities, state agencies, and national nonprofits that pass through more than half of their federal awards as subawards, the operational implication is a new compliance operating model that needs to be standing up by the October 1 effective date.
Read articleBuried in the May 29 OMB rewrite of 2 CFR Part 200 is the elimination of fixed-amount awards as a default grant instrument. Cost-reimbursement reverts to the standard. Here is what the change costs community-based nonprofits, pass-through subaward portfolios, SBIR Phase II direct-to-award structures, and the grant offices that have built workflows around milestone payments — and the comment-and-renegotiation strategy that has six weeks to land before July 13.
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