Recognizing the Role of Licensed Home-Based Child Care Systems in Supporting Approved Providers
My name is Tantania Brown, and I am the owner and Childcare Educator Operator (CEO) of Heartfelt Nesting LLC, an Approved Childhood Development Home operating within U-LAUNCH: Childhood Development Homes, a Virginia Licensed Home-Based Child Care System.
I appreciate the Virginia Department of Education’s efforts to revise the Child Care Subsidy Program Guidance Manual to improve clarity and strengthen administrative processes. As an approved provider operating within a Licensed Home-Based Child Care System, I would like to share my perspective on an area that I believe would benefit from additional clarification.
One of the reasons I chose to become an Approved Childhood Development Home within a Licensed Home-Based Child Care System was the centralized administrative support available to providers. While I am responsible for operating my child care program and complying with all Child Care Subsidy Program requirements, I rely on my licensed system to provide guidance, technical assistance, administrative support, and help navigating complex state processes.
Throughout my experience, I have observed that the Guidance Manual does not clearly recognize the role that Licensed Home-Based Child Care Systems play in supporting approved providers. This lack of clarity can create uncertainty regarding communication with the Department, provider enrollment, administrative processes, and other functions that licensed systems are already responsible for under Virginia law and regulation.
Licensed Home-Based Child Care Systems are established under Article 3 of Chapter 14.1 of Title 22.1 of the Code of Virginia (§§ 22.1-289.010 through 22.1-289.019) and regulated by the Standards for Licensed Home-Based Child Care Systems (8VAC20-810). These systems exist to provide centralized oversight and administrative support to approved member homes. Recognizing that role within the Child Care Subsidy Program Guidance Manual would better align the guidance with Virginia’s existing statutory and regulatory framework.
I respectfully recommend that the Guidance Manual:
Providing this clarification would reduce confusion for providers, improve administrative efficiency, and allow approved homes like mine to spend less time navigating administrative uncertainty and more time providing high-quality care to Virginia’s children and families.
Thank you for the opportunity to submit these comments and for your consideration of these recommendations.
Respectfully submitted,
Tantania Brown
Childcare Educator Operator (CEO)
Heartfelt Nesting LLC
Approved Childhood Development Home
Member of U-LAUNCH: Childhood Development Homes, a Virginia Licensed Home-Based Child Care System