Audit 18762

FY End
2022-06-30
Total Expended
$34.28M
Findings
8
Programs
7
Organization: American International College (MA)
Year: 2022 Accepted: 2023-03-19

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
23058 2022-001 - Yes N
23059 2022-002 - Yes L
23060 2022-001 - Yes N
23061 2022-003 - Yes L
599500 2022-001 - Yes N
599501 2022-002 - Yes L
599502 2022-001 - Yes N
599503 2022-003 - Yes L

Programs

ALN Program Spent Major Findings
84.268 Federal Direct Student Loans $24.02M Yes 2
84.063 Federal Pell Grant Program $3.26M Yes 2
84.425 Education Stabilization Fund $495,000 Yes 0
84.033 Federal Work-Study Program $450,367 Yes 0
84.007 Federal Supplemental Educational Opportunity Grants $302,681 Yes 0
84.031 Higher Education_institutional Aid $224,724 Yes 0
84.379 Teacher Education Assistance for College and Higher Education Grants (teach Grants) $127,232 Yes 0

Contacts

Name Title Type
RMN5P8PELHU1 Christopher Garrity Auditee
4132053902 David Diiulis Auditor
No contacts on file

Notes to SEFA

Title: Federal Student Loan Programs Accounting Policies: Expenditures reported on the Schedule are reported on the accrual basis of accounting. Such expenditures are recognized following the cost principles contained in the Uniform Guidance. De Minimis Rate Used: Y Rate Explanation: The auditee used the de minimis cost rate. The College disbursed $24,019,719 of loans under the Federal Direct Student Loans program, which include Stafford Subsidized and Unsubsidized Loans and Parent Plus Loans. It is not practical to determine the balances of the loans outstanding to students of the College under this program as of June 30, 2022. The College is only responsible for the performance of certain administrative duties and, accordingly, these loans are not included in the Colleges financial statements.
Title: Basis of Presentation Accounting Policies: Expenditures reported on the Schedule are reported on the accrual basis of accounting. Such expenditures are recognized following the cost principles contained in the Uniform Guidance. De Minimis Rate Used: Y Rate Explanation: The auditee used the de minimis cost rate. The accompanying Schedule of Expenditures of Federal Awards (the Schedule) includes the federal award activity of American International College (the College) under programs of the Federal Government for the year ended June 30, 2022. The information on this Schedule is prepared in accordance with the requirements of Title 2 U.S. Code of Federal Regulations Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Guidance). Because the Schedule presents only a selected portion of the operations of the College, it is not intended to, and does not, present the financial position, changes in net assets, or cash flows of the College.

Finding Details

Criteria According to Common Origination and Disbursement ("COD") 2021-2022 Technical Reference: The COD disbursement date is the date the money was credited to the student's account or paid to the student directly for a specific disbursement. Condition The Federal Government requires that the disbursement date reported to the COD match the date the funds were credited to the student's account. During our testing, we noted 11 students, out of a sample of 40, that the date the funds were credited to the student's account did not match the disbursement date reported to COD by a range of 6 to 124 days. Cause The College did not have procedures to ensure the disbursement date per the student's account statement matched the disbursement date reported to COD. Effect The College did not report the correct disbursement dates to the COD. Questioned Costs Not applicable Perspective Our sample was not, and was not intended to be, statistically valid. Of the 40 students selected for testing, 11 students, or 27.5% of our sample, did not report the correct disbursement date to COD. Identification as a Repeat Finding, if applicable See finding 2021-004 included in the summary schedule of prior year findings. Recommendation The College should have procedures to ensure that COD disbursement information matches the College's records. View of Responsible Officials The College agrees with the finding and is implementing policies, procedures, training, and internal review to ensure incidents like this are minimized or are not repeated in the future.
Criteria According to 34 CFR 690.83(b): (1) An institution shall report to the Secretary any change for which a student qualifies, including any related Payment Data changes, by submitting to the Secretary the student?s Payment Data that discloses the basis and result of the change in award for each student. The institution shall submit the student?s Payment Data, reporting any to the Secretary by the reporting deadlines published by the Secretary in the Federal Register. (2) An institution shall submit, in accordance with the deadline dates established by the Secretary, through publication in the Federal Register, other reports and information the Secretary requires and shall comply with the procedures the Secretary finds necessary to ensure that the reports are correct. According to the Federal Register (Volume 83, Number 233): An institution must submit Pell Grant, Iraq and Afghanistan Service Grant, Direct Loan, and TEACH Grant disbursement records to COD, no later than 15 days after making the disbursement or becoming aware of the need to adjust a previously reported disbursement. In accordance with 34 CFR 668.164(a), title IV, Higher Education Act (?HEA?) program, funds are disbursed on the date that the institution: (a) Credits those funds to a student?s account in the institution?s general ledger or any subledger of the general ledger; or (b) pays those funds to a student directly. Title IV, HEA program funds are disbursed even if an institution uses its own funds in advance of receiving program funds from the Department. Condition Federal regulations require the College to report to the Federal Government?s Common Origination and Disbursement System (?COD?) Federal Pell Grant disbursements made to students within 15 days of the funds being disbursed to the student. During our testing, we noted 1 student, out of a sample of 40, was not reported within the required timeframe by 101 days. Cause The College has policies and procedures in place to report the disbursement records to the Department of Education through the COD system within the required fifteen calendar days; however, in this case the procedures were not completed properly. Effect The College did not report Pell Grant disbursements to COD within the required time frame. Questioned Costs Not applicable Perspective Our sample was not, and was not intended to be, statistically valid. Of the 40 students selected for testing, 1 student, or 2.5% of our sample, was determined to be reported late to the COD by 101 days. Identification as a Repeat Finding, if applicable See finding 2021-002 included in the summary schedule of prior year findings. Recommendation We recommend that management of the College review, and if necessary, update the policies and procedures to ensure all Pell Grant funds are reported within the required timeframe. View of Responsible Officials The College agrees with the finding and is implementing policies, procedures, training, and internal review to ensure incidents like this are minimized or are not repeated in the future.
Criteria According to Common Origination and Disbursement ("COD") 2021-2022 Technical Reference: The COD disbursement date is the date the money was credited to the student's account or paid to the student directly for a specific disbursement. Condition The Federal Government requires that the disbursement date reported to the COD match the date the funds were credited to the student's account. During our testing, we noted 11 students, out of a sample of 40, that the date the funds were credited to the student's account did not match the disbursement date reported to COD by a range of 6 to 124 days. Cause The College did not have procedures to ensure the disbursement date per the student's account statement matched the disbursement date reported to COD. Effect The College did not report the correct disbursement dates to the COD. Questioned Costs Not applicable Perspective Our sample was not, and was not intended to be, statistically valid. Of the 40 students selected for testing, 11 students, or 27.5% of our sample, did not report the correct disbursement date to COD. Identification as a Repeat Finding, if applicable See finding 2021-004 included in the summary schedule of prior year findings. Recommendation The College should have procedures to ensure that COD disbursement information matches the College's records. View of Responsible Officials The College agrees with the finding and is implementing policies, procedures, training, and internal review to ensure incidents like this are minimized or are not repeated in the future.
Criteria According to 34 CFR 690.83(b): (1) An institution shall report to the Secretary any change for which a student qualifies including any related Payment Data changes by submitting to the Secretary the student?s Payment Data that discloses the basis and result of the change in award for each student. The institution shall submit the student?s Payment Data reporting any to the Secretary by the reporting deadlines published by the Secretary in the Federal Register. (2) An institution shall submit, in accordance with the deadline dates established by the Secretary, through publication in the Federal Register, other reports and information the Secretary requires and shall comply with the procedures the Secretary finds necessary to ensure that the reports are correct. According to the Federal Register (Volume 83, Number 233): An institution must submit Pell Grant, Iraq and Afghanistan Service Grant, Direct Loan, and TEACH Grant disbursement records to COD, no later than 15 days after making the disbursement or becoming aware of the need to adjust a previously reported disbursement. In accordance with 34 CFR 668.164(a), Title IV, Higher Education Act (?HEA?), program funds are disbursed on the date that the institution: (a) Credits those funds to a student?s account in the institution?s general ledger or any subledger of the general ledger; or (b) pays those funds to a student directly. Title IV, HEA program funds are disbursed even if an institution uses its own funds in advance of receiving program funds from the Department. Condition Federal regulations require the College to report Federal Direct Student Loans disbursements made to students to the Federal Government?s Common Origination and Disbursement System (?COD?) within 15 days of the funds being disbursed to the student. During our testing, we noted 2 students, out of a sample of 40, were not reported within the required timeframe by 24 to 164 days. Cause The College has policies and procedures in place to report the disbursement records to the Department of Education through the COD system within the required fifteen calendar days; however, in this case the procedures were not completed properly. Effect The College did not report Direct Student Loan disbursements to COD within the required time frame. Questioned Costs Not applicable Perspective Our sample was not, and was not intended to be, statistically valid. Of the 40 students selected for testing, 2 students, or 5% of our sample, were determined to be reported late to the COD by 24 to 164 days. Identification as a Repeat Finding, if applicable See finding 2021-003 included in the summary schedule of prior year findings. Recommendation We recommend that management of the College review, and if necessary, update the policies and procedures to ensure all Direct Student Loan funds are reported within the required timeframe. View of Responsible Officials The College agrees with the finding and is implementing policies, procedures, training, and internal review to ensure incidents like this are minimized or are not repeated in the future.
Criteria According to Common Origination and Disbursement ("COD") 2021-2022 Technical Reference: The COD disbursement date is the date the money was credited to the student's account or paid to the student directly for a specific disbursement. Condition The Federal Government requires that the disbursement date reported to the COD match the date the funds were credited to the student's account. During our testing, we noted 11 students, out of a sample of 40, that the date the funds were credited to the student's account did not match the disbursement date reported to COD by a range of 6 to 124 days. Cause The College did not have procedures to ensure the disbursement date per the student's account statement matched the disbursement date reported to COD. Effect The College did not report the correct disbursement dates to the COD. Questioned Costs Not applicable Perspective Our sample was not, and was not intended to be, statistically valid. Of the 40 students selected for testing, 11 students, or 27.5% of our sample, did not report the correct disbursement date to COD. Identification as a Repeat Finding, if applicable See finding 2021-004 included in the summary schedule of prior year findings. Recommendation The College should have procedures to ensure that COD disbursement information matches the College's records. View of Responsible Officials The College agrees with the finding and is implementing policies, procedures, training, and internal review to ensure incidents like this are minimized or are not repeated in the future.
Criteria According to 34 CFR 690.83(b): (1) An institution shall report to the Secretary any change for which a student qualifies, including any related Payment Data changes, by submitting to the Secretary the student?s Payment Data that discloses the basis and result of the change in award for each student. The institution shall submit the student?s Payment Data, reporting any to the Secretary by the reporting deadlines published by the Secretary in the Federal Register. (2) An institution shall submit, in accordance with the deadline dates established by the Secretary, through publication in the Federal Register, other reports and information the Secretary requires and shall comply with the procedures the Secretary finds necessary to ensure that the reports are correct. According to the Federal Register (Volume 83, Number 233): An institution must submit Pell Grant, Iraq and Afghanistan Service Grant, Direct Loan, and TEACH Grant disbursement records to COD, no later than 15 days after making the disbursement or becoming aware of the need to adjust a previously reported disbursement. In accordance with 34 CFR 668.164(a), title IV, Higher Education Act (?HEA?) program, funds are disbursed on the date that the institution: (a) Credits those funds to a student?s account in the institution?s general ledger or any subledger of the general ledger; or (b) pays those funds to a student directly. Title IV, HEA program funds are disbursed even if an institution uses its own funds in advance of receiving program funds from the Department. Condition Federal regulations require the College to report to the Federal Government?s Common Origination and Disbursement System (?COD?) Federal Pell Grant disbursements made to students within 15 days of the funds being disbursed to the student. During our testing, we noted 1 student, out of a sample of 40, was not reported within the required timeframe by 101 days. Cause The College has policies and procedures in place to report the disbursement records to the Department of Education through the COD system within the required fifteen calendar days; however, in this case the procedures were not completed properly. Effect The College did not report Pell Grant disbursements to COD within the required time frame. Questioned Costs Not applicable Perspective Our sample was not, and was not intended to be, statistically valid. Of the 40 students selected for testing, 1 student, or 2.5% of our sample, was determined to be reported late to the COD by 101 days. Identification as a Repeat Finding, if applicable See finding 2021-002 included in the summary schedule of prior year findings. Recommendation We recommend that management of the College review, and if necessary, update the policies and procedures to ensure all Pell Grant funds are reported within the required timeframe. View of Responsible Officials The College agrees with the finding and is implementing policies, procedures, training, and internal review to ensure incidents like this are minimized or are not repeated in the future.
Criteria According to Common Origination and Disbursement ("COD") 2021-2022 Technical Reference: The COD disbursement date is the date the money was credited to the student's account or paid to the student directly for a specific disbursement. Condition The Federal Government requires that the disbursement date reported to the COD match the date the funds were credited to the student's account. During our testing, we noted 11 students, out of a sample of 40, that the date the funds were credited to the student's account did not match the disbursement date reported to COD by a range of 6 to 124 days. Cause The College did not have procedures to ensure the disbursement date per the student's account statement matched the disbursement date reported to COD. Effect The College did not report the correct disbursement dates to the COD. Questioned Costs Not applicable Perspective Our sample was not, and was not intended to be, statistically valid. Of the 40 students selected for testing, 11 students, or 27.5% of our sample, did not report the correct disbursement date to COD. Identification as a Repeat Finding, if applicable See finding 2021-004 included in the summary schedule of prior year findings. Recommendation The College should have procedures to ensure that COD disbursement information matches the College's records. View of Responsible Officials The College agrees with the finding and is implementing policies, procedures, training, and internal review to ensure incidents like this are minimized or are not repeated in the future.
Criteria According to 34 CFR 690.83(b): (1) An institution shall report to the Secretary any change for which a student qualifies including any related Payment Data changes by submitting to the Secretary the student?s Payment Data that discloses the basis and result of the change in award for each student. The institution shall submit the student?s Payment Data reporting any to the Secretary by the reporting deadlines published by the Secretary in the Federal Register. (2) An institution shall submit, in accordance with the deadline dates established by the Secretary, through publication in the Federal Register, other reports and information the Secretary requires and shall comply with the procedures the Secretary finds necessary to ensure that the reports are correct. According to the Federal Register (Volume 83, Number 233): An institution must submit Pell Grant, Iraq and Afghanistan Service Grant, Direct Loan, and TEACH Grant disbursement records to COD, no later than 15 days after making the disbursement or becoming aware of the need to adjust a previously reported disbursement. In accordance with 34 CFR 668.164(a), Title IV, Higher Education Act (?HEA?), program funds are disbursed on the date that the institution: (a) Credits those funds to a student?s account in the institution?s general ledger or any subledger of the general ledger; or (b) pays those funds to a student directly. Title IV, HEA program funds are disbursed even if an institution uses its own funds in advance of receiving program funds from the Department. Condition Federal regulations require the College to report Federal Direct Student Loans disbursements made to students to the Federal Government?s Common Origination and Disbursement System (?COD?) within 15 days of the funds being disbursed to the student. During our testing, we noted 2 students, out of a sample of 40, were not reported within the required timeframe by 24 to 164 days. Cause The College has policies and procedures in place to report the disbursement records to the Department of Education through the COD system within the required fifteen calendar days; however, in this case the procedures were not completed properly. Effect The College did not report Direct Student Loan disbursements to COD within the required time frame. Questioned Costs Not applicable Perspective Our sample was not, and was not intended to be, statistically valid. Of the 40 students selected for testing, 2 students, or 5% of our sample, were determined to be reported late to the COD by 24 to 164 days. Identification as a Repeat Finding, if applicable See finding 2021-003 included in the summary schedule of prior year findings. Recommendation We recommend that management of the College review, and if necessary, update the policies and procedures to ensure all Direct Student Loan funds are reported within the required timeframe. View of Responsible Officials The College agrees with the finding and is implementing policies, procedures, training, and internal review to ensure incidents like this are minimized or are not repeated in the future.