Audit 21856

FY End
2022-06-30
Total Expended
$1.67M
Findings
4
Programs
2
Organization: Payne Theological Seminary (OH)
Year: 2022 Accepted: 2022-12-08

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
25854 2022-001 Significant Deficiency Yes L
25855 2022-002 Significant Deficiency - N
602296 2022-001 Significant Deficiency Yes L
602297 2022-002 Significant Deficiency - N

Programs

ALN Program Spent Major Findings
84.268 Federal Direct Loan Program $1.47M Yes 2
84.425N Heerf Strengthening Institutions $195,844 - 0

Contacts

Name Title Type
KYNLFYN41TV5 Ray Ingram Auditee
9373762946 Chad Lassen Auditor
No contacts on file

Notes to SEFA

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, wherein certain types of expenditures are not allowable or are limited as toreimbursement. Payne Theological Seminary has elected not to use the 10 percent de minimis indirect cost rate allowed under the Uniform Guidance. De Minimis Rate Used: N Rate Explanation: The auditee did not use the de minimis cost rate. The accompanying schedule of expenditures of federal awards (the Schedule) includes the federal award activity of Payne Theological Seminary under programs of the federalgovernment for the year ended June 30, 2022. The information in this Schedule is presented in accordance with the requirements of 2 CFR 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 Payne Theological Seminary, it is not intended to and does not present the financial position, changes in net assets, or cash flows of Payne Theological Seminary. There were no subrecipients in the current year.

Finding Details

2022-001: National Student Loan Database System (NSLDS) Reporting Federal Agency: Department of Education Federal Program: Student Financial Assistance Cluster CFDA Numbers: 84.268 ? Federal Direct Loan Program Award Period: July 1, 2021 to June 30, 2022 Type of Finding: Significant Deficiency in Internal Control over Compliance and Other Matters Criteria or Specific Requirement: The Code of Federal Regulations, 34 CFR 685.309(b), states schools must have some arrangement to report student enrollment data to NSLDS through an enrollment roster file. The school is required to report changes in the student?s enrollment status, the effective date of the status, and an anticipated completion date. Also, the Code of Federal Regulations, 34 CFR 682.610, states that institutions must report accurately the enrollment status of all students regardless if they receive aid from the institution or not. Changes to said status are required to be reported within 30 days of becoming aware of the status change, or with the next scheduled transmission of statuses if the scheduled transmission is within 60 days Condition: During our testing, we noted 1 of the 8 students tested were reported to NSLDS in which the status per the Program Enrollment did not match the Campus Enrollment as well as the Seminary's records. There was also 1 of 8 students tested where the student's effective enrollment date report to NSLDS did not match the Seminary's records. Questioned Costs: None Context: During our testing, it was noted the Seminary did properly report the status change at the Program Enrollment level. Furthermore, there was an error of the effective date for the students withdrawal reported to NSLDS. Cause: The Seminary did not determine unofficial withdrawals correctly and did not properly report student statuses to NSLDS. Effect: The enrollment effective date reported to NSLDS is used to determine when the student?s grace period should begin. By reporting an incorrect effective date, the grace period begin date for the student will be incorrect. The Seminary also did not comply with Department of Education (ED) regulations requiring reporting student enrollment status change to NSLDS within 60 days. Repeat Finding: Yes, 2021-001 Recommendation: We recommend the Seminary reevaluate its procedures and review policies surrounding reporting status changes to NSLDS to ensure timely reporting as well as put a process in place to ensure the enrollment effective date reported to NSLDS is aligning with the Seminary's last date of attendance. Views of Responsible Officials: There is no disagreement with the audit finding.
2022-002: Student Refund of Credit Balances within 14 Days Federal Agency: Department of Education Federal Program: Student Financial Assistance Cluster CFDA Numbers: 84.268 ? Federal Direct Loan Program Award Period: July 1, 2021 to June 30, 2022 Type of Finding: Significant Deficiency in Internal Control over Compliance and Other Matters Criteria or Specific Requirement: The Code of Federal Regulations, 34 CFR 668.164(e) states that whenever an institution disburses title IV, HEA program funds by crediting a student?s account and the total amount of all title IV, HEA program funds credited exceeds the amount of tuition and fees, room and board, and other authorized charges the institution assessed the student, the institution must pay the resulting credit balance directly to the student or parent as soon as possible but? (1) No later than 14 days after the balance occurred if the credit balance occurred after the first day of class of a payment period; or (2) No later than 14 days after the first day of class of a payment period if the credit balance occurred on or before the first day of class of that payment period. Condition: During our testing, we noted 3 of 14 students tested did not have the credit balance resulting from federal funds refunded within the 14-day period or form indicating waiver on the refunds being held for further charges. Questioned Costs: None Context: During our testing it was noted that the Seminary failed to refund students within the 14-day period. Cause: The Seminary did not post adjustments to student accounts within the correct time period nor did they receive a waiver form from the students indicating they can hold the refund until future charges on the student account. Effect: The Seminary did not refund students within 14 days for credit balances that arose from federal funds as required by Department of Education regulations. Repeat Finding: No Recommendation: We recommend the Seminary implement a process to ensure they are refunding students credit balances within 14 days. If the Seminary continues their refund practice, we recommend they have an authorization form for every student. Views of Responsible Officials: There is no disagreement with the audit finding.
2022-001: National Student Loan Database System (NSLDS) Reporting Federal Agency: Department of Education Federal Program: Student Financial Assistance Cluster CFDA Numbers: 84.268 ? Federal Direct Loan Program Award Period: July 1, 2021 to June 30, 2022 Type of Finding: Significant Deficiency in Internal Control over Compliance and Other Matters Criteria or Specific Requirement: The Code of Federal Regulations, 34 CFR 685.309(b), states schools must have some arrangement to report student enrollment data to NSLDS through an enrollment roster file. The school is required to report changes in the student?s enrollment status, the effective date of the status, and an anticipated completion date. Also, the Code of Federal Regulations, 34 CFR 682.610, states that institutions must report accurately the enrollment status of all students regardless if they receive aid from the institution or not. Changes to said status are required to be reported within 30 days of becoming aware of the status change, or with the next scheduled transmission of statuses if the scheduled transmission is within 60 days Condition: During our testing, we noted 1 of the 8 students tested were reported to NSLDS in which the status per the Program Enrollment did not match the Campus Enrollment as well as the Seminary's records. There was also 1 of 8 students tested where the student's effective enrollment date report to NSLDS did not match the Seminary's records. Questioned Costs: None Context: During our testing, it was noted the Seminary did properly report the status change at the Program Enrollment level. Furthermore, there was an error of the effective date for the students withdrawal reported to NSLDS. Cause: The Seminary did not determine unofficial withdrawals correctly and did not properly report student statuses to NSLDS. Effect: The enrollment effective date reported to NSLDS is used to determine when the student?s grace period should begin. By reporting an incorrect effective date, the grace period begin date for the student will be incorrect. The Seminary also did not comply with Department of Education (ED) regulations requiring reporting student enrollment status change to NSLDS within 60 days. Repeat Finding: Yes, 2021-001 Recommendation: We recommend the Seminary reevaluate its procedures and review policies surrounding reporting status changes to NSLDS to ensure timely reporting as well as put a process in place to ensure the enrollment effective date reported to NSLDS is aligning with the Seminary's last date of attendance. Views of Responsible Officials: There is no disagreement with the audit finding.
2022-002: Student Refund of Credit Balances within 14 Days Federal Agency: Department of Education Federal Program: Student Financial Assistance Cluster CFDA Numbers: 84.268 ? Federal Direct Loan Program Award Period: July 1, 2021 to June 30, 2022 Type of Finding: Significant Deficiency in Internal Control over Compliance and Other Matters Criteria or Specific Requirement: The Code of Federal Regulations, 34 CFR 668.164(e) states that whenever an institution disburses title IV, HEA program funds by crediting a student?s account and the total amount of all title IV, HEA program funds credited exceeds the amount of tuition and fees, room and board, and other authorized charges the institution assessed the student, the institution must pay the resulting credit balance directly to the student or parent as soon as possible but? (1) No later than 14 days after the balance occurred if the credit balance occurred after the first day of class of a payment period; or (2) No later than 14 days after the first day of class of a payment period if the credit balance occurred on or before the first day of class of that payment period. Condition: During our testing, we noted 3 of 14 students tested did not have the credit balance resulting from federal funds refunded within the 14-day period or form indicating waiver on the refunds being held for further charges. Questioned Costs: None Context: During our testing it was noted that the Seminary failed to refund students within the 14-day period. Cause: The Seminary did not post adjustments to student accounts within the correct time period nor did they receive a waiver form from the students indicating they can hold the refund until future charges on the student account. Effect: The Seminary did not refund students within 14 days for credit balances that arose from federal funds as required by Department of Education regulations. Repeat Finding: No Recommendation: We recommend the Seminary implement a process to ensure they are refunding students credit balances within 14 days. If the Seminary continues their refund practice, we recommend they have an authorization form for every student. Views of Responsible Officials: There is no disagreement with the audit finding.