Finding 2022-002 ? Procurement, Suspension and Debarment Major Program: Formula Grants for Rural Areas AL Number: 20.509 Federal Agency: U.S. Department of Transportation Pass-Through: County of DeKalb and County of Kendall Grantor Number: UFUMRHPZPVM6, ES1SZWNDT9N5, UFUMRHPZPVM6, and ES1SZWNDT9N5 Award Period: January 20, 2020 through June 30, 2023 Type of Finding: Material weakness in Internal Control over Compliance Other Matters Criteria or Specific Requirement: Voluntary Action Center is required to have documented procurement policies and procedures which comply with the compliance requirement: UG 200.318 general procurement standards, UG 200.319 competition, and 200.320 methods of procurement to be followed. Nonfederal entities are prohibited from contracting with or making subawards under covered transactions to parties that are suspended or debarred. ?Covered transactions? include contracts for goods and services awarded under a nonprocurement transaction (e.g. grant or cooperative agreement) that are expected to equal or exceed $25,000 or meet certain other criteria as specified in 2 CFR section 180.220. Condition: Through audit procedures performed, we noted that the Voluntary Action Center does not have procedures for verifying that an entity with which it plans to enter into a covered transaction is not debarred, suspended, or otherwise excluded. Additionally, the contract for one of the two items tested was unable to be located. Questioned Costs: None Context: During our testing, we noted a formal policy was not in place over suspension and debarment. We also noted that the Voluntary Action Center did not determine or verify whether two vendors in which a contract was entered into was not suspended or debarred prior to entering into the contract. The contract for one of the two items tested was unable to be located. Cause: Policies and procedures had not been put into place to verify whether the Voluntary Action Center is entering into covered transactions with entities that are not suspended or debarred, and the contract was not maintained for one of the two items tested. Effect: Possible receipt of federal funds or assistance by an ineligible contractor, and proper documentation to support the transaction was not maintained. Repeat Finding: This is not a repeat finding. Recommendation: We recommend that current policies and procedures over covered transactions be updated to include one of the following procedures related to suspension and debarment: - Searching for the person or entity within the Excluded Parties List System; - Collecting certification from the person or entity; or - Adding a clause or condition to the covered transaction with that person or entity Additionally, all contracts should be maintained and kept on file to ensure records are complete.
Finding 2022-002 ? Procurement, Suspension and Debarment Major Program: Formula Grants for Rural Areas AL Number: 20.509 Federal Agency: U.S. Department of Transportation Pass-Through: County of DeKalb and County of Kendall Grantor Number: UFUMRHPZPVM6, ES1SZWNDT9N5, UFUMRHPZPVM6, and ES1SZWNDT9N5 Award Period: January 20, 2020 through June 30, 2023 Type of Finding: Material weakness in Internal Control over Compliance Other Matters Criteria or Specific Requirement: Voluntary Action Center is required to have documented procurement policies and procedures which comply with the compliance requirement: UG 200.318 general procurement standards, UG 200.319 competition, and 200.320 methods of procurement to be followed. Nonfederal entities are prohibited from contracting with or making subawards under covered transactions to parties that are suspended or debarred. ?Covered transactions? include contracts for goods and services awarded under a nonprocurement transaction (e.g. grant or cooperative agreement) that are expected to equal or exceed $25,000 or meet certain other criteria as specified in 2 CFR section 180.220. Condition: Through audit procedures performed, we noted that the Voluntary Action Center does not have procedures for verifying that an entity with which it plans to enter into a covered transaction is not debarred, suspended, or otherwise excluded. Additionally, the contract for one of the two items tested was unable to be located. Questioned Costs: None Context: During our testing, we noted a formal policy was not in place over suspension and debarment. We also noted that the Voluntary Action Center did not determine or verify whether two vendors in which a contract was entered into was not suspended or debarred prior to entering into the contract. The contract for one of the two items tested was unable to be located. Cause: Policies and procedures had not been put into place to verify whether the Voluntary Action Center is entering into covered transactions with entities that are not suspended or debarred, and the contract was not maintained for one of the two items tested. Effect: Possible receipt of federal funds or assistance by an ineligible contractor, and proper documentation to support the transaction was not maintained. Repeat Finding: This is not a repeat finding. Recommendation: We recommend that current policies and procedures over covered transactions be updated to include one of the following procedures related to suspension and debarment: - Searching for the person or entity within the Excluded Parties List System; - Collecting certification from the person or entity; or - Adding a clause or condition to the covered transaction with that person or entity Additionally, all contracts should be maintained and kept on file to ensure records are complete.
Finding 2022-002 ? Procurement, Suspension and Debarment Major Program: Formula Grants for Rural Areas AL Number: 20.509 Federal Agency: U.S. Department of Transportation Pass-Through: County of DeKalb and County of Kendall Grantor Number: UFUMRHPZPVM6, ES1SZWNDT9N5, UFUMRHPZPVM6, and ES1SZWNDT9N5 Award Period: January 20, 2020 through June 30, 2023 Type of Finding: Material weakness in Internal Control over Compliance Other Matters Criteria or Specific Requirement: Voluntary Action Center is required to have documented procurement policies and procedures which comply with the compliance requirement: UG 200.318 general procurement standards, UG 200.319 competition, and 200.320 methods of procurement to be followed. Nonfederal entities are prohibited from contracting with or making subawards under covered transactions to parties that are suspended or debarred. ?Covered transactions? include contracts for goods and services awarded under a nonprocurement transaction (e.g. grant or cooperative agreement) that are expected to equal or exceed $25,000 or meet certain other criteria as specified in 2 CFR section 180.220. Condition: Through audit procedures performed, we noted that the Voluntary Action Center does not have procedures for verifying that an entity with which it plans to enter into a covered transaction is not debarred, suspended, or otherwise excluded. Additionally, the contract for one of the two items tested was unable to be located. Questioned Costs: None Context: During our testing, we noted a formal policy was not in place over suspension and debarment. We also noted that the Voluntary Action Center did not determine or verify whether two vendors in which a contract was entered into was not suspended or debarred prior to entering into the contract. The contract for one of the two items tested was unable to be located. Cause: Policies and procedures had not been put into place to verify whether the Voluntary Action Center is entering into covered transactions with entities that are not suspended or debarred, and the contract was not maintained for one of the two items tested. Effect: Possible receipt of federal funds or assistance by an ineligible contractor, and proper documentation to support the transaction was not maintained. Repeat Finding: This is not a repeat finding. Recommendation: We recommend that current policies and procedures over covered transactions be updated to include one of the following procedures related to suspension and debarment: - Searching for the person or entity within the Excluded Parties List System; - Collecting certification from the person or entity; or - Adding a clause or condition to the covered transaction with that person or entity Additionally, all contracts should be maintained and kept on file to ensure records are complete.
Finding 2022-002 ? Procurement, Suspension and Debarment Major Program: Formula Grants for Rural Areas AL Number: 20.509 Federal Agency: U.S. Department of Transportation Pass-Through: County of DeKalb and County of Kendall Grantor Number: UFUMRHPZPVM6, ES1SZWNDT9N5, UFUMRHPZPVM6, and ES1SZWNDT9N5 Award Period: January 20, 2020 through June 30, 2023 Type of Finding: Material weakness in Internal Control over Compliance Other Matters Criteria or Specific Requirement: Voluntary Action Center is required to have documented procurement policies and procedures which comply with the compliance requirement: UG 200.318 general procurement standards, UG 200.319 competition, and 200.320 methods of procurement to be followed. Nonfederal entities are prohibited from contracting with or making subawards under covered transactions to parties that are suspended or debarred. ?Covered transactions? include contracts for goods and services awarded under a nonprocurement transaction (e.g. grant or cooperative agreement) that are expected to equal or exceed $25,000 or meet certain other criteria as specified in 2 CFR section 180.220. Condition: Through audit procedures performed, we noted that the Voluntary Action Center does not have procedures for verifying that an entity with which it plans to enter into a covered transaction is not debarred, suspended, or otherwise excluded. Additionally, the contract for one of the two items tested was unable to be located. Questioned Costs: None Context: During our testing, we noted a formal policy was not in place over suspension and debarment. We also noted that the Voluntary Action Center did not determine or verify whether two vendors in which a contract was entered into was not suspended or debarred prior to entering into the contract. The contract for one of the two items tested was unable to be located. Cause: Policies and procedures had not been put into place to verify whether the Voluntary Action Center is entering into covered transactions with entities that are not suspended or debarred, and the contract was not maintained for one of the two items tested. Effect: Possible receipt of federal funds or assistance by an ineligible contractor, and proper documentation to support the transaction was not maintained. Repeat Finding: This is not a repeat finding. Recommendation: We recommend that current policies and procedures over covered transactions be updated to include one of the following procedures related to suspension and debarment: - Searching for the person or entity within the Excluded Parties List System; - Collecting certification from the person or entity; or - Adding a clause or condition to the covered transaction with that person or entity Additionally, all contracts should be maintained and kept on file to ensure records are complete.
Finding 2022-002 ? Procurement, Suspension and Debarment Major Program: Formula Grants for Rural Areas AL Number: 20.509 Federal Agency: U.S. Department of Transportation Pass-Through: County of DeKalb and County of Kendall Grantor Number: UFUMRHPZPVM6, ES1SZWNDT9N5, UFUMRHPZPVM6, and ES1SZWNDT9N5 Award Period: January 20, 2020 through June 30, 2023 Type of Finding: Material weakness in Internal Control over Compliance Other Matters Criteria or Specific Requirement: Voluntary Action Center is required to have documented procurement policies and procedures which comply with the compliance requirement: UG 200.318 general procurement standards, UG 200.319 competition, and 200.320 methods of procurement to be followed. Nonfederal entities are prohibited from contracting with or making subawards under covered transactions to parties that are suspended or debarred. ?Covered transactions? include contracts for goods and services awarded under a nonprocurement transaction (e.g. grant or cooperative agreement) that are expected to equal or exceed $25,000 or meet certain other criteria as specified in 2 CFR section 180.220. Condition: Through audit procedures performed, we noted that the Voluntary Action Center does not have procedures for verifying that an entity with which it plans to enter into a covered transaction is not debarred, suspended, or otherwise excluded. Additionally, the contract for one of the two items tested was unable to be located. Questioned Costs: None Context: During our testing, we noted a formal policy was not in place over suspension and debarment. We also noted that the Voluntary Action Center did not determine or verify whether two vendors in which a contract was entered into was not suspended or debarred prior to entering into the contract. The contract for one of the two items tested was unable to be located. Cause: Policies and procedures had not been put into place to verify whether the Voluntary Action Center is entering into covered transactions with entities that are not suspended or debarred, and the contract was not maintained for one of the two items tested. Effect: Possible receipt of federal funds or assistance by an ineligible contractor, and proper documentation to support the transaction was not maintained. Repeat Finding: This is not a repeat finding. Recommendation: We recommend that current policies and procedures over covered transactions be updated to include one of the following procedures related to suspension and debarment: - Searching for the person or entity within the Excluded Parties List System; - Collecting certification from the person or entity; or - Adding a clause or condition to the covered transaction with that person or entity Additionally, all contracts should be maintained and kept on file to ensure records are complete.
Finding 2022-002 ? Procurement, Suspension and Debarment Major Program: Formula Grants for Rural Areas AL Number: 20.509 Federal Agency: U.S. Department of Transportation Pass-Through: County of DeKalb and County of Kendall Grantor Number: UFUMRHPZPVM6, ES1SZWNDT9N5, UFUMRHPZPVM6, and ES1SZWNDT9N5 Award Period: January 20, 2020 through June 30, 2023 Type of Finding: Material weakness in Internal Control over Compliance Other Matters Criteria or Specific Requirement: Voluntary Action Center is required to have documented procurement policies and procedures which comply with the compliance requirement: UG 200.318 general procurement standards, UG 200.319 competition, and 200.320 methods of procurement to be followed. Nonfederal entities are prohibited from contracting with or making subawards under covered transactions to parties that are suspended or debarred. ?Covered transactions? include contracts for goods and services awarded under a nonprocurement transaction (e.g. grant or cooperative agreement) that are expected to equal or exceed $25,000 or meet certain other criteria as specified in 2 CFR section 180.220. Condition: Through audit procedures performed, we noted that the Voluntary Action Center does not have procedures for verifying that an entity with which it plans to enter into a covered transaction is not debarred, suspended, or otherwise excluded. Additionally, the contract for one of the two items tested was unable to be located. Questioned Costs: None Context: During our testing, we noted a formal policy was not in place over suspension and debarment. We also noted that the Voluntary Action Center did not determine or verify whether two vendors in which a contract was entered into was not suspended or debarred prior to entering into the contract. The contract for one of the two items tested was unable to be located. Cause: Policies and procedures had not been put into place to verify whether the Voluntary Action Center is entering into covered transactions with entities that are not suspended or debarred, and the contract was not maintained for one of the two items tested. Effect: Possible receipt of federal funds or assistance by an ineligible contractor, and proper documentation to support the transaction was not maintained. Repeat Finding: This is not a repeat finding. Recommendation: We recommend that current policies and procedures over covered transactions be updated to include one of the following procedures related to suspension and debarment: - Searching for the person or entity within the Excluded Parties List System; - Collecting certification from the person or entity; or - Adding a clause or condition to the covered transaction with that person or entity Additionally, all contracts should be maintained and kept on file to ensure records are complete.
Finding 2022-002 ? Procurement, Suspension and Debarment Major Program: Formula Grants for Rural Areas AL Number: 20.509 Federal Agency: U.S. Department of Transportation Pass-Through: County of DeKalb and County of Kendall Grantor Number: UFUMRHPZPVM6, ES1SZWNDT9N5, UFUMRHPZPVM6, and ES1SZWNDT9N5 Award Period: January 20, 2020 through June 30, 2023 Type of Finding: Material weakness in Internal Control over Compliance Other Matters Criteria or Specific Requirement: Voluntary Action Center is required to have documented procurement policies and procedures which comply with the compliance requirement: UG 200.318 general procurement standards, UG 200.319 competition, and 200.320 methods of procurement to be followed. Nonfederal entities are prohibited from contracting with or making subawards under covered transactions to parties that are suspended or debarred. ?Covered transactions? include contracts for goods and services awarded under a nonprocurement transaction (e.g. grant or cooperative agreement) that are expected to equal or exceed $25,000 or meet certain other criteria as specified in 2 CFR section 180.220. Condition: Through audit procedures performed, we noted that the Voluntary Action Center does not have procedures for verifying that an entity with which it plans to enter into a covered transaction is not debarred, suspended, or otherwise excluded. Additionally, the contract for one of the two items tested was unable to be located. Questioned Costs: None Context: During our testing, we noted a formal policy was not in place over suspension and debarment. We also noted that the Voluntary Action Center did not determine or verify whether two vendors in which a contract was entered into was not suspended or debarred prior to entering into the contract. The contract for one of the two items tested was unable to be located. Cause: Policies and procedures had not been put into place to verify whether the Voluntary Action Center is entering into covered transactions with entities that are not suspended or debarred, and the contract was not maintained for one of the two items tested. Effect: Possible receipt of federal funds or assistance by an ineligible contractor, and proper documentation to support the transaction was not maintained. Repeat Finding: This is not a repeat finding. Recommendation: We recommend that current policies and procedures over covered transactions be updated to include one of the following procedures related to suspension and debarment: - Searching for the person or entity within the Excluded Parties List System; - Collecting certification from the person or entity; or - Adding a clause or condition to the covered transaction with that person or entity Additionally, all contracts should be maintained and kept on file to ensure records are complete.
Finding 2022-002 ? Procurement, Suspension and Debarment Major Program: Formula Grants for Rural Areas AL Number: 20.509 Federal Agency: U.S. Department of Transportation Pass-Through: County of DeKalb and County of Kendall Grantor Number: UFUMRHPZPVM6, ES1SZWNDT9N5, UFUMRHPZPVM6, and ES1SZWNDT9N5 Award Period: January 20, 2020 through June 30, 2023 Type of Finding: Material weakness in Internal Control over Compliance Other Matters Criteria or Specific Requirement: Voluntary Action Center is required to have documented procurement policies and procedures which comply with the compliance requirement: UG 200.318 general procurement standards, UG 200.319 competition, and 200.320 methods of procurement to be followed. Nonfederal entities are prohibited from contracting with or making subawards under covered transactions to parties that are suspended or debarred. ?Covered transactions? include contracts for goods and services awarded under a nonprocurement transaction (e.g. grant or cooperative agreement) that are expected to equal or exceed $25,000 or meet certain other criteria as specified in 2 CFR section 180.220. Condition: Through audit procedures performed, we noted that the Voluntary Action Center does not have procedures for verifying that an entity with which it plans to enter into a covered transaction is not debarred, suspended, or otherwise excluded. Additionally, the contract for one of the two items tested was unable to be located. Questioned Costs: None Context: During our testing, we noted a formal policy was not in place over suspension and debarment. We also noted that the Voluntary Action Center did not determine or verify whether two vendors in which a contract was entered into was not suspended or debarred prior to entering into the contract. The contract for one of the two items tested was unable to be located. Cause: Policies and procedures had not been put into place to verify whether the Voluntary Action Center is entering into covered transactions with entities that are not suspended or debarred, and the contract was not maintained for one of the two items tested. Effect: Possible receipt of federal funds or assistance by an ineligible contractor, and proper documentation to support the transaction was not maintained. Repeat Finding: This is not a repeat finding. Recommendation: We recommend that current policies and procedures over covered transactions be updated to include one of the following procedures related to suspension and debarment: - Searching for the person or entity within the Excluded Parties List System; - Collecting certification from the person or entity; or - Adding a clause or condition to the covered transaction with that person or entity Additionally, all contracts should be maintained and kept on file to ensure records are complete.