Audit 291476

FY End
2023-06-30
Total Expended
$3.13M
Findings
2
Programs
6
Year: 2023 Accepted: 2024-02-21

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
369983 2023-001 Material Weakness Yes E
946425 2023-001 Material Weakness Yes E

Contacts

Name Title Type
J6SMNCGB8EM9 Susan Mazza Auditee
6104351541 Michael Wascura Auditor
No contacts on file

Notes to SEFA

Title: Pass Through Entity Identification Number 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 to reimbursement. Negative amounts shown on the Schedule, if any, represent adjustments or credits made in the normal course of business to amounts reported as expenditures in prior years. De Minimis Rate Used: N Rate Explanation: The Organization has elected not to use the 10% de minimis indirect cost rate allowed under the Uniform Guidance. Several of the awards included in the schedule of expenditures of federal awards are missing through the pass-through entity identification numbers. The missing numbers are due to the pass-through entities not providing pass-through entity identification numbers.

Finding Details

Finding 2023-001 - Eligibility (Material Weakness); Material Noncompliance Federal Program: COVID-19: Emergency Rental Assistance Program Federal Agency: U.S. Department of Treasury Pass-Through Entity: PA Department of Human Services and Carbon County Assistance Listing Number: 21.023 Federal Award Year: July 1, 2022 to June 30, 2023 Repeat of Prior Year Audit Finding 2022-001 Criteria: The Consolidated Appropriations Act of 2021 and the American Rescue Plan Act included funding for states to establish emergency rental assistance programs (ERAP). Recipients must comply with the requirements for Emergency Rental Assistance (“ERA 1”), Division N, Title V, Section 501 of the Consolidated appropriations Act, 2021, Pub. L. No. 116-260 (December 27, 2020) and codified as 15 USC 9058a and Emergency Rental Assistance (“ERA 2”), Title III, Subtitle B, Section 3201 of the American Rescue Plan Act, 2021, Pub. L. No. 117-2 (March 11, 2021) codified as 15 USC 9058c. The U.S. Department of Treasury issued Emergency Rental Assistance Frequently Asked Questions (FAQ) as guidance regarding the requirements of ERA1 and ERA2. FAQ 5 states Grantees must obtain, if available, a current lease, signed by the applicant and the landlord or sublessor, that identifies the unit where the applicant resides and establishes the rental payment amount. If a household does not have a signed lease, documentation of residence may include evidence of paying utilities for the residential unit, an attestation by a landlord who can be identified as the verified owner or management agent of the unit, or other reasonable documentation as determined by the grantee. Condition/Context: During our audit, 8 out of 40 individual files selected for eligibility testing did not contain evidence that the Organization obtained or reviewed a lease to support the eligibility of the individual who received a direct assistance payment. Further, there was no evidence of alternative documentation of residence when a lease could not be obtained. The sample was not a statistically valid sample. Cause: Catholic Charities Diocese of Allentown was the only entity in Carbon County administering ERAP funding; no other agency would agree to undertake the obligations of administering this magnitude of a program, which assisted economically insecure renters with over $2.3 million funding during applicable fiscal year. The volume of inquiries and processed applications quickly overwhelmed the staff of Catholic Charities, with immense pressure from the administrative entities to process the applications as quickly as possible. This pressure on limited staff to process applications quickly led to errors in documentation. Effect: The accuracy of client records depends heavily on the accuracy and timeliness of the staff review. If the Organization does not complete or review within a timely manner, records may be inaccurate or incomplete and potentially ineligible direct assistance payments may be rendered. Questioned Costs: $26,072 of direct assistance payments were paid despite not having appropriate eligibility documentation on file. Recommendation: The Organization should develop a process to review the applications that were previously accepted to ensure they include all of the required supporting documentation. Views of Responsible Officials and Planned Corrective Actions: Catholic Charities Diocese of Allentown declined to administer the second round of ERAP funding. Significant leadership changes have been implemented in May 2023, including a new Managing Director. Catholic Charities is in the process of designing an enhanced training program to ensure all programs complete all documentation required to substantiate eligibility under each program administered, whether privately or publicly funded. Cause: The Consolidated Appropriations Act of 2021 and the American Rescue Plan Act included funding for states to establish emergency rental assistance programs (ERAP). Pennsylvania and its counties received approximately $1.3 billion to administer assistance to renters who had been affected by the COVID-19 pandemic and economic insecurity. Catholic Charities Diocese of Allentown was the only entity in Carbon County administering ERAP funding; no other agency would agree to undertake the obligations of administering this magnitude of a program, which assisted economically insecure renters with over $2.3 million funding during applicable fiscal year. The volume of inquiries and processed applications quickly overwhelmed the staff of Catholic Charities, with immense pressure from the administrative entities to process the applications as quickly as possible. This pressure on limited staff to process applications quickly led to errors in documentation. Effect: The accuracy of client records depends heavily on the accuracy and timeliness of the staff review. If the Organization does not complete or review within a timely manner, records may be inaccurate or incomplete. Questioned Costs: $26,072 of direct assistance payments were paid despite not having appropriate eligibility documentation on file. Recommendation: The Organization should develop a process to review the applications that were previously accepted to ensure they include all of the required supporting documentation. Views of Responsible Officials and Planned Corrective Actions: Catholic Charities Diocese of Allentown declined to administer the second round of ERAP funding. Significant leadership changes have been implemented in May 2023, including a new Managing Director. Catholic Charities is in the process of designing an enhanced training program to ensure all programs complete all documentation required to substantiate eligibility under each program administered, whether privately or publicly funded.
Finding 2023-001 - Eligibility (Material Weakness); Material Noncompliance Federal Program: COVID-19: Emergency Rental Assistance Program Federal Agency: U.S. Department of Treasury Pass-Through Entity: PA Department of Human Services and Carbon County Assistance Listing Number: 21.023 Federal Award Year: July 1, 2022 to June 30, 2023 Repeat of Prior Year Audit Finding 2022-001 Criteria: The Consolidated Appropriations Act of 2021 and the American Rescue Plan Act included funding for states to establish emergency rental assistance programs (ERAP). Recipients must comply with the requirements for Emergency Rental Assistance (“ERA 1”), Division N, Title V, Section 501 of the Consolidated appropriations Act, 2021, Pub. L. No. 116-260 (December 27, 2020) and codified as 15 USC 9058a and Emergency Rental Assistance (“ERA 2”), Title III, Subtitle B, Section 3201 of the American Rescue Plan Act, 2021, Pub. L. No. 117-2 (March 11, 2021) codified as 15 USC 9058c. The U.S. Department of Treasury issued Emergency Rental Assistance Frequently Asked Questions (FAQ) as guidance regarding the requirements of ERA1 and ERA2. FAQ 5 states Grantees must obtain, if available, a current lease, signed by the applicant and the landlord or sublessor, that identifies the unit where the applicant resides and establishes the rental payment amount. If a household does not have a signed lease, documentation of residence may include evidence of paying utilities for the residential unit, an attestation by a landlord who can be identified as the verified owner or management agent of the unit, or other reasonable documentation as determined by the grantee. Condition/Context: During our audit, 8 out of 40 individual files selected for eligibility testing did not contain evidence that the Organization obtained or reviewed a lease to support the eligibility of the individual who received a direct assistance payment. Further, there was no evidence of alternative documentation of residence when a lease could not be obtained. The sample was not a statistically valid sample. Cause: Catholic Charities Diocese of Allentown was the only entity in Carbon County administering ERAP funding; no other agency would agree to undertake the obligations of administering this magnitude of a program, which assisted economically insecure renters with over $2.3 million funding during applicable fiscal year. The volume of inquiries and processed applications quickly overwhelmed the staff of Catholic Charities, with immense pressure from the administrative entities to process the applications as quickly as possible. This pressure on limited staff to process applications quickly led to errors in documentation. Effect: The accuracy of client records depends heavily on the accuracy and timeliness of the staff review. If the Organization does not complete or review within a timely manner, records may be inaccurate or incomplete and potentially ineligible direct assistance payments may be rendered. Questioned Costs: $26,072 of direct assistance payments were paid despite not having appropriate eligibility documentation on file. Recommendation: The Organization should develop a process to review the applications that were previously accepted to ensure they include all of the required supporting documentation. Views of Responsible Officials and Planned Corrective Actions: Catholic Charities Diocese of Allentown declined to administer the second round of ERAP funding. Significant leadership changes have been implemented in May 2023, including a new Managing Director. Catholic Charities is in the process of designing an enhanced training program to ensure all programs complete all documentation required to substantiate eligibility under each program administered, whether privately or publicly funded. Cause: The Consolidated Appropriations Act of 2021 and the American Rescue Plan Act included funding for states to establish emergency rental assistance programs (ERAP). Pennsylvania and its counties received approximately $1.3 billion to administer assistance to renters who had been affected by the COVID-19 pandemic and economic insecurity. Catholic Charities Diocese of Allentown was the only entity in Carbon County administering ERAP funding; no other agency would agree to undertake the obligations of administering this magnitude of a program, which assisted economically insecure renters with over $2.3 million funding during applicable fiscal year. The volume of inquiries and processed applications quickly overwhelmed the staff of Catholic Charities, with immense pressure from the administrative entities to process the applications as quickly as possible. This pressure on limited staff to process applications quickly led to errors in documentation. Effect: The accuracy of client records depends heavily on the accuracy and timeliness of the staff review. If the Organization does not complete or review within a timely manner, records may be inaccurate or incomplete. Questioned Costs: $26,072 of direct assistance payments were paid despite not having appropriate eligibility documentation on file. Recommendation: The Organization should develop a process to review the applications that were previously accepted to ensure they include all of the required supporting documentation. Views of Responsible Officials and Planned Corrective Actions: Catholic Charities Diocese of Allentown declined to administer the second round of ERAP funding. Significant leadership changes have been implemented in May 2023, including a new Managing Director. Catholic Charities is in the process of designing an enhanced training program to ensure all programs complete all documentation required to substantiate eligibility under each program administered, whether privately or publicly funded.