Audit 292426

FY End
2023-06-30
Total Expended
$9.27M
Findings
6
Programs
7
Organization: University of Rio Grande (OH)
Year: 2023 Accepted: 2024-02-27

Organization Exclusion Status:

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Findings

ID Ref Severity Repeat Requirement
370783 2023-002 Significant Deficiency - N
370784 2023-002 Significant Deficiency - N
370785 2023-002 Significant Deficiency - N
947225 2023-002 Significant Deficiency - N
947226 2023-002 Significant Deficiency - N
947227 2023-002 Significant Deficiency - N

Contacts

Name Title Type
QDJAQDD9QLS6 Meghann Fraley Auditee
7402457267 Keith Martinez Auditor
No contacts on file

Notes to SEFA

Accounting Policies: The accompanying schedule of expenditures of federal awards (the “Schedule”) includes the federal grant activity of University of Rio Grande and its subsidiary (the “University”) under programs of the federal government for the year ended June 30, 2023. The information in the Schedule is presented 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 (the “Uniform Guidance”). Because the Schedule presents only a selected portion of the operations of the University, it is not intended to and does not present the financial position, changes in net position, or cash flows of the University. Expenditures reported in the Schedule are reported on the accrual basis of accounting. Such expenditures are recognized following the cost principles contained in Title 2 U.S. Code of Federal Regulations Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards, wherein certain types of expenditures are not allowable or are limited as to reimbursement. The pass-through entity identifying numbers are presented where available. The University has elected not to use the 10 percent de minimis indirect cost rate to recover indirect costs as allowed under the Uniform Guidance. De Minimis Rate Used: N Rate Explanation: The University has elected not to use the 10 percent de minimis indirect cost rate to recover indirect costs as allowed under the Uniform Guidance.

Finding Details

Assistance Listing, Federal Agency, and Program Name - ALNs 84.063, 84.268 and 84.007; Department of Education; Federal Pell Grant Program, Federal Direct Loan Program and Federal Supplemental Educational Opportunity Grant Program Federal Award Identification Number and Year - N/A Pass-through Entity - N/A Finding Type - Significant deficiency Repeat Finding - No Criteria - Post-withdrawal disbursements must be made from available grant funds before available loan funds (34 CFR 668.22(a)(6)). Any grant funds not disbursed to the student's account must be disbursed to the student no later than 45 days after the date of the institution’s determination that the student withdrew (34 CFR 668.22(a)(6)(ii)(B)(1 )). Condition - The University did not disburse the grant funds within the required time frame for certain students who required a post-withdrawal disbursement. Questioned Costs - None Identification of How Questioned Costs Were Computed - N/A Context - Of the 25 withdrawn students tested for proper return of Title IV funds, the funds for 2 students requiring a post-withdrawal disbursement were not disbursed to the student within the required time frame. The 2 errors were for the Fall 2022 term. Cause and Effect - The University had an employee absence for the week that these errors were identified, which led to returns of Title IV funds being completed outside the required time frame. Recommendation - We recommend that the University institute a process to ensure that all returns of Title IV aid are calculated and returned within the required time frame regardless of staff resource constraints, to ensure compliance with the Special Tests and Provisions - Return of Title IV Funds compliance requirements. Views of Responsible Officials and Corrective Action Plan - In response to identified delays in returning Title IV funds within the stipulated time frame for post withdrawal disbursements, an immediate corrective action plan has been initiated. This plan involves a thorough review of internal processes to identify and rectify procedural gaps contributing to the delays. Staff training sessions are being conducted to reinforce understanding and compliance with Title IV regulations, with a particular emphasis on the importance of timely disbursements.
Assistance Listing, Federal Agency, and Program Name - ALNs 84.063, 84.268 and 84.007; Department of Education; Federal Pell Grant Program, Federal Direct Loan Program and Federal Supplemental Educational Opportunity Grant Program Federal Award Identification Number and Year - N/A Pass-through Entity - N/A Finding Type - Significant deficiency Repeat Finding - No Criteria - Post-withdrawal disbursements must be made from available grant funds before available loan funds (34 CFR 668.22(a)(6)). Any grant funds not disbursed to the student's account must be disbursed to the student no later than 45 days after the date of the institution’s determination that the student withdrew (34 CFR 668.22(a)(6)(ii)(B)(1 )). Condition - The University did not disburse the grant funds within the required time frame for certain students who required a post-withdrawal disbursement. Questioned Costs - None Identification of How Questioned Costs Were Computed - N/A Context - Of the 25 withdrawn students tested for proper return of Title IV funds, the funds for 2 students requiring a post-withdrawal disbursement were not disbursed to the student within the required time frame. The 2 errors were for the Fall 2022 term. Cause and Effect - The University had an employee absence for the week that these errors were identified, which led to returns of Title IV funds being completed outside the required time frame. Recommendation - We recommend that the University institute a process to ensure that all returns of Title IV aid are calculated and returned within the required time frame regardless of staff resource constraints, to ensure compliance with the Special Tests and Provisions - Return of Title IV Funds compliance requirements. Views of Responsible Officials and Corrective Action Plan - In response to identified delays in returning Title IV funds within the stipulated time frame for post withdrawal disbursements, an immediate corrective action plan has been initiated. This plan involves a thorough review of internal processes to identify and rectify procedural gaps contributing to the delays. Staff training sessions are being conducted to reinforce understanding and compliance with Title IV regulations, with a particular emphasis on the importance of timely disbursements.
Assistance Listing, Federal Agency, and Program Name - ALNs 84.063, 84.268 and 84.007; Department of Education; Federal Pell Grant Program, Federal Direct Loan Program and Federal Supplemental Educational Opportunity Grant Program Federal Award Identification Number and Year - N/A Pass-through Entity - N/A Finding Type - Significant deficiency Repeat Finding - No Criteria - Post-withdrawal disbursements must be made from available grant funds before available loan funds (34 CFR 668.22(a)(6)). Any grant funds not disbursed to the student's account must be disbursed to the student no later than 45 days after the date of the institution’s determination that the student withdrew (34 CFR 668.22(a)(6)(ii)(B)(1 )). Condition - The University did not disburse the grant funds within the required time frame for certain students who required a post-withdrawal disbursement. Questioned Costs - None Identification of How Questioned Costs Were Computed - N/A Context - Of the 25 withdrawn students tested for proper return of Title IV funds, the funds for 2 students requiring a post-withdrawal disbursement were not disbursed to the student within the required time frame. The 2 errors were for the Fall 2022 term. Cause and Effect - The University had an employee absence for the week that these errors were identified, which led to returns of Title IV funds being completed outside the required time frame. Recommendation - We recommend that the University institute a process to ensure that all returns of Title IV aid are calculated and returned within the required time frame regardless of staff resource constraints, to ensure compliance with the Special Tests and Provisions - Return of Title IV Funds compliance requirements. Views of Responsible Officials and Corrective Action Plan - In response to identified delays in returning Title IV funds within the stipulated time frame for post withdrawal disbursements, an immediate corrective action plan has been initiated. This plan involves a thorough review of internal processes to identify and rectify procedural gaps contributing to the delays. Staff training sessions are being conducted to reinforce understanding and compliance with Title IV regulations, with a particular emphasis on the importance of timely disbursements.
Assistance Listing, Federal Agency, and Program Name - ALNs 84.063, 84.268 and 84.007; Department of Education; Federal Pell Grant Program, Federal Direct Loan Program and Federal Supplemental Educational Opportunity Grant Program Federal Award Identification Number and Year - N/A Pass-through Entity - N/A Finding Type - Significant deficiency Repeat Finding - No Criteria - Post-withdrawal disbursements must be made from available grant funds before available loan funds (34 CFR 668.22(a)(6)). Any grant funds not disbursed to the student's account must be disbursed to the student no later than 45 days after the date of the institution’s determination that the student withdrew (34 CFR 668.22(a)(6)(ii)(B)(1 )). Condition - The University did not disburse the grant funds within the required time frame for certain students who required a post-withdrawal disbursement. Questioned Costs - None Identification of How Questioned Costs Were Computed - N/A Context - Of the 25 withdrawn students tested for proper return of Title IV funds, the funds for 2 students requiring a post-withdrawal disbursement were not disbursed to the student within the required time frame. The 2 errors were for the Fall 2022 term. Cause and Effect - The University had an employee absence for the week that these errors were identified, which led to returns of Title IV funds being completed outside the required time frame. Recommendation - We recommend that the University institute a process to ensure that all returns of Title IV aid are calculated and returned within the required time frame regardless of staff resource constraints, to ensure compliance with the Special Tests and Provisions - Return of Title IV Funds compliance requirements. Views of Responsible Officials and Corrective Action Plan - In response to identified delays in returning Title IV funds within the stipulated time frame for post withdrawal disbursements, an immediate corrective action plan has been initiated. This plan involves a thorough review of internal processes to identify and rectify procedural gaps contributing to the delays. Staff training sessions are being conducted to reinforce understanding and compliance with Title IV regulations, with a particular emphasis on the importance of timely disbursements.
Assistance Listing, Federal Agency, and Program Name - ALNs 84.063, 84.268 and 84.007; Department of Education; Federal Pell Grant Program, Federal Direct Loan Program and Federal Supplemental Educational Opportunity Grant Program Federal Award Identification Number and Year - N/A Pass-through Entity - N/A Finding Type - Significant deficiency Repeat Finding - No Criteria - Post-withdrawal disbursements must be made from available grant funds before available loan funds (34 CFR 668.22(a)(6)). Any grant funds not disbursed to the student's account must be disbursed to the student no later than 45 days after the date of the institution’s determination that the student withdrew (34 CFR 668.22(a)(6)(ii)(B)(1 )). Condition - The University did not disburse the grant funds within the required time frame for certain students who required a post-withdrawal disbursement. Questioned Costs - None Identification of How Questioned Costs Were Computed - N/A Context - Of the 25 withdrawn students tested for proper return of Title IV funds, the funds for 2 students requiring a post-withdrawal disbursement were not disbursed to the student within the required time frame. The 2 errors were for the Fall 2022 term. Cause and Effect - The University had an employee absence for the week that these errors were identified, which led to returns of Title IV funds being completed outside the required time frame. Recommendation - We recommend that the University institute a process to ensure that all returns of Title IV aid are calculated and returned within the required time frame regardless of staff resource constraints, to ensure compliance with the Special Tests and Provisions - Return of Title IV Funds compliance requirements. Views of Responsible Officials and Corrective Action Plan - In response to identified delays in returning Title IV funds within the stipulated time frame for post withdrawal disbursements, an immediate corrective action plan has been initiated. This plan involves a thorough review of internal processes to identify and rectify procedural gaps contributing to the delays. Staff training sessions are being conducted to reinforce understanding and compliance with Title IV regulations, with a particular emphasis on the importance of timely disbursements.
Assistance Listing, Federal Agency, and Program Name - ALNs 84.063, 84.268 and 84.007; Department of Education; Federal Pell Grant Program, Federal Direct Loan Program and Federal Supplemental Educational Opportunity Grant Program Federal Award Identification Number and Year - N/A Pass-through Entity - N/A Finding Type - Significant deficiency Repeat Finding - No Criteria - Post-withdrawal disbursements must be made from available grant funds before available loan funds (34 CFR 668.22(a)(6)). Any grant funds not disbursed to the student's account must be disbursed to the student no later than 45 days after the date of the institution’s determination that the student withdrew (34 CFR 668.22(a)(6)(ii)(B)(1 )). Condition - The University did not disburse the grant funds within the required time frame for certain students who required a post-withdrawal disbursement. Questioned Costs - None Identification of How Questioned Costs Were Computed - N/A Context - Of the 25 withdrawn students tested for proper return of Title IV funds, the funds for 2 students requiring a post-withdrawal disbursement were not disbursed to the student within the required time frame. The 2 errors were for the Fall 2022 term. Cause and Effect - The University had an employee absence for the week that these errors were identified, which led to returns of Title IV funds being completed outside the required time frame. Recommendation - We recommend that the University institute a process to ensure that all returns of Title IV aid are calculated and returned within the required time frame regardless of staff resource constraints, to ensure compliance with the Special Tests and Provisions - Return of Title IV Funds compliance requirements. Views of Responsible Officials and Corrective Action Plan - In response to identified delays in returning Title IV funds within the stipulated time frame for post withdrawal disbursements, an immediate corrective action plan has been initiated. This plan involves a thorough review of internal processes to identify and rectify procedural gaps contributing to the delays. Staff training sessions are being conducted to reinforce understanding and compliance with Title IV regulations, with a particular emphasis on the importance of timely disbursements.