Audit 296767

FY End
2023-06-30
Total Expended
$4.20M
Findings
6
Programs
12
Organization: The Primavera Foundation, Inc. (AZ)
Year: 2023 Accepted: 2024-03-22

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
383744 2023-001 - - AB
383745 2023-001 - - AB
383746 2023-001 - - AB
960186 2023-001 - - AB
960187 2023-001 - - AB
960188 2023-001 - - AB

Programs

Contacts

Name Title Type
ZXQAE5JV2LJ8 Cammie Dirrim Auditee
5203083096 Jennifer J. Phillips Auditor
No contacts on file

Notes to SEFA

Accounting Policies: The accompanying schedule of expenditures of federal awards (the schedule) includes the federal award activity of the Organization under programs of federal, state and local governments for the year ended June 30, 2023. 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 The information in this schedule is presented in accordance with the requirements Title 2 U.S. Code of Federal Regulations (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 the Organization, it is not intended to and does not present the financial position, changes in net assets, or cash flows of the Organization. De Minimis Rate Used: N Rate Explanation: The Organization did not use the 10% de minimis cost rate.

Finding Details

Condition: The SSVF Program Office performed a review to determine whether the Foundation complied with applicable laws, rules, and regulations. During their review, they discovered that shared administrative expenditures allocated to the program had inadequate detail and supporting documentation. Criteria: Payment of SSVF grant funds up to the amount specified in the SSVF grant agreement will be made only for appropriately documented eligible expenses that are allowable, allocable, and reasonable costs of operating a program under the Supportive Services grant. Eligible expenses must be in accordance with the applicable Federal Cost Principles set forth in OMB Circular A-122, Cost Principles for Non-Profit Organizations, codified at 2 Code of Federal Regulations (CFR) Part 235. In addition, grantees must use adequate financial management systems that follow generally accepted accounting principles (GAAP) and provide adequate fiscal control and accounting records, including cost accounting records supported by documentation. Grantees’ financial management systems must comply with the requirements of 38 CFR 49.21. Grantees must also maintain all back up documentation and invoices to support the costs paid with SSVF funds. Cause and effect: The Foundation’s accounting software does not provide a detailed breakout of allocated administrative expenses once the previous month has been closed out. Individual general ledger line items can no longer be viewed; therefore, audit testing cannot be conducted for those amounts. Recommendation: I recommend that the Foundation continue plans to submit a modified administrative cost approach plan and once approved, update the organization’s policies and procedures to include the new processes. In the interim, the finance team should generate and print monthly administrative cost allocation reports to ensure there is a monthly record of the breakout of the administrative costs. Views of Responsible Officials: We have submitted a modified administrative cost approach plan (MACA) to the VA on December 8, 2023, and we are waiting for approval. We are working with our outside CPA firm to update our policies and procedures accounting for the new MACA plan implementation once it is approved. In the interim, we have already begun running detailed reports of allocations each month. We have also adjusted the VA grant to only apply direct cost for any administrative charges until the MACA is approved.
Condition: The SSVF Program Office performed a review to determine whether the Foundation complied with applicable laws, rules, and regulations. During their review, they discovered that shared administrative expenditures allocated to the program had inadequate detail and supporting documentation. Criteria: Payment of SSVF grant funds up to the amount specified in the SSVF grant agreement will be made only for appropriately documented eligible expenses that are allowable, allocable, and reasonable costs of operating a program under the Supportive Services grant. Eligible expenses must be in accordance with the applicable Federal Cost Principles set forth in OMB Circular A-122, Cost Principles for Non-Profit Organizations, codified at 2 Code of Federal Regulations (CFR) Part 235. In addition, grantees must use adequate financial management systems that follow generally accepted accounting principles (GAAP) and provide adequate fiscal control and accounting records, including cost accounting records supported by documentation. Grantees’ financial management systems must comply with the requirements of 38 CFR 49.21. Grantees must also maintain all back up documentation and invoices to support the costs paid with SSVF funds. Cause and effect: The Foundation’s accounting software does not provide a detailed breakout of allocated administrative expenses once the previous month has been closed out. Individual general ledger line items can no longer be viewed; therefore, audit testing cannot be conducted for those amounts. Recommendation: I recommend that the Foundation continue plans to submit a modified administrative cost approach plan and once approved, update the organization’s policies and procedures to include the new processes. In the interim, the finance team should generate and print monthly administrative cost allocation reports to ensure there is a monthly record of the breakout of the administrative costs. Views of Responsible Officials: We have submitted a modified administrative cost approach plan (MACA) to the VA on December 8, 2023, and we are waiting for approval. We are working with our outside CPA firm to update our policies and procedures accounting for the new MACA plan implementation once it is approved. In the interim, we have already begun running detailed reports of allocations each month. We have also adjusted the VA grant to only apply direct cost for any administrative charges until the MACA is approved.
Condition: The SSVF Program Office performed a review to determine whether the Foundation complied with applicable laws, rules, and regulations. During their review, they discovered that shared administrative expenditures allocated to the program had inadequate detail and supporting documentation. Criteria: Payment of SSVF grant funds up to the amount specified in the SSVF grant agreement will be made only for appropriately documented eligible expenses that are allowable, allocable, and reasonable costs of operating a program under the Supportive Services grant. Eligible expenses must be in accordance with the applicable Federal Cost Principles set forth in OMB Circular A-122, Cost Principles for Non-Profit Organizations, codified at 2 Code of Federal Regulations (CFR) Part 235. In addition, grantees must use adequate financial management systems that follow generally accepted accounting principles (GAAP) and provide adequate fiscal control and accounting records, including cost accounting records supported by documentation. Grantees’ financial management systems must comply with the requirements of 38 CFR 49.21. Grantees must also maintain all back up documentation and invoices to support the costs paid with SSVF funds. Cause and effect: The Foundation’s accounting software does not provide a detailed breakout of allocated administrative expenses once the previous month has been closed out. Individual general ledger line items can no longer be viewed; therefore, audit testing cannot be conducted for those amounts. Recommendation: I recommend that the Foundation continue plans to submit a modified administrative cost approach plan and once approved, update the organization’s policies and procedures to include the new processes. In the interim, the finance team should generate and print monthly administrative cost allocation reports to ensure there is a monthly record of the breakout of the administrative costs. Views of Responsible Officials: We have submitted a modified administrative cost approach plan (MACA) to the VA on December 8, 2023, and we are waiting for approval. We are working with our outside CPA firm to update our policies and procedures accounting for the new MACA plan implementation once it is approved. In the interim, we have already begun running detailed reports of allocations each month. We have also adjusted the VA grant to only apply direct cost for any administrative charges until the MACA is approved.
Condition: The SSVF Program Office performed a review to determine whether the Foundation complied with applicable laws, rules, and regulations. During their review, they discovered that shared administrative expenditures allocated to the program had inadequate detail and supporting documentation. Criteria: Payment of SSVF grant funds up to the amount specified in the SSVF grant agreement will be made only for appropriately documented eligible expenses that are allowable, allocable, and reasonable costs of operating a program under the Supportive Services grant. Eligible expenses must be in accordance with the applicable Federal Cost Principles set forth in OMB Circular A-122, Cost Principles for Non-Profit Organizations, codified at 2 Code of Federal Regulations (CFR) Part 235. In addition, grantees must use adequate financial management systems that follow generally accepted accounting principles (GAAP) and provide adequate fiscal control and accounting records, including cost accounting records supported by documentation. Grantees’ financial management systems must comply with the requirements of 38 CFR 49.21. Grantees must also maintain all back up documentation and invoices to support the costs paid with SSVF funds. Cause and effect: The Foundation’s accounting software does not provide a detailed breakout of allocated administrative expenses once the previous month has been closed out. Individual general ledger line items can no longer be viewed; therefore, audit testing cannot be conducted for those amounts. Recommendation: I recommend that the Foundation continue plans to submit a modified administrative cost approach plan and once approved, update the organization’s policies and procedures to include the new processes. In the interim, the finance team should generate and print monthly administrative cost allocation reports to ensure there is a monthly record of the breakout of the administrative costs. Views of Responsible Officials: We have submitted a modified administrative cost approach plan (MACA) to the VA on December 8, 2023, and we are waiting for approval. We are working with our outside CPA firm to update our policies and procedures accounting for the new MACA plan implementation once it is approved. In the interim, we have already begun running detailed reports of allocations each month. We have also adjusted the VA grant to only apply direct cost for any administrative charges until the MACA is approved.
Condition: The SSVF Program Office performed a review to determine whether the Foundation complied with applicable laws, rules, and regulations. During their review, they discovered that shared administrative expenditures allocated to the program had inadequate detail and supporting documentation. Criteria: Payment of SSVF grant funds up to the amount specified in the SSVF grant agreement will be made only for appropriately documented eligible expenses that are allowable, allocable, and reasonable costs of operating a program under the Supportive Services grant. Eligible expenses must be in accordance with the applicable Federal Cost Principles set forth in OMB Circular A-122, Cost Principles for Non-Profit Organizations, codified at 2 Code of Federal Regulations (CFR) Part 235. In addition, grantees must use adequate financial management systems that follow generally accepted accounting principles (GAAP) and provide adequate fiscal control and accounting records, including cost accounting records supported by documentation. Grantees’ financial management systems must comply with the requirements of 38 CFR 49.21. Grantees must also maintain all back up documentation and invoices to support the costs paid with SSVF funds. Cause and effect: The Foundation’s accounting software does not provide a detailed breakout of allocated administrative expenses once the previous month has been closed out. Individual general ledger line items can no longer be viewed; therefore, audit testing cannot be conducted for those amounts. Recommendation: I recommend that the Foundation continue plans to submit a modified administrative cost approach plan and once approved, update the organization’s policies and procedures to include the new processes. In the interim, the finance team should generate and print monthly administrative cost allocation reports to ensure there is a monthly record of the breakout of the administrative costs. Views of Responsible Officials: We have submitted a modified administrative cost approach plan (MACA) to the VA on December 8, 2023, and we are waiting for approval. We are working with our outside CPA firm to update our policies and procedures accounting for the new MACA plan implementation once it is approved. In the interim, we have already begun running detailed reports of allocations each month. We have also adjusted the VA grant to only apply direct cost for any administrative charges until the MACA is approved.
Condition: The SSVF Program Office performed a review to determine whether the Foundation complied with applicable laws, rules, and regulations. During their review, they discovered that shared administrative expenditures allocated to the program had inadequate detail and supporting documentation. Criteria: Payment of SSVF grant funds up to the amount specified in the SSVF grant agreement will be made only for appropriately documented eligible expenses that are allowable, allocable, and reasonable costs of operating a program under the Supportive Services grant. Eligible expenses must be in accordance with the applicable Federal Cost Principles set forth in OMB Circular A-122, Cost Principles for Non-Profit Organizations, codified at 2 Code of Federal Regulations (CFR) Part 235. In addition, grantees must use adequate financial management systems that follow generally accepted accounting principles (GAAP) and provide adequate fiscal control and accounting records, including cost accounting records supported by documentation. Grantees’ financial management systems must comply with the requirements of 38 CFR 49.21. Grantees must also maintain all back up documentation and invoices to support the costs paid with SSVF funds. Cause and effect: The Foundation’s accounting software does not provide a detailed breakout of allocated administrative expenses once the previous month has been closed out. Individual general ledger line items can no longer be viewed; therefore, audit testing cannot be conducted for those amounts. Recommendation: I recommend that the Foundation continue plans to submit a modified administrative cost approach plan and once approved, update the organization’s policies and procedures to include the new processes. In the interim, the finance team should generate and print monthly administrative cost allocation reports to ensure there is a monthly record of the breakout of the administrative costs. Views of Responsible Officials: We have submitted a modified administrative cost approach plan (MACA) to the VA on December 8, 2023, and we are waiting for approval. We are working with our outside CPA firm to update our policies and procedures accounting for the new MACA plan implementation once it is approved. In the interim, we have already begun running detailed reports of allocations each month. We have also adjusted the VA grant to only apply direct cost for any administrative charges until the MACA is approved.