Audit 301332

FY End
2023-06-30
Total Expended
$13.11M
Findings
16
Programs
9
Organization: Lemoyne-Owen College (TN)
Year: 2023 Accepted: 2024-03-30

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
390567 2023-002 Significant Deficiency Yes L
390568 2023-002 Significant Deficiency Yes L
390569 2023-002 Significant Deficiency Yes L
390570 2023-002 Significant Deficiency Yes L
390571 2023-003 Significant Deficiency - L
390572 2023-003 Significant Deficiency - L
390573 2023-003 Significant Deficiency - L
390574 2023-003 Significant Deficiency - L
967009 2023-002 Significant Deficiency Yes L
967010 2023-002 Significant Deficiency Yes L
967011 2023-002 Significant Deficiency Yes L
967012 2023-002 Significant Deficiency Yes L
967013 2023-003 Significant Deficiency - L
967014 2023-003 Significant Deficiency - L
967015 2023-003 Significant Deficiency - L
967016 2023-003 Significant Deficiency - L

Programs

ALN Program Spent Major Findings
84.425 Education Stabilization Fund $3.17M Yes 0
84.268 Federal Direct Student Loans $2.61M Yes 2
84.063 Federal Pell Grant Program $2.48M Yes 2
84.007 Federal Supplemental Educational Opportunity Grants $346,262 Yes 2
84.120 Minority Science and Engineering Improvement $186,244 Yes 0
84.033 Federal Work-Study Program $183,235 Yes 2
12.905 Cybersecurity Core Curriculum $85,367 - 0
47.076 Education and Human Resources $38,465 - 0
84.031 Higher Education_institutional Aid $27,177 Yes 0

Contacts

Name Title Type
NAN0TAVALABL Joyce McGhee Auditee
9014351206 Donald K. Murphy Auditor
No contacts on file

Notes to SEFA

Accounting Policies: LEMOYNE-OWEN COLLEGE (the College) participates in several programs sponsored by various government agencies as listed in the accompanying Schedule of Expenditures of Federal, State and Local Awards. All programs are subject to audit by the various agencies and they have the authority to determine liabilities, limit or suspend the College's participation in the federal, state and local programs. The accompanying Schedule of Expenditures of Federal, State and Local Awards (the Schedule) is presented on an accrual basis of accounting consistent with the basis of accounting used by the College in the preparation of its financial statements. The information in the Schedule is presented in accordance with the requirements of Title 2 U.S. Code of Federal Regulations (CFR) Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Guidance). Negative amounts reflected in the Schedule represent adjustments or credits made in the normal course of business to amounts reported as expenditures in prior years. The Schedule includes all known federal, state and local and pass-through federal, state and local funds expended by the College for the year ended June 30, 2023. All grants/awards should be reviewed in detail to determine if they contain any special provisions (for example, some awards require they be treated as major programs, even though they might not otherwise qualify as such). If the grant/award contains federal funding, the organization will obtain the following: name of the federal agency, award period, Catalog of Federal Domestic Assistance (CFDA) number. The grant/award should also be researched to determine if it is part of a cluster (including research and development) or a federal loan program. If the grant/award is passed through to/from a sub-recipient, the organization will obtain the pass-through entity identifying number. Prior to the grant/award becoming operational, the organization should review the OMB Compliance Supplements Matrix of Compliance Requirements. For every federally funded grant/award, personnel should be assigned for each area of compliance. Expenditures must be tracked for each individual grant/award. The accounting system must be set up to capture this information, and individuals must be established to assign expenses to each grant/award. De Minimis Rate Used: N Rate Explanation: The College has received a federally negotiated indirect cost rate and therefore, has elected not to use the 10% de minimis indirect cost rate allowed under the Uniform Guidance.

Finding Details

Finding 2023-002 - U.S. Department of Education (USDEJ, Title IV Student Financial Aid Programs (Significant Deficiency}: Information on the Federal Program - Federal Pell Grants Program, CFDA No. 84.063, June 30 2023; Federal Work Study Program, CFDA No. 84.033, June 30, 2023; Federal Supplemental Educational Opportunity Grant, CFDA No. 84. 007, June 30, 2023; Federal Direct Student Loans, CFDA No. 84.268, June 30, 2023. Criteria - Federal regulations require monthly reconciling of Title IV programs and accurate completion of required financial reports. Condition- See below. Questioned Costs - N/A Context- We observed the following condition in connection with our testing of the various U.S. Department of Education, Title IV, Student Financial Assistance Programs: The College had differences in the following programs which were not reconciled to the general ledger: Federal Work Study, Federal Pell Grant and Federal Supplemental Educational Opportunity Grant (SEOG), which caused unreconciled data to be used on the Fiscal Operations Report and Application to Participate (FISAP}. Citation: SFA handbook Ch. 5 CFR668.161 - 668.176. Cause - Oversight by responsible employees, lack of sufficient staffing and staff turnover. Effect - The College's participation in the Title IV programs could be subject to USDE sanctions as applicable for not reconciling its programs and incorrectly completing its FISAP. Repeat Finding - Yes. Auditor's Recommendation - The College should implement corrective actions to ensure that the above findings are resolved and will not recur in future periods. View of Responsible Officials - A new CFO and financial aid director have been hired. The CFO is in the process of reorganizing Business Office operations, hiring additional staff, and training existing staff to ensure the monthly reconciliations of all programs and accurate completion of required federal reports. The financial aid director as well as the controller will be responsible for maintenance of those monthly reconciliations.
Finding 2023-002 - U.S. Department of Education (USDEJ, Title IV Student Financial Aid Programs (Significant Deficiency}: Information on the Federal Program - Federal Pell Grants Program, CFDA No. 84.063, June 30 2023; Federal Work Study Program, CFDA No. 84.033, June 30, 2023; Federal Supplemental Educational Opportunity Grant, CFDA No. 84. 007, June 30, 2023; Federal Direct Student Loans, CFDA No. 84.268, June 30, 2023. Criteria - Federal regulations require monthly reconciling of Title IV programs and accurate completion of required financial reports. Condition- See below. Questioned Costs - N/A Context- We observed the following condition in connection with our testing of the various U.S. Department of Education, Title IV, Student Financial Assistance Programs: The College had differences in the following programs which were not reconciled to the general ledger: Federal Work Study, Federal Pell Grant and Federal Supplemental Educational Opportunity Grant (SEOG), which caused unreconciled data to be used on the Fiscal Operations Report and Application to Participate (FISAP}. Citation: SFA handbook Ch. 5 CFR668.161 - 668.176. Cause - Oversight by responsible employees, lack of sufficient staffing and staff turnover. Effect - The College's participation in the Title IV programs could be subject to USDE sanctions as applicable for not reconciling its programs and incorrectly completing its FISAP. Repeat Finding - Yes. Auditor's Recommendation - The College should implement corrective actions to ensure that the above findings are resolved and will not recur in future periods. View of Responsible Officials - A new CFO and financial aid director have been hired. The CFO is in the process of reorganizing Business Office operations, hiring additional staff, and training existing staff to ensure the monthly reconciliations of all programs and accurate completion of required federal reports. The financial aid director as well as the controller will be responsible for maintenance of those monthly reconciliations.
Finding 2023-002 - U.S. Department of Education (USDEJ, Title IV Student Financial Aid Programs (Significant Deficiency}: Information on the Federal Program - Federal Pell Grants Program, CFDA No. 84.063, June 30 2023; Federal Work Study Program, CFDA No. 84.033, June 30, 2023; Federal Supplemental Educational Opportunity Grant, CFDA No. 84. 007, June 30, 2023; Federal Direct Student Loans, CFDA No. 84.268, June 30, 2023. Criteria - Federal regulations require monthly reconciling of Title IV programs and accurate completion of required financial reports. Condition- See below. Questioned Costs - N/A Context- We observed the following condition in connection with our testing of the various U.S. Department of Education, Title IV, Student Financial Assistance Programs: The College had differences in the following programs which were not reconciled to the general ledger: Federal Work Study, Federal Pell Grant and Federal Supplemental Educational Opportunity Grant (SEOG), which caused unreconciled data to be used on the Fiscal Operations Report and Application to Participate (FISAP}. Citation: SFA handbook Ch. 5 CFR668.161 - 668.176. Cause - Oversight by responsible employees, lack of sufficient staffing and staff turnover. Effect - The College's participation in the Title IV programs could be subject to USDE sanctions as applicable for not reconciling its programs and incorrectly completing its FISAP. Repeat Finding - Yes. Auditor's Recommendation - The College should implement corrective actions to ensure that the above findings are resolved and will not recur in future periods. View of Responsible Officials - A new CFO and financial aid director have been hired. The CFO is in the process of reorganizing Business Office operations, hiring additional staff, and training existing staff to ensure the monthly reconciliations of all programs and accurate completion of required federal reports. The financial aid director as well as the controller will be responsible for maintenance of those monthly reconciliations.
Finding 2023-002 - U.S. Department of Education (USDEJ, Title IV Student Financial Aid Programs (Significant Deficiency}: Information on the Federal Program - Federal Pell Grants Program, CFDA No. 84.063, June 30 2023; Federal Work Study Program, CFDA No. 84.033, June 30, 2023; Federal Supplemental Educational Opportunity Grant, CFDA No. 84. 007, June 30, 2023; Federal Direct Student Loans, CFDA No. 84.268, June 30, 2023. Criteria - Federal regulations require monthly reconciling of Title IV programs and accurate completion of required financial reports. Condition- See below. Questioned Costs - N/A Context- We observed the following condition in connection with our testing of the various U.S. Department of Education, Title IV, Student Financial Assistance Programs: The College had differences in the following programs which were not reconciled to the general ledger: Federal Work Study, Federal Pell Grant and Federal Supplemental Educational Opportunity Grant (SEOG), which caused unreconciled data to be used on the Fiscal Operations Report and Application to Participate (FISAP}. Citation: SFA handbook Ch. 5 CFR668.161 - 668.176. Cause - Oversight by responsible employees, lack of sufficient staffing and staff turnover. Effect - The College's participation in the Title IV programs could be subject to USDE sanctions as applicable for not reconciling its programs and incorrectly completing its FISAP. Repeat Finding - Yes. Auditor's Recommendation - The College should implement corrective actions to ensure that the above findings are resolved and will not recur in future periods. View of Responsible Officials - A new CFO and financial aid director have been hired. The CFO is in the process of reorganizing Business Office operations, hiring additional staff, and training existing staff to ensure the monthly reconciliations of all programs and accurate completion of required federal reports. The financial aid director as well as the controller will be responsible for maintenance of those monthly reconciliations.
Finding 2023-003 - U.S. Department of Education (USDEJ, Title IV Student Financial Aid Finding 2023-003 - U.S. Department of Education (USDE), Title IV Student Financial Aid Programs (Significant Deficiency}: Information on the Federal Program - Federal Pell Grants Program, CFDA No. 84. 063, June 30 2023; Federal Work Study Program, CFDA No. 84.033, June 30, 2023; Federal Supplemental Educational Opportunity Grant, CFDA No. 84.007, June 30. 2023; Federal Direct Student Loans, CFDA No. 84.268, June 30, 2023. Criteria - Federal regulations 34 CFR 668.49 requirement. Condition- See below. Questioned Costs - N/A Context- We observed the following condition in connection with our testing of the various U.S. Department of Education, Title IV, Student Financial Assistance Programs: • The College failed to submit their Crime and Safety report for testing. Cause - Oversight by responsible employees and lack of sufficient staffing. Effect- The College's participation in the Title IV programs could be subject to USDE sanctions. Repeat Finding - No. Auditor's Recommendation - The College should implement corrective actions to ensure that the above findings are resolved and will not recur in future periods. View of Responsible Officials - A new CFO has been hired and is in the process of reorganizing Financial Aid Office operations, hiring additional staff, and training existing staff.
Finding 2023-003 - U.S. Department of Education (USDEJ, Title IV Student Financial Aid Finding 2023-003 - U.S. Department of Education (USDE), Title IV Student Financial Aid Programs (Significant Deficiency}: Information on the Federal Program - Federal Pell Grants Program, CFDA No. 84. 063, June 30 2023; Federal Work Study Program, CFDA No. 84.033, June 30, 2023; Federal Supplemental Educational Opportunity Grant, CFDA No. 84.007, June 30. 2023; Federal Direct Student Loans, CFDA No. 84.268, June 30, 2023. Criteria - Federal regulations 34 CFR 668.49 requirement. Condition- See below. Questioned Costs - N/A Context- We observed the following condition in connection with our testing of the various U.S. Department of Education, Title IV, Student Financial Assistance Programs: • The College failed to submit their Crime and Safety report for testing. Cause - Oversight by responsible employees and lack of sufficient staffing. Effect- The College's participation in the Title IV programs could be subject to USDE sanctions. Repeat Finding - No. Auditor's Recommendation - The College should implement corrective actions to ensure that the above findings are resolved and will not recur in future periods. View of Responsible Officials - A new CFO has been hired and is in the process of reorganizing Financial Aid Office operations, hiring additional staff, and training existing staff.
Finding 2023-003 - U.S. Department of Education (USDEJ, Title IV Student Financial Aid Finding 2023-003 - U.S. Department of Education (USDE), Title IV Student Financial Aid Programs (Significant Deficiency}: Information on the Federal Program - Federal Pell Grants Program, CFDA No. 84. 063, June 30 2023; Federal Work Study Program, CFDA No. 84.033, June 30, 2023; Federal Supplemental Educational Opportunity Grant, CFDA No. 84.007, June 30. 2023; Federal Direct Student Loans, CFDA No. 84.268, June 30, 2023. Criteria - Federal regulations 34 CFR 668.49 requirement. Condition- See below. Questioned Costs - N/A Context- We observed the following condition in connection with our testing of the various U.S. Department of Education, Title IV, Student Financial Assistance Programs: • The College failed to submit their Crime and Safety report for testing. Cause - Oversight by responsible employees and lack of sufficient staffing. Effect- The College's participation in the Title IV programs could be subject to USDE sanctions. Repeat Finding - No. Auditor's Recommendation - The College should implement corrective actions to ensure that the above findings are resolved and will not recur in future periods. View of Responsible Officials - A new CFO has been hired and is in the process of reorganizing Financial Aid Office operations, hiring additional staff, and training existing staff.
Finding 2023-003 - U.S. Department of Education (USDEJ, Title IV Student Financial Aid Finding 2023-003 - U.S. Department of Education (USDE), Title IV Student Financial Aid Programs (Significant Deficiency}: Information on the Federal Program - Federal Pell Grants Program, CFDA No. 84. 063, June 30 2023; Federal Work Study Program, CFDA No. 84.033, June 30, 2023; Federal Supplemental Educational Opportunity Grant, CFDA No. 84.007, June 30. 2023; Federal Direct Student Loans, CFDA No. 84.268, June 30, 2023. Criteria - Federal regulations 34 CFR 668.49 requirement. Condition- See below. Questioned Costs - N/A Context- We observed the following condition in connection with our testing of the various U.S. Department of Education, Title IV, Student Financial Assistance Programs: • The College failed to submit their Crime and Safety report for testing. Cause - Oversight by responsible employees and lack of sufficient staffing. Effect- The College's participation in the Title IV programs could be subject to USDE sanctions. Repeat Finding - No. Auditor's Recommendation - The College should implement corrective actions to ensure that the above findings are resolved and will not recur in future periods. View of Responsible Officials - A new CFO has been hired and is in the process of reorganizing Financial Aid Office operations, hiring additional staff, and training existing staff.
Finding 2023-002 - U.S. Department of Education (USDEJ, Title IV Student Financial Aid Programs (Significant Deficiency}: Information on the Federal Program - Federal Pell Grants Program, CFDA No. 84.063, June 30 2023; Federal Work Study Program, CFDA No. 84.033, June 30, 2023; Federal Supplemental Educational Opportunity Grant, CFDA No. 84. 007, June 30, 2023; Federal Direct Student Loans, CFDA No. 84.268, June 30, 2023. Criteria - Federal regulations require monthly reconciling of Title IV programs and accurate completion of required financial reports. Condition- See below. Questioned Costs - N/A Context- We observed the following condition in connection with our testing of the various U.S. Department of Education, Title IV, Student Financial Assistance Programs: The College had differences in the following programs which were not reconciled to the general ledger: Federal Work Study, Federal Pell Grant and Federal Supplemental Educational Opportunity Grant (SEOG), which caused unreconciled data to be used on the Fiscal Operations Report and Application to Participate (FISAP}. Citation: SFA handbook Ch. 5 CFR668.161 - 668.176. Cause - Oversight by responsible employees, lack of sufficient staffing and staff turnover. Effect - The College's participation in the Title IV programs could be subject to USDE sanctions as applicable for not reconciling its programs and incorrectly completing its FISAP. Repeat Finding - Yes. Auditor's Recommendation - The College should implement corrective actions to ensure that the above findings are resolved and will not recur in future periods. View of Responsible Officials - A new CFO and financial aid director have been hired. The CFO is in the process of reorganizing Business Office operations, hiring additional staff, and training existing staff to ensure the monthly reconciliations of all programs and accurate completion of required federal reports. The financial aid director as well as the controller will be responsible for maintenance of those monthly reconciliations.
Finding 2023-002 - U.S. Department of Education (USDEJ, Title IV Student Financial Aid Programs (Significant Deficiency}: Information on the Federal Program - Federal Pell Grants Program, CFDA No. 84.063, June 30 2023; Federal Work Study Program, CFDA No. 84.033, June 30, 2023; Federal Supplemental Educational Opportunity Grant, CFDA No. 84. 007, June 30, 2023; Federal Direct Student Loans, CFDA No. 84.268, June 30, 2023. Criteria - Federal regulations require monthly reconciling of Title IV programs and accurate completion of required financial reports. Condition- See below. Questioned Costs - N/A Context- We observed the following condition in connection with our testing of the various U.S. Department of Education, Title IV, Student Financial Assistance Programs: The College had differences in the following programs which were not reconciled to the general ledger: Federal Work Study, Federal Pell Grant and Federal Supplemental Educational Opportunity Grant (SEOG), which caused unreconciled data to be used on the Fiscal Operations Report and Application to Participate (FISAP}. Citation: SFA handbook Ch. 5 CFR668.161 - 668.176. Cause - Oversight by responsible employees, lack of sufficient staffing and staff turnover. Effect - The College's participation in the Title IV programs could be subject to USDE sanctions as applicable for not reconciling its programs and incorrectly completing its FISAP. Repeat Finding - Yes. Auditor's Recommendation - The College should implement corrective actions to ensure that the above findings are resolved and will not recur in future periods. View of Responsible Officials - A new CFO and financial aid director have been hired. The CFO is in the process of reorganizing Business Office operations, hiring additional staff, and training existing staff to ensure the monthly reconciliations of all programs and accurate completion of required federal reports. The financial aid director as well as the controller will be responsible for maintenance of those monthly reconciliations.
Finding 2023-002 - U.S. Department of Education (USDEJ, Title IV Student Financial Aid Programs (Significant Deficiency}: Information on the Federal Program - Federal Pell Grants Program, CFDA No. 84.063, June 30 2023; Federal Work Study Program, CFDA No. 84.033, June 30, 2023; Federal Supplemental Educational Opportunity Grant, CFDA No. 84. 007, June 30, 2023; Federal Direct Student Loans, CFDA No. 84.268, June 30, 2023. Criteria - Federal regulations require monthly reconciling of Title IV programs and accurate completion of required financial reports. Condition- See below. Questioned Costs - N/A Context- We observed the following condition in connection with our testing of the various U.S. Department of Education, Title IV, Student Financial Assistance Programs: The College had differences in the following programs which were not reconciled to the general ledger: Federal Work Study, Federal Pell Grant and Federal Supplemental Educational Opportunity Grant (SEOG), which caused unreconciled data to be used on the Fiscal Operations Report and Application to Participate (FISAP}. Citation: SFA handbook Ch. 5 CFR668.161 - 668.176. Cause - Oversight by responsible employees, lack of sufficient staffing and staff turnover. Effect - The College's participation in the Title IV programs could be subject to USDE sanctions as applicable for not reconciling its programs and incorrectly completing its FISAP. Repeat Finding - Yes. Auditor's Recommendation - The College should implement corrective actions to ensure that the above findings are resolved and will not recur in future periods. View of Responsible Officials - A new CFO and financial aid director have been hired. The CFO is in the process of reorganizing Business Office operations, hiring additional staff, and training existing staff to ensure the monthly reconciliations of all programs and accurate completion of required federal reports. The financial aid director as well as the controller will be responsible for maintenance of those monthly reconciliations.
Finding 2023-002 - U.S. Department of Education (USDEJ, Title IV Student Financial Aid Programs (Significant Deficiency}: Information on the Federal Program - Federal Pell Grants Program, CFDA No. 84.063, June 30 2023; Federal Work Study Program, CFDA No. 84.033, June 30, 2023; Federal Supplemental Educational Opportunity Grant, CFDA No. 84. 007, June 30, 2023; Federal Direct Student Loans, CFDA No. 84.268, June 30, 2023. Criteria - Federal regulations require monthly reconciling of Title IV programs and accurate completion of required financial reports. Condition- See below. Questioned Costs - N/A Context- We observed the following condition in connection with our testing of the various U.S. Department of Education, Title IV, Student Financial Assistance Programs: The College had differences in the following programs which were not reconciled to the general ledger: Federal Work Study, Federal Pell Grant and Federal Supplemental Educational Opportunity Grant (SEOG), which caused unreconciled data to be used on the Fiscal Operations Report and Application to Participate (FISAP}. Citation: SFA handbook Ch. 5 CFR668.161 - 668.176. Cause - Oversight by responsible employees, lack of sufficient staffing and staff turnover. Effect - The College's participation in the Title IV programs could be subject to USDE sanctions as applicable for not reconciling its programs and incorrectly completing its FISAP. Repeat Finding - Yes. Auditor's Recommendation - The College should implement corrective actions to ensure that the above findings are resolved and will not recur in future periods. View of Responsible Officials - A new CFO and financial aid director have been hired. The CFO is in the process of reorganizing Business Office operations, hiring additional staff, and training existing staff to ensure the monthly reconciliations of all programs and accurate completion of required federal reports. The financial aid director as well as the controller will be responsible for maintenance of those monthly reconciliations.
Finding 2023-003 - U.S. Department of Education (USDEJ, Title IV Student Financial Aid Finding 2023-003 - U.S. Department of Education (USDE), Title IV Student Financial Aid Programs (Significant Deficiency}: Information on the Federal Program - Federal Pell Grants Program, CFDA No. 84. 063, June 30 2023; Federal Work Study Program, CFDA No. 84.033, June 30, 2023; Federal Supplemental Educational Opportunity Grant, CFDA No. 84.007, June 30. 2023; Federal Direct Student Loans, CFDA No. 84.268, June 30, 2023. Criteria - Federal regulations 34 CFR 668.49 requirement. Condition- See below. Questioned Costs - N/A Context- We observed the following condition in connection with our testing of the various U.S. Department of Education, Title IV, Student Financial Assistance Programs: • The College failed to submit their Crime and Safety report for testing. Cause - Oversight by responsible employees and lack of sufficient staffing. Effect- The College's participation in the Title IV programs could be subject to USDE sanctions. Repeat Finding - No. Auditor's Recommendation - The College should implement corrective actions to ensure that the above findings are resolved and will not recur in future periods. View of Responsible Officials - A new CFO has been hired and is in the process of reorganizing Financial Aid Office operations, hiring additional staff, and training existing staff.
Finding 2023-003 - U.S. Department of Education (USDEJ, Title IV Student Financial Aid Finding 2023-003 - U.S. Department of Education (USDE), Title IV Student Financial Aid Programs (Significant Deficiency}: Information on the Federal Program - Federal Pell Grants Program, CFDA No. 84. 063, June 30 2023; Federal Work Study Program, CFDA No. 84.033, June 30, 2023; Federal Supplemental Educational Opportunity Grant, CFDA No. 84.007, June 30. 2023; Federal Direct Student Loans, CFDA No. 84.268, June 30, 2023. Criteria - Federal regulations 34 CFR 668.49 requirement. Condition- See below. Questioned Costs - N/A Context- We observed the following condition in connection with our testing of the various U.S. Department of Education, Title IV, Student Financial Assistance Programs: • The College failed to submit their Crime and Safety report for testing. Cause - Oversight by responsible employees and lack of sufficient staffing. Effect- The College's participation in the Title IV programs could be subject to USDE sanctions. Repeat Finding - No. Auditor's Recommendation - The College should implement corrective actions to ensure that the above findings are resolved and will not recur in future periods. View of Responsible Officials - A new CFO has been hired and is in the process of reorganizing Financial Aid Office operations, hiring additional staff, and training existing staff.
Finding 2023-003 - U.S. Department of Education (USDEJ, Title IV Student Financial Aid Finding 2023-003 - U.S. Department of Education (USDE), Title IV Student Financial Aid Programs (Significant Deficiency}: Information on the Federal Program - Federal Pell Grants Program, CFDA No. 84. 063, June 30 2023; Federal Work Study Program, CFDA No. 84.033, June 30, 2023; Federal Supplemental Educational Opportunity Grant, CFDA No. 84.007, June 30. 2023; Federal Direct Student Loans, CFDA No. 84.268, June 30, 2023. Criteria - Federal regulations 34 CFR 668.49 requirement. Condition- See below. Questioned Costs - N/A Context- We observed the following condition in connection with our testing of the various U.S. Department of Education, Title IV, Student Financial Assistance Programs: • The College failed to submit their Crime and Safety report for testing. Cause - Oversight by responsible employees and lack of sufficient staffing. Effect- The College's participation in the Title IV programs could be subject to USDE sanctions. Repeat Finding - No. Auditor's Recommendation - The College should implement corrective actions to ensure that the above findings are resolved and will not recur in future periods. View of Responsible Officials - A new CFO has been hired and is in the process of reorganizing Financial Aid Office operations, hiring additional staff, and training existing staff.
Finding 2023-003 - U.S. Department of Education (USDEJ, Title IV Student Financial Aid Finding 2023-003 - U.S. Department of Education (USDE), Title IV Student Financial Aid Programs (Significant Deficiency}: Information on the Federal Program - Federal Pell Grants Program, CFDA No. 84. 063, June 30 2023; Federal Work Study Program, CFDA No. 84.033, June 30, 2023; Federal Supplemental Educational Opportunity Grant, CFDA No. 84.007, June 30. 2023; Federal Direct Student Loans, CFDA No. 84.268, June 30, 2023. Criteria - Federal regulations 34 CFR 668.49 requirement. Condition- See below. Questioned Costs - N/A Context- We observed the following condition in connection with our testing of the various U.S. Department of Education, Title IV, Student Financial Assistance Programs: • The College failed to submit their Crime and Safety report for testing. Cause - Oversight by responsible employees and lack of sufficient staffing. Effect- The College's participation in the Title IV programs could be subject to USDE sanctions. Repeat Finding - No. Auditor's Recommendation - The College should implement corrective actions to ensure that the above findings are resolved and will not recur in future periods. View of Responsible Officials - A new CFO has been hired and is in the process of reorganizing Financial Aid Office operations, hiring additional staff, and training existing staff.