Audit 312374

FY End
2022-09-30
Total Expended
$724.03M
Findings
12
Programs
60
Organization: Family Health International (NC)
Year: 2022 Accepted: 2023-05-24

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
425836 2022-001 - - L
425837 2022-001 - - L
425838 2022-001 - - L
425839 2022-001 - - L
425840 2022-001 - - L
425841 2022-001 - - L
1002278 2022-001 - - L
1002279 2022-001 - - L
1002280 2022-001 - - L
1002281 2022-001 - - L
1002282 2022-001 - - L
1002283 2022-001 - - L

Programs

ALN Program Spent Major Findings
93.U02 National Health Initiatives, Strategies and Action Plans for Infectious Disease $9.21M - 0
93.U01 Training and Technical Assistance Network Program $3.53M - 0
19.402 Professional and Cultural Exchange Programs - International Visitor Leadership Program $3.28M Yes 0
98.U04 United States Agency for International Development Foreign Assistance for Economic Growth $2.53M - 0
19.600 Bureau of Near Eastern Affairs $1.01M - 0
42.U10 2020 Open World Program $962,037 - 0
19.009 Academic Exchange Programs - Undergraduate Programs $910,659 - 0
85.U10 Millenium Challenge Corporation $868,483 - 0
19.221 Regional Democracy Program $844,259 - 0
19.301 The Secretary's Office of the Global Partnership Initiative (s/gpi) Grant Programs $662,393 - 0
93.242 Mental Health Research Grants $625,516 Yes 0
84.215 Innovative Approaches to Literacy; Promise Neighborhoods; Full-Service Community Schools; and Congressionally Directed Spending for Elementary and Secondary Education Community Projects $587,733 - 0
19.345 International Programs to Support Democracy, Human Rights and Labor $519,778 - 0
98.007 Food for Peace Development Assistance Program (dap) $379,644 - 0
98.001 Covid-19 Usaid Foreign Assistance for Programs Overseas $287,970 - 0
12.350 Department of Defense Hiv/aids Prevention Program $198,737 - 0
19.500 Middle East Partnership Initiative $146,529 - 0
93.084 Prevention of Disease, Disability, and Death by Infectious Diseases $135,386 - 0
93.840 Translation and Implementation Science Research for Heart, Lung, Blood Diseases, and Sleep Disorders $131,700 Yes 0
84.328 Special Education Parent Information Centers $128,882 - 0
98.U02 United States Agency for International Development Foreign Assistance for Democracy, Human Rights Governance and Security Programs Overseas $114,159 - 0
93.RD1 Tams Finance Cntr Liberia $95,382 Yes 0
93.941 Hiv Demonstration, Research, Public and Professional Education Projects $87,547 Yes 0
19.021 Investing in People in the Middle East and North Africa $79,752 - 0
10.608 Food for Education $72,784 - 0
19.415 Professional and Cultural Exchange Programs - Citizen Exchanges $60,892 - 0
93.859 Biomedical Research and Research Training $56,341 Yes 0
16.812 Second Chance Act Reentry Initiative $43,760 - 0
84.U10 Fsu Gear Up Yr3 Fayetteville State University $39,841 - 0
93.307 Minority Health and Health Disparities Research $37,683 Yes 0
93.U03 National Health Initiatives, Strategies and Action Plans for Chronic Disease $37,059 - 0
98.U08 United States Agency for International Development Foreign Assistance for Health Programs Overseas $36,923 Yes 0
19.040 Public Diplomacy Programs $24,386 - 0
93.865 Child Health and Human Development Extramural Research $22,113 Yes 0
17.270 Reentry Employment Opportunities $18,001 - 0
19.705 Trans-National Crime $17,564 - 0
19.900 Aeeca/esf Pd Programs $13,062 - 0
19.440 Eca U.s. Speaker Program $9,078 - 0
93.137 Community Programs to Improve Minority Health Grant Program $8,388 - 0
19.501 Public Diplomacy Programs for Afghanistan and Pakistan $6,431 - 0
84.048 Perkins Group Program - Michigan Department of Education $5,219 - 0
93.600 Head Start $4,018 - 0
93.318 Protecting and Improving Health Globally: Building and Strengthening Public Health $3,169 - 0
19.517 Overseas Refugee Assistance Programs for Africa $2,077 - 0
19.421 Academic Exchange Programs - English Language Programs $1,107 Yes 0
93.978 Sexually Transmitted Diseases (std) Provider Education Grants $396 - 0
84.334 Gaining Early Awareness and Readiness for Undergraduate Programs $375 - 0
93.001 Health Marketing Communic $95 - 0
93.283 Centers for Disease Control and Prevention Investigations and Technical Assistance $69 Yes 0
16.602 Corrections Research and Evaluation and Policy Formulation $49 - 0
93.855 Allergy and Infectious Diseases Research $22 Yes 0
93.279 Drug Abuse and Addiction Research Programs $10 Yes 0
98.U10 United States Agency for International Development Foreign Assistance for Health Programs Overseas $5 - 0
98.U06 United States Agency for International Development Foreign Assistance for Education and Social Services Programs Overseas $-239 - 0
19.029 The U.s. President's Emergency Plan for Aids Relief Programs $-1,805 - 0
98.001 Usaid Foreign Assistance for Programs Overseas $-6,243 Yes 0
93.067 Global Aids $-8,643 - 0
98.U10 United States Agency for International Development Foreign Assistance for Education and Social Services Programs Overseas $-16,301 - 0
98.U07 United States Agency for International Development Foreign Assistance for Education and Social Services Programs Overseas $-17,895 - 0
93.575 Child Care and Development Block Grant $-39,121 Yes 0

Contacts

Name Title Type
VRAASTY11EA3 Malia Dove Auditee
9195447040 Meredith Friga Auditor
No contacts on file

Notes to SEFA

Title: 1. Background Accounting Policies: 2. Basis of AccountingExpenses are recognized as incurred using the accrual method of accounting and the cost accounting principles contained in the OMB Circular A-122, Cost Principles for Non-Profit Organizations or the cost principles in Subpart E of the Uniform Guidance. Under those cost principles, certain types of expenses are not allowable or are limited to reimbursement. Grant funds are expended for purposes specified by the granting agencies. Expenses include a portion of costs associated with general activities (indirect costs) which are allocated to Federal awards per the Companys negotiated indirect cost rate agreement (NICRA). Negative amounts on the SEFA are adjustments to expenditures reported in the prior year. De Minimis Rate Used: N Rate Explanation: The expenses reported on the SEFA are inclusive of indirect costs incurred during the year ended September 30, 2022. FHI 360 did not elect to use the 10% de minimis indirect cost rate permitted by the Uniform Guidance. The accompanying Schedule of Expenditures of Federal Awards (SEFA) was prepared in accordance with Title 2 U.S. Code of Federal Regulations Part 200, Uniform Administration Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Guidance) and summarizes the federal expenditures of FHI 360 under programs of the federal government for the year ended September 30, 2022. Because the SEFA presents a selected portion of the operations of FHI 360, it is not intended to and does not present the financial position, changes in net assets, or cash flows of FHI 360.For purposes of the SEFA, federal awards include awards entered into directly, and via pass-through, between FHI 360 and agencies and departments of the federal government.

Finding Details

Federal Award Identification Number and Award Year:SECAGD18CA0067 2018 ? 2021SECAGD20CA0075 2020 ? 2023SECAGD20CA0075 2020 ? 202372049719C00001 2019 ? 202472049719C00001 2019 ? 202472049719C00001 2019 ? 2024Section III ? Federal Award Findings and Questioned Costs (continued)Criteria: As per 2 CFR 200.170, direct recipients of grants or cooperative agreements are required to report first-tier subawards of $30,000 or more to the Federal Funding Accountability and Transparency Act Subaward Reporting System (FSRS). The subaward information should be reported no later than the end of the month following the month in which the obligation was made.Condition: During our testing of the FFATA reporting compliance, we tested a sample of ten (10) FFATA reports that were submitted to FSRS and found that six (6) reports from our sample were not submitted within the required time frame.Cause: The information needed for FFATA reporting is provided by the implementing partner and Country Office to FHI 360?s Contract Management Service group for submission. In these six instances, the information was not processed, and the reports were not prepared, on a timely basis.Effect or Potential Effect: The delay in submission of the reports resulted in FHI 360 not reporting the required information in FSRS within the required time frame; thereby resulting in noncompliance with the reporting requirements. Although the six reports were not submitted within the required time frame, we noted that upon their eventual submission, the information submitted was complete and accurate and met all other compliance requirements.Questioned costs: None.Context: Of the ten (10) FFATA reports tested, we noted delays in submission of six (6) reports.Identification as a repeat finding, if applicable: Not applicableRecommendation: We recommend FHI 360 continue to reinforce the importance of timely submission of required documents to all business units involved in the FFATA reporting process and continue to monitor the appropriate compliance with timely reporting.Views of responsible officials:Management has stressed the criticality of prompt submission through comprehensive globalcommunications from the corporate headquarters. This directive will emphasize coordinating withvarious departmental heads to reinforce the requirement across different levels of the organization.Management is implementing a worldwide procurement system to structure the current reportingframework.It?s important to note that a significant factor in one of the reported delays was the U.S.government?s shift from DUNS to UEI as the unique identifier. This alteration necessitatedobtaining a UEI, which wasn?t required at the transaction?s point of execution, leading to a delayin reporting. The removal of the DUNS field as a validating data point from FSRS occurred beforeour transaction reporting deadline.This changeover also extended the reporting delay of a transaction, initially one month late, tothree months. Even though the transaction was duly initiated under a DUNS, the subsequent needto acquire a UEI for entry into the FSRS resulted in an extended submission delay.
Federal Award Identification Number and Award Year:SECAGD18CA0067 2018 ? 2021SECAGD20CA0075 2020 ? 2023SECAGD20CA0075 2020 ? 202372049719C00001 2019 ? 202472049719C00001 2019 ? 202472049719C00001 2019 ? 2024Section III ? Federal Award Findings and Questioned Costs (continued)Criteria: As per 2 CFR 200.170, direct recipients of grants or cooperative agreements are required to report first-tier subawards of $30,000 or more to the Federal Funding Accountability and Transparency Act Subaward Reporting System (FSRS). The subaward information should be reported no later than the end of the month following the month in which the obligation was made.Condition: During our testing of the FFATA reporting compliance, we tested a sample of ten (10) FFATA reports that were submitted to FSRS and found that six (6) reports from our sample were not submitted within the required time frame.Cause: The information needed for FFATA reporting is provided by the implementing partner and Country Office to FHI 360?s Contract Management Service group for submission. In these six instances, the information was not processed, and the reports were not prepared, on a timely basis.Effect or Potential Effect: The delay in submission of the reports resulted in FHI 360 not reporting the required information in FSRS within the required time frame; thereby resulting in noncompliance with the reporting requirements. Although the six reports were not submitted within the required time frame, we noted that upon their eventual submission, the information submitted was complete and accurate and met all other compliance requirements.Questioned costs: None.Context: Of the ten (10) FFATA reports tested, we noted delays in submission of six (6) reports.Identification as a repeat finding, if applicable: Not applicableRecommendation: We recommend FHI 360 continue to reinforce the importance of timely submission of required documents to all business units involved in the FFATA reporting process and continue to monitor the appropriate compliance with timely reporting.Views of responsible officials:Management has stressed the criticality of prompt submission through comprehensive globalcommunications from the corporate headquarters. This directive will emphasize coordinating withvarious departmental heads to reinforce the requirement across different levels of the organization.Management is implementing a worldwide procurement system to structure the current reportingframework.It?s important to note that a significant factor in one of the reported delays was the U.S.government?s shift from DUNS to UEI as the unique identifier. This alteration necessitatedobtaining a UEI, which wasn?t required at the transaction?s point of execution, leading to a delayin reporting. The removal of the DUNS field as a validating data point from FSRS occurred beforeour transaction reporting deadline.This changeover also extended the reporting delay of a transaction, initially one month late, tothree months. Even though the transaction was duly initiated under a DUNS, the subsequent needto acquire a UEI for entry into the FSRS resulted in an extended submission delay.
Federal Award Identification Number and Award Year:SECAGD18CA0067 2018 ? 2021SECAGD20CA0075 2020 ? 2023SECAGD20CA0075 2020 ? 202372049719C00001 2019 ? 202472049719C00001 2019 ? 202472049719C00001 2019 ? 2024Section III ? Federal Award Findings and Questioned Costs (continued)Criteria: As per 2 CFR 200.170, direct recipients of grants or cooperative agreements are required to report first-tier subawards of $30,000 or more to the Federal Funding Accountability and Transparency Act Subaward Reporting System (FSRS). The subaward information should be reported no later than the end of the month following the month in which the obligation was made.Condition: During our testing of the FFATA reporting compliance, we tested a sample of ten (10) FFATA reports that were submitted to FSRS and found that six (6) reports from our sample were not submitted within the required time frame.Cause: The information needed for FFATA reporting is provided by the implementing partner and Country Office to FHI 360?s Contract Management Service group for submission. In these six instances, the information was not processed, and the reports were not prepared, on a timely basis.Effect or Potential Effect: The delay in submission of the reports resulted in FHI 360 not reporting the required information in FSRS within the required time frame; thereby resulting in noncompliance with the reporting requirements. Although the six reports were not submitted within the required time frame, we noted that upon their eventual submission, the information submitted was complete and accurate and met all other compliance requirements.Questioned costs: None.Context: Of the ten (10) FFATA reports tested, we noted delays in submission of six (6) reports.Identification as a repeat finding, if applicable: Not applicableRecommendation: We recommend FHI 360 continue to reinforce the importance of timely submission of required documents to all business units involved in the FFATA reporting process and continue to monitor the appropriate compliance with timely reporting.Views of responsible officials:Management has stressed the criticality of prompt submission through comprehensive globalcommunications from the corporate headquarters. This directive will emphasize coordinating withvarious departmental heads to reinforce the requirement across different levels of the organization.Management is implementing a worldwide procurement system to structure the current reportingframework.It?s important to note that a significant factor in one of the reported delays was the U.S.government?s shift from DUNS to UEI as the unique identifier. This alteration necessitatedobtaining a UEI, which wasn?t required at the transaction?s point of execution, leading to a delayin reporting. The removal of the DUNS field as a validating data point from FSRS occurred beforeour transaction reporting deadline.This changeover also extended the reporting delay of a transaction, initially one month late, tothree months. Even though the transaction was duly initiated under a DUNS, the subsequent needto acquire a UEI for entry into the FSRS resulted in an extended submission delay.
Federal Award Identification Number and Award Year:SECAGD18CA0067 2018 ? 2021SECAGD20CA0075 2020 ? 2023SECAGD20CA0075 2020 ? 202372049719C00001 2019 ? 202472049719C00001 2019 ? 202472049719C00001 2019 ? 2024Section III ? Federal Award Findings and Questioned Costs (continued)Criteria: As per 2 CFR 200.170, direct recipients of grants or cooperative agreements are required to report first-tier subawards of $30,000 or more to the Federal Funding Accountability and Transparency Act Subaward Reporting System (FSRS). The subaward information should be reported no later than the end of the month following the month in which the obligation was made.Condition: During our testing of the FFATA reporting compliance, we tested a sample of ten (10) FFATA reports that were submitted to FSRS and found that six (6) reports from our sample were not submitted within the required time frame.Cause: The information needed for FFATA reporting is provided by the implementing partner and Country Office to FHI 360?s Contract Management Service group for submission. In these six instances, the information was not processed, and the reports were not prepared, on a timely basis.Effect or Potential Effect: The delay in submission of the reports resulted in FHI 360 not reporting the required information in FSRS within the required time frame; thereby resulting in noncompliance with the reporting requirements. Although the six reports were not submitted within the required time frame, we noted that upon their eventual submission, the information submitted was complete and accurate and met all other compliance requirements.Questioned costs: None.Context: Of the ten (10) FFATA reports tested, we noted delays in submission of six (6) reports.Identification as a repeat finding, if applicable: Not applicableRecommendation: We recommend FHI 360 continue to reinforce the importance of timely submission of required documents to all business units involved in the FFATA reporting process and continue to monitor the appropriate compliance with timely reporting.Views of responsible officials:Management has stressed the criticality of prompt submission through comprehensive globalcommunications from the corporate headquarters. This directive will emphasize coordinating withvarious departmental heads to reinforce the requirement across different levels of the organization.Management is implementing a worldwide procurement system to structure the current reportingframework.It?s important to note that a significant factor in one of the reported delays was the U.S.government?s shift from DUNS to UEI as the unique identifier. This alteration necessitatedobtaining a UEI, which wasn?t required at the transaction?s point of execution, leading to a delayin reporting. The removal of the DUNS field as a validating data point from FSRS occurred beforeour transaction reporting deadline.This changeover also extended the reporting delay of a transaction, initially one month late, tothree months. Even though the transaction was duly initiated under a DUNS, the subsequent needto acquire a UEI for entry into the FSRS resulted in an extended submission delay.
Federal Award Identification Number and Award Year:SECAGD18CA0067 2018 ? 2021SECAGD20CA0075 2020 ? 2023SECAGD20CA0075 2020 ? 202372049719C00001 2019 ? 202472049719C00001 2019 ? 202472049719C00001 2019 ? 2024Section III ? Federal Award Findings and Questioned Costs (continued)Criteria: As per 2 CFR 200.170, direct recipients of grants or cooperative agreements are required to report first-tier subawards of $30,000 or more to the Federal Funding Accountability and Transparency Act Subaward Reporting System (FSRS). The subaward information should be reported no later than the end of the month following the month in which the obligation was made.Condition: During our testing of the FFATA reporting compliance, we tested a sample of ten (10) FFATA reports that were submitted to FSRS and found that six (6) reports from our sample were not submitted within the required time frame.Cause: The information needed for FFATA reporting is provided by the implementing partner and Country Office to FHI 360?s Contract Management Service group for submission. In these six instances, the information was not processed, and the reports were not prepared, on a timely basis.Effect or Potential Effect: The delay in submission of the reports resulted in FHI 360 not reporting the required information in FSRS within the required time frame; thereby resulting in noncompliance with the reporting requirements. Although the six reports were not submitted within the required time frame, we noted that upon their eventual submission, the information submitted was complete and accurate and met all other compliance requirements.Questioned costs: None.Context: Of the ten (10) FFATA reports tested, we noted delays in submission of six (6) reports.Identification as a repeat finding, if applicable: Not applicableRecommendation: We recommend FHI 360 continue to reinforce the importance of timely submission of required documents to all business units involved in the FFATA reporting process and continue to monitor the appropriate compliance with timely reporting.Views of responsible officials:Management has stressed the criticality of prompt submission through comprehensive globalcommunications from the corporate headquarters. This directive will emphasize coordinating withvarious departmental heads to reinforce the requirement across different levels of the organization.Management is implementing a worldwide procurement system to structure the current reportingframework.It?s important to note that a significant factor in one of the reported delays was the U.S.government?s shift from DUNS to UEI as the unique identifier. This alteration necessitatedobtaining a UEI, which wasn?t required at the transaction?s point of execution, leading to a delayin reporting. The removal of the DUNS field as a validating data point from FSRS occurred beforeour transaction reporting deadline.This changeover also extended the reporting delay of a transaction, initially one month late, tothree months. Even though the transaction was duly initiated under a DUNS, the subsequent needto acquire a UEI for entry into the FSRS resulted in an extended submission delay.
Federal Award Identification Number and Award Year:SECAGD18CA0067 2018 ? 2021SECAGD20CA0075 2020 ? 2023SECAGD20CA0075 2020 ? 202372049719C00001 2019 ? 202472049719C00001 2019 ? 202472049719C00001 2019 ? 2024Section III ? Federal Award Findings and Questioned Costs (continued)Criteria: As per 2 CFR 200.170, direct recipients of grants or cooperative agreements are required to report first-tier subawards of $30,000 or more to the Federal Funding Accountability and Transparency Act Subaward Reporting System (FSRS). The subaward information should be reported no later than the end of the month following the month in which the obligation was made.Condition: During our testing of the FFATA reporting compliance, we tested a sample of ten (10) FFATA reports that were submitted to FSRS and found that six (6) reports from our sample were not submitted within the required time frame.Cause: The information needed for FFATA reporting is provided by the implementing partner and Country Office to FHI 360?s Contract Management Service group for submission. In these six instances, the information was not processed, and the reports were not prepared, on a timely basis.Effect or Potential Effect: The delay in submission of the reports resulted in FHI 360 not reporting the required information in FSRS within the required time frame; thereby resulting in noncompliance with the reporting requirements. Although the six reports were not submitted within the required time frame, we noted that upon their eventual submission, the information submitted was complete and accurate and met all other compliance requirements.Questioned costs: None.Context: Of the ten (10) FFATA reports tested, we noted delays in submission of six (6) reports.Identification as a repeat finding, if applicable: Not applicableRecommendation: We recommend FHI 360 continue to reinforce the importance of timely submission of required documents to all business units involved in the FFATA reporting process and continue to monitor the appropriate compliance with timely reporting.Views of responsible officials:Management has stressed the criticality of prompt submission through comprehensive globalcommunications from the corporate headquarters. This directive will emphasize coordinating withvarious departmental heads to reinforce the requirement across different levels of the organization.Management is implementing a worldwide procurement system to structure the current reportingframework.It?s important to note that a significant factor in one of the reported delays was the U.S.government?s shift from DUNS to UEI as the unique identifier. This alteration necessitatedobtaining a UEI, which wasn?t required at the transaction?s point of execution, leading to a delayin reporting. The removal of the DUNS field as a validating data point from FSRS occurred beforeour transaction reporting deadline.This changeover also extended the reporting delay of a transaction, initially one month late, tothree months. Even though the transaction was duly initiated under a DUNS, the subsequent needto acquire a UEI for entry into the FSRS resulted in an extended submission delay.
Federal Award Identification Number and Award Year:SECAGD18CA0067 2018 ? 2021SECAGD20CA0075 2020 ? 2023SECAGD20CA0075 2020 ? 202372049719C00001 2019 ? 202472049719C00001 2019 ? 202472049719C00001 2019 ? 2024Section III ? Federal Award Findings and Questioned Costs (continued)Criteria: As per 2 CFR 200.170, direct recipients of grants or cooperative agreements are required to report first-tier subawards of $30,000 or more to the Federal Funding Accountability and Transparency Act Subaward Reporting System (FSRS). The subaward information should be reported no later than the end of the month following the month in which the obligation was made.Condition: During our testing of the FFATA reporting compliance, we tested a sample of ten (10) FFATA reports that were submitted to FSRS and found that six (6) reports from our sample were not submitted within the required time frame.Cause: The information needed for FFATA reporting is provided by the implementing partner and Country Office to FHI 360?s Contract Management Service group for submission. In these six instances, the information was not processed, and the reports were not prepared, on a timely basis.Effect or Potential Effect: The delay in submission of the reports resulted in FHI 360 not reporting the required information in FSRS within the required time frame; thereby resulting in noncompliance with the reporting requirements. Although the six reports were not submitted within the required time frame, we noted that upon their eventual submission, the information submitted was complete and accurate and met all other compliance requirements.Questioned costs: None.Context: Of the ten (10) FFATA reports tested, we noted delays in submission of six (6) reports.Identification as a repeat finding, if applicable: Not applicableRecommendation: We recommend FHI 360 continue to reinforce the importance of timely submission of required documents to all business units involved in the FFATA reporting process and continue to monitor the appropriate compliance with timely reporting.Views of responsible officials:Management has stressed the criticality of prompt submission through comprehensive globalcommunications from the corporate headquarters. This directive will emphasize coordinating withvarious departmental heads to reinforce the requirement across different levels of the organization.Management is implementing a worldwide procurement system to structure the current reportingframework.It?s important to note that a significant factor in one of the reported delays was the U.S.government?s shift from DUNS to UEI as the unique identifier. This alteration necessitatedobtaining a UEI, which wasn?t required at the transaction?s point of execution, leading to a delayin reporting. The removal of the DUNS field as a validating data point from FSRS occurred beforeour transaction reporting deadline.This changeover also extended the reporting delay of a transaction, initially one month late, tothree months. Even though the transaction was duly initiated under a DUNS, the subsequent needto acquire a UEI for entry into the FSRS resulted in an extended submission delay.
Federal Award Identification Number and Award Year:SECAGD18CA0067 2018 ? 2021SECAGD20CA0075 2020 ? 2023SECAGD20CA0075 2020 ? 202372049719C00001 2019 ? 202472049719C00001 2019 ? 202472049719C00001 2019 ? 2024Section III ? Federal Award Findings and Questioned Costs (continued)Criteria: As per 2 CFR 200.170, direct recipients of grants or cooperative agreements are required to report first-tier subawards of $30,000 or more to the Federal Funding Accountability and Transparency Act Subaward Reporting System (FSRS). The subaward information should be reported no later than the end of the month following the month in which the obligation was made.Condition: During our testing of the FFATA reporting compliance, we tested a sample of ten (10) FFATA reports that were submitted to FSRS and found that six (6) reports from our sample were not submitted within the required time frame.Cause: The information needed for FFATA reporting is provided by the implementing partner and Country Office to FHI 360?s Contract Management Service group for submission. In these six instances, the information was not processed, and the reports were not prepared, on a timely basis.Effect or Potential Effect: The delay in submission of the reports resulted in FHI 360 not reporting the required information in FSRS within the required time frame; thereby resulting in noncompliance with the reporting requirements. Although the six reports were not submitted within the required time frame, we noted that upon their eventual submission, the information submitted was complete and accurate and met all other compliance requirements.Questioned costs: None.Context: Of the ten (10) FFATA reports tested, we noted delays in submission of six (6) reports.Identification as a repeat finding, if applicable: Not applicableRecommendation: We recommend FHI 360 continue to reinforce the importance of timely submission of required documents to all business units involved in the FFATA reporting process and continue to monitor the appropriate compliance with timely reporting.Views of responsible officials:Management has stressed the criticality of prompt submission through comprehensive globalcommunications from the corporate headquarters. This directive will emphasize coordinating withvarious departmental heads to reinforce the requirement across different levels of the organization.Management is implementing a worldwide procurement system to structure the current reportingframework.It?s important to note that a significant factor in one of the reported delays was the U.S.government?s shift from DUNS to UEI as the unique identifier. This alteration necessitatedobtaining a UEI, which wasn?t required at the transaction?s point of execution, leading to a delayin reporting. The removal of the DUNS field as a validating data point from FSRS occurred beforeour transaction reporting deadline.This changeover also extended the reporting delay of a transaction, initially one month late, tothree months. Even though the transaction was duly initiated under a DUNS, the subsequent needto acquire a UEI for entry into the FSRS resulted in an extended submission delay.
Federal Award Identification Number and Award Year:SECAGD18CA0067 2018 ? 2021SECAGD20CA0075 2020 ? 2023SECAGD20CA0075 2020 ? 202372049719C00001 2019 ? 202472049719C00001 2019 ? 202472049719C00001 2019 ? 2024Section III ? Federal Award Findings and Questioned Costs (continued)Criteria: As per 2 CFR 200.170, direct recipients of grants or cooperative agreements are required to report first-tier subawards of $30,000 or more to the Federal Funding Accountability and Transparency Act Subaward Reporting System (FSRS). The subaward information should be reported no later than the end of the month following the month in which the obligation was made.Condition: During our testing of the FFATA reporting compliance, we tested a sample of ten (10) FFATA reports that were submitted to FSRS and found that six (6) reports from our sample were not submitted within the required time frame.Cause: The information needed for FFATA reporting is provided by the implementing partner and Country Office to FHI 360?s Contract Management Service group for submission. In these six instances, the information was not processed, and the reports were not prepared, on a timely basis.Effect or Potential Effect: The delay in submission of the reports resulted in FHI 360 not reporting the required information in FSRS within the required time frame; thereby resulting in noncompliance with the reporting requirements. Although the six reports were not submitted within the required time frame, we noted that upon their eventual submission, the information submitted was complete and accurate and met all other compliance requirements.Questioned costs: None.Context: Of the ten (10) FFATA reports tested, we noted delays in submission of six (6) reports.Identification as a repeat finding, if applicable: Not applicableRecommendation: We recommend FHI 360 continue to reinforce the importance of timely submission of required documents to all business units involved in the FFATA reporting process and continue to monitor the appropriate compliance with timely reporting.Views of responsible officials:Management has stressed the criticality of prompt submission through comprehensive globalcommunications from the corporate headquarters. This directive will emphasize coordinating withvarious departmental heads to reinforce the requirement across different levels of the organization.Management is implementing a worldwide procurement system to structure the current reportingframework.It?s important to note that a significant factor in one of the reported delays was the U.S.government?s shift from DUNS to UEI as the unique identifier. This alteration necessitatedobtaining a UEI, which wasn?t required at the transaction?s point of execution, leading to a delayin reporting. The removal of the DUNS field as a validating data point from FSRS occurred beforeour transaction reporting deadline.This changeover also extended the reporting delay of a transaction, initially one month late, tothree months. Even though the transaction was duly initiated under a DUNS, the subsequent needto acquire a UEI for entry into the FSRS resulted in an extended submission delay.
Federal Award Identification Number and Award Year:SECAGD18CA0067 2018 ? 2021SECAGD20CA0075 2020 ? 2023SECAGD20CA0075 2020 ? 202372049719C00001 2019 ? 202472049719C00001 2019 ? 202472049719C00001 2019 ? 2024Section III ? Federal Award Findings and Questioned Costs (continued)Criteria: As per 2 CFR 200.170, direct recipients of grants or cooperative agreements are required to report first-tier subawards of $30,000 or more to the Federal Funding Accountability and Transparency Act Subaward Reporting System (FSRS). The subaward information should be reported no later than the end of the month following the month in which the obligation was made.Condition: During our testing of the FFATA reporting compliance, we tested a sample of ten (10) FFATA reports that were submitted to FSRS and found that six (6) reports from our sample were not submitted within the required time frame.Cause: The information needed for FFATA reporting is provided by the implementing partner and Country Office to FHI 360?s Contract Management Service group for submission. In these six instances, the information was not processed, and the reports were not prepared, on a timely basis.Effect or Potential Effect: The delay in submission of the reports resulted in FHI 360 not reporting the required information in FSRS within the required time frame; thereby resulting in noncompliance with the reporting requirements. Although the six reports were not submitted within the required time frame, we noted that upon their eventual submission, the information submitted was complete and accurate and met all other compliance requirements.Questioned costs: None.Context: Of the ten (10) FFATA reports tested, we noted delays in submission of six (6) reports.Identification as a repeat finding, if applicable: Not applicableRecommendation: We recommend FHI 360 continue to reinforce the importance of timely submission of required documents to all business units involved in the FFATA reporting process and continue to monitor the appropriate compliance with timely reporting.Views of responsible officials:Management has stressed the criticality of prompt submission through comprehensive globalcommunications from the corporate headquarters. This directive will emphasize coordinating withvarious departmental heads to reinforce the requirement across different levels of the organization.Management is implementing a worldwide procurement system to structure the current reportingframework.It?s important to note that a significant factor in one of the reported delays was the U.S.government?s shift from DUNS to UEI as the unique identifier. This alteration necessitatedobtaining a UEI, which wasn?t required at the transaction?s point of execution, leading to a delayin reporting. The removal of the DUNS field as a validating data point from FSRS occurred beforeour transaction reporting deadline.This changeover also extended the reporting delay of a transaction, initially one month late, tothree months. Even though the transaction was duly initiated under a DUNS, the subsequent needto acquire a UEI for entry into the FSRS resulted in an extended submission delay.
Federal Award Identification Number and Award Year:SECAGD18CA0067 2018 ? 2021SECAGD20CA0075 2020 ? 2023SECAGD20CA0075 2020 ? 202372049719C00001 2019 ? 202472049719C00001 2019 ? 202472049719C00001 2019 ? 2024Section III ? Federal Award Findings and Questioned Costs (continued)Criteria: As per 2 CFR 200.170, direct recipients of grants or cooperative agreements are required to report first-tier subawards of $30,000 or more to the Federal Funding Accountability and Transparency Act Subaward Reporting System (FSRS). The subaward information should be reported no later than the end of the month following the month in which the obligation was made.Condition: During our testing of the FFATA reporting compliance, we tested a sample of ten (10) FFATA reports that were submitted to FSRS and found that six (6) reports from our sample were not submitted within the required time frame.Cause: The information needed for FFATA reporting is provided by the implementing partner and Country Office to FHI 360?s Contract Management Service group for submission. In these six instances, the information was not processed, and the reports were not prepared, on a timely basis.Effect or Potential Effect: The delay in submission of the reports resulted in FHI 360 not reporting the required information in FSRS within the required time frame; thereby resulting in noncompliance with the reporting requirements. Although the six reports were not submitted within the required time frame, we noted that upon their eventual submission, the information submitted was complete and accurate and met all other compliance requirements.Questioned costs: None.Context: Of the ten (10) FFATA reports tested, we noted delays in submission of six (6) reports.Identification as a repeat finding, if applicable: Not applicableRecommendation: We recommend FHI 360 continue to reinforce the importance of timely submission of required documents to all business units involved in the FFATA reporting process and continue to monitor the appropriate compliance with timely reporting.Views of responsible officials:Management has stressed the criticality of prompt submission through comprehensive globalcommunications from the corporate headquarters. This directive will emphasize coordinating withvarious departmental heads to reinforce the requirement across different levels of the organization.Management is implementing a worldwide procurement system to structure the current reportingframework.It?s important to note that a significant factor in one of the reported delays was the U.S.government?s shift from DUNS to UEI as the unique identifier. This alteration necessitatedobtaining a UEI, which wasn?t required at the transaction?s point of execution, leading to a delayin reporting. The removal of the DUNS field as a validating data point from FSRS occurred beforeour transaction reporting deadline.This changeover also extended the reporting delay of a transaction, initially one month late, tothree months. Even though the transaction was duly initiated under a DUNS, the subsequent needto acquire a UEI for entry into the FSRS resulted in an extended submission delay.
Federal Award Identification Number and Award Year:SECAGD18CA0067 2018 ? 2021SECAGD20CA0075 2020 ? 2023SECAGD20CA0075 2020 ? 202372049719C00001 2019 ? 202472049719C00001 2019 ? 202472049719C00001 2019 ? 2024Section III ? Federal Award Findings and Questioned Costs (continued)Criteria: As per 2 CFR 200.170, direct recipients of grants or cooperative agreements are required to report first-tier subawards of $30,000 or more to the Federal Funding Accountability and Transparency Act Subaward Reporting System (FSRS). The subaward information should be reported no later than the end of the month following the month in which the obligation was made.Condition: During our testing of the FFATA reporting compliance, we tested a sample of ten (10) FFATA reports that were submitted to FSRS and found that six (6) reports from our sample were not submitted within the required time frame.Cause: The information needed for FFATA reporting is provided by the implementing partner and Country Office to FHI 360?s Contract Management Service group for submission. In these six instances, the information was not processed, and the reports were not prepared, on a timely basis.Effect or Potential Effect: The delay in submission of the reports resulted in FHI 360 not reporting the required information in FSRS within the required time frame; thereby resulting in noncompliance with the reporting requirements. Although the six reports were not submitted within the required time frame, we noted that upon their eventual submission, the information submitted was complete and accurate and met all other compliance requirements.Questioned costs: None.Context: Of the ten (10) FFATA reports tested, we noted delays in submission of six (6) reports.Identification as a repeat finding, if applicable: Not applicableRecommendation: We recommend FHI 360 continue to reinforce the importance of timely submission of required documents to all business units involved in the FFATA reporting process and continue to monitor the appropriate compliance with timely reporting.Views of responsible officials:Management has stressed the criticality of prompt submission through comprehensive globalcommunications from the corporate headquarters. This directive will emphasize coordinating withvarious departmental heads to reinforce the requirement across different levels of the organization.Management is implementing a worldwide procurement system to structure the current reportingframework.It?s important to note that a significant factor in one of the reported delays was the U.S.government?s shift from DUNS to UEI as the unique identifier. This alteration necessitatedobtaining a UEI, which wasn?t required at the transaction?s point of execution, leading to a delayin reporting. The removal of the DUNS field as a validating data point from FSRS occurred beforeour transaction reporting deadline.This changeover also extended the reporting delay of a transaction, initially one month late, tothree months. Even though the transaction was duly initiated under a DUNS, the subsequent needto acquire a UEI for entry into the FSRS resulted in an extended submission delay.