Audit 315839

FY End
2023-09-30
Total Expended
$13.02M
Findings
28
Programs
7
Year: 2023 Accepted: 2024-07-24

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
479340 2023-001 Material Weakness Yes L
479341 2023-001 Material Weakness Yes L
479342 2023-001 Material Weakness Yes L
479343 2023-001 Material Weakness Yes L
479344 2023-001 Material Weakness Yes L
479345 2023-001 Material Weakness Yes L
479346 2023-001 Material Weakness Yes L
479347 2023-002 Material Weakness - B
479348 2023-002 Material Weakness - B
479349 2023-002 Material Weakness - B
479350 2023-002 Material Weakness - B
479351 2023-002 Material Weakness - B
479352 2023-002 Material Weakness - B
479353 2023-002 Material Weakness - B
1055782 2023-001 Material Weakness Yes L
1055783 2023-001 Material Weakness Yes L
1055784 2023-001 Material Weakness Yes L
1055785 2023-001 Material Weakness Yes L
1055786 2023-001 Material Weakness Yes L
1055787 2023-001 Material Weakness Yes L
1055788 2023-001 Material Weakness Yes L
1055789 2023-002 Material Weakness - B
1055790 2023-002 Material Weakness - B
1055791 2023-002 Material Weakness - B
1055792 2023-002 Material Weakness - B
1055793 2023-002 Material Weakness - B
1055794 2023-002 Material Weakness - B
1055795 2023-002 Material Weakness - B

Programs

ALN Program Spent Major Findings
93.356 Head Start Disaster Recovery $438,896 Yes 2
93.499 Low Income Household Water Assistance Program $424,029 - 0
10.558 Child and Adult Care Food Program $167,997 - 0
93.568 Low-Income Home Energy Assistance $167,909 - 0
93.569 Community Services Block Grant $3,923 - 0
93.600 Head Start $3,247 Yes 2
81.042 Weatherization Assistance for Low-Income Persons $1,541 - 0

Contacts

Name Title Type
RLNRM8ABNL81 Janet Dudding Auditee
9795952801 John Deburro Auditor
No contacts on file

Notes to SEFA

Title: PASS-THROUGH EXPENDITURES Accounting Policies: The accompanying schedule of expenditures of federal awards presents the activity of all applicable federal awards programs of Brazos Valley Community Action Programs, a component unit of Brazos Valley Council of Governments, for the year ended September 30, 2023. The information in this schedule is presented in accordance with the requirements Title 2 U.S. Code of Federal Regulations Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Guidance). Federal awards received directly from federal agencies, as well as federal awards passed through other government agencies, are included on the schedule of expenditures of federal awards. Expenditures reported on this schedule are reported on the accrual basis of accounting. The accrual basis of accounting is described in Note 1 of the basic financial statements. De Minimis Rate Used: Y Rate Explanation: Brazos Valley Community Action Programs has elected to apply the 10% de minimis indirect cost rate as allowed under the Uniform Guidance. None of the expenditures presented on the schedule of expenditures of federal awards were passed through to subrecipients.

Finding Details

Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Reporting Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “reporting” compliance requirements applicable to the Head Start Cluster which stipulate that recipients submit financial reporting forms of program revenues and expenditures (SF-425) and real property (SF-429) subject to the terms and conditions of the contract.Condition The Agency was delinquent in submitting its semi-annual, annual, and final Federal Financial Reports (SF- 425) and its Real Property Status Report (SF-429) to the granting agency for Head Start during fiscal year 2023 due to the need for strengthened written procedures and staff training. Cause The Agency’s internal control over compliance for the reporting requirement of the Head Start program is inadequate to ensure timely submission of the required information. Effect or Potential Effect As a result of the deficiency in internal control over compliance over reporting, the Agency is not in compliance with the financial reporting due dates of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the reporting requirements of the Head Start program to help ensure compliance with the requirements.
Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Reporting Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “reporting” compliance requirements applicable to the Head Start Cluster which stipulate that recipients submit financial reporting forms of program revenues and expenditures (SF-425) and real property (SF-429) subject to the terms and conditions of the contract.Condition The Agency was delinquent in submitting its semi-annual, annual, and final Federal Financial Reports (SF- 425) and its Real Property Status Report (SF-429) to the granting agency for Head Start during fiscal year 2023 due to the need for strengthened written procedures and staff training. Cause The Agency’s internal control over compliance for the reporting requirement of the Head Start program is inadequate to ensure timely submission of the required information. Effect or Potential Effect As a result of the deficiency in internal control over compliance over reporting, the Agency is not in compliance with the financial reporting due dates of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the reporting requirements of the Head Start program to help ensure compliance with the requirements.
Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Reporting Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “reporting” compliance requirements applicable to the Head Start Cluster which stipulate that recipients submit financial reporting forms of program revenues and expenditures (SF-425) and real property (SF-429) subject to the terms and conditions of the contract.Condition The Agency was delinquent in submitting its semi-annual, annual, and final Federal Financial Reports (SF- 425) and its Real Property Status Report (SF-429) to the granting agency for Head Start during fiscal year 2023 due to the need for strengthened written procedures and staff training. Cause The Agency’s internal control over compliance for the reporting requirement of the Head Start program is inadequate to ensure timely submission of the required information. Effect or Potential Effect As a result of the deficiency in internal control over compliance over reporting, the Agency is not in compliance with the financial reporting due dates of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the reporting requirements of the Head Start program to help ensure compliance with the requirements.
Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Reporting Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “reporting” compliance requirements applicable to the Head Start Cluster which stipulate that recipients submit financial reporting forms of program revenues and expenditures (SF-425) and real property (SF-429) subject to the terms and conditions of the contract.Condition The Agency was delinquent in submitting its semi-annual, annual, and final Federal Financial Reports (SF- 425) and its Real Property Status Report (SF-429) to the granting agency for Head Start during fiscal year 2023 due to the need for strengthened written procedures and staff training. Cause The Agency’s internal control over compliance for the reporting requirement of the Head Start program is inadequate to ensure timely submission of the required information. Effect or Potential Effect As a result of the deficiency in internal control over compliance over reporting, the Agency is not in compliance with the financial reporting due dates of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the reporting requirements of the Head Start program to help ensure compliance with the requirements.
Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Reporting Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “reporting” compliance requirements applicable to the Head Start Cluster which stipulate that recipients submit financial reporting forms of program revenues and expenditures (SF-425) and real property (SF-429) subject to the terms and conditions of the contract.Condition The Agency was delinquent in submitting its semi-annual, annual, and final Federal Financial Reports (SF- 425) and its Real Property Status Report (SF-429) to the granting agency for Head Start during fiscal year 2023 due to the need for strengthened written procedures and staff training. Cause The Agency’s internal control over compliance for the reporting requirement of the Head Start program is inadequate to ensure timely submission of the required information. Effect or Potential Effect As a result of the deficiency in internal control over compliance over reporting, the Agency is not in compliance with the financial reporting due dates of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the reporting requirements of the Head Start program to help ensure compliance with the requirements.
Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Reporting Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “reporting” compliance requirements applicable to the Head Start Cluster which stipulate that recipients submit financial reporting forms of program revenues and expenditures (SF-425) and real property (SF-429) subject to the terms and conditions of the contract.Condition The Agency was delinquent in submitting its semi-annual, annual, and final Federal Financial Reports (SF- 425) and its Real Property Status Report (SF-429) to the granting agency for Head Start during fiscal year 2023 due to the need for strengthened written procedures and staff training. Cause The Agency’s internal control over compliance for the reporting requirement of the Head Start program is inadequate to ensure timely submission of the required information. Effect or Potential Effect As a result of the deficiency in internal control over compliance over reporting, the Agency is not in compliance with the financial reporting due dates of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the reporting requirements of the Head Start program to help ensure compliance with the requirements.
Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Reporting Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “reporting” compliance requirements applicable to the Head Start Cluster which stipulate that recipients submit financial reporting forms of program revenues and expenditures (SF-425) and real property (SF-429) subject to the terms and conditions of the contract.Condition The Agency was delinquent in submitting its semi-annual, annual, and final Federal Financial Reports (SF- 425) and its Real Property Status Report (SF-429) to the granting agency for Head Start during fiscal year 2023 due to the need for strengthened written procedures and staff training. Cause The Agency’s internal control over compliance for the reporting requirement of the Head Start program is inadequate to ensure timely submission of the required information. Effect or Potential Effect As a result of the deficiency in internal control over compliance over reporting, the Agency is not in compliance with the financial reporting due dates of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the reporting requirements of the Head Start program to help ensure compliance with the requirements.
Finding 2023-002 Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Allowable Costs/Cost Principles Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “allowable costs/cost principles” compliance requirements applicable to the Head Start Cluster which stipulate that compensation charged for personal services satisfy specific requirements of the Uniform Guidance including that the charges be supported by a system of internal control which provides reasonable assurance that the charges are accurate, allowable and properly allocated. Condition During our testing of payroll charged to the Head Start program, the Agency was unable to provide sufficient documentation to show that the pay rates for 28 of the 40 employees tested were properly authorized by the Agency. The difference between the amounts paid/charged and amounts supported by Agency records for the test selections was $2,391. Based on the error rate noted, there is a reasonable possibility that material noncompliance could occur and not be prevented, or detected and corrected, on a timely basis. Cause The Agency’s internal control over compliance for the allowable cost/cost principles requirement of the Head Start program is inadequate to ensure that personnel expenses meet the specific requirements of the Uniform Guidance. Effect or Potential Effect As a result of the deficiency in internal control over compliance over allowable costs/cost principles, the Agency is not in compliance with the allowable costs/cost principles requirement of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the allowable costs/cost principles requirements of the Head Start program to help ensure compliance with the requirements.
Finding 2023-002 Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Allowable Costs/Cost Principles Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “allowable costs/cost principles” compliance requirements applicable to the Head Start Cluster which stipulate that compensation charged for personal services satisfy specific requirements of the Uniform Guidance including that the charges be supported by a system of internal control which provides reasonable assurance that the charges are accurate, allowable and properly allocated. Condition During our testing of payroll charged to the Head Start program, the Agency was unable to provide sufficient documentation to show that the pay rates for 28 of the 40 employees tested were properly authorized by the Agency. The difference between the amounts paid/charged and amounts supported by Agency records for the test selections was $2,391. Based on the error rate noted, there is a reasonable possibility that material noncompliance could occur and not be prevented, or detected and corrected, on a timely basis. Cause The Agency’s internal control over compliance for the allowable cost/cost principles requirement of the Head Start program is inadequate to ensure that personnel expenses meet the specific requirements of the Uniform Guidance. Effect or Potential Effect As a result of the deficiency in internal control over compliance over allowable costs/cost principles, the Agency is not in compliance with the allowable costs/cost principles requirement of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the allowable costs/cost principles requirements of the Head Start program to help ensure compliance with the requirements.
Finding 2023-002 Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Allowable Costs/Cost Principles Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “allowable costs/cost principles” compliance requirements applicable to the Head Start Cluster which stipulate that compensation charged for personal services satisfy specific requirements of the Uniform Guidance including that the charges be supported by a system of internal control which provides reasonable assurance that the charges are accurate, allowable and properly allocated. Condition During our testing of payroll charged to the Head Start program, the Agency was unable to provide sufficient documentation to show that the pay rates for 28 of the 40 employees tested were properly authorized by the Agency. The difference between the amounts paid/charged and amounts supported by Agency records for the test selections was $2,391. Based on the error rate noted, there is a reasonable possibility that material noncompliance could occur and not be prevented, or detected and corrected, on a timely basis. Cause The Agency’s internal control over compliance for the allowable cost/cost principles requirement of the Head Start program is inadequate to ensure that personnel expenses meet the specific requirements of the Uniform Guidance. Effect or Potential Effect As a result of the deficiency in internal control over compliance over allowable costs/cost principles, the Agency is not in compliance with the allowable costs/cost principles requirement of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the allowable costs/cost principles requirements of the Head Start program to help ensure compliance with the requirements.
Finding 2023-002 Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Allowable Costs/Cost Principles Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “allowable costs/cost principles” compliance requirements applicable to the Head Start Cluster which stipulate that compensation charged for personal services satisfy specific requirements of the Uniform Guidance including that the charges be supported by a system of internal control which provides reasonable assurance that the charges are accurate, allowable and properly allocated. Condition During our testing of payroll charged to the Head Start program, the Agency was unable to provide sufficient documentation to show that the pay rates for 28 of the 40 employees tested were properly authorized by the Agency. The difference between the amounts paid/charged and amounts supported by Agency records for the test selections was $2,391. Based on the error rate noted, there is a reasonable possibility that material noncompliance could occur and not be prevented, or detected and corrected, on a timely basis. Cause The Agency’s internal control over compliance for the allowable cost/cost principles requirement of the Head Start program is inadequate to ensure that personnel expenses meet the specific requirements of the Uniform Guidance. Effect or Potential Effect As a result of the deficiency in internal control over compliance over allowable costs/cost principles, the Agency is not in compliance with the allowable costs/cost principles requirement of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the allowable costs/cost principles requirements of the Head Start program to help ensure compliance with the requirements.
Finding 2023-002 Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Allowable Costs/Cost Principles Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “allowable costs/cost principles” compliance requirements applicable to the Head Start Cluster which stipulate that compensation charged for personal services satisfy specific requirements of the Uniform Guidance including that the charges be supported by a system of internal control which provides reasonable assurance that the charges are accurate, allowable and properly allocated. Condition During our testing of payroll charged to the Head Start program, the Agency was unable to provide sufficient documentation to show that the pay rates for 28 of the 40 employees tested were properly authorized by the Agency. The difference between the amounts paid/charged and amounts supported by Agency records for the test selections was $2,391. Based on the error rate noted, there is a reasonable possibility that material noncompliance could occur and not be prevented, or detected and corrected, on a timely basis. Cause The Agency’s internal control over compliance for the allowable cost/cost principles requirement of the Head Start program is inadequate to ensure that personnel expenses meet the specific requirements of the Uniform Guidance. Effect or Potential Effect As a result of the deficiency in internal control over compliance over allowable costs/cost principles, the Agency is not in compliance with the allowable costs/cost principles requirement of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the allowable costs/cost principles requirements of the Head Start program to help ensure compliance with the requirements.
Finding 2023-002 Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Allowable Costs/Cost Principles Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “allowable costs/cost principles” compliance requirements applicable to the Head Start Cluster which stipulate that compensation charged for personal services satisfy specific requirements of the Uniform Guidance including that the charges be supported by a system of internal control which provides reasonable assurance that the charges are accurate, allowable and properly allocated. Condition During our testing of payroll charged to the Head Start program, the Agency was unable to provide sufficient documentation to show that the pay rates for 28 of the 40 employees tested were properly authorized by the Agency. The difference between the amounts paid/charged and amounts supported by Agency records for the test selections was $2,391. Based on the error rate noted, there is a reasonable possibility that material noncompliance could occur and not be prevented, or detected and corrected, on a timely basis. Cause The Agency’s internal control over compliance for the allowable cost/cost principles requirement of the Head Start program is inadequate to ensure that personnel expenses meet the specific requirements of the Uniform Guidance. Effect or Potential Effect As a result of the deficiency in internal control over compliance over allowable costs/cost principles, the Agency is not in compliance with the allowable costs/cost principles requirement of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the allowable costs/cost principles requirements of the Head Start program to help ensure compliance with the requirements.
Finding 2023-002 Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Allowable Costs/Cost Principles Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “allowable costs/cost principles” compliance requirements applicable to the Head Start Cluster which stipulate that compensation charged for personal services satisfy specific requirements of the Uniform Guidance including that the charges be supported by a system of internal control which provides reasonable assurance that the charges are accurate, allowable and properly allocated. Condition During our testing of payroll charged to the Head Start program, the Agency was unable to provide sufficient documentation to show that the pay rates for 28 of the 40 employees tested were properly authorized by the Agency. The difference between the amounts paid/charged and amounts supported by Agency records for the test selections was $2,391. Based on the error rate noted, there is a reasonable possibility that material noncompliance could occur and not be prevented, or detected and corrected, on a timely basis. Cause The Agency’s internal control over compliance for the allowable cost/cost principles requirement of the Head Start program is inadequate to ensure that personnel expenses meet the specific requirements of the Uniform Guidance. Effect or Potential Effect As a result of the deficiency in internal control over compliance over allowable costs/cost principles, the Agency is not in compliance with the allowable costs/cost principles requirement of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the allowable costs/cost principles requirements of the Head Start program to help ensure compliance with the requirements.
Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Reporting Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “reporting” compliance requirements applicable to the Head Start Cluster which stipulate that recipients submit financial reporting forms of program revenues and expenditures (SF-425) and real property (SF-429) subject to the terms and conditions of the contract.Condition The Agency was delinquent in submitting its semi-annual, annual, and final Federal Financial Reports (SF- 425) and its Real Property Status Report (SF-429) to the granting agency for Head Start during fiscal year 2023 due to the need for strengthened written procedures and staff training. Cause The Agency’s internal control over compliance for the reporting requirement of the Head Start program is inadequate to ensure timely submission of the required information. Effect or Potential Effect As a result of the deficiency in internal control over compliance over reporting, the Agency is not in compliance with the financial reporting due dates of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the reporting requirements of the Head Start program to help ensure compliance with the requirements.
Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Reporting Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “reporting” compliance requirements applicable to the Head Start Cluster which stipulate that recipients submit financial reporting forms of program revenues and expenditures (SF-425) and real property (SF-429) subject to the terms and conditions of the contract.Condition The Agency was delinquent in submitting its semi-annual, annual, and final Federal Financial Reports (SF- 425) and its Real Property Status Report (SF-429) to the granting agency for Head Start during fiscal year 2023 due to the need for strengthened written procedures and staff training. Cause The Agency’s internal control over compliance for the reporting requirement of the Head Start program is inadequate to ensure timely submission of the required information. Effect or Potential Effect As a result of the deficiency in internal control over compliance over reporting, the Agency is not in compliance with the financial reporting due dates of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the reporting requirements of the Head Start program to help ensure compliance with the requirements.
Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Reporting Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “reporting” compliance requirements applicable to the Head Start Cluster which stipulate that recipients submit financial reporting forms of program revenues and expenditures (SF-425) and real property (SF-429) subject to the terms and conditions of the contract.Condition The Agency was delinquent in submitting its semi-annual, annual, and final Federal Financial Reports (SF- 425) and its Real Property Status Report (SF-429) to the granting agency for Head Start during fiscal year 2023 due to the need for strengthened written procedures and staff training. Cause The Agency’s internal control over compliance for the reporting requirement of the Head Start program is inadequate to ensure timely submission of the required information. Effect or Potential Effect As a result of the deficiency in internal control over compliance over reporting, the Agency is not in compliance with the financial reporting due dates of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the reporting requirements of the Head Start program to help ensure compliance with the requirements.
Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Reporting Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “reporting” compliance requirements applicable to the Head Start Cluster which stipulate that recipients submit financial reporting forms of program revenues and expenditures (SF-425) and real property (SF-429) subject to the terms and conditions of the contract.Condition The Agency was delinquent in submitting its semi-annual, annual, and final Federal Financial Reports (SF- 425) and its Real Property Status Report (SF-429) to the granting agency for Head Start during fiscal year 2023 due to the need for strengthened written procedures and staff training. Cause The Agency’s internal control over compliance for the reporting requirement of the Head Start program is inadequate to ensure timely submission of the required information. Effect or Potential Effect As a result of the deficiency in internal control over compliance over reporting, the Agency is not in compliance with the financial reporting due dates of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the reporting requirements of the Head Start program to help ensure compliance with the requirements.
Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Reporting Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “reporting” compliance requirements applicable to the Head Start Cluster which stipulate that recipients submit financial reporting forms of program revenues and expenditures (SF-425) and real property (SF-429) subject to the terms and conditions of the contract.Condition The Agency was delinquent in submitting its semi-annual, annual, and final Federal Financial Reports (SF- 425) and its Real Property Status Report (SF-429) to the granting agency for Head Start during fiscal year 2023 due to the need for strengthened written procedures and staff training. Cause The Agency’s internal control over compliance for the reporting requirement of the Head Start program is inadequate to ensure timely submission of the required information. Effect or Potential Effect As a result of the deficiency in internal control over compliance over reporting, the Agency is not in compliance with the financial reporting due dates of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the reporting requirements of the Head Start program to help ensure compliance with the requirements.
Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Reporting Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “reporting” compliance requirements applicable to the Head Start Cluster which stipulate that recipients submit financial reporting forms of program revenues and expenditures (SF-425) and real property (SF-429) subject to the terms and conditions of the contract.Condition The Agency was delinquent in submitting its semi-annual, annual, and final Federal Financial Reports (SF- 425) and its Real Property Status Report (SF-429) to the granting agency for Head Start during fiscal year 2023 due to the need for strengthened written procedures and staff training. Cause The Agency’s internal control over compliance for the reporting requirement of the Head Start program is inadequate to ensure timely submission of the required information. Effect or Potential Effect As a result of the deficiency in internal control over compliance over reporting, the Agency is not in compliance with the financial reporting due dates of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the reporting requirements of the Head Start program to help ensure compliance with the requirements.
Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Reporting Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “reporting” compliance requirements applicable to the Head Start Cluster which stipulate that recipients submit financial reporting forms of program revenues and expenditures (SF-425) and real property (SF-429) subject to the terms and conditions of the contract.Condition The Agency was delinquent in submitting its semi-annual, annual, and final Federal Financial Reports (SF- 425) and its Real Property Status Report (SF-429) to the granting agency for Head Start during fiscal year 2023 due to the need for strengthened written procedures and staff training. Cause The Agency’s internal control over compliance for the reporting requirement of the Head Start program is inadequate to ensure timely submission of the required information. Effect or Potential Effect As a result of the deficiency in internal control over compliance over reporting, the Agency is not in compliance with the financial reporting due dates of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the reporting requirements of the Head Start program to help ensure compliance with the requirements.
Finding 2023-002 Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Allowable Costs/Cost Principles Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “allowable costs/cost principles” compliance requirements applicable to the Head Start Cluster which stipulate that compensation charged for personal services satisfy specific requirements of the Uniform Guidance including that the charges be supported by a system of internal control which provides reasonable assurance that the charges are accurate, allowable and properly allocated. Condition During our testing of payroll charged to the Head Start program, the Agency was unable to provide sufficient documentation to show that the pay rates for 28 of the 40 employees tested were properly authorized by the Agency. The difference between the amounts paid/charged and amounts supported by Agency records for the test selections was $2,391. Based on the error rate noted, there is a reasonable possibility that material noncompliance could occur and not be prevented, or detected and corrected, on a timely basis. Cause The Agency’s internal control over compliance for the allowable cost/cost principles requirement of the Head Start program is inadequate to ensure that personnel expenses meet the specific requirements of the Uniform Guidance. Effect or Potential Effect As a result of the deficiency in internal control over compliance over allowable costs/cost principles, the Agency is not in compliance with the allowable costs/cost principles requirement of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the allowable costs/cost principles requirements of the Head Start program to help ensure compliance with the requirements.
Finding 2023-002 Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Allowable Costs/Cost Principles Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “allowable costs/cost principles” compliance requirements applicable to the Head Start Cluster which stipulate that compensation charged for personal services satisfy specific requirements of the Uniform Guidance including that the charges be supported by a system of internal control which provides reasonable assurance that the charges are accurate, allowable and properly allocated. Condition During our testing of payroll charged to the Head Start program, the Agency was unable to provide sufficient documentation to show that the pay rates for 28 of the 40 employees tested were properly authorized by the Agency. The difference between the amounts paid/charged and amounts supported by Agency records for the test selections was $2,391. Based on the error rate noted, there is a reasonable possibility that material noncompliance could occur and not be prevented, or detected and corrected, on a timely basis. Cause The Agency’s internal control over compliance for the allowable cost/cost principles requirement of the Head Start program is inadequate to ensure that personnel expenses meet the specific requirements of the Uniform Guidance. Effect or Potential Effect As a result of the deficiency in internal control over compliance over allowable costs/cost principles, the Agency is not in compliance with the allowable costs/cost principles requirement of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the allowable costs/cost principles requirements of the Head Start program to help ensure compliance with the requirements.
Finding 2023-002 Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Allowable Costs/Cost Principles Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “allowable costs/cost principles” compliance requirements applicable to the Head Start Cluster which stipulate that compensation charged for personal services satisfy specific requirements of the Uniform Guidance including that the charges be supported by a system of internal control which provides reasonable assurance that the charges are accurate, allowable and properly allocated. Condition During our testing of payroll charged to the Head Start program, the Agency was unable to provide sufficient documentation to show that the pay rates for 28 of the 40 employees tested were properly authorized by the Agency. The difference between the amounts paid/charged and amounts supported by Agency records for the test selections was $2,391. Based on the error rate noted, there is a reasonable possibility that material noncompliance could occur and not be prevented, or detected and corrected, on a timely basis. Cause The Agency’s internal control over compliance for the allowable cost/cost principles requirement of the Head Start program is inadequate to ensure that personnel expenses meet the specific requirements of the Uniform Guidance. Effect or Potential Effect As a result of the deficiency in internal control over compliance over allowable costs/cost principles, the Agency is not in compliance with the allowable costs/cost principles requirement of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the allowable costs/cost principles requirements of the Head Start program to help ensure compliance with the requirements.
Finding 2023-002 Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Allowable Costs/Cost Principles Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “allowable costs/cost principles” compliance requirements applicable to the Head Start Cluster which stipulate that compensation charged for personal services satisfy specific requirements of the Uniform Guidance including that the charges be supported by a system of internal control which provides reasonable assurance that the charges are accurate, allowable and properly allocated. Condition During our testing of payroll charged to the Head Start program, the Agency was unable to provide sufficient documentation to show that the pay rates for 28 of the 40 employees tested were properly authorized by the Agency. The difference between the amounts paid/charged and amounts supported by Agency records for the test selections was $2,391. Based on the error rate noted, there is a reasonable possibility that material noncompliance could occur and not be prevented, or detected and corrected, on a timely basis. Cause The Agency’s internal control over compliance for the allowable cost/cost principles requirement of the Head Start program is inadequate to ensure that personnel expenses meet the specific requirements of the Uniform Guidance. Effect or Potential Effect As a result of the deficiency in internal control over compliance over allowable costs/cost principles, the Agency is not in compliance with the allowable costs/cost principles requirement of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the allowable costs/cost principles requirements of the Head Start program to help ensure compliance with the requirements.
Finding 2023-002 Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Allowable Costs/Cost Principles Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “allowable costs/cost principles” compliance requirements applicable to the Head Start Cluster which stipulate that compensation charged for personal services satisfy specific requirements of the Uniform Guidance including that the charges be supported by a system of internal control which provides reasonable assurance that the charges are accurate, allowable and properly allocated. Condition During our testing of payroll charged to the Head Start program, the Agency was unable to provide sufficient documentation to show that the pay rates for 28 of the 40 employees tested were properly authorized by the Agency. The difference between the amounts paid/charged and amounts supported by Agency records for the test selections was $2,391. Based on the error rate noted, there is a reasonable possibility that material noncompliance could occur and not be prevented, or detected and corrected, on a timely basis. Cause The Agency’s internal control over compliance for the allowable cost/cost principles requirement of the Head Start program is inadequate to ensure that personnel expenses meet the specific requirements of the Uniform Guidance. Effect or Potential Effect As a result of the deficiency in internal control over compliance over allowable costs/cost principles, the Agency is not in compliance with the allowable costs/cost principles requirement of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the allowable costs/cost principles requirements of the Head Start program to help ensure compliance with the requirements.
Finding 2023-002 Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Allowable Costs/Cost Principles Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “allowable costs/cost principles” compliance requirements applicable to the Head Start Cluster which stipulate that compensation charged for personal services satisfy specific requirements of the Uniform Guidance including that the charges be supported by a system of internal control which provides reasonable assurance that the charges are accurate, allowable and properly allocated. Condition During our testing of payroll charged to the Head Start program, the Agency was unable to provide sufficient documentation to show that the pay rates for 28 of the 40 employees tested were properly authorized by the Agency. The difference between the amounts paid/charged and amounts supported by Agency records for the test selections was $2,391. Based on the error rate noted, there is a reasonable possibility that material noncompliance could occur and not be prevented, or detected and corrected, on a timely basis. Cause The Agency’s internal control over compliance for the allowable cost/cost principles requirement of the Head Start program is inadequate to ensure that personnel expenses meet the specific requirements of the Uniform Guidance. Effect or Potential Effect As a result of the deficiency in internal control over compliance over allowable costs/cost principles, the Agency is not in compliance with the allowable costs/cost principles requirement of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the allowable costs/cost principles requirements of the Head Start program to help ensure compliance with the requirements.
Finding 2023-002 Assistance Listing Numbers: 93.356, 93.600 – Head Start Cluster U.S. Department of Health and Human Services Type of Finding: Material Weakness in Internal Control over Compliance and Noncompliance Compliance Requirement: Allowable Costs/Cost Principles Criteria As a condition of receiving Federal awards, non-Federal entities agree to comply with laws, regulations and the provisions of grant agreements and contracts, and to maintain internal control to provide reasonable assurance of compliance with these requirements. The U.S. Department of Health and Human Services has established “allowable costs/cost principles” compliance requirements applicable to the Head Start Cluster which stipulate that compensation charged for personal services satisfy specific requirements of the Uniform Guidance including that the charges be supported by a system of internal control which provides reasonable assurance that the charges are accurate, allowable and properly allocated. Condition During our testing of payroll charged to the Head Start program, the Agency was unable to provide sufficient documentation to show that the pay rates for 28 of the 40 employees tested were properly authorized by the Agency. The difference between the amounts paid/charged and amounts supported by Agency records for the test selections was $2,391. Based on the error rate noted, there is a reasonable possibility that material noncompliance could occur and not be prevented, or detected and corrected, on a timely basis. Cause The Agency’s internal control over compliance for the allowable cost/cost principles requirement of the Head Start program is inadequate to ensure that personnel expenses meet the specific requirements of the Uniform Guidance. Effect or Potential Effect As a result of the deficiency in internal control over compliance over allowable costs/cost principles, the Agency is not in compliance with the allowable costs/cost principles requirement of the Head Start program. Recommendation We recommend that Agency’s management evaluate and improve its controls over the allowable costs/cost principles requirements of the Head Start program to help ensure compliance with the requirements.