Audit 317324

FY End
2022-12-31
Total Expended
$24.70M
Findings
16
Programs
6
Organization: L.a. Family Housing Corporation (CA)
Year: 2022 Accepted: 2024-08-15
Auditor: Hcvt LLP

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
481204 2022-002 Significant Deficiency Yes I
481205 2022-002 Significant Deficiency Yes I
481206 2022-002 Significant Deficiency Yes I
481207 2022-002 Significant Deficiency Yes I
481208 2022-002 Significant Deficiency Yes I
481209 2022-002 Significant Deficiency Yes I
481210 2022-002 Significant Deficiency Yes I
481211 2022-002 Significant Deficiency Yes I
1057646 2022-002 Significant Deficiency Yes I
1057647 2022-002 Significant Deficiency Yes I
1057648 2022-002 Significant Deficiency Yes I
1057649 2022-002 Significant Deficiency Yes I
1057650 2022-002 Significant Deficiency Yes I
1057651 2022-002 Significant Deficiency Yes I
1057652 2022-002 Significant Deficiency Yes I
1057653 2022-002 Significant Deficiency Yes I

Programs

Contacts

Name Title Type
EV1QETCX1Q51 Lloyd Wright Auditee
7472795263 Kimberly Hastings Auditor
No contacts on file

Notes to SEFA

Title: AMOUNTS PROVIDED TO SUBRECIPIENTS Accounting Policies: 2. BASIS OF PRESENTATION AND SUMMARY OF SIGNIFICANT ACCOUNTING POLICIES The accompanying schedule of expenditures of federal awards (Schedule) includes the federal award activity of L.A. Family Housing Corporation (LAFH) under programs of the federal government for the year ended December 31, 2022. The information in this Schedule is presented in accordance with the requirements of Title 2 U.S. Code of Federal Regulations Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Guidance). Because the Schedule presents only a selected portion of the operations of LAFH, it is not intended to and does not present the financial position, changes in net assets, or cash flows of LAFH. Expenditures reported on the Schedule are reported on the accrual basis of accounting. Such expenditures are recognized following the cost principles contained in the Uniform Guidance, wherein certain types of expenditures are not allowable or are limited as to reimbursement. Therefore, some amounts presented in the schedule may differ from amounts presented in, or used in the presented item of, the basic consolidated financial statements. De Minimis Rate Used: N Rate Explanation: LAFH did not elect the de minimis indirect cost allocation rate of 10% for the year ended December 31, 2022 and instead allocates indirect costs in accordance with its cost allocation plan as allowed by the federal grant programs under Uniform Guidance. 3. AMOUNTS PROVIDED TO SUBRECIPIENTS LAFH provided grant funds to the following entities as subrecipients of the Temporary Assistance for Needy Families (TANF) and Community Development Block Grant (CDBG) programs, CFDA 93.558 and 14.218, respectively, during the year ended December 31, 2022. Subrecipient CFDA Number Amount (as restated) Bridge to Home 93.558 $ 56,426 New Economics for Women 93.558 123,427 Hope of the Valley 93.558 61,640 Children’s Homes of Southern California 93.558 119,360 The Emerald, L.P. 14.218 359,528 Summit View (11681 Foothill, L.P) 14.218 1,948,190 Total $ 2,668,571
Title: CORRECTION OF ERROR AND RESTATEMENT OF SCHEDULE OF EXPENDITURES OF FEDERAL AWARDS Accounting Policies: 2. BASIS OF PRESENTATION AND SUMMARY OF SIGNIFICANT ACCOUNTING POLICIES The accompanying schedule of expenditures of federal awards (Schedule) includes the federal award activity of L.A. Family Housing Corporation (LAFH) under programs of the federal government for the year ended December 31, 2022. The information in this Schedule is presented in accordance with the requirements of Title 2 U.S. Code of Federal Regulations Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Guidance). Because the Schedule presents only a selected portion of the operations of LAFH, it is not intended to and does not present the financial position, changes in net assets, or cash flows of LAFH. Expenditures reported on the Schedule are reported on the accrual basis of accounting. Such expenditures are recognized following the cost principles contained in the Uniform Guidance, wherein certain types of expenditures are not allowable or are limited as to reimbursement. Therefore, some amounts presented in the schedule may differ from amounts presented in, or used in the presented item of, the basic consolidated financial statements. De Minimis Rate Used: N Rate Explanation: LAFH did not elect the de minimis indirect cost allocation rate of 10% for the year ended December 31, 2022 and instead allocates indirect costs in accordance with its cost allocation plan as allowed by the federal grant programs under Uniform Guidance. Subsequent to the issuance of the consolidated financial statements as of December 31, 2022 on October 23, 2023, the Organization become aware of certain government contracts and grant revenue which were not recorded during the year ended December 31, 2022. During 2019, LAFH was granted $2,164,655 from LAHD for offsite improvements related to an uncontrolled joint venture projects (11681 Foothill, L.P). During 2022, revenue of $1,948,190 was earned through expenditure in accordance with the agreement; however, grant funds were paid directly to the general contractor and LAFH and the unrelated co-general partner were not notified. As such, an entry was recorded to correct the understatement of government contracts and grants revenue and corresponding federal expenditures in the accompanying schedule of expenditures of federal awards for the year ended December 31, 2022.

Finding Details

Finding #2022-002 Significant Deficiency – Lack of Internal Control Over Compliance with Procurement Policy Assistance Listing Number #14.231 Condition: In order to test internal control over compliance and compliance related to procurement, we selected a representative sample of disbursements from all major program contracts. Of the 103 disbursements selected, supporting documentation for 12 items expended under 3 contracts did not contain records sufficient to detail the history and rationale for the method of procurement and the reason the required bid process was bypassed, as allowed by the procurement policy. In discussions with program staff and management, we concluded the Organization’s procurement policies were ultimately followed and no major program noncompliance or questioned costs were identified. In order to evaluate the scope of the identified deficiency in internal control over compliance with procurement requirements, we determined it necessary to expand our test organization-wide to include non-federal expenditures, noting no other issues. Criteria: Uniform Guidance requires all agencies develop a procurement policy ensuring compliance with Section 200.318 through 200.326. The Organization has established a procurement policy which requires sealed bids for contracts or procurements in excess of $250,000 and requires the maintenance of records sufficient to detail the history and rationale for the method of procurement, including in circumstances where the required bid process is bypassed for an allowable reason, as defined in the procurement policy. Management and those charged with governance are responsible for the design, implementation, and maintenance of internal control relevant to compliance with the established procurement policy. Cause: As discussed in finding #2022-001, the Organization continued to experience significant growth in activities and personnel, as well as turnover in key management and finance positions, which did not allow for consistent implementation of existing internal control over compliance with the established procurement policy. Effect: Although management was able to provide reasonable explanation for bypassing the required bid process in compliance with the procurement policy, records detailing the bypass were not included in the Organization’s files and represents a significant deficiency in internal control over compliance.   Recommendation: Management should communicate and provide training to the program and finance departments on the Organization’s procurement policy and the requirements of Uniform Guidance. Further, management should re-evaluate internal control over compliance to ensure proper review and approval of all procurements, including whether appropriate records justifying the bypass of the sealed bid process and the conclusion on allowable vendor selections are being maintained. Views of Responsible Officials and Planned Corrective Actions: Management concurs and has provided a Corrective Action Plan
Finding #2022-002 Significant Deficiency – Lack of Internal Control Over Compliance with Procurement Policy Assistance Listing Number #14.231 Condition: In order to test internal control over compliance and compliance related to procurement, we selected a representative sample of disbursements from all major program contracts. Of the 103 disbursements selected, supporting documentation for 12 items expended under 3 contracts did not contain records sufficient to detail the history and rationale for the method of procurement and the reason the required bid process was bypassed, as allowed by the procurement policy. In discussions with program staff and management, we concluded the Organization’s procurement policies were ultimately followed and no major program noncompliance or questioned costs were identified. In order to evaluate the scope of the identified deficiency in internal control over compliance with procurement requirements, we determined it necessary to expand our test organization-wide to include non-federal expenditures, noting no other issues. Criteria: Uniform Guidance requires all agencies develop a procurement policy ensuring compliance with Section 200.318 through 200.326. The Organization has established a procurement policy which requires sealed bids for contracts or procurements in excess of $250,000 and requires the maintenance of records sufficient to detail the history and rationale for the method of procurement, including in circumstances where the required bid process is bypassed for an allowable reason, as defined in the procurement policy. Management and those charged with governance are responsible for the design, implementation, and maintenance of internal control relevant to compliance with the established procurement policy. Cause: As discussed in finding #2022-001, the Organization continued to experience significant growth in activities and personnel, as well as turnover in key management and finance positions, which did not allow for consistent implementation of existing internal control over compliance with the established procurement policy. Effect: Although management was able to provide reasonable explanation for bypassing the required bid process in compliance with the procurement policy, records detailing the bypass were not included in the Organization’s files and represents a significant deficiency in internal control over compliance.   Recommendation: Management should communicate and provide training to the program and finance departments on the Organization’s procurement policy and the requirements of Uniform Guidance. Further, management should re-evaluate internal control over compliance to ensure proper review and approval of all procurements, including whether appropriate records justifying the bypass of the sealed bid process and the conclusion on allowable vendor selections are being maintained. Views of Responsible Officials and Planned Corrective Actions: Management concurs and has provided a Corrective Action Plan
Finding #2022-002 Significant Deficiency – Lack of Internal Control Over Compliance with Procurement Policy Assistance Listing Number #14.231 Condition: In order to test internal control over compliance and compliance related to procurement, we selected a representative sample of disbursements from all major program contracts. Of the 103 disbursements selected, supporting documentation for 12 items expended under 3 contracts did not contain records sufficient to detail the history and rationale for the method of procurement and the reason the required bid process was bypassed, as allowed by the procurement policy. In discussions with program staff and management, we concluded the Organization’s procurement policies were ultimately followed and no major program noncompliance or questioned costs were identified. In order to evaluate the scope of the identified deficiency in internal control over compliance with procurement requirements, we determined it necessary to expand our test organization-wide to include non-federal expenditures, noting no other issues. Criteria: Uniform Guidance requires all agencies develop a procurement policy ensuring compliance with Section 200.318 through 200.326. The Organization has established a procurement policy which requires sealed bids for contracts or procurements in excess of $250,000 and requires the maintenance of records sufficient to detail the history and rationale for the method of procurement, including in circumstances where the required bid process is bypassed for an allowable reason, as defined in the procurement policy. Management and those charged with governance are responsible for the design, implementation, and maintenance of internal control relevant to compliance with the established procurement policy. Cause: As discussed in finding #2022-001, the Organization continued to experience significant growth in activities and personnel, as well as turnover in key management and finance positions, which did not allow for consistent implementation of existing internal control over compliance with the established procurement policy. Effect: Although management was able to provide reasonable explanation for bypassing the required bid process in compliance with the procurement policy, records detailing the bypass were not included in the Organization’s files and represents a significant deficiency in internal control over compliance.   Recommendation: Management should communicate and provide training to the program and finance departments on the Organization’s procurement policy and the requirements of Uniform Guidance. Further, management should re-evaluate internal control over compliance to ensure proper review and approval of all procurements, including whether appropriate records justifying the bypass of the sealed bid process and the conclusion on allowable vendor selections are being maintained. Views of Responsible Officials and Planned Corrective Actions: Management concurs and has provided a Corrective Action Plan
Finding #2022-002 Significant Deficiency – Lack of Internal Control Over Compliance with Procurement Policy Assistance Listing Number #14.231 Condition: In order to test internal control over compliance and compliance related to procurement, we selected a representative sample of disbursements from all major program contracts. Of the 103 disbursements selected, supporting documentation for 12 items expended under 3 contracts did not contain records sufficient to detail the history and rationale for the method of procurement and the reason the required bid process was bypassed, as allowed by the procurement policy. In discussions with program staff and management, we concluded the Organization’s procurement policies were ultimately followed and no major program noncompliance or questioned costs were identified. In order to evaluate the scope of the identified deficiency in internal control over compliance with procurement requirements, we determined it necessary to expand our test organization-wide to include non-federal expenditures, noting no other issues. Criteria: Uniform Guidance requires all agencies develop a procurement policy ensuring compliance with Section 200.318 through 200.326. The Organization has established a procurement policy which requires sealed bids for contracts or procurements in excess of $250,000 and requires the maintenance of records sufficient to detail the history and rationale for the method of procurement, including in circumstances where the required bid process is bypassed for an allowable reason, as defined in the procurement policy. Management and those charged with governance are responsible for the design, implementation, and maintenance of internal control relevant to compliance with the established procurement policy. Cause: As discussed in finding #2022-001, the Organization continued to experience significant growth in activities and personnel, as well as turnover in key management and finance positions, which did not allow for consistent implementation of existing internal control over compliance with the established procurement policy. Effect: Although management was able to provide reasonable explanation for bypassing the required bid process in compliance with the procurement policy, records detailing the bypass were not included in the Organization’s files and represents a significant deficiency in internal control over compliance.   Recommendation: Management should communicate and provide training to the program and finance departments on the Organization’s procurement policy and the requirements of Uniform Guidance. Further, management should re-evaluate internal control over compliance to ensure proper review and approval of all procurements, including whether appropriate records justifying the bypass of the sealed bid process and the conclusion on allowable vendor selections are being maintained. Views of Responsible Officials and Planned Corrective Actions: Management concurs and has provided a Corrective Action Plan
Finding #2022-002 Significant Deficiency – Lack of Internal Control Over Compliance with Procurement Policy Assistance Listing Number #14.231 Condition: In order to test internal control over compliance and compliance related to procurement, we selected a representative sample of disbursements from all major program contracts. Of the 103 disbursements selected, supporting documentation for 12 items expended under 3 contracts did not contain records sufficient to detail the history and rationale for the method of procurement and the reason the required bid process was bypassed, as allowed by the procurement policy. In discussions with program staff and management, we concluded the Organization’s procurement policies were ultimately followed and no major program noncompliance or questioned costs were identified. In order to evaluate the scope of the identified deficiency in internal control over compliance with procurement requirements, we determined it necessary to expand our test organization-wide to include non-federal expenditures, noting no other issues. Criteria: Uniform Guidance requires all agencies develop a procurement policy ensuring compliance with Section 200.318 through 200.326. The Organization has established a procurement policy which requires sealed bids for contracts or procurements in excess of $250,000 and requires the maintenance of records sufficient to detail the history and rationale for the method of procurement, including in circumstances where the required bid process is bypassed for an allowable reason, as defined in the procurement policy. Management and those charged with governance are responsible for the design, implementation, and maintenance of internal control relevant to compliance with the established procurement policy. Cause: As discussed in finding #2022-001, the Organization continued to experience significant growth in activities and personnel, as well as turnover in key management and finance positions, which did not allow for consistent implementation of existing internal control over compliance with the established procurement policy. Effect: Although management was able to provide reasonable explanation for bypassing the required bid process in compliance with the procurement policy, records detailing the bypass were not included in the Organization’s files and represents a significant deficiency in internal control over compliance.   Recommendation: Management should communicate and provide training to the program and finance departments on the Organization’s procurement policy and the requirements of Uniform Guidance. Further, management should re-evaluate internal control over compliance to ensure proper review and approval of all procurements, including whether appropriate records justifying the bypass of the sealed bid process and the conclusion on allowable vendor selections are being maintained. Views of Responsible Officials and Planned Corrective Actions: Management concurs and has provided a Corrective Action Plan
Finding #2022-002 Significant Deficiency – Lack of Internal Control Over Compliance with Procurement Policy Assistance Listing Number #14.231 Condition: In order to test internal control over compliance and compliance related to procurement, we selected a representative sample of disbursements from all major program contracts. Of the 103 disbursements selected, supporting documentation for 12 items expended under 3 contracts did not contain records sufficient to detail the history and rationale for the method of procurement and the reason the required bid process was bypassed, as allowed by the procurement policy. In discussions with program staff and management, we concluded the Organization’s procurement policies were ultimately followed and no major program noncompliance or questioned costs were identified. In order to evaluate the scope of the identified deficiency in internal control over compliance with procurement requirements, we determined it necessary to expand our test organization-wide to include non-federal expenditures, noting no other issues. Criteria: Uniform Guidance requires all agencies develop a procurement policy ensuring compliance with Section 200.318 through 200.326. The Organization has established a procurement policy which requires sealed bids for contracts or procurements in excess of $250,000 and requires the maintenance of records sufficient to detail the history and rationale for the method of procurement, including in circumstances where the required bid process is bypassed for an allowable reason, as defined in the procurement policy. Management and those charged with governance are responsible for the design, implementation, and maintenance of internal control relevant to compliance with the established procurement policy. Cause: As discussed in finding #2022-001, the Organization continued to experience significant growth in activities and personnel, as well as turnover in key management and finance positions, which did not allow for consistent implementation of existing internal control over compliance with the established procurement policy. Effect: Although management was able to provide reasonable explanation for bypassing the required bid process in compliance with the procurement policy, records detailing the bypass were not included in the Organization’s files and represents a significant deficiency in internal control over compliance.   Recommendation: Management should communicate and provide training to the program and finance departments on the Organization’s procurement policy and the requirements of Uniform Guidance. Further, management should re-evaluate internal control over compliance to ensure proper review and approval of all procurements, including whether appropriate records justifying the bypass of the sealed bid process and the conclusion on allowable vendor selections are being maintained. Views of Responsible Officials and Planned Corrective Actions: Management concurs and has provided a Corrective Action Plan
Finding #2022-002 Significant Deficiency – Lack of Internal Control Over Compliance with Procurement Policy Assistance Listing Number #14.231 Condition: In order to test internal control over compliance and compliance related to procurement, we selected a representative sample of disbursements from all major program contracts. Of the 103 disbursements selected, supporting documentation for 12 items expended under 3 contracts did not contain records sufficient to detail the history and rationale for the method of procurement and the reason the required bid process was bypassed, as allowed by the procurement policy. In discussions with program staff and management, we concluded the Organization’s procurement policies were ultimately followed and no major program noncompliance or questioned costs were identified. In order to evaluate the scope of the identified deficiency in internal control over compliance with procurement requirements, we determined it necessary to expand our test organization-wide to include non-federal expenditures, noting no other issues. Criteria: Uniform Guidance requires all agencies develop a procurement policy ensuring compliance with Section 200.318 through 200.326. The Organization has established a procurement policy which requires sealed bids for contracts or procurements in excess of $250,000 and requires the maintenance of records sufficient to detail the history and rationale for the method of procurement, including in circumstances where the required bid process is bypassed for an allowable reason, as defined in the procurement policy. Management and those charged with governance are responsible for the design, implementation, and maintenance of internal control relevant to compliance with the established procurement policy. Cause: As discussed in finding #2022-001, the Organization continued to experience significant growth in activities and personnel, as well as turnover in key management and finance positions, which did not allow for consistent implementation of existing internal control over compliance with the established procurement policy. Effect: Although management was able to provide reasonable explanation for bypassing the required bid process in compliance with the procurement policy, records detailing the bypass were not included in the Organization’s files and represents a significant deficiency in internal control over compliance.   Recommendation: Management should communicate and provide training to the program and finance departments on the Organization’s procurement policy and the requirements of Uniform Guidance. Further, management should re-evaluate internal control over compliance to ensure proper review and approval of all procurements, including whether appropriate records justifying the bypass of the sealed bid process and the conclusion on allowable vendor selections are being maintained. Views of Responsible Officials and Planned Corrective Actions: Management concurs and has provided a Corrective Action Plan
Finding #2022-002 Significant Deficiency – Lack of Internal Control Over Compliance with Procurement Policy Assistance Listing Number #14.231 Condition: In order to test internal control over compliance and compliance related to procurement, we selected a representative sample of disbursements from all major program contracts. Of the 103 disbursements selected, supporting documentation for 12 items expended under 3 contracts did not contain records sufficient to detail the history and rationale for the method of procurement and the reason the required bid process was bypassed, as allowed by the procurement policy. In discussions with program staff and management, we concluded the Organization’s procurement policies were ultimately followed and no major program noncompliance or questioned costs were identified. In order to evaluate the scope of the identified deficiency in internal control over compliance with procurement requirements, we determined it necessary to expand our test organization-wide to include non-federal expenditures, noting no other issues. Criteria: Uniform Guidance requires all agencies develop a procurement policy ensuring compliance with Section 200.318 through 200.326. The Organization has established a procurement policy which requires sealed bids for contracts or procurements in excess of $250,000 and requires the maintenance of records sufficient to detail the history and rationale for the method of procurement, including in circumstances where the required bid process is bypassed for an allowable reason, as defined in the procurement policy. Management and those charged with governance are responsible for the design, implementation, and maintenance of internal control relevant to compliance with the established procurement policy. Cause: As discussed in finding #2022-001, the Organization continued to experience significant growth in activities and personnel, as well as turnover in key management and finance positions, which did not allow for consistent implementation of existing internal control over compliance with the established procurement policy. Effect: Although management was able to provide reasonable explanation for bypassing the required bid process in compliance with the procurement policy, records detailing the bypass were not included in the Organization’s files and represents a significant deficiency in internal control over compliance.   Recommendation: Management should communicate and provide training to the program and finance departments on the Organization’s procurement policy and the requirements of Uniform Guidance. Further, management should re-evaluate internal control over compliance to ensure proper review and approval of all procurements, including whether appropriate records justifying the bypass of the sealed bid process and the conclusion on allowable vendor selections are being maintained. Views of Responsible Officials and Planned Corrective Actions: Management concurs and has provided a Corrective Action Plan
Finding #2022-002 Significant Deficiency – Lack of Internal Control Over Compliance with Procurement Policy Assistance Listing Number #14.231 Condition: In order to test internal control over compliance and compliance related to procurement, we selected a representative sample of disbursements from all major program contracts. Of the 103 disbursements selected, supporting documentation for 12 items expended under 3 contracts did not contain records sufficient to detail the history and rationale for the method of procurement and the reason the required bid process was bypassed, as allowed by the procurement policy. In discussions with program staff and management, we concluded the Organization’s procurement policies were ultimately followed and no major program noncompliance or questioned costs were identified. In order to evaluate the scope of the identified deficiency in internal control over compliance with procurement requirements, we determined it necessary to expand our test organization-wide to include non-federal expenditures, noting no other issues. Criteria: Uniform Guidance requires all agencies develop a procurement policy ensuring compliance with Section 200.318 through 200.326. The Organization has established a procurement policy which requires sealed bids for contracts or procurements in excess of $250,000 and requires the maintenance of records sufficient to detail the history and rationale for the method of procurement, including in circumstances where the required bid process is bypassed for an allowable reason, as defined in the procurement policy. Management and those charged with governance are responsible for the design, implementation, and maintenance of internal control relevant to compliance with the established procurement policy. Cause: As discussed in finding #2022-001, the Organization continued to experience significant growth in activities and personnel, as well as turnover in key management and finance positions, which did not allow for consistent implementation of existing internal control over compliance with the established procurement policy. Effect: Although management was able to provide reasonable explanation for bypassing the required bid process in compliance with the procurement policy, records detailing the bypass were not included in the Organization’s files and represents a significant deficiency in internal control over compliance.   Recommendation: Management should communicate and provide training to the program and finance departments on the Organization’s procurement policy and the requirements of Uniform Guidance. Further, management should re-evaluate internal control over compliance to ensure proper review and approval of all procurements, including whether appropriate records justifying the bypass of the sealed bid process and the conclusion on allowable vendor selections are being maintained. Views of Responsible Officials and Planned Corrective Actions: Management concurs and has provided a Corrective Action Plan
Finding #2022-002 Significant Deficiency – Lack of Internal Control Over Compliance with Procurement Policy Assistance Listing Number #14.231 Condition: In order to test internal control over compliance and compliance related to procurement, we selected a representative sample of disbursements from all major program contracts. Of the 103 disbursements selected, supporting documentation for 12 items expended under 3 contracts did not contain records sufficient to detail the history and rationale for the method of procurement and the reason the required bid process was bypassed, as allowed by the procurement policy. In discussions with program staff and management, we concluded the Organization’s procurement policies were ultimately followed and no major program noncompliance or questioned costs were identified. In order to evaluate the scope of the identified deficiency in internal control over compliance with procurement requirements, we determined it necessary to expand our test organization-wide to include non-federal expenditures, noting no other issues. Criteria: Uniform Guidance requires all agencies develop a procurement policy ensuring compliance with Section 200.318 through 200.326. The Organization has established a procurement policy which requires sealed bids for contracts or procurements in excess of $250,000 and requires the maintenance of records sufficient to detail the history and rationale for the method of procurement, including in circumstances where the required bid process is bypassed for an allowable reason, as defined in the procurement policy. Management and those charged with governance are responsible for the design, implementation, and maintenance of internal control relevant to compliance with the established procurement policy. Cause: As discussed in finding #2022-001, the Organization continued to experience significant growth in activities and personnel, as well as turnover in key management and finance positions, which did not allow for consistent implementation of existing internal control over compliance with the established procurement policy. Effect: Although management was able to provide reasonable explanation for bypassing the required bid process in compliance with the procurement policy, records detailing the bypass were not included in the Organization’s files and represents a significant deficiency in internal control over compliance.   Recommendation: Management should communicate and provide training to the program and finance departments on the Organization’s procurement policy and the requirements of Uniform Guidance. Further, management should re-evaluate internal control over compliance to ensure proper review and approval of all procurements, including whether appropriate records justifying the bypass of the sealed bid process and the conclusion on allowable vendor selections are being maintained. Views of Responsible Officials and Planned Corrective Actions: Management concurs and has provided a Corrective Action Plan
Finding #2022-002 Significant Deficiency – Lack of Internal Control Over Compliance with Procurement Policy Assistance Listing Number #14.231 Condition: In order to test internal control over compliance and compliance related to procurement, we selected a representative sample of disbursements from all major program contracts. Of the 103 disbursements selected, supporting documentation for 12 items expended under 3 contracts did not contain records sufficient to detail the history and rationale for the method of procurement and the reason the required bid process was bypassed, as allowed by the procurement policy. In discussions with program staff and management, we concluded the Organization’s procurement policies were ultimately followed and no major program noncompliance or questioned costs were identified. In order to evaluate the scope of the identified deficiency in internal control over compliance with procurement requirements, we determined it necessary to expand our test organization-wide to include non-federal expenditures, noting no other issues. Criteria: Uniform Guidance requires all agencies develop a procurement policy ensuring compliance with Section 200.318 through 200.326. The Organization has established a procurement policy which requires sealed bids for contracts or procurements in excess of $250,000 and requires the maintenance of records sufficient to detail the history and rationale for the method of procurement, including in circumstances where the required bid process is bypassed for an allowable reason, as defined in the procurement policy. Management and those charged with governance are responsible for the design, implementation, and maintenance of internal control relevant to compliance with the established procurement policy. Cause: As discussed in finding #2022-001, the Organization continued to experience significant growth in activities and personnel, as well as turnover in key management and finance positions, which did not allow for consistent implementation of existing internal control over compliance with the established procurement policy. Effect: Although management was able to provide reasonable explanation for bypassing the required bid process in compliance with the procurement policy, records detailing the bypass were not included in the Organization’s files and represents a significant deficiency in internal control over compliance.   Recommendation: Management should communicate and provide training to the program and finance departments on the Organization’s procurement policy and the requirements of Uniform Guidance. Further, management should re-evaluate internal control over compliance to ensure proper review and approval of all procurements, including whether appropriate records justifying the bypass of the sealed bid process and the conclusion on allowable vendor selections are being maintained. Views of Responsible Officials and Planned Corrective Actions: Management concurs and has provided a Corrective Action Plan
Finding #2022-002 Significant Deficiency – Lack of Internal Control Over Compliance with Procurement Policy Assistance Listing Number #14.231 Condition: In order to test internal control over compliance and compliance related to procurement, we selected a representative sample of disbursements from all major program contracts. Of the 103 disbursements selected, supporting documentation for 12 items expended under 3 contracts did not contain records sufficient to detail the history and rationale for the method of procurement and the reason the required bid process was bypassed, as allowed by the procurement policy. In discussions with program staff and management, we concluded the Organization’s procurement policies were ultimately followed and no major program noncompliance or questioned costs were identified. In order to evaluate the scope of the identified deficiency in internal control over compliance with procurement requirements, we determined it necessary to expand our test organization-wide to include non-federal expenditures, noting no other issues. Criteria: Uniform Guidance requires all agencies develop a procurement policy ensuring compliance with Section 200.318 through 200.326. The Organization has established a procurement policy which requires sealed bids for contracts or procurements in excess of $250,000 and requires the maintenance of records sufficient to detail the history and rationale for the method of procurement, including in circumstances where the required bid process is bypassed for an allowable reason, as defined in the procurement policy. Management and those charged with governance are responsible for the design, implementation, and maintenance of internal control relevant to compliance with the established procurement policy. Cause: As discussed in finding #2022-001, the Organization continued to experience significant growth in activities and personnel, as well as turnover in key management and finance positions, which did not allow for consistent implementation of existing internal control over compliance with the established procurement policy. Effect: Although management was able to provide reasonable explanation for bypassing the required bid process in compliance with the procurement policy, records detailing the bypass were not included in the Organization’s files and represents a significant deficiency in internal control over compliance.   Recommendation: Management should communicate and provide training to the program and finance departments on the Organization’s procurement policy and the requirements of Uniform Guidance. Further, management should re-evaluate internal control over compliance to ensure proper review and approval of all procurements, including whether appropriate records justifying the bypass of the sealed bid process and the conclusion on allowable vendor selections are being maintained. Views of Responsible Officials and Planned Corrective Actions: Management concurs and has provided a Corrective Action Plan
Finding #2022-002 Significant Deficiency – Lack of Internal Control Over Compliance with Procurement Policy Assistance Listing Number #14.231 Condition: In order to test internal control over compliance and compliance related to procurement, we selected a representative sample of disbursements from all major program contracts. Of the 103 disbursements selected, supporting documentation for 12 items expended under 3 contracts did not contain records sufficient to detail the history and rationale for the method of procurement and the reason the required bid process was bypassed, as allowed by the procurement policy. In discussions with program staff and management, we concluded the Organization’s procurement policies were ultimately followed and no major program noncompliance or questioned costs were identified. In order to evaluate the scope of the identified deficiency in internal control over compliance with procurement requirements, we determined it necessary to expand our test organization-wide to include non-federal expenditures, noting no other issues. Criteria: Uniform Guidance requires all agencies develop a procurement policy ensuring compliance with Section 200.318 through 200.326. The Organization has established a procurement policy which requires sealed bids for contracts or procurements in excess of $250,000 and requires the maintenance of records sufficient to detail the history and rationale for the method of procurement, including in circumstances where the required bid process is bypassed for an allowable reason, as defined in the procurement policy. Management and those charged with governance are responsible for the design, implementation, and maintenance of internal control relevant to compliance with the established procurement policy. Cause: As discussed in finding #2022-001, the Organization continued to experience significant growth in activities and personnel, as well as turnover in key management and finance positions, which did not allow for consistent implementation of existing internal control over compliance with the established procurement policy. Effect: Although management was able to provide reasonable explanation for bypassing the required bid process in compliance with the procurement policy, records detailing the bypass were not included in the Organization’s files and represents a significant deficiency in internal control over compliance.   Recommendation: Management should communicate and provide training to the program and finance departments on the Organization’s procurement policy and the requirements of Uniform Guidance. Further, management should re-evaluate internal control over compliance to ensure proper review and approval of all procurements, including whether appropriate records justifying the bypass of the sealed bid process and the conclusion on allowable vendor selections are being maintained. Views of Responsible Officials and Planned Corrective Actions: Management concurs and has provided a Corrective Action Plan
Finding #2022-002 Significant Deficiency – Lack of Internal Control Over Compliance with Procurement Policy Assistance Listing Number #14.231 Condition: In order to test internal control over compliance and compliance related to procurement, we selected a representative sample of disbursements from all major program contracts. Of the 103 disbursements selected, supporting documentation for 12 items expended under 3 contracts did not contain records sufficient to detail the history and rationale for the method of procurement and the reason the required bid process was bypassed, as allowed by the procurement policy. In discussions with program staff and management, we concluded the Organization’s procurement policies were ultimately followed and no major program noncompliance or questioned costs were identified. In order to evaluate the scope of the identified deficiency in internal control over compliance with procurement requirements, we determined it necessary to expand our test organization-wide to include non-federal expenditures, noting no other issues. Criteria: Uniform Guidance requires all agencies develop a procurement policy ensuring compliance with Section 200.318 through 200.326. The Organization has established a procurement policy which requires sealed bids for contracts or procurements in excess of $250,000 and requires the maintenance of records sufficient to detail the history and rationale for the method of procurement, including in circumstances where the required bid process is bypassed for an allowable reason, as defined in the procurement policy. Management and those charged with governance are responsible for the design, implementation, and maintenance of internal control relevant to compliance with the established procurement policy. Cause: As discussed in finding #2022-001, the Organization continued to experience significant growth in activities and personnel, as well as turnover in key management and finance positions, which did not allow for consistent implementation of existing internal control over compliance with the established procurement policy. Effect: Although management was able to provide reasonable explanation for bypassing the required bid process in compliance with the procurement policy, records detailing the bypass were not included in the Organization’s files and represents a significant deficiency in internal control over compliance.   Recommendation: Management should communicate and provide training to the program and finance departments on the Organization’s procurement policy and the requirements of Uniform Guidance. Further, management should re-evaluate internal control over compliance to ensure proper review and approval of all procurements, including whether appropriate records justifying the bypass of the sealed bid process and the conclusion on allowable vendor selections are being maintained. Views of Responsible Officials and Planned Corrective Actions: Management concurs and has provided a Corrective Action Plan
Finding #2022-002 Significant Deficiency – Lack of Internal Control Over Compliance with Procurement Policy Assistance Listing Number #14.231 Condition: In order to test internal control over compliance and compliance related to procurement, we selected a representative sample of disbursements from all major program contracts. Of the 103 disbursements selected, supporting documentation for 12 items expended under 3 contracts did not contain records sufficient to detail the history and rationale for the method of procurement and the reason the required bid process was bypassed, as allowed by the procurement policy. In discussions with program staff and management, we concluded the Organization’s procurement policies were ultimately followed and no major program noncompliance or questioned costs were identified. In order to evaluate the scope of the identified deficiency in internal control over compliance with procurement requirements, we determined it necessary to expand our test organization-wide to include non-federal expenditures, noting no other issues. Criteria: Uniform Guidance requires all agencies develop a procurement policy ensuring compliance with Section 200.318 through 200.326. The Organization has established a procurement policy which requires sealed bids for contracts or procurements in excess of $250,000 and requires the maintenance of records sufficient to detail the history and rationale for the method of procurement, including in circumstances where the required bid process is bypassed for an allowable reason, as defined in the procurement policy. Management and those charged with governance are responsible for the design, implementation, and maintenance of internal control relevant to compliance with the established procurement policy. Cause: As discussed in finding #2022-001, the Organization continued to experience significant growth in activities and personnel, as well as turnover in key management and finance positions, which did not allow for consistent implementation of existing internal control over compliance with the established procurement policy. Effect: Although management was able to provide reasonable explanation for bypassing the required bid process in compliance with the procurement policy, records detailing the bypass were not included in the Organization’s files and represents a significant deficiency in internal control over compliance.   Recommendation: Management should communicate and provide training to the program and finance departments on the Organization’s procurement policy and the requirements of Uniform Guidance. Further, management should re-evaluate internal control over compliance to ensure proper review and approval of all procurements, including whether appropriate records justifying the bypass of the sealed bid process and the conclusion on allowable vendor selections are being maintained. Views of Responsible Officials and Planned Corrective Actions: Management concurs and has provided a Corrective Action Plan
Finding #2022-002 Significant Deficiency – Lack of Internal Control Over Compliance with Procurement Policy Assistance Listing Number #14.231 Condition: In order to test internal control over compliance and compliance related to procurement, we selected a representative sample of disbursements from all major program contracts. Of the 103 disbursements selected, supporting documentation for 12 items expended under 3 contracts did not contain records sufficient to detail the history and rationale for the method of procurement and the reason the required bid process was bypassed, as allowed by the procurement policy. In discussions with program staff and management, we concluded the Organization’s procurement policies were ultimately followed and no major program noncompliance or questioned costs were identified. In order to evaluate the scope of the identified deficiency in internal control over compliance with procurement requirements, we determined it necessary to expand our test organization-wide to include non-federal expenditures, noting no other issues. Criteria: Uniform Guidance requires all agencies develop a procurement policy ensuring compliance with Section 200.318 through 200.326. The Organization has established a procurement policy which requires sealed bids for contracts or procurements in excess of $250,000 and requires the maintenance of records sufficient to detail the history and rationale for the method of procurement, including in circumstances where the required bid process is bypassed for an allowable reason, as defined in the procurement policy. Management and those charged with governance are responsible for the design, implementation, and maintenance of internal control relevant to compliance with the established procurement policy. Cause: As discussed in finding #2022-001, the Organization continued to experience significant growth in activities and personnel, as well as turnover in key management and finance positions, which did not allow for consistent implementation of existing internal control over compliance with the established procurement policy. Effect: Although management was able to provide reasonable explanation for bypassing the required bid process in compliance with the procurement policy, records detailing the bypass were not included in the Organization’s files and represents a significant deficiency in internal control over compliance.   Recommendation: Management should communicate and provide training to the program and finance departments on the Organization’s procurement policy and the requirements of Uniform Guidance. Further, management should re-evaluate internal control over compliance to ensure proper review and approval of all procurements, including whether appropriate records justifying the bypass of the sealed bid process and the conclusion on allowable vendor selections are being maintained. Views of Responsible Officials and Planned Corrective Actions: Management concurs and has provided a Corrective Action Plan