Audit 318709

FY End
2023-06-30
Total Expended
$12.47M
Findings
6
Programs
4
Year: 2023 Accepted: 2024-09-06

Organization Exclusion Status:

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Findings

ID Ref Severity Repeat Requirement
486017 2023-004 Significant Deficiency Yes E
486018 2023-001 Significant Deficiency Yes L
486019 2023-003 Significant Deficiency Yes L
1062459 2023-004 Significant Deficiency Yes E
1062460 2023-001 Significant Deficiency Yes L
1062461 2023-003 Significant Deficiency Yes L

Programs

ALN Program Spent Major Findings
14.871 Section 8 Housing Choice Vouchers $10.68M Yes 2
14.850 Public and Indian Housing $1.34M Yes 1
14.872 Public Housing Capital Fund $387,159 - 0
14.870 Resident Opportunity and Supportive Services - Service Coordinators $58,459 - 0

Contacts

Name Title Type
MEDDHMNG51B5 Angela Childers Auditee
8436280728 Roy W. Henderson, Jr. Auditor
No contacts on file

Notes to SEFA

Title: Note 1 – Basis of Presentation Accounting Policies: see Form page De Minimis Rate Used: Y Rate Explanation: Auditee did use the de minimis cost rate. The accompanying schedule of expenditures of federal awards (the "Schedule") includes the federal award activity of the Authority under programs of the federal government for the year ended June 30, 2023. 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 the Authority, it is not intended to and does not present the financial position, changes in net position, or cash flows of the Authority.
Title: Note 2 – Summary of Significant Accounting Policies Accounting Policies: see Form page De Minimis Rate Used: Y Rate Explanation: Auditee did use the de minimis cost rate. 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. Negative amounts shown on the Schedule represent adjustments or credits made in the normal course of business to amounts reported as expenditures in prior years. The Authority has elected to use the 10-percent de minimis indirect cost rate as allowed under the Uniform Guidance.

Finding Details

2023-004 ALN 14.850 – Public & Indian Housing – Eligibility Condition and Criteria: In accordance with HUD eligibility requirements set forth in 24 CFR § 5, subpart F and § 960.259, the Authority is required to obtain the necessary information, documentation, and releases for the Authority to verify income eligibility. The Authority is also required to obtain and document third party verification of annual income, the value of assets, expenses related to deductions, and other factors that affect the determination of adjusted income or income-based rent, and then properly calculate the tenant's rent payment using this documentation. It is then required to accurately complete the tenant's form HUD-50058 report at least every 12 months and maintain these reports in the tenant files. During our audit, it was determined that significant deficiencies in internal controls existed over the Authority’s Low Rent Public Housing program process of maintaining required documentation in tenant files per HUD regulatory requirements. The Authority’s personnel responsible for eligibility determination procedures were not properly filing annual and interim recertification's form HUD-50058 in tenant files. Amount of Questioned Costs: None. Context: Within the 25 tenant files selected and tested for compliance with laws and regulations, 2 of these tenant files were unable to be located by the Authority. Therefore, we were unable to perform eligibility testing on these 2 tenant files. Additionally, 2 of the tenant files tested used the incorrect utility allowance and 3 of the tenant files tested did not have adequate 3rd party support for income or miscalculated tenant income. Cause: The Authority did not have adequate internal controls in place over monitoring required documentation in tenant files and the retention of annual and interim re-certifications for Low Rent Public Housing tenants. Effect: The Authority is not in compliance with HUD requirements over documentation in tenant files. The Authority potentially could be improperly performing annual and interim reexaminations. This could cause some of the tenants to pay an incorrect rent amount in accordance with HUD eligibility rules and regulations. Auditor’s Recommendation: We recommend that the Authority review documentation requirements regarding tenant files. We recommend the Authority implement adequate processes and procedures to ensure all required tenant files documentation per 24 CFR § 5, subpart F and § 960.259 is maintained. The Authority should also begin performing quality control procedures including internal audits of tenant files to ensure that these files are accurate and complete. Grantee Response: The Chief Executive Officer agrees with the finding and will follow the Auditor's recommendations.
2023-001 ALN 14.871 – Housing Voucher Cluster – Reporting Condition and Criteria: As part of our Single Audit testing of Housing Choice Vouchers Program Reporting, we tested the monthly Data Collection Reporting within the Voucher Management System (VMS) online within HUD’s Real Estate Assessment Center (REAC) website. Testing revolved around the accuracy and completeness of reporting within the Total Vouchers, HAP Total, Unrestricted Net Position (UNP) as of the Last Day of the Month, and Restricted Net Position (RNP) as of the Last Day of the Month Data Collection Report lines for the entire fiscal year ended June 30, 2023. Amounts reported on these lines were tested against the Authority’s financial reports including the general ledger reports and Unaudited Financial Data Schedule (FDS). During our audit, it was determined that noncompliance in internal controls existed over the Authority's Housing Voucher Cluster VMS reporting process containing materially correct information and being compliant with HUD financial reporting requirements. The Authority must adequately prepare the VMS Data Collection Report on a monthly basis to reflect the month's vouchers, HAP totals, net position balances, and other housing choice voucher specific attributes. The Authority must properly prepare this and retain corresponding documentation for the calculation of the data reported. Amount of Questioned Costs: None. Context: During testing, we identified a variance in the Data Collection Report line for UNP and RNP when compared against the general ledger reports and Unaudited FDS. The Authority's did not have adequate backup for amounts reported on the VMS such as the 2 Year-Tool that the Housing Authority has access to from HUD. Therefore, amounts reported on the current year VMS were misstated. Cause: The Authority's VMS reconciliation process used to determine the amounts to be reported on the VMS did not adequately reflect UNP and RNP. Effect: Amounts reported in the Data Collection Reports in VMS were misstated, which may have an impact on the Authority's monthly Housing Choice Vouchers program funding. Auditor’s Recommendation: We recommend that current management at the Authority compare the General Ledger, internally prepared reconciliation, and VMS report monthly to ensure all amounts are correctly reported and reflected. We also recommend the Authority implement internal control procedures that will adequately meet all of the Authority's reporting requirements. Grantee Response: The Chief Executive Officer agrees with the finding and will follow the Auditor's recommendations.
2023-003 ALN 14.871 – Housing Voucher Cluster – Reporting Condition and Criteria: The Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards at 2 CFR 200 (Uniform Guidance) requires the Data Collection Form to be submitted within the earlier of 30 calendar days after receipt of the auditor's report(s), or nine months after the end of the audit period. Additionally, a nonfederal entity that expends $750,000 or more during the nonfederal entity's fiscal year in Federal awards must have a single or program specific audit conducted that year in accordance with the provisions of the Uniform Grant Guidance, Part 200, "Uniform Administrative Requirements, Cost Principles and Audit Requirements for Federal Awards, Subpart F, Audit Requirements". The federal single audit must be completed and the data collection form and the reporting package (as defined in the Uniform Grant Guidance), be submitted within 30 days after receipt of the auditors' report or nine months after year end, whichever comes earlier. Pursuant to the reporting requirements of 24 CFR, Part 5, Subpart H, entities receiving HUD financial assistance, must electronically submit audited financial and other information to the Real Estate Assessment Center ("REAC") no later than nine months after the Housing Authority's fiscal year end. Amount of Questioned Costs: None. Context: The fiscal year 2023 audit was not filed within nine months of fiscal year end due to prior management not completing their audit in a timely manner. Cause: Prior management's process for completing the audit was not adequate in filing the audit in a timely manner. Effect: The Housing Authority is not considered a low-risk auditee for fiscal year 2024 and must meet the 40% coverage rule for testing federal expenditures under the Uniform Guidance requirements. Auditor’s Recommendation: We recommend that the new management submit the annual financial statement audit and single audit, as applicable, in a timely manner and to ensure that the Data Collection Form is filed by the due date required in the Uniform Guidance Grantee Response: The Chief Executive Officer agrees with the finding and will follow the Auditor's recommendations.
2023-004 ALN 14.850 – Public & Indian Housing – Eligibility Condition and Criteria: In accordance with HUD eligibility requirements set forth in 24 CFR § 5, subpart F and § 960.259, the Authority is required to obtain the necessary information, documentation, and releases for the Authority to verify income eligibility. The Authority is also required to obtain and document third party verification of annual income, the value of assets, expenses related to deductions, and other factors that affect the determination of adjusted income or income-based rent, and then properly calculate the tenant's rent payment using this documentation. It is then required to accurately complete the tenant's form HUD-50058 report at least every 12 months and maintain these reports in the tenant files. During our audit, it was determined that significant deficiencies in internal controls existed over the Authority’s Low Rent Public Housing program process of maintaining required documentation in tenant files per HUD regulatory requirements. The Authority’s personnel responsible for eligibility determination procedures were not properly filing annual and interim recertification's form HUD-50058 in tenant files. Amount of Questioned Costs: None. Context: Within the 25 tenant files selected and tested for compliance with laws and regulations, 2 of these tenant files were unable to be located by the Authority. Therefore, we were unable to perform eligibility testing on these 2 tenant files. Additionally, 2 of the tenant files tested used the incorrect utility allowance and 3 of the tenant files tested did not have adequate 3rd party support for income or miscalculated tenant income. Cause: The Authority did not have adequate internal controls in place over monitoring required documentation in tenant files and the retention of annual and interim re-certifications for Low Rent Public Housing tenants. Effect: The Authority is not in compliance with HUD requirements over documentation in tenant files. The Authority potentially could be improperly performing annual and interim reexaminations. This could cause some of the tenants to pay an incorrect rent amount in accordance with HUD eligibility rules and regulations. Auditor’s Recommendation: We recommend that the Authority review documentation requirements regarding tenant files. We recommend the Authority implement adequate processes and procedures to ensure all required tenant files documentation per 24 CFR § 5, subpart F and § 960.259 is maintained. The Authority should also begin performing quality control procedures including internal audits of tenant files to ensure that these files are accurate and complete. Grantee Response: The Chief Executive Officer agrees with the finding and will follow the Auditor's recommendations.
2023-001 ALN 14.871 – Housing Voucher Cluster – Reporting Condition and Criteria: As part of our Single Audit testing of Housing Choice Vouchers Program Reporting, we tested the monthly Data Collection Reporting within the Voucher Management System (VMS) online within HUD’s Real Estate Assessment Center (REAC) website. Testing revolved around the accuracy and completeness of reporting within the Total Vouchers, HAP Total, Unrestricted Net Position (UNP) as of the Last Day of the Month, and Restricted Net Position (RNP) as of the Last Day of the Month Data Collection Report lines for the entire fiscal year ended June 30, 2023. Amounts reported on these lines were tested against the Authority’s financial reports including the general ledger reports and Unaudited Financial Data Schedule (FDS). During our audit, it was determined that noncompliance in internal controls existed over the Authority's Housing Voucher Cluster VMS reporting process containing materially correct information and being compliant with HUD financial reporting requirements. The Authority must adequately prepare the VMS Data Collection Report on a monthly basis to reflect the month's vouchers, HAP totals, net position balances, and other housing choice voucher specific attributes. The Authority must properly prepare this and retain corresponding documentation for the calculation of the data reported. Amount of Questioned Costs: None. Context: During testing, we identified a variance in the Data Collection Report line for UNP and RNP when compared against the general ledger reports and Unaudited FDS. The Authority's did not have adequate backup for amounts reported on the VMS such as the 2 Year-Tool that the Housing Authority has access to from HUD. Therefore, amounts reported on the current year VMS were misstated. Cause: The Authority's VMS reconciliation process used to determine the amounts to be reported on the VMS did not adequately reflect UNP and RNP. Effect: Amounts reported in the Data Collection Reports in VMS were misstated, which may have an impact on the Authority's monthly Housing Choice Vouchers program funding. Auditor’s Recommendation: We recommend that current management at the Authority compare the General Ledger, internally prepared reconciliation, and VMS report monthly to ensure all amounts are correctly reported and reflected. We also recommend the Authority implement internal control procedures that will adequately meet all of the Authority's reporting requirements. Grantee Response: The Chief Executive Officer agrees with the finding and will follow the Auditor's recommendations.
2023-003 ALN 14.871 – Housing Voucher Cluster – Reporting Condition and Criteria: The Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards at 2 CFR 200 (Uniform Guidance) requires the Data Collection Form to be submitted within the earlier of 30 calendar days after receipt of the auditor's report(s), or nine months after the end of the audit period. Additionally, a nonfederal entity that expends $750,000 or more during the nonfederal entity's fiscal year in Federal awards must have a single or program specific audit conducted that year in accordance with the provisions of the Uniform Grant Guidance, Part 200, "Uniform Administrative Requirements, Cost Principles and Audit Requirements for Federal Awards, Subpart F, Audit Requirements". The federal single audit must be completed and the data collection form and the reporting package (as defined in the Uniform Grant Guidance), be submitted within 30 days after receipt of the auditors' report or nine months after year end, whichever comes earlier. Pursuant to the reporting requirements of 24 CFR, Part 5, Subpart H, entities receiving HUD financial assistance, must electronically submit audited financial and other information to the Real Estate Assessment Center ("REAC") no later than nine months after the Housing Authority's fiscal year end. Amount of Questioned Costs: None. Context: The fiscal year 2023 audit was not filed within nine months of fiscal year end due to prior management not completing their audit in a timely manner. Cause: Prior management's process for completing the audit was not adequate in filing the audit in a timely manner. Effect: The Housing Authority is not considered a low-risk auditee for fiscal year 2024 and must meet the 40% coverage rule for testing federal expenditures under the Uniform Guidance requirements. Auditor’s Recommendation: We recommend that the new management submit the annual financial statement audit and single audit, as applicable, in a timely manner and to ensure that the Data Collection Form is filed by the due date required in the Uniform Guidance Grantee Response: The Chief Executive Officer agrees with the finding and will follow the Auditor's recommendations.