Audit 319367

FY End
2023-06-30
Total Expended
$867,154
Findings
8
Programs
3
Organization: Del Norte Child Care Council (CA)
Year: 2023 Accepted: 2024-09-11

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
496442 2023-001 Material Weakness Yes BL
496443 2023-001 Material Weakness Yes BL
496444 2023-002 Significant Deficiency Yes L
496445 2023-002 Significant Deficiency Yes L
1072884 2023-001 Material Weakness Yes BL
1072885 2023-001 Material Weakness Yes BL
1072886 2023-002 Significant Deficiency Yes L
1072887 2023-002 Significant Deficiency Yes L

Programs

ALN Program Spent Major Findings
93.596 Child Care Mandatory and Matching Funds of the Child Care and Development Fund $515,583 Yes 2
93.575 Child Care and Development Block Grant $287,939 Yes 2
10.558 Child and Adult Care Food Program $63,632 - 0

Contacts

Name Title Type
N9R5YSBDZJN8 Mike Michelon Auditee
7074648311 Rob West Auditor
No contacts on file

Notes to SEFA

Accounting Policies: Note 1 – Reporting Entity The accompanying Schedule of Expenditures of Federal Awards presents the activity of all federal awards programs of the Del Norte Child Care Council. The Council reporting entity is defined in Note 1 to the Council's basic financial statements. All Federal awards received from federal agencies as well as federal awards passed through other government agencies are included in the schedule. Note 2 – Basis of Accounting The accompanying Schedule of Expenditures of Federal Awards ("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). Therefore, some amounts presented in the schedule may differ from amounts presented in, or used in, the preparation of the Council's basic financial statements. 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. Note 3 – Schedule of Expenditures of Federal Awards The accompanying Schedule presents the activity of all federal financial assistance programs of the Council. Federal financial assistance received directly from federal agencies as well as federal financial assistance passed through the State of California, County of Del Norte, First Five of Del Norte County is included in the Schedule. The Schedule was prepared from only the accounts of various grant programs and, therefore, does not present the financial position, change in fund balance, or results of operations of the Council. De Minimis Rate Used: N Rate Explanation: Del Norte Child Care Council has not elected to use the 10 percent de minimis indirect cost rate as allowed under the Uniform Guidance.

Finding Details

Finding 2023-01 – Material Weakness in Internal Control over Compliance with Allowable Costs and Reporting - Child Care and Development Block Grant- Assistance Listing #93.575, Child Care Mandatory and Matching Funds of the Child Care Development Fund - Assistance Listing #93.596 Criteria or Specified Requirement Accounting staff submit periodic reimbursement requests to the California Department of Social Services for expenses reimbursable under the Council’s federal Child Care Development Fund contract. Costs are recognized as the liability is incurred consistent with Generally Accepted Accounting Principles. Management uses two pool funds to allocate central office costs to its various funds, activities and projects. Payroll and related expenses are allocated based on direct hours, and facilities expenses are allocated based on square footage. Condition Found In review of the allocation from the two pool funds, it was noted that allocation ratios had not been updated from the prior year amounts despite the program mix changing. As such, the other funds, activities and projects are charged more than their share of those costs. A review of the year end accounts for accrued payroll and payroll taxes showed stale balances that had not been reconciled to actual accrued costs. Cause Management indicated that the loss of the Executive Director during the year placed too much pressure on the finance department to give them the time to undertake a new indirect calculation and to adequately review and tie out balance sheet accounts. Effect Some grant funds or projects receive excess pool allocations and costs that cannot be traced to actual expenses. Questioned Costs Monthly allocations are made within the accounting software but the hour and square footage totals and year end balance sheet accruals are not documented; consequently, there is no way to recompute the allocation to include all funds, activities and projects used by the Organization. Since audit procedures were performed to vouch cutoff, accruals, reclassifications, and allowable costs eligible for reimbursement as of June 30, 2023, there are no questioned costs. Recommendation We recommend that the indirect cost allocation be updated at least annually to include all funds, activities and projects so that each shares in the pool cost. After consultation regarding possible remedies to the condition, the Council engaged an outside accounting firm to provide financial oversight. We recommend that the Council continue that relationship, or a similar relationship until such time as they can develop sufficient capability among staff to meet the requirements for oversight.
Finding 2023-01 – Material Weakness in Internal Control over Compliance with Allowable Costs and Reporting - Child Care and Development Block Grant- Assistance Listing #93.575, Child Care Mandatory and Matching Funds of the Child Care Development Fund - Assistance Listing #93.596 Criteria or Specified Requirement Accounting staff submit periodic reimbursement requests to the California Department of Social Services for expenses reimbursable under the Council’s federal Child Care Development Fund contract. Costs are recognized as the liability is incurred consistent with Generally Accepted Accounting Principles. Management uses two pool funds to allocate central office costs to its various funds, activities and projects. Payroll and related expenses are allocated based on direct hours, and facilities expenses are allocated based on square footage. Condition Found In review of the allocation from the two pool funds, it was noted that allocation ratios had not been updated from the prior year amounts despite the program mix changing. As such, the other funds, activities and projects are charged more than their share of those costs. A review of the year end accounts for accrued payroll and payroll taxes showed stale balances that had not been reconciled to actual accrued costs. Cause Management indicated that the loss of the Executive Director during the year placed too much pressure on the finance department to give them the time to undertake a new indirect calculation and to adequately review and tie out balance sheet accounts. Effect Some grant funds or projects receive excess pool allocations and costs that cannot be traced to actual expenses. Questioned Costs Monthly allocations are made within the accounting software but the hour and square footage totals and year end balance sheet accruals are not documented; consequently, there is no way to recompute the allocation to include all funds, activities and projects used by the Organization. Since audit procedures were performed to vouch cutoff, accruals, reclassifications, and allowable costs eligible for reimbursement as of June 30, 2023, there are no questioned costs. Recommendation We recommend that the indirect cost allocation be updated at least annually to include all funds, activities and projects so that each shares in the pool cost. After consultation regarding possible remedies to the condition, the Council engaged an outside accounting firm to provide financial oversight. We recommend that the Council continue that relationship, or a similar relationship until such time as they can develop sufficient capability among staff to meet the requirements for oversight.
Finding 2023-02 - Significant Deficiency in Internal Control over Compliance with Reporting - Child Care and Development Block Grant- Assistance Listing #93.575, Child Care Mandatory and Matching Funds of the Child Care Development Fund - Assistance Listing #93.596 Criteria or Specified Requirement Title 2 CFR Section 200.512(a) requires, the auditee must submit the data collection form described in paragraph (b) of 2 CFR Section 200.512 and the reporting package described in paragraph (c) of that section 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. The required data elements described in Appendix X to Part 200, state whether the audit was completed in accordance with this part and provide information about the auditee, its Federal programs, and the results of the audit. The data must include information available from the audit that is necessary for Federal agencies to use the audit to ensure integrity for Federal programs. Condition Found The Council failed to meet the statutory deadline for filing its Single Audit with the Federal Clearinghouse. Cause Due to changes in staffing during the execution period of the 2021-2023 audit, the Council lacked management staff with the experience and first hand knowledge of the transaction for that period to be able to take responsibility for the audit. As a result, it was necessary to engage an outside accounting firm to complete the year end in order to be able to complete the audit and to take responsibility for the financial statements. This process extended beyond the statutory deadline for the submission of the Data Collection Forms to the Federal Clearinghouse. Effect The Council was out of compliance with 2 CFR 200,512(a). Questioned Costs Monthly allocations are made within the accounting software but the hour and transaction totals are not documented; consequently, there is no way to recompute the allocation to include all funds, activities and projects used by the Organization. However, it is believed that the differences would not be material to any individual award. Recommendation After consultation regarding possible remedies to the condition, the Council engaged an outside accounting firm to provide financial oversight. We recommend that the Council continue that relationship, or a similar relationship until such time as they can develop sufficient capability among staff to meet the requirements for oversight.
Finding 2023-02 - Significant Deficiency in Internal Control over Compliance with Reporting - Child Care and Development Block Grant- Assistance Listing #93.575, Child Care Mandatory and Matching Funds of the Child Care Development Fund - Assistance Listing #93.596 Criteria or Specified Requirement Title 2 CFR Section 200.512(a) requires, the auditee must submit the data collection form described in paragraph (b) of 2 CFR Section 200.512 and the reporting package described in paragraph (c) of that section 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. The required data elements described in Appendix X to Part 200, state whether the audit was completed in accordance with this part and provide information about the auditee, its Federal programs, and the results of the audit. The data must include information available from the audit that is necessary for Federal agencies to use the audit to ensure integrity for Federal programs. Condition Found The Council failed to meet the statutory deadline for filing its Single Audit with the Federal Clearinghouse. Cause Due to changes in staffing during the execution period of the 2021-2023 audit, the Council lacked management staff with the experience and first hand knowledge of the transaction for that period to be able to take responsibility for the audit. As a result, it was necessary to engage an outside accounting firm to complete the year end in order to be able to complete the audit and to take responsibility for the financial statements. This process extended beyond the statutory deadline for the submission of the Data Collection Forms to the Federal Clearinghouse. Effect The Council was out of compliance with 2 CFR 200,512(a). Questioned Costs Monthly allocations are made within the accounting software but the hour and transaction totals are not documented; consequently, there is no way to recompute the allocation to include all funds, activities and projects used by the Organization. However, it is believed that the differences would not be material to any individual award. Recommendation After consultation regarding possible remedies to the condition, the Council engaged an outside accounting firm to provide financial oversight. We recommend that the Council continue that relationship, or a similar relationship until such time as they can develop sufficient capability among staff to meet the requirements for oversight.
Finding 2023-01 – Material Weakness in Internal Control over Compliance with Allowable Costs and Reporting - Child Care and Development Block Grant- Assistance Listing #93.575, Child Care Mandatory and Matching Funds of the Child Care Development Fund - Assistance Listing #93.596 Criteria or Specified Requirement Accounting staff submit periodic reimbursement requests to the California Department of Social Services for expenses reimbursable under the Council’s federal Child Care Development Fund contract. Costs are recognized as the liability is incurred consistent with Generally Accepted Accounting Principles. Management uses two pool funds to allocate central office costs to its various funds, activities and projects. Payroll and related expenses are allocated based on direct hours, and facilities expenses are allocated based on square footage. Condition Found In review of the allocation from the two pool funds, it was noted that allocation ratios had not been updated from the prior year amounts despite the program mix changing. As such, the other funds, activities and projects are charged more than their share of those costs. A review of the year end accounts for accrued payroll and payroll taxes showed stale balances that had not been reconciled to actual accrued costs. Cause Management indicated that the loss of the Executive Director during the year placed too much pressure on the finance department to give them the time to undertake a new indirect calculation and to adequately review and tie out balance sheet accounts. Effect Some grant funds or projects receive excess pool allocations and costs that cannot be traced to actual expenses. Questioned Costs Monthly allocations are made within the accounting software but the hour and square footage totals and year end balance sheet accruals are not documented; consequently, there is no way to recompute the allocation to include all funds, activities and projects used by the Organization. Since audit procedures were performed to vouch cutoff, accruals, reclassifications, and allowable costs eligible for reimbursement as of June 30, 2023, there are no questioned costs. Recommendation We recommend that the indirect cost allocation be updated at least annually to include all funds, activities and projects so that each shares in the pool cost. After consultation regarding possible remedies to the condition, the Council engaged an outside accounting firm to provide financial oversight. We recommend that the Council continue that relationship, or a similar relationship until such time as they can develop sufficient capability among staff to meet the requirements for oversight.
Finding 2023-01 – Material Weakness in Internal Control over Compliance with Allowable Costs and Reporting - Child Care and Development Block Grant- Assistance Listing #93.575, Child Care Mandatory and Matching Funds of the Child Care Development Fund - Assistance Listing #93.596 Criteria or Specified Requirement Accounting staff submit periodic reimbursement requests to the California Department of Social Services for expenses reimbursable under the Council’s federal Child Care Development Fund contract. Costs are recognized as the liability is incurred consistent with Generally Accepted Accounting Principles. Management uses two pool funds to allocate central office costs to its various funds, activities and projects. Payroll and related expenses are allocated based on direct hours, and facilities expenses are allocated based on square footage. Condition Found In review of the allocation from the two pool funds, it was noted that allocation ratios had not been updated from the prior year amounts despite the program mix changing. As such, the other funds, activities and projects are charged more than their share of those costs. A review of the year end accounts for accrued payroll and payroll taxes showed stale balances that had not been reconciled to actual accrued costs. Cause Management indicated that the loss of the Executive Director during the year placed too much pressure on the finance department to give them the time to undertake a new indirect calculation and to adequately review and tie out balance sheet accounts. Effect Some grant funds or projects receive excess pool allocations and costs that cannot be traced to actual expenses. Questioned Costs Monthly allocations are made within the accounting software but the hour and square footage totals and year end balance sheet accruals are not documented; consequently, there is no way to recompute the allocation to include all funds, activities and projects used by the Organization. Since audit procedures were performed to vouch cutoff, accruals, reclassifications, and allowable costs eligible for reimbursement as of June 30, 2023, there are no questioned costs. Recommendation We recommend that the indirect cost allocation be updated at least annually to include all funds, activities and projects so that each shares in the pool cost. After consultation regarding possible remedies to the condition, the Council engaged an outside accounting firm to provide financial oversight. We recommend that the Council continue that relationship, or a similar relationship until such time as they can develop sufficient capability among staff to meet the requirements for oversight.
Finding 2023-02 - Significant Deficiency in Internal Control over Compliance with Reporting - Child Care and Development Block Grant- Assistance Listing #93.575, Child Care Mandatory and Matching Funds of the Child Care Development Fund - Assistance Listing #93.596 Criteria or Specified Requirement Title 2 CFR Section 200.512(a) requires, the auditee must submit the data collection form described in paragraph (b) of 2 CFR Section 200.512 and the reporting package described in paragraph (c) of that section 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. The required data elements described in Appendix X to Part 200, state whether the audit was completed in accordance with this part and provide information about the auditee, its Federal programs, and the results of the audit. The data must include information available from the audit that is necessary for Federal agencies to use the audit to ensure integrity for Federal programs. Condition Found The Council failed to meet the statutory deadline for filing its Single Audit with the Federal Clearinghouse. Cause Due to changes in staffing during the execution period of the 2021-2023 audit, the Council lacked management staff with the experience and first hand knowledge of the transaction for that period to be able to take responsibility for the audit. As a result, it was necessary to engage an outside accounting firm to complete the year end in order to be able to complete the audit and to take responsibility for the financial statements. This process extended beyond the statutory deadline for the submission of the Data Collection Forms to the Federal Clearinghouse. Effect The Council was out of compliance with 2 CFR 200,512(a). Questioned Costs Monthly allocations are made within the accounting software but the hour and transaction totals are not documented; consequently, there is no way to recompute the allocation to include all funds, activities and projects used by the Organization. However, it is believed that the differences would not be material to any individual award. Recommendation After consultation regarding possible remedies to the condition, the Council engaged an outside accounting firm to provide financial oversight. We recommend that the Council continue that relationship, or a similar relationship until such time as they can develop sufficient capability among staff to meet the requirements for oversight.
Finding 2023-02 - Significant Deficiency in Internal Control over Compliance with Reporting - Child Care and Development Block Grant- Assistance Listing #93.575, Child Care Mandatory and Matching Funds of the Child Care Development Fund - Assistance Listing #93.596 Criteria or Specified Requirement Title 2 CFR Section 200.512(a) requires, the auditee must submit the data collection form described in paragraph (b) of 2 CFR Section 200.512 and the reporting package described in paragraph (c) of that section 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. The required data elements described in Appendix X to Part 200, state whether the audit was completed in accordance with this part and provide information about the auditee, its Federal programs, and the results of the audit. The data must include information available from the audit that is necessary for Federal agencies to use the audit to ensure integrity for Federal programs. Condition Found The Council failed to meet the statutory deadline for filing its Single Audit with the Federal Clearinghouse. Cause Due to changes in staffing during the execution period of the 2021-2023 audit, the Council lacked management staff with the experience and first hand knowledge of the transaction for that period to be able to take responsibility for the audit. As a result, it was necessary to engage an outside accounting firm to complete the year end in order to be able to complete the audit and to take responsibility for the financial statements. This process extended beyond the statutory deadline for the submission of the Data Collection Forms to the Federal Clearinghouse. Effect The Council was out of compliance with 2 CFR 200,512(a). Questioned Costs Monthly allocations are made within the accounting software but the hour and transaction totals are not documented; consequently, there is no way to recompute the allocation to include all funds, activities and projects used by the Organization. However, it is believed that the differences would not be material to any individual award. Recommendation After consultation regarding possible remedies to the condition, the Council engaged an outside accounting firm to provide financial oversight. We recommend that the Council continue that relationship, or a similar relationship until such time as they can develop sufficient capability among staff to meet the requirements for oversight.