Audit 32122

FY End
2022-06-30
Total Expended
$8.59M
Findings
44
Programs
33
Year: 2022 Accepted: 2022-12-13

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
34463 2022-006 Significant Deficiency Yes E
34464 2022-007 Material Weakness - B
34465 2022-006 Significant Deficiency Yes E
34466 2022-007 Material Weakness - B
34467 2022-006 Significant Deficiency Yes E
34468 2022-007 Material Weakness - B
34469 2022-006 Significant Deficiency Yes E
34470 2022-007 Material Weakness - B
34471 2022-006 Significant Deficiency Yes E
34472 2022-007 Material Weakness - B
34473 2022-006 Significant Deficiency Yes E
34474 2022-007 Material Weakness - B
34475 2022-006 Significant Deficiency Yes E
34476 2022-007 Material Weakness - B
34477 2022-006 Significant Deficiency Yes E
34478 2022-007 Material Weakness - B
34479 2022-006 Significant Deficiency Yes E
34480 2022-007 Material Weakness - B
34481 2022-006 Significant Deficiency Yes E
34482 2022-007 Material Weakness - B
34483 2022-006 Significant Deficiency Yes E
34484 2022-007 Material Weakness - B
610905 2022-006 Significant Deficiency Yes E
610906 2022-007 Material Weakness - B
610907 2022-006 Significant Deficiency Yes E
610908 2022-007 Material Weakness - B
610909 2022-006 Significant Deficiency Yes E
610910 2022-007 Material Weakness - B
610911 2022-006 Significant Deficiency Yes E
610912 2022-007 Material Weakness - B
610913 2022-006 Significant Deficiency Yes E
610914 2022-007 Material Weakness - B
610915 2022-006 Significant Deficiency Yes E
610916 2022-007 Material Weakness - B
610917 2022-006 Significant Deficiency Yes E
610918 2022-007 Material Weakness - B
610919 2022-006 Significant Deficiency Yes E
610920 2022-007 Material Weakness - B
610921 2022-006 Significant Deficiency Yes E
610922 2022-007 Material Weakness - B
610923 2022-006 Significant Deficiency Yes E
610924 2022-007 Material Weakness - B
610925 2022-006 Significant Deficiency Yes E
610926 2022-007 Material Weakness - B

Programs

ALN Program Spent Major Findings
84.425 K-12 Emergency Relief Fund - Esser II $2.53M Yes 2
84.425 Esser III- K-12 Emergency Relief Fund $1.68M Yes 2
84.010 Title I, Grants to Local Educational Agencies $1.37M - 0
10.555 Seamless Summer Program $1.08M - 0
21.027 Coronavirus State and Local Fiscal Recovery Funds $392,521 Yes 0
84.027 Grants to States-Idea, Part B (611) $365,479 - 0
84.367 Supporting Effective Instruction $282,706 - 0
10.555 National School Lunch Program (commodities) $98,716 - 0
84.011 Migrant Education (title I of Iasa) $95,414 - 0
84.425 K-12 Emergency Relief Fund -Esser I $86,350 Yes 2
93.600 Head Start $84,000 - 0
84.425 Esser III - Teacher Bonuses $78,049 Yes 2
84.027 Arp-Grants to States-Idea, Part B (611) $61,855 - 0
84.425 Geer I - Specialized Instructional Support Personnel for Covid-19 Response $60,868 Yes 2
12.000 Rotc $58,445 - 0
84.048 Career and Technical Education -- Basic Grants to States Program Development $35,403 - 0
10.555 Supply Chain Assistance Funds $30,815 - 0
10.559 Summer Food Service Program for Children $25,112 - 0
84.173 Preschool Grants - Idea, Part B (619) $24,701 - 0
10.582 Fresh Fruit and Vegetable Grant $21,707 - 0
84.425 Esser II - Learning Loss Funding $21,656 Yes 2
93.235 Abstinence Education $20,037 - 0
84.358 Rural and Low Income Schools $19,848 - 0
84.425 Esser II - Summer Career Accel. Program $14,734 Yes 2
84.425 Esser II - School Nutrition Covid Support $9,796 Yes 2
84.027 Special Needs Targeted Assistance $8,152 - 0
84.027 Coordinated Early Intervening Services $6,988 - 0
84.425 Esser II - Competency-Based Assessment $6,360 Yes 2
84.425 Esser I - Exceptional Children Grants $5,660 Yes 2
84.173 Preschool Targeted Assistance $4,515 - 0
84.424 Student Support and Academic Enrichment Program $2,703 - 0
93.243 School Mental Health Support-Aware/activate $1,447 - 0
84.425 Esser III - Homeless II $721 Yes 2

Contacts

Name Title Type
SL4SEKUJMSP8 Dr. Rosa Atkins Auditee
2525341371 Dale Smith, CPA Auditor
No contacts on file

Notes to SEFA

Title: Basis of Presentation Accounting Policies: Expenditures reported in the SEFSA are reported on the modified accrual basis of accounting. Such expenditures are recognized following the cost principles contained in the Uniform Guidance, where in certain types of expenditures are not allowable or are limited as to reimbursement. De Minimis Rate Used: N Rate Explanation: The auditee did not use the de minimis cost rate. The accompanying schedule of expenditures of federal and State awards (SEFSA) includes the federal and State grant activity of Northampton County Board of Education under the programs of the federal government and the State of North Carolina for the year ended June 30, 2022. The information in this SEFSA is presented in accordance with the requirements of Title 2 U.S. Code of Federal Regulations (CFR) Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards and the State Single Audit Implementation Act. Because the Schedule presents only a selected portion of the operations of Northampton County Board of Education, it is not intended to and does not present the financial position, changes in net assets or cash flows of Northampton County Board of Education.

Finding Details

Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.
Finding 22-06 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 - Education Stabilization Fund CFDA #: 84.425 SIGNIFICANT DEFICIENCY Eligibility Criteria: For programs funded under ESSER I and GEER I (CFDA 84.425C and D), an LEA that receives funds under one or both of those programs must provide equitable services in the same manner as provided under section 1117 of Title I, Part A of the ESEA (CFDA 84.010) to students and teachers in private schools as determined in consultation with private school officials. Condition: Management did not have documentation on file to support that timely and meaningful consultation with Severn Mennonite School officials took place to make them aware of their right to receive ESSER I and GEER I services. Management indicated that the school was in fact Contacted, but the supporting documentation was misplaced. Management stated that Severn Mennonite School did not respond to the request for consultation regarding ESSER I and GEER I services, as has been the case in recent years with the Board?s solicitation of the School for Title I services. Effect: The Board is not in compliance with the aforementioned criteria. Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: None. Identification of a repeat finding: This is a repeat finding from the immediate previous audit, Finding 21-05. Recommendation:We recommend that controls and procedures be put in place to ensure that consultation with private school officials takes place in a timely manner each year and that documentation is maintained on file to evidence these consultations. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls and procedures to ensure that consultation with private school officials takes place in a timely manner each year and that on file to evidence these consultations.
Finding 22-07 U.S. Department of Education Passed Through the N.C. Department of Public Instruction Program Name: COVID-19 ? Education Stabilization Fund CFDA #: 84.425 MATERIAL WEAKNESS Compliance ? Allowable Costs/Cost Principles Criteria: Federal Uniform Guidance (2 CFR Section 200.320) describes the methods of procurement to be followed utilizing federal awards.The acquisition of property or services, the aggregate dollar amount of which is higher than the micro-purchase threshold ($10,000) but does not exceed the simplified acquisition threshold ($250,000) is considered a ?small purchase? and requires the district to obtain price or rate quotations from an adequate number of qualified sources as determined appropriate by the Board. Condition: During our audit, we selected a sample of expenditures made from federal Education Stabilization funds. We noted four purchases from these funds ranging from $29,134 to $109,388, all meeting the ?small purchase? threshold, for which management could not provide documentation supporting that price or rate quotations were obtained. Effect: The Board is not in compliance with the aforementioned criteria Cause: Controls were not in place to ensure that the aforementioned program requirement was adhered to. Questioned costs: Undetermined. All expenditures were made for purchases that were otherwise allowable had price or rate quotations been obtained. Identification of a repeat finding: This is not a repeat finding from the immediate previous audit. Recommendation: We recommend that controls be put in place to ensure that the district complies with Federal Uniform Guidance(2 CFR Section 200.320) procurement methods when expending federal awards. Views of responsible officials and planned corrective actions: The Board of Education agrees with this finding and will implement controls to ensure that the district complies with Federal Uniform Guidance (2 CFR Section 200.320) procurement methods when federal awards.