Audit 322843

FY End
2023-12-31
Total Expended
$64.77M
Findings
2
Programs
6
Year: 2023 Accepted: 2024-09-30

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
499914 2023-001 - - B
1076356 2023-001 - - B

Contacts

Name Title Type
VNF2KATJQXY4 Tong Lee Auditee
5035701110 Katie Sheffield Auditor
No contacts on file

Notes to SEFA

Accounting Policies: Note 1 – Basis of Presentation The accompanying schedule of expenditures of federal awards includes the federal grant activity of Oregon Child Development Coalition, Inc. and is presented on the accrual basis of accounting, consistent with generally accepted accounting principles. The information in this schedule is presented in accordance with the requirements of Title 2 CFR Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Guidance). Therefore, some amounts presented in this schedule may differ from amounts presented in, or used in the preparation of, the basic financial statements. Note 3 – Matching Requirement The Coalition meets the 10% in-kind matching requirements by the Department of Health and Human Services Migrant Head Start Program, through inclusion of resources relating to the State of Oregon Department of Education Head Start Program. While these contributions are not considered to be in accordance with generally accepted accounting principles (GAAP), management asserts they have been allowable by the granting agency. Note 4 – SAM.gov Assistance Listings Federal award program titles are reported as presented in SAM.gov Assistance Listings (AL). Federal Award program titles not presented in SAM.gov are identified by Federal Agency number followed by (.xxx). Note 5 – Major and Nonmajor Federal Financial Assistance Programs Federal financial assistance programs with identical assistance (AL) numbers are combined in determining whether the programs are major or nonmajor. Type A federal assistance programs are those with combined expenditures of $1,943,243 or more during a fiscal year. Type B federal financial assistance programs are those with combined expenditures of less than $1,943,243 during a fiscal year. De Minimis Rate Used: N Rate Explanation: The Coalition is not using the 10% de minimis indirect cost rate under the Uniform Guidance

Finding Details

2023-001 Finding – Federal Award Type: Allowable Costs – Significant Deficiency in Internal Control Over Compliance. Identification of Federal Program: Head Start Cluster: AL Number: 93.600 Head Start Criteria / Requirement: Allowable costs per 2 CFR section 200.406(a) Applicable Credits, states that to the extent that credits are received related to allowable costs, they must be credited to the Federal award either as a cost reduction or a cash refund, as appropriate. The cost principles define credits as purchase discounts, rebates or allowances, recoveries on losses, insurance refunds, and adjustments of overpayments. Condition / Context: During the audit it was brought to our attention that Oregon Child Development Coalition, Inc. earns rewards on a credit card used in purchasing goods and services utilizing federal dollars. Although the credit card account is held in the Organization’s name, the individual card is issued utilizing the employee’s name. Per inquiry, it was noted that these rewards had not been credited as a reduction of costs charged to federal programs. The amount associated with the rebates has been determined to not be material for the year ended December 31, 2023. Cause: Oregon Child Development Coalition’s Credit Card Policy does not address rebates associated with earned rewards points on credit cards. Policies and procedures are not in place to ensure that the Organization is appropriately applying credits as a reduction of federal costs. Effect: Failure to maintain sufficient policies and procedures for credit cards rebates may result in non‐compliance with the provisions of applicable requirements of the federal award. Questioned Costs: none Recommendation: The Organization should establish more defined written policies and procedures regarding credit card rebates that are in line with Uniform Guidance requirements, as well as establish organizational controls to ensure that such policies and procedures are being followed. Management’s response: Management understands that a significant deficiency in internal controls over compliance has been identified. We concur with the finding and initiated a Corrective Action Plan to address it. We place the utmost importance on the summary of the auditor’s results and are working to improve the strength of our internal controls over compliance.
2023-001 Finding – Federal Award Type: Allowable Costs – Significant Deficiency in Internal Control Over Compliance. Identification of Federal Program: Head Start Cluster: AL Number: 93.600 Head Start Criteria / Requirement: Allowable costs per 2 CFR section 200.406(a) Applicable Credits, states that to the extent that credits are received related to allowable costs, they must be credited to the Federal award either as a cost reduction or a cash refund, as appropriate. The cost principles define credits as purchase discounts, rebates or allowances, recoveries on losses, insurance refunds, and adjustments of overpayments. Condition / Context: During the audit it was brought to our attention that Oregon Child Development Coalition, Inc. earns rewards on a credit card used in purchasing goods and services utilizing federal dollars. Although the credit card account is held in the Organization’s name, the individual card is issued utilizing the employee’s name. Per inquiry, it was noted that these rewards had not been credited as a reduction of costs charged to federal programs. The amount associated with the rebates has been determined to not be material for the year ended December 31, 2023. Cause: Oregon Child Development Coalition’s Credit Card Policy does not address rebates associated with earned rewards points on credit cards. Policies and procedures are not in place to ensure that the Organization is appropriately applying credits as a reduction of federal costs. Effect: Failure to maintain sufficient policies and procedures for credit cards rebates may result in non‐compliance with the provisions of applicable requirements of the federal award. Questioned Costs: none Recommendation: The Organization should establish more defined written policies and procedures regarding credit card rebates that are in line with Uniform Guidance requirements, as well as establish organizational controls to ensure that such policies and procedures are being followed. Management’s response: Management understands that a significant deficiency in internal controls over compliance has been identified. We concur with the finding and initiated a Corrective Action Plan to address it. We place the utmost importance on the summary of the auditor’s results and are working to improve the strength of our internal controls over compliance.