Finding 2024-001: Procurement (50000)
Assistance Listing # 10.553, 10.555 – U.S. Department of Agriculture, California Department of Education,
Child Nutrition Cluster
Repeat Finding? No
Criteria: Code of Federal Regulations, CFR 200.320, require the non-Federal entity to have and use documented
procurement procedures, consistent with the standards of this section and §§ 200.317, 200.318, and 200.319 for the
acquisition of property or services required under a Federal award or sub-award. For “small purchases,” those where
the aggregate dollar amount is higher than the micro-purchase threshold but does not exceed the simplified acquisition threshold, price or rate quotations must be obtained from an adequate number of qualified sources as determined appropriate by the non-Federal entity.
Condition: During our testing of procurement, we sampled three contracts that would qualify as “small purchases.”
The district could not provide evidence that multiple quotes had been obtain prior to selecting one of the vendors.
Cause: Due to turnover at the District, there has been a lack of oversight to ensure all appropriate documentation is
maintained to demonstrate that the District is in compliance with CFR and that purchases are awarded after a
reasonable number of quotes have been obtained.
Context: Deficiency was noted in one of three vendors tested.
Effect/Questioned Cost: This resulted in roughly $53,291 dollars awarded in contracts, without following proper
procedures.
Recommendation: We recommend that the District train and implement the required federal procurement procedures to ensure that the District is in compliance.
Views of Responsible Officials: To correct the finding Nutrition Services will do the following: (1) request
piggybackable formal bid options from US Foods (2) take necessary steps to increase micropurchase threshold to
$50,000 (3) consider opening a Purchase Order with Sysco Foods to spread the micropurchases to another online
retailer, thus mitigating the issue of in-person shopping and price comparisons (4) work with purchasing department
to ensure open purchase orders do not exceed $50,000 for any vendor that does not have formal procurement in place.
Finding 2024-001: Procurement (50000)
Assistance Listing # 10.553, 10.555 – U.S. Department of Agriculture, California Department of Education,
Child Nutrition Cluster
Repeat Finding? No
Criteria: Code of Federal Regulations, CFR 200.320, require the non-Federal entity to have and use documented
procurement procedures, consistent with the standards of this section and §§ 200.317, 200.318, and 200.319 for the
acquisition of property or services required under a Federal award or sub-award. For “small purchases,” those where
the aggregate dollar amount is higher than the micro-purchase threshold but does not exceed the simplified acquisition threshold, price or rate quotations must be obtained from an adequate number of qualified sources as determined appropriate by the non-Federal entity.
Condition: During our testing of procurement, we sampled three contracts that would qualify as “small purchases.”
The district could not provide evidence that multiple quotes had been obtain prior to selecting one of the vendors.
Cause: Due to turnover at the District, there has been a lack of oversight to ensure all appropriate documentation is
maintained to demonstrate that the District is in compliance with CFR and that purchases are awarded after a
reasonable number of quotes have been obtained.
Context: Deficiency was noted in one of three vendors tested.
Effect/Questioned Cost: This resulted in roughly $53,291 dollars awarded in contracts, without following proper
procedures.
Recommendation: We recommend that the District train and implement the required federal procurement procedures to ensure that the District is in compliance.
Views of Responsible Officials: To correct the finding Nutrition Services will do the following: (1) request
piggybackable formal bid options from US Foods (2) take necessary steps to increase micropurchase threshold to
$50,000 (3) consider opening a Purchase Order with Sysco Foods to spread the micropurchases to another online
retailer, thus mitigating the issue of in-person shopping and price comparisons (4) work with purchasing department
to ensure open purchase orders do not exceed $50,000 for any vendor that does not have formal procurement in place.
Finding 2024-001: Procurement (50000)
Assistance Listing # 10.553, 10.555 – U.S. Department of Agriculture, California Department of Education,
Child Nutrition Cluster
Repeat Finding? No
Criteria: Code of Federal Regulations, CFR 200.320, require the non-Federal entity to have and use documented
procurement procedures, consistent with the standards of this section and §§ 200.317, 200.318, and 200.319 for the
acquisition of property or services required under a Federal award or sub-award. For “small purchases,” those where
the aggregate dollar amount is higher than the micro-purchase threshold but does not exceed the simplified acquisition threshold, price or rate quotations must be obtained from an adequate number of qualified sources as determined appropriate by the non-Federal entity.
Condition: During our testing of procurement, we sampled three contracts that would qualify as “small purchases.”
The district could not provide evidence that multiple quotes had been obtain prior to selecting one of the vendors.
Cause: Due to turnover at the District, there has been a lack of oversight to ensure all appropriate documentation is
maintained to demonstrate that the District is in compliance with CFR and that purchases are awarded after a
reasonable number of quotes have been obtained.
Context: Deficiency was noted in one of three vendors tested.
Effect/Questioned Cost: This resulted in roughly $53,291 dollars awarded in contracts, without following proper
procedures.
Recommendation: We recommend that the District train and implement the required federal procurement procedures to ensure that the District is in compliance.
Views of Responsible Officials: To correct the finding Nutrition Services will do the following: (1) request
piggybackable formal bid options from US Foods (2) take necessary steps to increase micropurchase threshold to
$50,000 (3) consider opening a Purchase Order with Sysco Foods to spread the micropurchases to another online
retailer, thus mitigating the issue of in-person shopping and price comparisons (4) work with purchasing department
to ensure open purchase orders do not exceed $50,000 for any vendor that does not have formal procurement in place.
Finding 2024-001: Procurement (50000)
Assistance Listing # 10.553, 10.555 – U.S. Department of Agriculture, California Department of Education,
Child Nutrition Cluster
Repeat Finding? No
Criteria: Code of Federal Regulations, CFR 200.320, require the non-Federal entity to have and use documented
procurement procedures, consistent with the standards of this section and §§ 200.317, 200.318, and 200.319 for the
acquisition of property or services required under a Federal award or sub-award. For “small purchases,” those where
the aggregate dollar amount is higher than the micro-purchase threshold but does not exceed the simplified acquisition threshold, price or rate quotations must be obtained from an adequate number of qualified sources as determined appropriate by the non-Federal entity.
Condition: During our testing of procurement, we sampled three contracts that would qualify as “small purchases.”
The district could not provide evidence that multiple quotes had been obtain prior to selecting one of the vendors.
Cause: Due to turnover at the District, there has been a lack of oversight to ensure all appropriate documentation is
maintained to demonstrate that the District is in compliance with CFR and that purchases are awarded after a
reasonable number of quotes have been obtained.
Context: Deficiency was noted in one of three vendors tested.
Effect/Questioned Cost: This resulted in roughly $53,291 dollars awarded in contracts, without following proper
procedures.
Recommendation: We recommend that the District train and implement the required federal procurement procedures to ensure that the District is in compliance.
Views of Responsible Officials: To correct the finding Nutrition Services will do the following: (1) request
piggybackable formal bid options from US Foods (2) take necessary steps to increase micropurchase threshold to
$50,000 (3) consider opening a Purchase Order with Sysco Foods to spread the micropurchases to another online
retailer, thus mitigating the issue of in-person shopping and price comparisons (4) work with purchasing department
to ensure open purchase orders do not exceed $50,000 for any vendor that does not have formal procurement in place.
Finding 2024-001: Procurement (50000)
Assistance Listing # 10.553, 10.555 – U.S. Department of Agriculture, California Department of Education,
Child Nutrition Cluster
Repeat Finding? No
Criteria: Code of Federal Regulations, CFR 200.320, require the non-Federal entity to have and use documented
procurement procedures, consistent with the standards of this section and §§ 200.317, 200.318, and 200.319 for the
acquisition of property or services required under a Federal award or sub-award. For “small purchases,” those where
the aggregate dollar amount is higher than the micro-purchase threshold but does not exceed the simplified acquisition threshold, price or rate quotations must be obtained from an adequate number of qualified sources as determined appropriate by the non-Federal entity.
Condition: During our testing of procurement, we sampled three contracts that would qualify as “small purchases.”
The district could not provide evidence that multiple quotes had been obtain prior to selecting one of the vendors.
Cause: Due to turnover at the District, there has been a lack of oversight to ensure all appropriate documentation is
maintained to demonstrate that the District is in compliance with CFR and that purchases are awarded after a
reasonable number of quotes have been obtained.
Context: Deficiency was noted in one of three vendors tested.
Effect/Questioned Cost: This resulted in roughly $53,291 dollars awarded in contracts, without following proper
procedures.
Recommendation: We recommend that the District train and implement the required federal procurement procedures to ensure that the District is in compliance.
Views of Responsible Officials: To correct the finding Nutrition Services will do the following: (1) request
piggybackable formal bid options from US Foods (2) take necessary steps to increase micropurchase threshold to
$50,000 (3) consider opening a Purchase Order with Sysco Foods to spread the micropurchases to another online
retailer, thus mitigating the issue of in-person shopping and price comparisons (4) work with purchasing department
to ensure open purchase orders do not exceed $50,000 for any vendor that does not have formal procurement in place.
Finding 2024-001: Procurement (50000)
Assistance Listing # 10.553, 10.555 – U.S. Department of Agriculture, California Department of Education,
Child Nutrition Cluster
Repeat Finding? No
Criteria: Code of Federal Regulations, CFR 200.320, require the non-Federal entity to have and use documented
procurement procedures, consistent with the standards of this section and §§ 200.317, 200.318, and 200.319 for the
acquisition of property or services required under a Federal award or sub-award. For “small purchases,” those where
the aggregate dollar amount is higher than the micro-purchase threshold but does not exceed the simplified acquisition threshold, price or rate quotations must be obtained from an adequate number of qualified sources as determined appropriate by the non-Federal entity.
Condition: During our testing of procurement, we sampled three contracts that would qualify as “small purchases.”
The district could not provide evidence that multiple quotes had been obtain prior to selecting one of the vendors.
Cause: Due to turnover at the District, there has been a lack of oversight to ensure all appropriate documentation is
maintained to demonstrate that the District is in compliance with CFR and that purchases are awarded after a
reasonable number of quotes have been obtained.
Context: Deficiency was noted in one of three vendors tested.
Effect/Questioned Cost: This resulted in roughly $53,291 dollars awarded in contracts, without following proper
procedures.
Recommendation: We recommend that the District train and implement the required federal procurement procedures to ensure that the District is in compliance.
Views of Responsible Officials: To correct the finding Nutrition Services will do the following: (1) request
piggybackable formal bid options from US Foods (2) take necessary steps to increase micropurchase threshold to
$50,000 (3) consider opening a Purchase Order with Sysco Foods to spread the micropurchases to another online
retailer, thus mitigating the issue of in-person shopping and price comparisons (4) work with purchasing department
to ensure open purchase orders do not exceed $50,000 for any vendor that does not have formal procurement in place.
Finding 2024-001: Procurement (50000)
Assistance Listing # 10.553, 10.555 – U.S. Department of Agriculture, California Department of Education,
Child Nutrition Cluster
Repeat Finding? No
Criteria: Code of Federal Regulations, CFR 200.320, require the non-Federal entity to have and use documented
procurement procedures, consistent with the standards of this section and §§ 200.317, 200.318, and 200.319 for the
acquisition of property or services required under a Federal award or sub-award. For “small purchases,” those where
the aggregate dollar amount is higher than the micro-purchase threshold but does not exceed the simplified acquisition threshold, price or rate quotations must be obtained from an adequate number of qualified sources as determined appropriate by the non-Federal entity.
Condition: During our testing of procurement, we sampled three contracts that would qualify as “small purchases.”
The district could not provide evidence that multiple quotes had been obtain prior to selecting one of the vendors.
Cause: Due to turnover at the District, there has been a lack of oversight to ensure all appropriate documentation is
maintained to demonstrate that the District is in compliance with CFR and that purchases are awarded after a
reasonable number of quotes have been obtained.
Context: Deficiency was noted in one of three vendors tested.
Effect/Questioned Cost: This resulted in roughly $53,291 dollars awarded in contracts, without following proper
procedures.
Recommendation: We recommend that the District train and implement the required federal procurement procedures to ensure that the District is in compliance.
Views of Responsible Officials: To correct the finding Nutrition Services will do the following: (1) request
piggybackable formal bid options from US Foods (2) take necessary steps to increase micropurchase threshold to
$50,000 (3) consider opening a Purchase Order with Sysco Foods to spread the micropurchases to another online
retailer, thus mitigating the issue of in-person shopping and price comparisons (4) work with purchasing department
to ensure open purchase orders do not exceed $50,000 for any vendor that does not have formal procurement in place.
Finding 2024-001: Procurement (50000)
Assistance Listing # 10.553, 10.555 – U.S. Department of Agriculture, California Department of Education,
Child Nutrition Cluster
Repeat Finding? No
Criteria: Code of Federal Regulations, CFR 200.320, require the non-Federal entity to have and use documented
procurement procedures, consistent with the standards of this section and §§ 200.317, 200.318, and 200.319 for the
acquisition of property or services required under a Federal award or sub-award. For “small purchases,” those where
the aggregate dollar amount is higher than the micro-purchase threshold but does not exceed the simplified acquisition threshold, price or rate quotations must be obtained from an adequate number of qualified sources as determined appropriate by the non-Federal entity.
Condition: During our testing of procurement, we sampled three contracts that would qualify as “small purchases.”
The district could not provide evidence that multiple quotes had been obtain prior to selecting one of the vendors.
Cause: Due to turnover at the District, there has been a lack of oversight to ensure all appropriate documentation is
maintained to demonstrate that the District is in compliance with CFR and that purchases are awarded after a
reasonable number of quotes have been obtained.
Context: Deficiency was noted in one of three vendors tested.
Effect/Questioned Cost: This resulted in roughly $53,291 dollars awarded in contracts, without following proper
procedures.
Recommendation: We recommend that the District train and implement the required federal procurement procedures to ensure that the District is in compliance.
Views of Responsible Officials: To correct the finding Nutrition Services will do the following: (1) request
piggybackable formal bid options from US Foods (2) take necessary steps to increase micropurchase threshold to
$50,000 (3) consider opening a Purchase Order with Sysco Foods to spread the micropurchases to another online
retailer, thus mitigating the issue of in-person shopping and price comparisons (4) work with purchasing department
to ensure open purchase orders do not exceed $50,000 for any vendor that does not have formal procurement in place.