Audit 334955

FY End
2024-06-30
Total Expended
$5.00M
Findings
20
Programs
6
Organization: University of Providence (MT)
Year: 2024 Accepted: 2024-12-28

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
517061 2024-001 Significant Deficiency - E
517062 2024-001 Significant Deficiency - E
517063 2024-001 Significant Deficiency - E
517064 2024-001 Significant Deficiency - E
517065 2024-001 Significant Deficiency - E
517066 2024-002 Significant Deficiency - E
517067 2024-002 Significant Deficiency - E
517068 2024-002 Significant Deficiency - E
517069 2024-002 Significant Deficiency - E
517070 2024-002 Significant Deficiency - E
1093503 2024-001 Significant Deficiency - E
1093504 2024-001 Significant Deficiency - E
1093505 2024-001 Significant Deficiency - E
1093506 2024-001 Significant Deficiency - E
1093507 2024-001 Significant Deficiency - E
1093508 2024-002 Significant Deficiency - E
1093509 2024-002 Significant Deficiency - E
1093510 2024-002 Significant Deficiency - E
1093511 2024-002 Significant Deficiency - E
1093512 2024-002 Significant Deficiency - E

Programs

ALN Program Spent Major Findings
84.268 Federal Direct Student Loans $3.59M Yes 2
84.063 Federal Pell Grant Program $1.03M Yes 2
84.042 Trio Student Support Services $187,171 - 0
84.033 Federal Work-Study Program $74,273 Yes 2
84.038 Federal Perkins Loan Program $72,066 Yes 2
84.007 Federal Supplemental Educational Opportunity Grants $47,987 Yes 2

Contacts

Name Title Type
TLG6P2CHACK4 Jillian Ehnot Auditee
4067915307 Melissa Soldano Auditor
No contacts on file

Notes to SEFA

Title: NOTE A: BASIS OF PRESENTATION AND ACCOUNTING POLICIES: Accounting Policies: The accompanying Schedule of Expenditures of Federal Awards (the “Schedule”) includes the federal award activity of the University of Providence (the “University”) under programs of the federal government for the year ended June 30, 2024. The information in this Schedule is presented in accordance with the requirements of Title 2, U.S. Code of Federal Regulations Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Guidance). The information in this Schedule is presented on the accrual basis of accounting. Such expenditures are recognized following the cost principles contained in the Uniform Guidance. De Minimis Rate Used: N Rate Explanation: The University has elected not to use the 10-percent de minimis indirect cost rate allowed under the Uniform Guidance. The accompanying Schedule of Expenditures of Federal Awards (the “Schedule”) includes the federal award activity of the University of Providence (the “University”) under programs of the federal government for the year ended June 30, 2024. The information in this Schedule is presented in accordance with the requirements of Title 2, U.S. Code of Federal Regulations Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Guidance). The information in this Schedule is presented on the accrual basis of accounting. Such expenditures are recognized following the cost principles contained in the Uniform Guidance.
Title: NOTE B: INDIRECT COST RATE: Accounting Policies: The accompanying Schedule of Expenditures of Federal Awards (the “Schedule”) includes the federal award activity of the University of Providence (the “University”) under programs of the federal government for the year ended June 30, 2024. The information in this Schedule is presented in accordance with the requirements of Title 2, U.S. Code of Federal Regulations Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Guidance). The information in this Schedule is presented on the accrual basis of accounting. Such expenditures are recognized following the cost principles contained in the Uniform Guidance. De Minimis Rate Used: N Rate Explanation: The University has elected not to use the 10-percent de minimis indirect cost rate allowed under the Uniform Guidance. The University has elected not to use the 10-percent de minimis indirect cost rate allowed under the Uniform Guidance.
Title: NOTE C: STUDENT FINANCIAL AID – LOAN PROGRAMS: Accounting Policies: The accompanying Schedule of Expenditures of Federal Awards (the “Schedule”) includes the federal award activity of the University of Providence (the “University”) under programs of the federal government for the year ended June 30, 2024. The information in this Schedule is presented in accordance with the requirements of Title 2, U.S. Code of Federal Regulations Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Guidance). The information in this Schedule is presented on the accrual basis of accounting. Such expenditures are recognized following the cost principles contained in the Uniform Guidance. De Minimis Rate Used: N Rate Explanation: The University has elected not to use the 10-percent de minimis indirect cost rate allowed under the Uniform Guidance. The federal student loan program listed below is administered directly by the University, and balances and transactions relating to these programs are included in the University’s basic financial statements. Loans outstanding at the beginning of the year and loans made during the year are included in the federal expenditures presented in the Schedule. The balance of loans outstanding at June 30, 2024, consist of: Federal Perkins Loan Program $56,560.

Finding Details

U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: The 2023-2024 Federal Student Aid Handbook, Vol 2, Chapter 3, states that the Financial Aid Administrator must be supported by an adequate number of professional and clerical personnel. The number of staff that is adequate depends on the number of students aided, the number and types of programs in which the school participates, the number of applicants evaluated and processed, the number of funds administered, and the type of financial data delivery system the school uses. Internal controls that pertain to Eligibility and Special Tests and Provisions include the accuracy and completeness of data used to determine eligibility requirements, which are reviewed and agreed to support as necessary by staff and reviewed by a knowledgeable supervisor. Manual checklists or automated processes used when making eligibility determinations are reviewed and approved by a knowledgeable supervisor. Calculations of amounts to be received for or on behalf of participants are reperformed by a knowledgeable supervisor. Segregation of duties exists between those determining a participant’s eligibility and those reviewing/approving eligibility. Condition: During the audit, inadequate internal control procedures were in place for the Student Financial Aid programs for reviewing the financial aid award packages for Eligibility and return of funds calculations for Special Tests and Provisions. This function was performed only by the Financial Aid Director, with no indication of review. Context: For most of the audit period, the Financial Aid Director was the only staff member in the department. Effect: Noncompliance with the Federal Student Aid Handbook for adequate staffing. There is the risk of errors in calculating financial aid award packages and return of funds calculations when there are inadequate internal controls. Questioned Costs: None. Cause: The University's Financial Aid Department was understaffed and did not develop alternative control activities to accommodate the staff size. Auditor Recommendation: We recommend the University evaluate and determine if additional staff members need to be hired and implement adequate internal controls over the Student Financial Aid program. University Response: The University of Providence acknowledges the finding related to internal control procedures in the Financial Aid Department. We take compliance with federal guidelines and ensuring the accuracy of financial aid processes seriously. It is important to note that during the audit period, the University of Providence was short one staff member in the department, a position which has now been filled. Corrective actions taken or planned is as follows: 1. Evaluate Opportunity for Staffing Enhancements: The University will create a working group to evaluate the possibility of adding staff within the Financial Aid Department to ensure adequate segregation of duties and adherence to federal requirements. If this is not possible due to budgetary constraints, the VPEM and Director of Financial Aid will explore opportunities to leverage existing support resources within the University to meet the same goal. 2. Implementation of Internal Control Procedures: o Eligibility Determinations: Manual and automated processes for determining eligibility will be reviewed by designated staff members and supervised by a senior-level administrator (Vice President for Enrollment Management) on a semester basis, to ensure compliance with federal guidelines. o Return of Funds Calculations: Return of funds calculations will undergo a dual-review process each semester by the VPEM to mitigate the risk of errors. 3. Training and Documentation: The Financial Aid team will continue to undergo annual training to stay updated on the Federal Student Aid Handbook's requirements. Comprehensive documentation of processes and supervisory review checklists will be implemented to support compliance and maintain transparency. Commitment to Compliance: The University of Providence is committed to maintaining the integrity of our financial aid processes and ensuring compliance with all federal regulations. We will take the necessary steps to rectify this finding and prevent recurrence in future audit periods. Should further information be required, the University is prepared to provide additional details and updates on our progress.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: The 2023-2024 Federal Student Aid Handbook, Vol 2, Chapter 3, states that the Financial Aid Administrator must be supported by an adequate number of professional and clerical personnel. The number of staff that is adequate depends on the number of students aided, the number and types of programs in which the school participates, the number of applicants evaluated and processed, the number of funds administered, and the type of financial data delivery system the school uses. Internal controls that pertain to Eligibility and Special Tests and Provisions include the accuracy and completeness of data used to determine eligibility requirements, which are reviewed and agreed to support as necessary by staff and reviewed by a knowledgeable supervisor. Manual checklists or automated processes used when making eligibility determinations are reviewed and approved by a knowledgeable supervisor. Calculations of amounts to be received for or on behalf of participants are reperformed by a knowledgeable supervisor. Segregation of duties exists between those determining a participant’s eligibility and those reviewing/approving eligibility. Condition: During the audit, inadequate internal control procedures were in place for the Student Financial Aid programs for reviewing the financial aid award packages for Eligibility and return of funds calculations for Special Tests and Provisions. This function was performed only by the Financial Aid Director, with no indication of review. Context: For most of the audit period, the Financial Aid Director was the only staff member in the department. Effect: Noncompliance with the Federal Student Aid Handbook for adequate staffing. There is the risk of errors in calculating financial aid award packages and return of funds calculations when there are inadequate internal controls. Questioned Costs: None. Cause: The University's Financial Aid Department was understaffed and did not develop alternative control activities to accommodate the staff size. Auditor Recommendation: We recommend the University evaluate and determine if additional staff members need to be hired and implement adequate internal controls over the Student Financial Aid program. University Response: The University of Providence acknowledges the finding related to internal control procedures in the Financial Aid Department. We take compliance with federal guidelines and ensuring the accuracy of financial aid processes seriously. It is important to note that during the audit period, the University of Providence was short one staff member in the department, a position which has now been filled. Corrective actions taken or planned is as follows: 1. Evaluate Opportunity for Staffing Enhancements: The University will create a working group to evaluate the possibility of adding staff within the Financial Aid Department to ensure adequate segregation of duties and adherence to federal requirements. If this is not possible due to budgetary constraints, the VPEM and Director of Financial Aid will explore opportunities to leverage existing support resources within the University to meet the same goal. 2. Implementation of Internal Control Procedures: o Eligibility Determinations: Manual and automated processes for determining eligibility will be reviewed by designated staff members and supervised by a senior-level administrator (Vice President for Enrollment Management) on a semester basis, to ensure compliance with federal guidelines. o Return of Funds Calculations: Return of funds calculations will undergo a dual-review process each semester by the VPEM to mitigate the risk of errors. 3. Training and Documentation: The Financial Aid team will continue to undergo annual training to stay updated on the Federal Student Aid Handbook's requirements. Comprehensive documentation of processes and supervisory review checklists will be implemented to support compliance and maintain transparency. Commitment to Compliance: The University of Providence is committed to maintaining the integrity of our financial aid processes and ensuring compliance with all federal regulations. We will take the necessary steps to rectify this finding and prevent recurrence in future audit periods. Should further information be required, the University is prepared to provide additional details and updates on our progress.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: The 2023-2024 Federal Student Aid Handbook, Vol 2, Chapter 3, states that the Financial Aid Administrator must be supported by an adequate number of professional and clerical personnel. The number of staff that is adequate depends on the number of students aided, the number and types of programs in which the school participates, the number of applicants evaluated and processed, the number of funds administered, and the type of financial data delivery system the school uses. Internal controls that pertain to Eligibility and Special Tests and Provisions include the accuracy and completeness of data used to determine eligibility requirements, which are reviewed and agreed to support as necessary by staff and reviewed by a knowledgeable supervisor. Manual checklists or automated processes used when making eligibility determinations are reviewed and approved by a knowledgeable supervisor. Calculations of amounts to be received for or on behalf of participants are reperformed by a knowledgeable supervisor. Segregation of duties exists between those determining a participant’s eligibility and those reviewing/approving eligibility. Condition: During the audit, inadequate internal control procedures were in place for the Student Financial Aid programs for reviewing the financial aid award packages for Eligibility and return of funds calculations for Special Tests and Provisions. This function was performed only by the Financial Aid Director, with no indication of review. Context: For most of the audit period, the Financial Aid Director was the only staff member in the department. Effect: Noncompliance with the Federal Student Aid Handbook for adequate staffing. There is the risk of errors in calculating financial aid award packages and return of funds calculations when there are inadequate internal controls. Questioned Costs: None. Cause: The University's Financial Aid Department was understaffed and did not develop alternative control activities to accommodate the staff size. Auditor Recommendation: We recommend the University evaluate and determine if additional staff members need to be hired and implement adequate internal controls over the Student Financial Aid program. University Response: The University of Providence acknowledges the finding related to internal control procedures in the Financial Aid Department. We take compliance with federal guidelines and ensuring the accuracy of financial aid processes seriously. It is important to note that during the audit period, the University of Providence was short one staff member in the department, a position which has now been filled. Corrective actions taken or planned is as follows: 1. Evaluate Opportunity for Staffing Enhancements: The University will create a working group to evaluate the possibility of adding staff within the Financial Aid Department to ensure adequate segregation of duties and adherence to federal requirements. If this is not possible due to budgetary constraints, the VPEM and Director of Financial Aid will explore opportunities to leverage existing support resources within the University to meet the same goal. 2. Implementation of Internal Control Procedures: o Eligibility Determinations: Manual and automated processes for determining eligibility will be reviewed by designated staff members and supervised by a senior-level administrator (Vice President for Enrollment Management) on a semester basis, to ensure compliance with federal guidelines. o Return of Funds Calculations: Return of funds calculations will undergo a dual-review process each semester by the VPEM to mitigate the risk of errors. 3. Training and Documentation: The Financial Aid team will continue to undergo annual training to stay updated on the Federal Student Aid Handbook's requirements. Comprehensive documentation of processes and supervisory review checklists will be implemented to support compliance and maintain transparency. Commitment to Compliance: The University of Providence is committed to maintaining the integrity of our financial aid processes and ensuring compliance with all federal regulations. We will take the necessary steps to rectify this finding and prevent recurrence in future audit periods. Should further information be required, the University is prepared to provide additional details and updates on our progress.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: The 2023-2024 Federal Student Aid Handbook, Vol 2, Chapter 3, states that the Financial Aid Administrator must be supported by an adequate number of professional and clerical personnel. The number of staff that is adequate depends on the number of students aided, the number and types of programs in which the school participates, the number of applicants evaluated and processed, the number of funds administered, and the type of financial data delivery system the school uses. Internal controls that pertain to Eligibility and Special Tests and Provisions include the accuracy and completeness of data used to determine eligibility requirements, which are reviewed and agreed to support as necessary by staff and reviewed by a knowledgeable supervisor. Manual checklists or automated processes used when making eligibility determinations are reviewed and approved by a knowledgeable supervisor. Calculations of amounts to be received for or on behalf of participants are reperformed by a knowledgeable supervisor. Segregation of duties exists between those determining a participant’s eligibility and those reviewing/approving eligibility. Condition: During the audit, inadequate internal control procedures were in place for the Student Financial Aid programs for reviewing the financial aid award packages for Eligibility and return of funds calculations for Special Tests and Provisions. This function was performed only by the Financial Aid Director, with no indication of review. Context: For most of the audit period, the Financial Aid Director was the only staff member in the department. Effect: Noncompliance with the Federal Student Aid Handbook for adequate staffing. There is the risk of errors in calculating financial aid award packages and return of funds calculations when there are inadequate internal controls. Questioned Costs: None. Cause: The University's Financial Aid Department was understaffed and did not develop alternative control activities to accommodate the staff size. Auditor Recommendation: We recommend the University evaluate and determine if additional staff members need to be hired and implement adequate internal controls over the Student Financial Aid program. University Response: The University of Providence acknowledges the finding related to internal control procedures in the Financial Aid Department. We take compliance with federal guidelines and ensuring the accuracy of financial aid processes seriously. It is important to note that during the audit period, the University of Providence was short one staff member in the department, a position which has now been filled. Corrective actions taken or planned is as follows: 1. Evaluate Opportunity for Staffing Enhancements: The University will create a working group to evaluate the possibility of adding staff within the Financial Aid Department to ensure adequate segregation of duties and adherence to federal requirements. If this is not possible due to budgetary constraints, the VPEM and Director of Financial Aid will explore opportunities to leverage existing support resources within the University to meet the same goal. 2. Implementation of Internal Control Procedures: o Eligibility Determinations: Manual and automated processes for determining eligibility will be reviewed by designated staff members and supervised by a senior-level administrator (Vice President for Enrollment Management) on a semester basis, to ensure compliance with federal guidelines. o Return of Funds Calculations: Return of funds calculations will undergo a dual-review process each semester by the VPEM to mitigate the risk of errors. 3. Training and Documentation: The Financial Aid team will continue to undergo annual training to stay updated on the Federal Student Aid Handbook's requirements. Comprehensive documentation of processes and supervisory review checklists will be implemented to support compliance and maintain transparency. Commitment to Compliance: The University of Providence is committed to maintaining the integrity of our financial aid processes and ensuring compliance with all federal regulations. We will take the necessary steps to rectify this finding and prevent recurrence in future audit periods. Should further information be required, the University is prepared to provide additional details and updates on our progress.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: The 2023-2024 Federal Student Aid Handbook, Vol 2, Chapter 3, states that the Financial Aid Administrator must be supported by an adequate number of professional and clerical personnel. The number of staff that is adequate depends on the number of students aided, the number and types of programs in which the school participates, the number of applicants evaluated and processed, the number of funds administered, and the type of financial data delivery system the school uses. Internal controls that pertain to Eligibility and Special Tests and Provisions include the accuracy and completeness of data used to determine eligibility requirements, which are reviewed and agreed to support as necessary by staff and reviewed by a knowledgeable supervisor. Manual checklists or automated processes used when making eligibility determinations are reviewed and approved by a knowledgeable supervisor. Calculations of amounts to be received for or on behalf of participants are reperformed by a knowledgeable supervisor. Segregation of duties exists between those determining a participant’s eligibility and those reviewing/approving eligibility. Condition: During the audit, inadequate internal control procedures were in place for the Student Financial Aid programs for reviewing the financial aid award packages for Eligibility and return of funds calculations for Special Tests and Provisions. This function was performed only by the Financial Aid Director, with no indication of review. Context: For most of the audit period, the Financial Aid Director was the only staff member in the department. Effect: Noncompliance with the Federal Student Aid Handbook for adequate staffing. There is the risk of errors in calculating financial aid award packages and return of funds calculations when there are inadequate internal controls. Questioned Costs: None. Cause: The University's Financial Aid Department was understaffed and did not develop alternative control activities to accommodate the staff size. Auditor Recommendation: We recommend the University evaluate and determine if additional staff members need to be hired and implement adequate internal controls over the Student Financial Aid program. University Response: The University of Providence acknowledges the finding related to internal control procedures in the Financial Aid Department. We take compliance with federal guidelines and ensuring the accuracy of financial aid processes seriously. It is important to note that during the audit period, the University of Providence was short one staff member in the department, a position which has now been filled. Corrective actions taken or planned is as follows: 1. Evaluate Opportunity for Staffing Enhancements: The University will create a working group to evaluate the possibility of adding staff within the Financial Aid Department to ensure adequate segregation of duties and adherence to federal requirements. If this is not possible due to budgetary constraints, the VPEM and Director of Financial Aid will explore opportunities to leverage existing support resources within the University to meet the same goal. 2. Implementation of Internal Control Procedures: o Eligibility Determinations: Manual and automated processes for determining eligibility will be reviewed by designated staff members and supervised by a senior-level administrator (Vice President for Enrollment Management) on a semester basis, to ensure compliance with federal guidelines. o Return of Funds Calculations: Return of funds calculations will undergo a dual-review process each semester by the VPEM to mitigate the risk of errors. 3. Training and Documentation: The Financial Aid team will continue to undergo annual training to stay updated on the Federal Student Aid Handbook's requirements. Comprehensive documentation of processes and supervisory review checklists will be implemented to support compliance and maintain transparency. Commitment to Compliance: The University of Providence is committed to maintaining the integrity of our financial aid processes and ensuring compliance with all federal regulations. We will take the necessary steps to rectify this finding and prevent recurrence in future audit periods. Should further information be required, the University is prepared to provide additional details and updates on our progress.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: Direct Subsidized Loans and Direct Unsubsidized Loans have annual loan limits that vary based on the student's grade level and dependency status (34 CFR 685.203). The annual loan limit is the maximum amount that a student may receive for an academic year. Under 34 CFR 685.203(d) and (e), the aggregate loan limits are listed for Direct Subsidized Loans and Direct Unsubsidized Loans (a borrower's maximum allowable outstanding loan debt, excluding capitalized interest, but including amounts borrowed under the Federal Family Education Loan program prior to 2010). Condition: There were four students who exceeded their subsidized loan limits during the audit period. Context: Reports generated from Banner indicated that only four students exceeded this limit for the audit period. Effect: Noncompliance with the federal regulations on loan limits. Questioned Costs: None. Cause: These students were enrolled and attended spring, summer, and fall programs. When the fall amounts were awarded, the summer award had not yet been processed, so there was no overage at the time of the fall award. Once the summer was processed, the students exceeded the loan limit. This error was not caught or corrected during the audit period. Auditor Recommendation: We recommend the University implement internal control procedures to prevent this overage from occurring in future years. University Response: The four students who exceeded their loan limits were Accelerated Nursing Students. The loan offers were made and disbursed for Fall 2024 prior to receiving updated information from the summer disbursements. This is due to a delay in the information that NSLDS provides, resulting in an overpayment. The new ISIR records were not found until this audit period. Of the four students, one was corrected with the Subsidized Loan reallocated to an Unsubsidized Loan. The amount of the reallocation is $656. Of the remaining three students: • Two could not be reallocated because they had already done consolidations • One did not have an unsubsidized loan to reallocate to. In the future, students subject to this timing issue will be monitored closely for Subsidized Loan usage in the first two semesters as it relates to their full eligibility. Since this will always be a timing issue, the financial aid office will leverage all available tools to prevent recurrence and ensure subsidized loans are not over awarded in future years. Jenzabar, our new Student Information System, has reporting tools available for our office to use, and we will utilize these reports to closely follow the students in the ABSN program.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: Direct Subsidized Loans and Direct Unsubsidized Loans have annual loan limits that vary based on the student's grade level and dependency status (34 CFR 685.203). The annual loan limit is the maximum amount that a student may receive for an academic year. Under 34 CFR 685.203(d) and (e), the aggregate loan limits are listed for Direct Subsidized Loans and Direct Unsubsidized Loans (a borrower's maximum allowable outstanding loan debt, excluding capitalized interest, but including amounts borrowed under the Federal Family Education Loan program prior to 2010). Condition: There were four students who exceeded their subsidized loan limits during the audit period. Context: Reports generated from Banner indicated that only four students exceeded this limit for the audit period. Effect: Noncompliance with the federal regulations on loan limits. Questioned Costs: None. Cause: These students were enrolled and attended spring, summer, and fall programs. When the fall amounts were awarded, the summer award had not yet been processed, so there was no overage at the time of the fall award. Once the summer was processed, the students exceeded the loan limit. This error was not caught or corrected during the audit period. Auditor Recommendation: We recommend the University implement internal control procedures to prevent this overage from occurring in future years. University Response: The four students who exceeded their loan limits were Accelerated Nursing Students. The loan offers were made and disbursed for Fall 2024 prior to receiving updated information from the summer disbursements. This is due to a delay in the information that NSLDS provides, resulting in an overpayment. The new ISIR records were not found until this audit period. Of the four students, one was corrected with the Subsidized Loan reallocated to an Unsubsidized Loan. The amount of the reallocation is $656. Of the remaining three students: • Two could not be reallocated because they had already done consolidations • One did not have an unsubsidized loan to reallocate to. In the future, students subject to this timing issue will be monitored closely for Subsidized Loan usage in the first two semesters as it relates to their full eligibility. Since this will always be a timing issue, the financial aid office will leverage all available tools to prevent recurrence and ensure subsidized loans are not over awarded in future years. Jenzabar, our new Student Information System, has reporting tools available for our office to use, and we will utilize these reports to closely follow the students in the ABSN program.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: Direct Subsidized Loans and Direct Unsubsidized Loans have annual loan limits that vary based on the student's grade level and dependency status (34 CFR 685.203). The annual loan limit is the maximum amount that a student may receive for an academic year. Under 34 CFR 685.203(d) and (e), the aggregate loan limits are listed for Direct Subsidized Loans and Direct Unsubsidized Loans (a borrower's maximum allowable outstanding loan debt, excluding capitalized interest, but including amounts borrowed under the Federal Family Education Loan program prior to 2010). Condition: There were four students who exceeded their subsidized loan limits during the audit period. Context: Reports generated from Banner indicated that only four students exceeded this limit for the audit period. Effect: Noncompliance with the federal regulations on loan limits. Questioned Costs: None. Cause: These students were enrolled and attended spring, summer, and fall programs. When the fall amounts were awarded, the summer award had not yet been processed, so there was no overage at the time of the fall award. Once the summer was processed, the students exceeded the loan limit. This error was not caught or corrected during the audit period. Auditor Recommendation: We recommend the University implement internal control procedures to prevent this overage from occurring in future years. University Response: The four students who exceeded their loan limits were Accelerated Nursing Students. The loan offers were made and disbursed for Fall 2024 prior to receiving updated information from the summer disbursements. This is due to a delay in the information that NSLDS provides, resulting in an overpayment. The new ISIR records were not found until this audit period. Of the four students, one was corrected with the Subsidized Loan reallocated to an Unsubsidized Loan. The amount of the reallocation is $656. Of the remaining three students: • Two could not be reallocated because they had already done consolidations • One did not have an unsubsidized loan to reallocate to. In the future, students subject to this timing issue will be monitored closely for Subsidized Loan usage in the first two semesters as it relates to their full eligibility. Since this will always be a timing issue, the financial aid office will leverage all available tools to prevent recurrence and ensure subsidized loans are not over awarded in future years. Jenzabar, our new Student Information System, has reporting tools available for our office to use, and we will utilize these reports to closely follow the students in the ABSN program.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: Direct Subsidized Loans and Direct Unsubsidized Loans have annual loan limits that vary based on the student's grade level and dependency status (34 CFR 685.203). The annual loan limit is the maximum amount that a student may receive for an academic year. Under 34 CFR 685.203(d) and (e), the aggregate loan limits are listed for Direct Subsidized Loans and Direct Unsubsidized Loans (a borrower's maximum allowable outstanding loan debt, excluding capitalized interest, but including amounts borrowed under the Federal Family Education Loan program prior to 2010). Condition: There were four students who exceeded their subsidized loan limits during the audit period. Context: Reports generated from Banner indicated that only four students exceeded this limit for the audit period. Effect: Noncompliance with the federal regulations on loan limits. Questioned Costs: None. Cause: These students were enrolled and attended spring, summer, and fall programs. When the fall amounts were awarded, the summer award had not yet been processed, so there was no overage at the time of the fall award. Once the summer was processed, the students exceeded the loan limit. This error was not caught or corrected during the audit period. Auditor Recommendation: We recommend the University implement internal control procedures to prevent this overage from occurring in future years. University Response: The four students who exceeded their loan limits were Accelerated Nursing Students. The loan offers were made and disbursed for Fall 2024 prior to receiving updated information from the summer disbursements. This is due to a delay in the information that NSLDS provides, resulting in an overpayment. The new ISIR records were not found until this audit period. Of the four students, one was corrected with the Subsidized Loan reallocated to an Unsubsidized Loan. The amount of the reallocation is $656. Of the remaining three students: • Two could not be reallocated because they had already done consolidations • One did not have an unsubsidized loan to reallocate to. In the future, students subject to this timing issue will be monitored closely for Subsidized Loan usage in the first two semesters as it relates to their full eligibility. Since this will always be a timing issue, the financial aid office will leverage all available tools to prevent recurrence and ensure subsidized loans are not over awarded in future years. Jenzabar, our new Student Information System, has reporting tools available for our office to use, and we will utilize these reports to closely follow the students in the ABSN program.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: Direct Subsidized Loans and Direct Unsubsidized Loans have annual loan limits that vary based on the student's grade level and dependency status (34 CFR 685.203). The annual loan limit is the maximum amount that a student may receive for an academic year. Under 34 CFR 685.203(d) and (e), the aggregate loan limits are listed for Direct Subsidized Loans and Direct Unsubsidized Loans (a borrower's maximum allowable outstanding loan debt, excluding capitalized interest, but including amounts borrowed under the Federal Family Education Loan program prior to 2010). Condition: There were four students who exceeded their subsidized loan limits during the audit period. Context: Reports generated from Banner indicated that only four students exceeded this limit for the audit period. Effect: Noncompliance with the federal regulations on loan limits. Questioned Costs: None. Cause: These students were enrolled and attended spring, summer, and fall programs. When the fall amounts were awarded, the summer award had not yet been processed, so there was no overage at the time of the fall award. Once the summer was processed, the students exceeded the loan limit. This error was not caught or corrected during the audit period. Auditor Recommendation: We recommend the University implement internal control procedures to prevent this overage from occurring in future years. University Response: The four students who exceeded their loan limits were Accelerated Nursing Students. The loan offers were made and disbursed for Fall 2024 prior to receiving updated information from the summer disbursements. This is due to a delay in the information that NSLDS provides, resulting in an overpayment. The new ISIR records were not found until this audit period. Of the four students, one was corrected with the Subsidized Loan reallocated to an Unsubsidized Loan. The amount of the reallocation is $656. Of the remaining three students: • Two could not be reallocated because they had already done consolidations • One did not have an unsubsidized loan to reallocate to. In the future, students subject to this timing issue will be monitored closely for Subsidized Loan usage in the first two semesters as it relates to their full eligibility. Since this will always be a timing issue, the financial aid office will leverage all available tools to prevent recurrence and ensure subsidized loans are not over awarded in future years. Jenzabar, our new Student Information System, has reporting tools available for our office to use, and we will utilize these reports to closely follow the students in the ABSN program.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: The 2023-2024 Federal Student Aid Handbook, Vol 2, Chapter 3, states that the Financial Aid Administrator must be supported by an adequate number of professional and clerical personnel. The number of staff that is adequate depends on the number of students aided, the number and types of programs in which the school participates, the number of applicants evaluated and processed, the number of funds administered, and the type of financial data delivery system the school uses. Internal controls that pertain to Eligibility and Special Tests and Provisions include the accuracy and completeness of data used to determine eligibility requirements, which are reviewed and agreed to support as necessary by staff and reviewed by a knowledgeable supervisor. Manual checklists or automated processes used when making eligibility determinations are reviewed and approved by a knowledgeable supervisor. Calculations of amounts to be received for or on behalf of participants are reperformed by a knowledgeable supervisor. Segregation of duties exists between those determining a participant’s eligibility and those reviewing/approving eligibility. Condition: During the audit, inadequate internal control procedures were in place for the Student Financial Aid programs for reviewing the financial aid award packages for Eligibility and return of funds calculations for Special Tests and Provisions. This function was performed only by the Financial Aid Director, with no indication of review. Context: For most of the audit period, the Financial Aid Director was the only staff member in the department. Effect: Noncompliance with the Federal Student Aid Handbook for adequate staffing. There is the risk of errors in calculating financial aid award packages and return of funds calculations when there are inadequate internal controls. Questioned Costs: None. Cause: The University's Financial Aid Department was understaffed and did not develop alternative control activities to accommodate the staff size. Auditor Recommendation: We recommend the University evaluate and determine if additional staff members need to be hired and implement adequate internal controls over the Student Financial Aid program. University Response: The University of Providence acknowledges the finding related to internal control procedures in the Financial Aid Department. We take compliance with federal guidelines and ensuring the accuracy of financial aid processes seriously. It is important to note that during the audit period, the University of Providence was short one staff member in the department, a position which has now been filled. Corrective actions taken or planned is as follows: 1. Evaluate Opportunity for Staffing Enhancements: The University will create a working group to evaluate the possibility of adding staff within the Financial Aid Department to ensure adequate segregation of duties and adherence to federal requirements. If this is not possible due to budgetary constraints, the VPEM and Director of Financial Aid will explore opportunities to leverage existing support resources within the University to meet the same goal. 2. Implementation of Internal Control Procedures: o Eligibility Determinations: Manual and automated processes for determining eligibility will be reviewed by designated staff members and supervised by a senior-level administrator (Vice President for Enrollment Management) on a semester basis, to ensure compliance with federal guidelines. o Return of Funds Calculations: Return of funds calculations will undergo a dual-review process each semester by the VPEM to mitigate the risk of errors. 3. Training and Documentation: The Financial Aid team will continue to undergo annual training to stay updated on the Federal Student Aid Handbook's requirements. Comprehensive documentation of processes and supervisory review checklists will be implemented to support compliance and maintain transparency. Commitment to Compliance: The University of Providence is committed to maintaining the integrity of our financial aid processes and ensuring compliance with all federal regulations. We will take the necessary steps to rectify this finding and prevent recurrence in future audit periods. Should further information be required, the University is prepared to provide additional details and updates on our progress.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: The 2023-2024 Federal Student Aid Handbook, Vol 2, Chapter 3, states that the Financial Aid Administrator must be supported by an adequate number of professional and clerical personnel. The number of staff that is adequate depends on the number of students aided, the number and types of programs in which the school participates, the number of applicants evaluated and processed, the number of funds administered, and the type of financial data delivery system the school uses. Internal controls that pertain to Eligibility and Special Tests and Provisions include the accuracy and completeness of data used to determine eligibility requirements, which are reviewed and agreed to support as necessary by staff and reviewed by a knowledgeable supervisor. Manual checklists or automated processes used when making eligibility determinations are reviewed and approved by a knowledgeable supervisor. Calculations of amounts to be received for or on behalf of participants are reperformed by a knowledgeable supervisor. Segregation of duties exists between those determining a participant’s eligibility and those reviewing/approving eligibility. Condition: During the audit, inadequate internal control procedures were in place for the Student Financial Aid programs for reviewing the financial aid award packages for Eligibility and return of funds calculations for Special Tests and Provisions. This function was performed only by the Financial Aid Director, with no indication of review. Context: For most of the audit period, the Financial Aid Director was the only staff member in the department. Effect: Noncompliance with the Federal Student Aid Handbook for adequate staffing. There is the risk of errors in calculating financial aid award packages and return of funds calculations when there are inadequate internal controls. Questioned Costs: None. Cause: The University's Financial Aid Department was understaffed and did not develop alternative control activities to accommodate the staff size. Auditor Recommendation: We recommend the University evaluate and determine if additional staff members need to be hired and implement adequate internal controls over the Student Financial Aid program. University Response: The University of Providence acknowledges the finding related to internal control procedures in the Financial Aid Department. We take compliance with federal guidelines and ensuring the accuracy of financial aid processes seriously. It is important to note that during the audit period, the University of Providence was short one staff member in the department, a position which has now been filled. Corrective actions taken or planned is as follows: 1. Evaluate Opportunity for Staffing Enhancements: The University will create a working group to evaluate the possibility of adding staff within the Financial Aid Department to ensure adequate segregation of duties and adherence to federal requirements. If this is not possible due to budgetary constraints, the VPEM and Director of Financial Aid will explore opportunities to leverage existing support resources within the University to meet the same goal. 2. Implementation of Internal Control Procedures: o Eligibility Determinations: Manual and automated processes for determining eligibility will be reviewed by designated staff members and supervised by a senior-level administrator (Vice President for Enrollment Management) on a semester basis, to ensure compliance with federal guidelines. o Return of Funds Calculations: Return of funds calculations will undergo a dual-review process each semester by the VPEM to mitigate the risk of errors. 3. Training and Documentation: The Financial Aid team will continue to undergo annual training to stay updated on the Federal Student Aid Handbook's requirements. Comprehensive documentation of processes and supervisory review checklists will be implemented to support compliance and maintain transparency. Commitment to Compliance: The University of Providence is committed to maintaining the integrity of our financial aid processes and ensuring compliance with all federal regulations. We will take the necessary steps to rectify this finding and prevent recurrence in future audit periods. Should further information be required, the University is prepared to provide additional details and updates on our progress.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: The 2023-2024 Federal Student Aid Handbook, Vol 2, Chapter 3, states that the Financial Aid Administrator must be supported by an adequate number of professional and clerical personnel. The number of staff that is adequate depends on the number of students aided, the number and types of programs in which the school participates, the number of applicants evaluated and processed, the number of funds administered, and the type of financial data delivery system the school uses. Internal controls that pertain to Eligibility and Special Tests and Provisions include the accuracy and completeness of data used to determine eligibility requirements, which are reviewed and agreed to support as necessary by staff and reviewed by a knowledgeable supervisor. Manual checklists or automated processes used when making eligibility determinations are reviewed and approved by a knowledgeable supervisor. Calculations of amounts to be received for or on behalf of participants are reperformed by a knowledgeable supervisor. Segregation of duties exists between those determining a participant’s eligibility and those reviewing/approving eligibility. Condition: During the audit, inadequate internal control procedures were in place for the Student Financial Aid programs for reviewing the financial aid award packages for Eligibility and return of funds calculations for Special Tests and Provisions. This function was performed only by the Financial Aid Director, with no indication of review. Context: For most of the audit period, the Financial Aid Director was the only staff member in the department. Effect: Noncompliance with the Federal Student Aid Handbook for adequate staffing. There is the risk of errors in calculating financial aid award packages and return of funds calculations when there are inadequate internal controls. Questioned Costs: None. Cause: The University's Financial Aid Department was understaffed and did not develop alternative control activities to accommodate the staff size. Auditor Recommendation: We recommend the University evaluate and determine if additional staff members need to be hired and implement adequate internal controls over the Student Financial Aid program. University Response: The University of Providence acknowledges the finding related to internal control procedures in the Financial Aid Department. We take compliance with federal guidelines and ensuring the accuracy of financial aid processes seriously. It is important to note that during the audit period, the University of Providence was short one staff member in the department, a position which has now been filled. Corrective actions taken or planned is as follows: 1. Evaluate Opportunity for Staffing Enhancements: The University will create a working group to evaluate the possibility of adding staff within the Financial Aid Department to ensure adequate segregation of duties and adherence to federal requirements. If this is not possible due to budgetary constraints, the VPEM and Director of Financial Aid will explore opportunities to leverage existing support resources within the University to meet the same goal. 2. Implementation of Internal Control Procedures: o Eligibility Determinations: Manual and automated processes for determining eligibility will be reviewed by designated staff members and supervised by a senior-level administrator (Vice President for Enrollment Management) on a semester basis, to ensure compliance with federal guidelines. o Return of Funds Calculations: Return of funds calculations will undergo a dual-review process each semester by the VPEM to mitigate the risk of errors. 3. Training and Documentation: The Financial Aid team will continue to undergo annual training to stay updated on the Federal Student Aid Handbook's requirements. Comprehensive documentation of processes and supervisory review checklists will be implemented to support compliance and maintain transparency. Commitment to Compliance: The University of Providence is committed to maintaining the integrity of our financial aid processes and ensuring compliance with all federal regulations. We will take the necessary steps to rectify this finding and prevent recurrence in future audit periods. Should further information be required, the University is prepared to provide additional details and updates on our progress.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: The 2023-2024 Federal Student Aid Handbook, Vol 2, Chapter 3, states that the Financial Aid Administrator must be supported by an adequate number of professional and clerical personnel. The number of staff that is adequate depends on the number of students aided, the number and types of programs in which the school participates, the number of applicants evaluated and processed, the number of funds administered, and the type of financial data delivery system the school uses. Internal controls that pertain to Eligibility and Special Tests and Provisions include the accuracy and completeness of data used to determine eligibility requirements, which are reviewed and agreed to support as necessary by staff and reviewed by a knowledgeable supervisor. Manual checklists or automated processes used when making eligibility determinations are reviewed and approved by a knowledgeable supervisor. Calculations of amounts to be received for or on behalf of participants are reperformed by a knowledgeable supervisor. Segregation of duties exists between those determining a participant’s eligibility and those reviewing/approving eligibility. Condition: During the audit, inadequate internal control procedures were in place for the Student Financial Aid programs for reviewing the financial aid award packages for Eligibility and return of funds calculations for Special Tests and Provisions. This function was performed only by the Financial Aid Director, with no indication of review. Context: For most of the audit period, the Financial Aid Director was the only staff member in the department. Effect: Noncompliance with the Federal Student Aid Handbook for adequate staffing. There is the risk of errors in calculating financial aid award packages and return of funds calculations when there are inadequate internal controls. Questioned Costs: None. Cause: The University's Financial Aid Department was understaffed and did not develop alternative control activities to accommodate the staff size. Auditor Recommendation: We recommend the University evaluate and determine if additional staff members need to be hired and implement adequate internal controls over the Student Financial Aid program. University Response: The University of Providence acknowledges the finding related to internal control procedures in the Financial Aid Department. We take compliance with federal guidelines and ensuring the accuracy of financial aid processes seriously. It is important to note that during the audit period, the University of Providence was short one staff member in the department, a position which has now been filled. Corrective actions taken or planned is as follows: 1. Evaluate Opportunity for Staffing Enhancements: The University will create a working group to evaluate the possibility of adding staff within the Financial Aid Department to ensure adequate segregation of duties and adherence to federal requirements. If this is not possible due to budgetary constraints, the VPEM and Director of Financial Aid will explore opportunities to leverage existing support resources within the University to meet the same goal. 2. Implementation of Internal Control Procedures: o Eligibility Determinations: Manual and automated processes for determining eligibility will be reviewed by designated staff members and supervised by a senior-level administrator (Vice President for Enrollment Management) on a semester basis, to ensure compliance with federal guidelines. o Return of Funds Calculations: Return of funds calculations will undergo a dual-review process each semester by the VPEM to mitigate the risk of errors. 3. Training and Documentation: The Financial Aid team will continue to undergo annual training to stay updated on the Federal Student Aid Handbook's requirements. Comprehensive documentation of processes and supervisory review checklists will be implemented to support compliance and maintain transparency. Commitment to Compliance: The University of Providence is committed to maintaining the integrity of our financial aid processes and ensuring compliance with all federal regulations. We will take the necessary steps to rectify this finding and prevent recurrence in future audit periods. Should further information be required, the University is prepared to provide additional details and updates on our progress.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: The 2023-2024 Federal Student Aid Handbook, Vol 2, Chapter 3, states that the Financial Aid Administrator must be supported by an adequate number of professional and clerical personnel. The number of staff that is adequate depends on the number of students aided, the number and types of programs in which the school participates, the number of applicants evaluated and processed, the number of funds administered, and the type of financial data delivery system the school uses. Internal controls that pertain to Eligibility and Special Tests and Provisions include the accuracy and completeness of data used to determine eligibility requirements, which are reviewed and agreed to support as necessary by staff and reviewed by a knowledgeable supervisor. Manual checklists or automated processes used when making eligibility determinations are reviewed and approved by a knowledgeable supervisor. Calculations of amounts to be received for or on behalf of participants are reperformed by a knowledgeable supervisor. Segregation of duties exists between those determining a participant’s eligibility and those reviewing/approving eligibility. Condition: During the audit, inadequate internal control procedures were in place for the Student Financial Aid programs for reviewing the financial aid award packages for Eligibility and return of funds calculations for Special Tests and Provisions. This function was performed only by the Financial Aid Director, with no indication of review. Context: For most of the audit period, the Financial Aid Director was the only staff member in the department. Effect: Noncompliance with the Federal Student Aid Handbook for adequate staffing. There is the risk of errors in calculating financial aid award packages and return of funds calculations when there are inadequate internal controls. Questioned Costs: None. Cause: The University's Financial Aid Department was understaffed and did not develop alternative control activities to accommodate the staff size. Auditor Recommendation: We recommend the University evaluate and determine if additional staff members need to be hired and implement adequate internal controls over the Student Financial Aid program. University Response: The University of Providence acknowledges the finding related to internal control procedures in the Financial Aid Department. We take compliance with federal guidelines and ensuring the accuracy of financial aid processes seriously. It is important to note that during the audit period, the University of Providence was short one staff member in the department, a position which has now been filled. Corrective actions taken or planned is as follows: 1. Evaluate Opportunity for Staffing Enhancements: The University will create a working group to evaluate the possibility of adding staff within the Financial Aid Department to ensure adequate segregation of duties and adherence to federal requirements. If this is not possible due to budgetary constraints, the VPEM and Director of Financial Aid will explore opportunities to leverage existing support resources within the University to meet the same goal. 2. Implementation of Internal Control Procedures: o Eligibility Determinations: Manual and automated processes for determining eligibility will be reviewed by designated staff members and supervised by a senior-level administrator (Vice President for Enrollment Management) on a semester basis, to ensure compliance with federal guidelines. o Return of Funds Calculations: Return of funds calculations will undergo a dual-review process each semester by the VPEM to mitigate the risk of errors. 3. Training and Documentation: The Financial Aid team will continue to undergo annual training to stay updated on the Federal Student Aid Handbook's requirements. Comprehensive documentation of processes and supervisory review checklists will be implemented to support compliance and maintain transparency. Commitment to Compliance: The University of Providence is committed to maintaining the integrity of our financial aid processes and ensuring compliance with all federal regulations. We will take the necessary steps to rectify this finding and prevent recurrence in future audit periods. Should further information be required, the University is prepared to provide additional details and updates on our progress.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: Direct Subsidized Loans and Direct Unsubsidized Loans have annual loan limits that vary based on the student's grade level and dependency status (34 CFR 685.203). The annual loan limit is the maximum amount that a student may receive for an academic year. Under 34 CFR 685.203(d) and (e), the aggregate loan limits are listed for Direct Subsidized Loans and Direct Unsubsidized Loans (a borrower's maximum allowable outstanding loan debt, excluding capitalized interest, but including amounts borrowed under the Federal Family Education Loan program prior to 2010). Condition: There were four students who exceeded their subsidized loan limits during the audit period. Context: Reports generated from Banner indicated that only four students exceeded this limit for the audit period. Effect: Noncompliance with the federal regulations on loan limits. Questioned Costs: None. Cause: These students were enrolled and attended spring, summer, and fall programs. When the fall amounts were awarded, the summer award had not yet been processed, so there was no overage at the time of the fall award. Once the summer was processed, the students exceeded the loan limit. This error was not caught or corrected during the audit period. Auditor Recommendation: We recommend the University implement internal control procedures to prevent this overage from occurring in future years. University Response: The four students who exceeded their loan limits were Accelerated Nursing Students. The loan offers were made and disbursed for Fall 2024 prior to receiving updated information from the summer disbursements. This is due to a delay in the information that NSLDS provides, resulting in an overpayment. The new ISIR records were not found until this audit period. Of the four students, one was corrected with the Subsidized Loan reallocated to an Unsubsidized Loan. The amount of the reallocation is $656. Of the remaining three students: • Two could not be reallocated because they had already done consolidations • One did not have an unsubsidized loan to reallocate to. In the future, students subject to this timing issue will be monitored closely for Subsidized Loan usage in the first two semesters as it relates to their full eligibility. Since this will always be a timing issue, the financial aid office will leverage all available tools to prevent recurrence and ensure subsidized loans are not over awarded in future years. Jenzabar, our new Student Information System, has reporting tools available for our office to use, and we will utilize these reports to closely follow the students in the ABSN program.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: Direct Subsidized Loans and Direct Unsubsidized Loans have annual loan limits that vary based on the student's grade level and dependency status (34 CFR 685.203). The annual loan limit is the maximum amount that a student may receive for an academic year. Under 34 CFR 685.203(d) and (e), the aggregate loan limits are listed for Direct Subsidized Loans and Direct Unsubsidized Loans (a borrower's maximum allowable outstanding loan debt, excluding capitalized interest, but including amounts borrowed under the Federal Family Education Loan program prior to 2010). Condition: There were four students who exceeded their subsidized loan limits during the audit period. Context: Reports generated from Banner indicated that only four students exceeded this limit for the audit period. Effect: Noncompliance with the federal regulations on loan limits. Questioned Costs: None. Cause: These students were enrolled and attended spring, summer, and fall programs. When the fall amounts were awarded, the summer award had not yet been processed, so there was no overage at the time of the fall award. Once the summer was processed, the students exceeded the loan limit. This error was not caught or corrected during the audit period. Auditor Recommendation: We recommend the University implement internal control procedures to prevent this overage from occurring in future years. University Response: The four students who exceeded their loan limits were Accelerated Nursing Students. The loan offers were made and disbursed for Fall 2024 prior to receiving updated information from the summer disbursements. This is due to a delay in the information that NSLDS provides, resulting in an overpayment. The new ISIR records were not found until this audit period. Of the four students, one was corrected with the Subsidized Loan reallocated to an Unsubsidized Loan. The amount of the reallocation is $656. Of the remaining three students: • Two could not be reallocated because they had already done consolidations • One did not have an unsubsidized loan to reallocate to. In the future, students subject to this timing issue will be monitored closely for Subsidized Loan usage in the first two semesters as it relates to their full eligibility. Since this will always be a timing issue, the financial aid office will leverage all available tools to prevent recurrence and ensure subsidized loans are not over awarded in future years. Jenzabar, our new Student Information System, has reporting tools available for our office to use, and we will utilize these reports to closely follow the students in the ABSN program.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: Direct Subsidized Loans and Direct Unsubsidized Loans have annual loan limits that vary based on the student's grade level and dependency status (34 CFR 685.203). The annual loan limit is the maximum amount that a student may receive for an academic year. Under 34 CFR 685.203(d) and (e), the aggregate loan limits are listed for Direct Subsidized Loans and Direct Unsubsidized Loans (a borrower's maximum allowable outstanding loan debt, excluding capitalized interest, but including amounts borrowed under the Federal Family Education Loan program prior to 2010). Condition: There were four students who exceeded their subsidized loan limits during the audit period. Context: Reports generated from Banner indicated that only four students exceeded this limit for the audit period. Effect: Noncompliance with the federal regulations on loan limits. Questioned Costs: None. Cause: These students were enrolled and attended spring, summer, and fall programs. When the fall amounts were awarded, the summer award had not yet been processed, so there was no overage at the time of the fall award. Once the summer was processed, the students exceeded the loan limit. This error was not caught or corrected during the audit period. Auditor Recommendation: We recommend the University implement internal control procedures to prevent this overage from occurring in future years. University Response: The four students who exceeded their loan limits were Accelerated Nursing Students. The loan offers were made and disbursed for Fall 2024 prior to receiving updated information from the summer disbursements. This is due to a delay in the information that NSLDS provides, resulting in an overpayment. The new ISIR records were not found until this audit period. Of the four students, one was corrected with the Subsidized Loan reallocated to an Unsubsidized Loan. The amount of the reallocation is $656. Of the remaining three students: • Two could not be reallocated because they had already done consolidations • One did not have an unsubsidized loan to reallocate to. In the future, students subject to this timing issue will be monitored closely for Subsidized Loan usage in the first two semesters as it relates to their full eligibility. Since this will always be a timing issue, the financial aid office will leverage all available tools to prevent recurrence and ensure subsidized loans are not over awarded in future years. Jenzabar, our new Student Information System, has reporting tools available for our office to use, and we will utilize these reports to closely follow the students in the ABSN program.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: Direct Subsidized Loans and Direct Unsubsidized Loans have annual loan limits that vary based on the student's grade level and dependency status (34 CFR 685.203). The annual loan limit is the maximum amount that a student may receive for an academic year. Under 34 CFR 685.203(d) and (e), the aggregate loan limits are listed for Direct Subsidized Loans and Direct Unsubsidized Loans (a borrower's maximum allowable outstanding loan debt, excluding capitalized interest, but including amounts borrowed under the Federal Family Education Loan program prior to 2010). Condition: There were four students who exceeded their subsidized loan limits during the audit period. Context: Reports generated from Banner indicated that only four students exceeded this limit for the audit period. Effect: Noncompliance with the federal regulations on loan limits. Questioned Costs: None. Cause: These students were enrolled and attended spring, summer, and fall programs. When the fall amounts were awarded, the summer award had not yet been processed, so there was no overage at the time of the fall award. Once the summer was processed, the students exceeded the loan limit. This error was not caught or corrected during the audit period. Auditor Recommendation: We recommend the University implement internal control procedures to prevent this overage from occurring in future years. University Response: The four students who exceeded their loan limits were Accelerated Nursing Students. The loan offers were made and disbursed for Fall 2024 prior to receiving updated information from the summer disbursements. This is due to a delay in the information that NSLDS provides, resulting in an overpayment. The new ISIR records were not found until this audit period. Of the four students, one was corrected with the Subsidized Loan reallocated to an Unsubsidized Loan. The amount of the reallocation is $656. Of the remaining three students: • Two could not be reallocated because they had already done consolidations • One did not have an unsubsidized loan to reallocate to. In the future, students subject to this timing issue will be monitored closely for Subsidized Loan usage in the first two semesters as it relates to their full eligibility. Since this will always be a timing issue, the financial aid office will leverage all available tools to prevent recurrence and ensure subsidized loans are not over awarded in future years. Jenzabar, our new Student Information System, has reporting tools available for our office to use, and we will utilize these reports to closely follow the students in the ABSN program.
U.S. Department of Education Student Financial Aid Cluster: ALN: 84.063 Pell Grant ALN: 84.007 Supplemental Educational Opportunity Grant ALN 84.033 Federal Work Study ALN 84.038 Federal Perkins Loan Program ALN 84.268 Federal Direct Student Loans Criteria: Direct Subsidized Loans and Direct Unsubsidized Loans have annual loan limits that vary based on the student's grade level and dependency status (34 CFR 685.203). The annual loan limit is the maximum amount that a student may receive for an academic year. Under 34 CFR 685.203(d) and (e), the aggregate loan limits are listed for Direct Subsidized Loans and Direct Unsubsidized Loans (a borrower's maximum allowable outstanding loan debt, excluding capitalized interest, but including amounts borrowed under the Federal Family Education Loan program prior to 2010). Condition: There were four students who exceeded their subsidized loan limits during the audit period. Context: Reports generated from Banner indicated that only four students exceeded this limit for the audit period. Effect: Noncompliance with the federal regulations on loan limits. Questioned Costs: None. Cause: These students were enrolled and attended spring, summer, and fall programs. When the fall amounts were awarded, the summer award had not yet been processed, so there was no overage at the time of the fall award. Once the summer was processed, the students exceeded the loan limit. This error was not caught or corrected during the audit period. Auditor Recommendation: We recommend the University implement internal control procedures to prevent this overage from occurring in future years. University Response: The four students who exceeded their loan limits were Accelerated Nursing Students. The loan offers were made and disbursed for Fall 2024 prior to receiving updated information from the summer disbursements. This is due to a delay in the information that NSLDS provides, resulting in an overpayment. The new ISIR records were not found until this audit period. Of the four students, one was corrected with the Subsidized Loan reallocated to an Unsubsidized Loan. The amount of the reallocation is $656. Of the remaining three students: • Two could not be reallocated because they had already done consolidations • One did not have an unsubsidized loan to reallocate to. In the future, students subject to this timing issue will be monitored closely for Subsidized Loan usage in the first two semesters as it relates to their full eligibility. Since this will always be a timing issue, the financial aid office will leverage all available tools to prevent recurrence and ensure subsidized loans are not over awarded in future years. Jenzabar, our new Student Information System, has reporting tools available for our office to use, and we will utilize these reports to closely follow the students in the ABSN program.