Audit 342288

FY End
2024-06-30
Total Expended
$34.26M
Findings
24
Programs
14
Organization: Aids Foundation of Chicago (IL)
Year: 2024 Accepted: 2025-02-12

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
523012 2024-001 Significant Deficiency Yes M
523013 2024-001 Significant Deficiency Yes M
523014 2024-001 Significant Deficiency Yes M
523015 2024-001 Significant Deficiency Yes M
523016 2024-001 Significant Deficiency Yes M
523017 2024-001 Significant Deficiency Yes M
523018 2024-001 Significant Deficiency Yes M
523019 2024-001 Significant Deficiency Yes M
523020 2024-001 Significant Deficiency Yes M
523021 2024-001 Significant Deficiency Yes M
523022 2024-001 Significant Deficiency Yes M
523023 2024-001 Significant Deficiency Yes M
1099454 2024-001 Significant Deficiency Yes M
1099455 2024-001 Significant Deficiency Yes M
1099456 2024-001 Significant Deficiency Yes M
1099457 2024-001 Significant Deficiency Yes M
1099458 2024-001 Significant Deficiency Yes M
1099459 2024-001 Significant Deficiency Yes M
1099460 2024-001 Significant Deficiency Yes M
1099461 2024-001 Significant Deficiency Yes M
1099462 2024-001 Significant Deficiency Yes M
1099463 2024-001 Significant Deficiency Yes M
1099464 2024-001 Significant Deficiency Yes M
1099465 2024-001 Significant Deficiency Yes M

Contacts

Name Title Type
K756M2NR1HM4 Laurie Wettstead Auditee
3123340925 Susan Jones Auditor
No contacts on file

Notes to SEFA

Title: Summary of Significant Accounting Accounting Policies: The accompanying schedule of expenditures of federal awards ("Schedule") includes the federal award activity of AIDS Foundation of Chicago (the "Foundation") 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). Because the Schedule presents only a selected portion of the operations of the Foundation, it is not intended to and does not present the financial position, changes in net assets, or cash flows of the Foundation. De Minimis Rate Used: N Rate Explanation: The Foundation negotiated an indirect cost rate with the Department of Health and Human Services of 15.20% and is not utilizing the 10% de minimis rate as allowed under the Uniform Guidance. Expenditures reported on the Schedule are reported on the accrual basis of accounting. Such expenditures are recognized following the cost principles contained in the Uniform Guidance, wherein certain types of expenditures are not allowable or are limited as to reimbursement.
Title: Non-Cash Assistance Accounting Policies: The accompanying schedule of expenditures of federal awards ("Schedule") includes the federal award activity of AIDS Foundation of Chicago (the "Foundation") 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). Because the Schedule presents only a selected portion of the operations of the Foundation, it is not intended to and does not present the financial position, changes in net assets, or cash flows of the Foundation. De Minimis Rate Used: N Rate Explanation: The Foundation negotiated an indirect cost rate with the Department of Health and Human Services of 15.20% and is not utilizing the 10% de minimis rate as allowed under the Uniform Guidance. There was no noncash assistance during the year ended June 30, 2024.
Title: Loans Outstanding Accounting Policies: The accompanying schedule of expenditures of federal awards ("Schedule") includes the federal award activity of AIDS Foundation of Chicago (the "Foundation") 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). Because the Schedule presents only a selected portion of the operations of the Foundation, it is not intended to and does not present the financial position, changes in net assets, or cash flows of the Foundation. De Minimis Rate Used: N Rate Explanation: The Foundation negotiated an indirect cost rate with the Department of Health and Human Services of 15.20% and is not utilizing the 10% de minimis rate as allowed under the Uniform Guidance. There were no loans outstanding at June 30, 2024.
Title: Federal Insurance Accounting Policies: The accompanying schedule of expenditures of federal awards ("Schedule") includes the federal award activity of AIDS Foundation of Chicago (the "Foundation") 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). Because the Schedule presents only a selected portion of the operations of the Foundation, it is not intended to and does not present the financial position, changes in net assets, or cash flows of the Foundation. De Minimis Rate Used: N Rate Explanation: The Foundation negotiated an indirect cost rate with the Department of Health and Human Services of 15.20% and is not utilizing the 10% de minimis rate as allowed under the Uniform Guidance. The Foundation did not have any insurance coverage in effect that was paid with Federal funds during the year ended June 30, 2024.

Finding Details

Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.
Federal program: All federal awards provided to subrecipients. FY/Federal Award ID#: FY2024/All federal awards provided to subrecipients. Federal agency: All federal awards provided to subrecipients. Pass thru entity: All federal awards provided to subrecipients. Criteria: per 24 CFR 574.500 -- Responsibility for grant administration: (a) General. Grantees are responsible for ensuring that grants are administered in accordance with the requirements of this part and other applicable laws. Grantees are responsible for ensuring that their respective subrecipients carry out activities in compliance with all applicable requirements. (b) Grant agreement. The grant agreement will provide that the grantee agrees, and will ensure that each subrecipient agrees, to: (1) Operate the program in accordance with the provisions of these regulations and other applicable HUD regulations; (2) Conduct an ongoing assessment of the housing assistance and supportive services required by the participants in the program; (3) Assure the adequate provision of supportive services to the participants in the program; and (4) Comply with such other terms and conditions, including recordkeeping and reports (which must include racial and ethnic data on participants) for program monitoring and evaluation purposes, as HUD may establish for purposes of carrying out the program in an effective and efficient manner. And 24 CFR 574.500 Applicability of Uniform Administrative Requirements as per 2 CFR 200.332(f) Requirements for pass-through entities. Verify that every subrecipient is audited as required by Subpart F of this part when it is expected that the Federal awards expended during the respective fiscal year equaled or exceeded the threshold set forth in §200.501. Condition: The Foundation is not in compliance with recordkeeping for program monitoring and evaluation, as the Foundation did not comprehensively asses all subrecipients using riskbased/ subrecipient monitoring policies and procedures. Questioned Costs: None noted. Cause: Staff were not aware of the extent of the requirements to monitor program and fiscal compliance of project sponsors and document results and evidence of compliance or non-compliance. Therefore, a number of project sponsors/subrecipients were not monitored. Effect: Granting agencies cannot determine whether the Foundation is ensuring that the project sponsor is carrying out activities in compliance with all applicable requirements. Recommendation: The Foundation provide written policies and procedures for project sponsor monitoring and oversight, create a risk analysis form/process for all funded project sponsors and create a timeline to monitor project sponsors based on the risk analysis completed. Views of Responsible Officials: The Foundation has updated its Quality Management Plan to include comprehensive subrecipient monitoring policies. The Quality Management team is working with all programming to implement a robust monitoring process, including risk assessments, adherence to grantor regulations, service delivery, and program outcomes.