TYPE OF FINDING NONCOMPLIANCE AND SIGNIFICANT DEFICIENCY
CRITERIA WOIA Youth Activities required that not less than 20 percent of Youth Activity funds
allocated to the local area, except for the local area expenditures for administration, must
be used to provide paid and unpaid work experiences (Section 129(c)(4)), WIOA, 128 Stat.
1510). Also, a minimum of 75 percent of the Youth Activity funds allocated to States and
local areas, except for the local area expenditures for administration, must be used to
provide services to out-of-school youth (Section 129(a)(4)(A), WIOA, 128 Stat. 1506). The
DOL's Employment and Training Administration (ETA) approved a waiver for PY 2022 and
PY 2023, which includes the entire time period for which states are authorized to spend
those funds, the Puerto Rico Commonwealth's request to waive the requirement that local
areas expend 75 percent of local youth formula funds on OSY. Puerto Rico may lower the
local youth funds expenditure requirement to 50 percent for OSY.
STATEMENT OF CONDITION During our audits test of the earmarking compliance requirement for the Youth Program
funds of the program year 2022-2023, we noted that the Local Area only expended 19%
of the funds allocated to programmatic activities on paid and unpaid work experiences at
the end of the two years of funds availability which ended June 30, 2024. Also, the Local
Area only expended 39% of the Youth Program funds allocated for program year 2022-
2023 on services for Out-of-School.
QUESTIONED COSTS None
PERSPECTIVE INFORMATION This represents a systematic problem in our evaluation.
STATEMENT OF CAUSE The Local Area failed to timely identify the lack of compliance with the earmarking
requirement for the Youth Program and failed to planned activities for participants related
to paid and unpaid work experience and activities for Out-of-School Youth during the two
years of funds availability.
POSSIBLE ASSERTED EFFECT The Local Area failed to comply with a programmatic requirement of the Youth Program.
IDENTIFICATION OF
REPEAT FINDING This is a repeated finding and includes two earmarking requirements. (2023-001)
RECOMMENDATIONS We recommend that a formal monitoring of the earmark requirements for the Youth
Program, as well as other earmark requirements, takes place at least on a quarterly basis
during the funds period of performance. Staff that should participate in the monitoring
include finance, planning, youth program staff and executive staff. If deviations or failure
to meet the earmark are noted, communications must be generated to the youth program
staff in order to take corrective actions before the elapse of the funding period.
TYPE OF FINDING NONCOMPLIANCE AND SIGNIFICANT DEFICIENCY
CRITERIA WOIA Youth Activities required that not less than 20 percent of Youth Activity funds
allocated to the local area, except for the local area expenditures for administration, must
be used to provide paid and unpaid work experiences (Section 129(c)(4)), WIOA, 128 Stat.
1510). Also, a minimum of 75 percent of the Youth Activity funds allocated to States and
local areas, except for the local area expenditures for administration, must be used to
provide services to out-of-school youth (Section 129(a)(4)(A), WIOA, 128 Stat. 1506). The
DOL's Employment and Training Administration (ETA) approved a waiver for PY 2022 and
PY 2023, which includes the entire time period for which states are authorized to spend
those funds, the Puerto Rico Commonwealth's request to waive the requirement that local
areas expend 75 percent of local youth formula funds on OSY. Puerto Rico may lower the
local youth funds expenditure requirement to 50 percent for OSY.
STATEMENT OF CONDITION During our audits test of the earmarking compliance requirement for the Youth Program
funds of the program year 2022-2023, we noted that the Local Area only expended 19%
of the funds allocated to programmatic activities on paid and unpaid work experiences at
the end of the two years of funds availability which ended June 30, 2024. Also, the Local
Area only expended 39% of the Youth Program funds allocated for program year 2022-
2023 on services for Out-of-School.
QUESTIONED COSTS None
PERSPECTIVE INFORMATION This represents a systematic problem in our evaluation.
STATEMENT OF CAUSE The Local Area failed to timely identify the lack of compliance with the earmarking
requirement for the Youth Program and failed to planned activities for participants related
to paid and unpaid work experience and activities for Out-of-School Youth during the two
years of funds availability.
POSSIBLE ASSERTED EFFECT The Local Area failed to comply with a programmatic requirement of the Youth Program.
IDENTIFICATION OF
REPEAT FINDING This is a repeated finding and includes two earmarking requirements. (2023-001)
RECOMMENDATIONS We recommend that a formal monitoring of the earmark requirements for the Youth
Program, as well as other earmark requirements, takes place at least on a quarterly basis
during the funds period of performance. Staff that should participate in the monitoring
include finance, planning, youth program staff and executive staff. If deviations or failure
to meet the earmark are noted, communications must be generated to the youth program
staff in order to take corrective actions before the elapse of the funding period.
TYPE OF FINDING NONCOMPLIANCE AND SIGNIFICANT DEFICIENCY
CRITERIA WOIA Youth Activities required that not less than 20 percent of Youth Activity funds
allocated to the local area, except for the local area expenditures for administration, must
be used to provide paid and unpaid work experiences (Section 129(c)(4)), WIOA, 128 Stat.
1510). Also, a minimum of 75 percent of the Youth Activity funds allocated to States and
local areas, except for the local area expenditures for administration, must be used to
provide services to out-of-school youth (Section 129(a)(4)(A), WIOA, 128 Stat. 1506). The
DOL's Employment and Training Administration (ETA) approved a waiver for PY 2022 and
PY 2023, which includes the entire time period for which states are authorized to spend
those funds, the Puerto Rico Commonwealth's request to waive the requirement that local
areas expend 75 percent of local youth formula funds on OSY. Puerto Rico may lower the
local youth funds expenditure requirement to 50 percent for OSY.
STATEMENT OF CONDITION During our audits test of the earmarking compliance requirement for the Youth Program
funds of the program year 2022-2023, we noted that the Local Area only expended 19%
of the funds allocated to programmatic activities on paid and unpaid work experiences at
the end of the two years of funds availability which ended June 30, 2024. Also, the Local
Area only expended 39% of the Youth Program funds allocated for program year 2022-
2023 on services for Out-of-School.
QUESTIONED COSTS None
PERSPECTIVE INFORMATION This represents a systematic problem in our evaluation.
STATEMENT OF CAUSE The Local Area failed to timely identify the lack of compliance with the earmarking
requirement for the Youth Program and failed to planned activities for participants related
to paid and unpaid work experience and activities for Out-of-School Youth during the two
years of funds availability.
POSSIBLE ASSERTED EFFECT The Local Area failed to comply with a programmatic requirement of the Youth Program.
IDENTIFICATION OF
REPEAT FINDING This is a repeated finding and includes two earmarking requirements. (2023-001)
RECOMMENDATIONS We recommend that a formal monitoring of the earmark requirements for the Youth
Program, as well as other earmark requirements, takes place at least on a quarterly basis
during the funds period of performance. Staff that should participate in the monitoring
include finance, planning, youth program staff and executive staff. If deviations or failure
to meet the earmark are noted, communications must be generated to the youth program
staff in order to take corrective actions before the elapse of the funding period.
TYPE OF FINDING NONCOMPLIANCE AND SIGNIFICANT DEFICIENCY
CRITERIA WOIA Youth Activities required that not less than 20 percent of Youth Activity funds
allocated to the local area, except for the local area expenditures for administration, must
be used to provide paid and unpaid work experiences (Section 129(c)(4)), WIOA, 128 Stat.
1510). Also, a minimum of 75 percent of the Youth Activity funds allocated to States and
local areas, except for the local area expenditures for administration, must be used to
provide services to out-of-school youth (Section 129(a)(4)(A), WIOA, 128 Stat. 1506). The
DOL's Employment and Training Administration (ETA) approved a waiver for PY 2022 and
PY 2023, which includes the entire time period for which states are authorized to spend
those funds, the Puerto Rico Commonwealth's request to waive the requirement that local
areas expend 75 percent of local youth formula funds on OSY. Puerto Rico may lower the
local youth funds expenditure requirement to 50 percent for OSY.
STATEMENT OF CONDITION During our audits test of the earmarking compliance requirement for the Youth Program
funds of the program year 2022-2023, we noted that the Local Area only expended 19%
of the funds allocated to programmatic activities on paid and unpaid work experiences at
the end of the two years of funds availability which ended June 30, 2024. Also, the Local
Area only expended 39% of the Youth Program funds allocated for program year 2022-
2023 on services for Out-of-School.
QUESTIONED COSTS None
PERSPECTIVE INFORMATION This represents a systematic problem in our evaluation.
STATEMENT OF CAUSE The Local Area failed to timely identify the lack of compliance with the earmarking
requirement for the Youth Program and failed to planned activities for participants related
to paid and unpaid work experience and activities for Out-of-School Youth during the two
years of funds availability.
POSSIBLE ASSERTED EFFECT The Local Area failed to comply with a programmatic requirement of the Youth Program.
IDENTIFICATION OF
REPEAT FINDING This is a repeated finding and includes two earmarking requirements. (2023-001)
RECOMMENDATIONS We recommend that a formal monitoring of the earmark requirements for the Youth
Program, as well as other earmark requirements, takes place at least on a quarterly basis
during the funds period of performance. Staff that should participate in the monitoring
include finance, planning, youth program staff and executive staff. If deviations or failure
to meet the earmark are noted, communications must be generated to the youth program
staff in order to take corrective actions before the elapse of the funding period.
TYPE OF FINDING NONCOMPLIANCE AND SIGNIFICANT DEFICIENCY
CRITERIA WOIA Youth Activities required that not less than 20 percent of Youth Activity funds
allocated to the local area, except for the local area expenditures for administration, must
be used to provide paid and unpaid work experiences (Section 129(c)(4)), WIOA, 128 Stat.
1510). Also, a minimum of 75 percent of the Youth Activity funds allocated to States and
local areas, except for the local area expenditures for administration, must be used to
provide services to out-of-school youth (Section 129(a)(4)(A), WIOA, 128 Stat. 1506). The
DOL's Employment and Training Administration (ETA) approved a waiver for PY 2022 and
PY 2023, which includes the entire time period for which states are authorized to spend
those funds, the Puerto Rico Commonwealth's request to waive the requirement that local
areas expend 75 percent of local youth formula funds on OSY. Puerto Rico may lower the
local youth funds expenditure requirement to 50 percent for OSY.
STATEMENT OF CONDITION During our audits test of the earmarking compliance requirement for the Youth Program
funds of the program year 2022-2023, we noted that the Local Area only expended 19%
of the funds allocated to programmatic activities on paid and unpaid work experiences at
the end of the two years of funds availability which ended June 30, 2024. Also, the Local
Area only expended 39% of the Youth Program funds allocated for program year 2022-
2023 on services for Out-of-School.
QUESTIONED COSTS None
PERSPECTIVE INFORMATION This represents a systematic problem in our evaluation.
STATEMENT OF CAUSE The Local Area failed to timely identify the lack of compliance with the earmarking
requirement for the Youth Program and failed to planned activities for participants related
to paid and unpaid work experience and activities for Out-of-School Youth during the two
years of funds availability.
POSSIBLE ASSERTED EFFECT The Local Area failed to comply with a programmatic requirement of the Youth Program.
IDENTIFICATION OF
REPEAT FINDING This is a repeated finding and includes two earmarking requirements. (2023-001)
RECOMMENDATIONS We recommend that a formal monitoring of the earmark requirements for the Youth
Program, as well as other earmark requirements, takes place at least on a quarterly basis
during the funds period of performance. Staff that should participate in the monitoring
include finance, planning, youth program staff and executive staff. If deviations or failure
to meet the earmark are noted, communications must be generated to the youth program
staff in order to take corrective actions before the elapse of the funding period.
TYPE OF FINDING NONCOMPLIANCE AND SIGNIFICANT DEFICIENCY
CRITERIA WOIA Youth Activities required that not less than 20 percent of Youth Activity funds
allocated to the local area, except for the local area expenditures for administration, must
be used to provide paid and unpaid work experiences (Section 129(c)(4)), WIOA, 128 Stat.
1510). Also, a minimum of 75 percent of the Youth Activity funds allocated to States and
local areas, except for the local area expenditures for administration, must be used to
provide services to out-of-school youth (Section 129(a)(4)(A), WIOA, 128 Stat. 1506). The
DOL's Employment and Training Administration (ETA) approved a waiver for PY 2022 and
PY 2023, which includes the entire time period for which states are authorized to spend
those funds, the Puerto Rico Commonwealth's request to waive the requirement that local
areas expend 75 percent of local youth formula funds on OSY. Puerto Rico may lower the
local youth funds expenditure requirement to 50 percent for OSY.
STATEMENT OF CONDITION During our audits test of the earmarking compliance requirement for the Youth Program
funds of the program year 2022-2023, we noted that the Local Area only expended 19%
of the funds allocated to programmatic activities on paid and unpaid work experiences at
the end of the two years of funds availability which ended June 30, 2024. Also, the Local
Area only expended 39% of the Youth Program funds allocated for program year 2022-
2023 on services for Out-of-School.
QUESTIONED COSTS None
PERSPECTIVE INFORMATION This represents a systematic problem in our evaluation.
STATEMENT OF CAUSE The Local Area failed to timely identify the lack of compliance with the earmarking
requirement for the Youth Program and failed to planned activities for participants related
to paid and unpaid work experience and activities for Out-of-School Youth during the two
years of funds availability.
POSSIBLE ASSERTED EFFECT The Local Area failed to comply with a programmatic requirement of the Youth Program.
IDENTIFICATION OF
REPEAT FINDING This is a repeated finding and includes two earmarking requirements. (2023-001)
RECOMMENDATIONS We recommend that a formal monitoring of the earmark requirements for the Youth
Program, as well as other earmark requirements, takes place at least on a quarterly basis
during the funds period of performance. Staff that should participate in the monitoring
include finance, planning, youth program staff and executive staff. If deviations or failure
to meet the earmark are noted, communications must be generated to the youth program
staff in order to take corrective actions before the elapse of the funding period.