Audit 34723

FY End
2022-06-30
Total Expended
$16.22M
Findings
8
Programs
15
Year: 2022 Accepted: 2023-01-22
Auditor: Crowe LLP

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
37642 2022-002 Material Weakness Yes E
37643 2022-001 Material Weakness Yes L
37644 2022-001 Material Weakness Yes L
37645 2022-001 Material Weakness Yes L
614084 2022-002 Material Weakness Yes E
614085 2022-001 Material Weakness Yes L
614086 2022-001 Material Weakness Yes L
614087 2022-001 Material Weakness Yes L

Contacts

Name Title Type
J5E5CM8RN125 Tyhani Hill Auditee
7085962000 John Weber Auditor
No contacts on file

Notes to SEFA

Title: FEDERAL INSURANCE Accounting Policies: SUMMARY OF SIGNIFICANT ACCOUNTING POLICIES - The accompanying Schedule has been prepared on the accrual basis of accounting. Expenditures for federal student financial aid programs are recognized as incurred and include Pell program grants to students, the federal share of students FSEOG program grants, FWS program earnings, and administrative cost allowances, where applicable. Expenditures for other federal awards of the College are determined using the cost accounting principles and procedures set forth in the Uniform Guidance. Under these cost principles, certain expenditures are not allowable or are limited as to reimbursement. De Minimis Rate Used: Y Rate Explanation: The auditee used the de minimis cost rate. The College has elected to use the 10-percent de minimis indirect cost rate allowed under the Uniform Guidance. The College had no Federal Insurance in force during the year.
Title: BASIS OF PRESENTATION Accounting Policies: SUMMARY OF SIGNIFICANT ACCOUNTING POLICIES - The accompanying Schedule has been prepared on the accrual basis of accounting. Expenditures for federal student financial aid programs are recognized as incurred and include Pell program grants to students, the federal share of students FSEOG program grants, FWS program earnings, and administrative cost allowances, where applicable. Expenditures for other federal awards of the College are determined using the cost accounting principles and procedures set forth in the Uniform Guidance. Under these cost principles, certain expenditures are not allowable or are limited as to reimbursement. De Minimis Rate Used: Y Rate Explanation: The auditee used the de minimis cost rate. The College has elected to use the 10-percent de minimis indirect cost rate allowed under the Uniform Guidance. The accompanying schedule of expenditures of federal awards (the Schedule) summarizes the federal awards expended by South Suburban College-Community College District No. 510 (the College) for the year ended June 30, 2022.For the purposes of the Schedule, federal awards include all grants, contracts, loans, and loan guarantee agreements entered into directly between the College and agencies and departments of the federal government. The College has classified all awards into major and nonmajor programs in accordance with the provisions of Title 2 U.S. Code of Federal Regulations Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Guidance). Major programs include the following: Student Financial Aid Program Cluster Includes certain awards to provide financial assistance to students, primarily under the Federal Pell Grant (Pell), Federal Supplementary Educational Opportunity Grant (FSEOG), and Federal Work-Study (FWS) programs of the Department of Education. Coronavirus Aid, Relief and Economic Security Act Grant Includes awards to provide financial assistance to students and institutions adversely impacted by the COVID-19 pandemic.
Title: MAJOR PROGRAMS Accounting Policies: SUMMARY OF SIGNIFICANT ACCOUNTING POLICIES - The accompanying Schedule has been prepared on the accrual basis of accounting. Expenditures for federal student financial aid programs are recognized as incurred and include Pell program grants to students, the federal share of students FSEOG program grants, FWS program earnings, and administrative cost allowances, where applicable. Expenditures for other federal awards of the College are determined using the cost accounting principles and procedures set forth in the Uniform Guidance. Under these cost principles, certain expenditures are not allowable or are limited as to reimbursement. De Minimis Rate Used: Y Rate Explanation: The auditee used the de minimis cost rate. The College has elected to use the 10-percent de minimis indirect cost rate allowed under the Uniform Guidance. In accordance with the Uniform Guidance, major programs for the College are individual programs or a cluster of programs determined by using a risk-based analysis. The threshold for distinguishing Type A and Type B programs was $750,000 and $187,500, respectively. Student Financial Aid programs are designated as clusters of programs.
Title: NON-CASH ASSISTANCE Accounting Policies: SUMMARY OF SIGNIFICANT ACCOUNTING POLICIES - The accompanying Schedule has been prepared on the accrual basis of accounting. Expenditures for federal student financial aid programs are recognized as incurred and include Pell program grants to students, the federal share of students FSEOG program grants, FWS program earnings, and administrative cost allowances, where applicable. Expenditures for other federal awards of the College are determined using the cost accounting principles and procedures set forth in the Uniform Guidance. Under these cost principles, certain expenditures are not allowable or are limited as to reimbursement. De Minimis Rate Used: Y Rate Explanation: The auditee used the de minimis cost rate. The College has elected to use the 10-percent de minimis indirect cost rate allowed under the Uniform Guidance. The College had no non-cash assistance during the year.

Finding Details

FINDING 2022-002 ? CONTROLS AND NONCOMPLIANCE OVER ELIGIBILITY AND DISBURSEMENT Federal Department: Department of Education Assistance Listing Number(s):84.063 Program Name(s): Student Financial Aid Cluster Questioned Costs: $500 Criteria Per the Uniform Guidance Compliance Supplement, Federal Suppleental Educational Opportunity Grants (FSEOG) are awarded first to Pell receipts who have the lowest expected family contributions. If an institution has FSEOG funds remaining after giving FSEOG awards to all the Federal Pell Grant recipients at the institution, the institution shall award the remaining FSEOG funds to those eligible students with the lowest expected family contributions who will not receive Federal Pell Grants. Condition During our compliance testing two students received FSEOG funding while having an expected family contribution greather than $0, which would indicate that other Pell receipients had potential need but were not awarded aid. Questioned Costs The known questioned costs were determined by obtaining the amount of FSEOG financial aid that the students were awarded per the College?s student financial aid population. Context The College could not locate documentation to support the reason these students were judgementally awarded the FSEOG funds. Effect There is a possibility that the students who received financial aid were not actually eligible for the amounts received. Cause The cause appears to be an error in the processing of the file documentation would include support for why the FSEOG award was granted even though the student did not have the lowest possible expected family contribution. Identification as a Repeat Finding, if Applicable This is a partial repeat finding. This was reported in the prior year as finding 2021-002. Recommendation We are aware that the Student Financial Aid Department is undergoing updates to its procedures regarding documentation retention. We recommend that the College continue these efforts to ensure future compliance with all applicable documentation requirements. Views of Responsible Officials and Planned Corrective Actions See Corrective Action Plan.
FINDING 2022-001 ? CONTROLS AND NONCOMPLIANCE OVER REPORTING Federal Department: Department of Education Assistance Listing Number(s):84.063, 84.007, 84.033 Program Name(s): Student Financial Aid Cluster Questioned Costs: None Criteria Per the requirements of the Uniform Guiance in the Compliance Supplement, the College is required to maintain documentation demonstrating its controls over compliance with applicable federal requirements. Additionally, Federal regulations dictate when a recipient of Title IV funds received a Pell disbursement, the institution must submit the disbursement information to the Department of Education?s Common Origination and Disbursement (COD) site within 15 days. Condition During our testing of controls over reporting it is noted that the College did not maintain proper documentation in the form of a list of files that are reviewed by the Student Financial Aid Director for accuracy before being submitted to the COD. Additionally, during our compliance testing we noted 8 out of 25 students selected for testing where the College submitted the Pell disbursement information to the COD site after the 30 day submission window. Questioned Costs None Context The College was unable to locate its control documentation that COD site submissions were reviewed for accuracry and approved prior to submission. A sample of 25 students were selected for compliance testing. 8 students? disbursement information was submitted between 3 and 17 days late However, it was noted during our compliance testing that the disbursement information reported by the College to the U.S. Department of Education was accurate. Effect The College did not apply its established controls to ensure Pell COD information was remitted timely as well as properly reviewed and approved, thus the College was not in compliance with the requirements. Cause The cause appears to be an error in the processing of the information batches, due to turnover in the Student Financial Aid department. Identification as a Repeat Finding, if Applicable This matter is considered a repeat finding, and was reported previously as finding 2021-003. Recommendation We recommend that the College?s Student Financial Aid department consider additional steps to reinforce established policies and procedures regarding timely submission of the COD information. This may including automated reminders, updated calendars and other notification mechanisms in the College?s Colleague system to compliment manual controls to allow for more flexibility in remote working situations, such as those caused by the COVID-19 pandemic. Views of Responsible Officials and Planned Corrective Actions See Corrective Action Plan.
FINDING 2022-001 ? CONTROLS AND NONCOMPLIANCE OVER REPORTING Federal Department: Department of Education Assistance Listing Number(s):84.063, 84.007, 84.033 Program Name(s): Student Financial Aid Cluster Questioned Costs: None Criteria Per the requirements of the Uniform Guiance in the Compliance Supplement, the College is required to maintain documentation demonstrating its controls over compliance with applicable federal requirements. Additionally, Federal regulations dictate when a recipient of Title IV funds received a Pell disbursement, the institution must submit the disbursement information to the Department of Education?s Common Origination and Disbursement (COD) site within 15 days. Condition During our testing of controls over reporting it is noted that the College did not maintain proper documentation in the form of a list of files that are reviewed by the Student Financial Aid Director for accuracy before being submitted to the COD. Additionally, during our compliance testing we noted 8 out of 25 students selected for testing where the College submitted the Pell disbursement information to the COD site after the 30 day submission window. Questioned Costs None Context The College was unable to locate its control documentation that COD site submissions were reviewed for accuracry and approved prior to submission. A sample of 25 students were selected for compliance testing. 8 students? disbursement information was submitted between 3 and 17 days late However, it was noted during our compliance testing that the disbursement information reported by the College to the U.S. Department of Education was accurate. Effect The College did not apply its established controls to ensure Pell COD information was remitted timely as well as properly reviewed and approved, thus the College was not in compliance with the requirements. Cause The cause appears to be an error in the processing of the information batches, due to turnover in the Student Financial Aid department. Identification as a Repeat Finding, if Applicable This matter is considered a repeat finding, and was reported previously as finding 2021-003. Recommendation We recommend that the College?s Student Financial Aid department consider additional steps to reinforce established policies and procedures regarding timely submission of the COD information. This may including automated reminders, updated calendars and other notification mechanisms in the College?s Colleague system to compliment manual controls to allow for more flexibility in remote working situations, such as those caused by the COVID-19 pandemic. Views of Responsible Officials and Planned Corrective Actions See Corrective Action Plan.
FINDING 2022-001 ? CONTROLS AND NONCOMPLIANCE OVER REPORTING Federal Department: Department of Education Assistance Listing Number(s):84.063, 84.007, 84.033 Program Name(s): Student Financial Aid Cluster Questioned Costs: None Criteria Per the requirements of the Uniform Guiance in the Compliance Supplement, the College is required to maintain documentation demonstrating its controls over compliance with applicable federal requirements. Additionally, Federal regulations dictate when a recipient of Title IV funds received a Pell disbursement, the institution must submit the disbursement information to the Department of Education?s Common Origination and Disbursement (COD) site within 15 days. Condition During our testing of controls over reporting it is noted that the College did not maintain proper documentation in the form of a list of files that are reviewed by the Student Financial Aid Director for accuracy before being submitted to the COD. Additionally, during our compliance testing we noted 8 out of 25 students selected for testing where the College submitted the Pell disbursement information to the COD site after the 30 day submission window. Questioned Costs None Context The College was unable to locate its control documentation that COD site submissions were reviewed for accuracry and approved prior to submission. A sample of 25 students were selected for compliance testing. 8 students? disbursement information was submitted between 3 and 17 days late However, it was noted during our compliance testing that the disbursement information reported by the College to the U.S. Department of Education was accurate. Effect The College did not apply its established controls to ensure Pell COD information was remitted timely as well as properly reviewed and approved, thus the College was not in compliance with the requirements. Cause The cause appears to be an error in the processing of the information batches, due to turnover in the Student Financial Aid department. Identification as a Repeat Finding, if Applicable This matter is considered a repeat finding, and was reported previously as finding 2021-003. Recommendation We recommend that the College?s Student Financial Aid department consider additional steps to reinforce established policies and procedures regarding timely submission of the COD information. This may including automated reminders, updated calendars and other notification mechanisms in the College?s Colleague system to compliment manual controls to allow for more flexibility in remote working situations, such as those caused by the COVID-19 pandemic. Views of Responsible Officials and Planned Corrective Actions See Corrective Action Plan.
FINDING 2022-002 ? CONTROLS AND NONCOMPLIANCE OVER ELIGIBILITY AND DISBURSEMENT Federal Department: Department of Education Assistance Listing Number(s):84.063 Program Name(s): Student Financial Aid Cluster Questioned Costs: $500 Criteria Per the Uniform Guidance Compliance Supplement, Federal Suppleental Educational Opportunity Grants (FSEOG) are awarded first to Pell receipts who have the lowest expected family contributions. If an institution has FSEOG funds remaining after giving FSEOG awards to all the Federal Pell Grant recipients at the institution, the institution shall award the remaining FSEOG funds to those eligible students with the lowest expected family contributions who will not receive Federal Pell Grants. Condition During our compliance testing two students received FSEOG funding while having an expected family contribution greather than $0, which would indicate that other Pell receipients had potential need but were not awarded aid. Questioned Costs The known questioned costs were determined by obtaining the amount of FSEOG financial aid that the students were awarded per the College?s student financial aid population. Context The College could not locate documentation to support the reason these students were judgementally awarded the FSEOG funds. Effect There is a possibility that the students who received financial aid were not actually eligible for the amounts received. Cause The cause appears to be an error in the processing of the file documentation would include support for why the FSEOG award was granted even though the student did not have the lowest possible expected family contribution. Identification as a Repeat Finding, if Applicable This is a partial repeat finding. This was reported in the prior year as finding 2021-002. Recommendation We are aware that the Student Financial Aid Department is undergoing updates to its procedures regarding documentation retention. We recommend that the College continue these efforts to ensure future compliance with all applicable documentation requirements. Views of Responsible Officials and Planned Corrective Actions See Corrective Action Plan.
FINDING 2022-001 ? CONTROLS AND NONCOMPLIANCE OVER REPORTING Federal Department: Department of Education Assistance Listing Number(s):84.063, 84.007, 84.033 Program Name(s): Student Financial Aid Cluster Questioned Costs: None Criteria Per the requirements of the Uniform Guiance in the Compliance Supplement, the College is required to maintain documentation demonstrating its controls over compliance with applicable federal requirements. Additionally, Federal regulations dictate when a recipient of Title IV funds received a Pell disbursement, the institution must submit the disbursement information to the Department of Education?s Common Origination and Disbursement (COD) site within 15 days. Condition During our testing of controls over reporting it is noted that the College did not maintain proper documentation in the form of a list of files that are reviewed by the Student Financial Aid Director for accuracy before being submitted to the COD. Additionally, during our compliance testing we noted 8 out of 25 students selected for testing where the College submitted the Pell disbursement information to the COD site after the 30 day submission window. Questioned Costs None Context The College was unable to locate its control documentation that COD site submissions were reviewed for accuracry and approved prior to submission. A sample of 25 students were selected for compliance testing. 8 students? disbursement information was submitted between 3 and 17 days late However, it was noted during our compliance testing that the disbursement information reported by the College to the U.S. Department of Education was accurate. Effect The College did not apply its established controls to ensure Pell COD information was remitted timely as well as properly reviewed and approved, thus the College was not in compliance with the requirements. Cause The cause appears to be an error in the processing of the information batches, due to turnover in the Student Financial Aid department. Identification as a Repeat Finding, if Applicable This matter is considered a repeat finding, and was reported previously as finding 2021-003. Recommendation We recommend that the College?s Student Financial Aid department consider additional steps to reinforce established policies and procedures regarding timely submission of the COD information. This may including automated reminders, updated calendars and other notification mechanisms in the College?s Colleague system to compliment manual controls to allow for more flexibility in remote working situations, such as those caused by the COVID-19 pandemic. Views of Responsible Officials and Planned Corrective Actions See Corrective Action Plan.
FINDING 2022-001 ? CONTROLS AND NONCOMPLIANCE OVER REPORTING Federal Department: Department of Education Assistance Listing Number(s):84.063, 84.007, 84.033 Program Name(s): Student Financial Aid Cluster Questioned Costs: None Criteria Per the requirements of the Uniform Guiance in the Compliance Supplement, the College is required to maintain documentation demonstrating its controls over compliance with applicable federal requirements. Additionally, Federal regulations dictate when a recipient of Title IV funds received a Pell disbursement, the institution must submit the disbursement information to the Department of Education?s Common Origination and Disbursement (COD) site within 15 days. Condition During our testing of controls over reporting it is noted that the College did not maintain proper documentation in the form of a list of files that are reviewed by the Student Financial Aid Director for accuracy before being submitted to the COD. Additionally, during our compliance testing we noted 8 out of 25 students selected for testing where the College submitted the Pell disbursement information to the COD site after the 30 day submission window. Questioned Costs None Context The College was unable to locate its control documentation that COD site submissions were reviewed for accuracry and approved prior to submission. A sample of 25 students were selected for compliance testing. 8 students? disbursement information was submitted between 3 and 17 days late However, it was noted during our compliance testing that the disbursement information reported by the College to the U.S. Department of Education was accurate. Effect The College did not apply its established controls to ensure Pell COD information was remitted timely as well as properly reviewed and approved, thus the College was not in compliance with the requirements. Cause The cause appears to be an error in the processing of the information batches, due to turnover in the Student Financial Aid department. Identification as a Repeat Finding, if Applicable This matter is considered a repeat finding, and was reported previously as finding 2021-003. Recommendation We recommend that the College?s Student Financial Aid department consider additional steps to reinforce established policies and procedures regarding timely submission of the COD information. This may including automated reminders, updated calendars and other notification mechanisms in the College?s Colleague system to compliment manual controls to allow for more flexibility in remote working situations, such as those caused by the COVID-19 pandemic. Views of Responsible Officials and Planned Corrective Actions See Corrective Action Plan.
FINDING 2022-001 ? CONTROLS AND NONCOMPLIANCE OVER REPORTING Federal Department: Department of Education Assistance Listing Number(s):84.063, 84.007, 84.033 Program Name(s): Student Financial Aid Cluster Questioned Costs: None Criteria Per the requirements of the Uniform Guiance in the Compliance Supplement, the College is required to maintain documentation demonstrating its controls over compliance with applicable federal requirements. Additionally, Federal regulations dictate when a recipient of Title IV funds received a Pell disbursement, the institution must submit the disbursement information to the Department of Education?s Common Origination and Disbursement (COD) site within 15 days. Condition During our testing of controls over reporting it is noted that the College did not maintain proper documentation in the form of a list of files that are reviewed by the Student Financial Aid Director for accuracy before being submitted to the COD. Additionally, during our compliance testing we noted 8 out of 25 students selected for testing where the College submitted the Pell disbursement information to the COD site after the 30 day submission window. Questioned Costs None Context The College was unable to locate its control documentation that COD site submissions were reviewed for accuracry and approved prior to submission. A sample of 25 students were selected for compliance testing. 8 students? disbursement information was submitted between 3 and 17 days late However, it was noted during our compliance testing that the disbursement information reported by the College to the U.S. Department of Education was accurate. Effect The College did not apply its established controls to ensure Pell COD information was remitted timely as well as properly reviewed and approved, thus the College was not in compliance with the requirements. Cause The cause appears to be an error in the processing of the information batches, due to turnover in the Student Financial Aid department. Identification as a Repeat Finding, if Applicable This matter is considered a repeat finding, and was reported previously as finding 2021-003. Recommendation We recommend that the College?s Student Financial Aid department consider additional steps to reinforce established policies and procedures regarding timely submission of the COD information. This may including automated reminders, updated calendars and other notification mechanisms in the College?s Colleague system to compliment manual controls to allow for more flexibility in remote working situations, such as those caused by the COVID-19 pandemic. Views of Responsible Officials and Planned Corrective Actions See Corrective Action Plan.