Audit 350127

FY End
2024-06-30
Total Expended
$8.07M
Findings
20
Programs
9
Year: 2024 Accepted: 2025-03-28

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
539579 2024-003 Material Weakness Yes F
539580 2024-003 Material Weakness Yes F
539581 2024-003 Material Weakness Yes F
539582 2024-003 Material Weakness Yes F
539583 2024-003 Material Weakness Yes F
539584 2024-004 Material Weakness - N
539585 2024-004 Material Weakness - N
539586 2024-004 Material Weakness - N
539587 2024-004 Material Weakness - N
539588 2024-004 Material Weakness - N
1116021 2024-003 Material Weakness Yes F
1116022 2024-003 Material Weakness Yes F
1116023 2024-003 Material Weakness Yes F
1116024 2024-003 Material Weakness Yes F
1116025 2024-003 Material Weakness Yes F
1116026 2024-004 Material Weakness - N
1116027 2024-004 Material Weakness - N
1116028 2024-004 Material Weakness - N
1116029 2024-004 Material Weakness - N
1116030 2024-004 Material Weakness - N

Contacts

Name Title Type
FQ9TYY16RSV7 Edward Wehrer Auditee
4124669131 Amy C. Lewis Auditor
No contacts on file

Notes to SEFA

Title: Basis of Presentation Accounting Policies: The accompanying Schedule is presented using the accrual basis of accounting. Expenditures are recognized following cost principles contained in the Uniform Guidance. De Minimis Rate Used: N Rate Explanation: The School District has elected not to use the 10-percent de minimis indirect cost rate as allowed under the Uniform Guidance. The accompanying schedule of expenditures of federal awards (Schedule) includes the federal award activity of the West Mifflin Area School District (School District) 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 School District, it is not intended to and does not present the financial position, changes in net position, or cash flows of the School District.

Finding Details

Finding 2024-003 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Equipment and Real Property Management US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section F, “Equipment/Real Property Management” of the Compliance Supplement, the School District is required to receive prior approval from the Pennsylvania Department of Education (PDE) for capital expenditures for equipment acquisition or improvements to land, buildings, and equipment. Condition: The School District did not adequately obtain approval from PDE prior to purchasing equipment and building improvements with ESF funds. Cause: The School District did not have a formal procedure in place to obtain prior approval of applicable expenditures. Effect: The School District was not in compliance with the Equipment and Real Property Management requirements of the Uniform Guidance. Repeat Finding: Yes Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Equipment/Real Property Management. We recommend that the School District establish procedures to ensure that Equipment/Real Property Management requirements are met for applicable purchases. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-003 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Equipment and Real Property Management US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section F, “Equipment/Real Property Management” of the Compliance Supplement, the School District is required to receive prior approval from the Pennsylvania Department of Education (PDE) for capital expenditures for equipment acquisition or improvements to land, buildings, and equipment. Condition: The School District did not adequately obtain approval from PDE prior to purchasing equipment and building improvements with ESF funds. Cause: The School District did not have a formal procedure in place to obtain prior approval of applicable expenditures. Effect: The School District was not in compliance with the Equipment and Real Property Management requirements of the Uniform Guidance. Repeat Finding: Yes Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Equipment/Real Property Management. We recommend that the School District establish procedures to ensure that Equipment/Real Property Management requirements are met for applicable purchases. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-003 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Equipment and Real Property Management US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section F, “Equipment/Real Property Management” of the Compliance Supplement, the School District is required to receive prior approval from the Pennsylvania Department of Education (PDE) for capital expenditures for equipment acquisition or improvements to land, buildings, and equipment. Condition: The School District did not adequately obtain approval from PDE prior to purchasing equipment and building improvements with ESF funds. Cause: The School District did not have a formal procedure in place to obtain prior approval of applicable expenditures. Effect: The School District was not in compliance with the Equipment and Real Property Management requirements of the Uniform Guidance. Repeat Finding: Yes Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Equipment/Real Property Management. We recommend that the School District establish procedures to ensure that Equipment/Real Property Management requirements are met for applicable purchases. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-003 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Equipment and Real Property Management US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section F, “Equipment/Real Property Management” of the Compliance Supplement, the School District is required to receive prior approval from the Pennsylvania Department of Education (PDE) for capital expenditures for equipment acquisition or improvements to land, buildings, and equipment. Condition: The School District did not adequately obtain approval from PDE prior to purchasing equipment and building improvements with ESF funds. Cause: The School District did not have a formal procedure in place to obtain prior approval of applicable expenditures. Effect: The School District was not in compliance with the Equipment and Real Property Management requirements of the Uniform Guidance. Repeat Finding: Yes Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Equipment/Real Property Management. We recommend that the School District establish procedures to ensure that Equipment/Real Property Management requirements are met for applicable purchases. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-003 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Equipment and Real Property Management US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section F, “Equipment/Real Property Management” of the Compliance Supplement, the School District is required to receive prior approval from the Pennsylvania Department of Education (PDE) for capital expenditures for equipment acquisition or improvements to land, buildings, and equipment. Condition: The School District did not adequately obtain approval from PDE prior to purchasing equipment and building improvements with ESF funds. Cause: The School District did not have a formal procedure in place to obtain prior approval of applicable expenditures. Effect: The School District was not in compliance with the Equipment and Real Property Management requirements of the Uniform Guidance. Repeat Finding: Yes Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Equipment/Real Property Management. We recommend that the School District establish procedures to ensure that Equipment/Real Property Management requirements are met for applicable purchases. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-004 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Special Tests and Provisions - Wage Rate Requirements US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section N, “Special Tests and Provisions” of the Compliance Supplement, all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds must be paid wages not less than the prevailing wages rates established by the Department of Labor (DOL). Nonfederal entities shall include in their construction contracts subject to the Wage Rate Requirements a provision that the contractor or subcontractor comply with those requirements and DOL regulations. This includes a requirement for the contractor or subcontractor to submit to the nonfederal entity weekly, for each week in which any contract work is performed, a copy of the payroll and a statement of compliance. Condition: The School District did not have adequate internal control procedures in place to ensure that all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds were paid wages not less than those established for the locality of the project (prevailing wage rates) by the Department of Labor. As a result, the School District did not properly notify 1 of the 3 contractors tested of the requirements to comply with the wage rate requirements via the including of a prevailing wage rate clause in the contract between the contractor and the School District, and therefore, the use prevailing wage rates were not determined. Cause: The School District did not have formal procedures in place to ensure that prevailing wage rate requirements were met on all construction projects over $2,000. Effect: The School District was not in compliance with the Special Tests and Provisions – Wage Rate Requirements of the Uniform Guidance. Repeat Finding: No Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Special Tests and Provisions – Wage Rate Requirements. Additionally, we recommend that the School District establish procedures to ensure that prevailing wage rate requirements are met for federally funded construction projects over $2,000. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-004 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Special Tests and Provisions - Wage Rate Requirements US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section N, “Special Tests and Provisions” of the Compliance Supplement, all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds must be paid wages not less than the prevailing wages rates established by the Department of Labor (DOL). Nonfederal entities shall include in their construction contracts subject to the Wage Rate Requirements a provision that the contractor or subcontractor comply with those requirements and DOL regulations. This includes a requirement for the contractor or subcontractor to submit to the nonfederal entity weekly, for each week in which any contract work is performed, a copy of the payroll and a statement of compliance. Condition: The School District did not have adequate internal control procedures in place to ensure that all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds were paid wages not less than those established for the locality of the project (prevailing wage rates) by the Department of Labor. As a result, the School District did not properly notify 1 of the 3 contractors tested of the requirements to comply with the wage rate requirements via the including of a prevailing wage rate clause in the contract between the contractor and the School District, and therefore, the use prevailing wage rates were not determined. Cause: The School District did not have formal procedures in place to ensure that prevailing wage rate requirements were met on all construction projects over $2,000. Effect: The School District was not in compliance with the Special Tests and Provisions – Wage Rate Requirements of the Uniform Guidance. Repeat Finding: No Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Special Tests and Provisions – Wage Rate Requirements. Additionally, we recommend that the School District establish procedures to ensure that prevailing wage rate requirements are met for federally funded construction projects over $2,000. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-004 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Special Tests and Provisions - Wage Rate Requirements US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section N, “Special Tests and Provisions” of the Compliance Supplement, all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds must be paid wages not less than the prevailing wages rates established by the Department of Labor (DOL). Nonfederal entities shall include in their construction contracts subject to the Wage Rate Requirements a provision that the contractor or subcontractor comply with those requirements and DOL regulations. This includes a requirement for the contractor or subcontractor to submit to the nonfederal entity weekly, for each week in which any contract work is performed, a copy of the payroll and a statement of compliance. Condition: The School District did not have adequate internal control procedures in place to ensure that all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds were paid wages not less than those established for the locality of the project (prevailing wage rates) by the Department of Labor. As a result, the School District did not properly notify 1 of the 3 contractors tested of the requirements to comply with the wage rate requirements via the including of a prevailing wage rate clause in the contract between the contractor and the School District, and therefore, the use prevailing wage rates were not determined. Cause: The School District did not have formal procedures in place to ensure that prevailing wage rate requirements were met on all construction projects over $2,000. Effect: The School District was not in compliance with the Special Tests and Provisions – Wage Rate Requirements of the Uniform Guidance. Repeat Finding: No Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Special Tests and Provisions – Wage Rate Requirements. Additionally, we recommend that the School District establish procedures to ensure that prevailing wage rate requirements are met for federally funded construction projects over $2,000. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-004 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Special Tests and Provisions - Wage Rate Requirements US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section N, “Special Tests and Provisions” of the Compliance Supplement, all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds must be paid wages not less than the prevailing wages rates established by the Department of Labor (DOL). Nonfederal entities shall include in their construction contracts subject to the Wage Rate Requirements a provision that the contractor or subcontractor comply with those requirements and DOL regulations. This includes a requirement for the contractor or subcontractor to submit to the nonfederal entity weekly, for each week in which any contract work is performed, a copy of the payroll and a statement of compliance. Condition: The School District did not have adequate internal control procedures in place to ensure that all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds were paid wages not less than those established for the locality of the project (prevailing wage rates) by the Department of Labor. As a result, the School District did not properly notify 1 of the 3 contractors tested of the requirements to comply with the wage rate requirements via the including of a prevailing wage rate clause in the contract between the contractor and the School District, and therefore, the use prevailing wage rates were not determined. Cause: The School District did not have formal procedures in place to ensure that prevailing wage rate requirements were met on all construction projects over $2,000. Effect: The School District was not in compliance with the Special Tests and Provisions – Wage Rate Requirements of the Uniform Guidance. Repeat Finding: No Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Special Tests and Provisions – Wage Rate Requirements. Additionally, we recommend that the School District establish procedures to ensure that prevailing wage rate requirements are met for federally funded construction projects over $2,000. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-004 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Special Tests and Provisions - Wage Rate Requirements US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section N, “Special Tests and Provisions” of the Compliance Supplement, all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds must be paid wages not less than the prevailing wages rates established by the Department of Labor (DOL). Nonfederal entities shall include in their construction contracts subject to the Wage Rate Requirements a provision that the contractor or subcontractor comply with those requirements and DOL regulations. This includes a requirement for the contractor or subcontractor to submit to the nonfederal entity weekly, for each week in which any contract work is performed, a copy of the payroll and a statement of compliance. Condition: The School District did not have adequate internal control procedures in place to ensure that all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds were paid wages not less than those established for the locality of the project (prevailing wage rates) by the Department of Labor. As a result, the School District did not properly notify 1 of the 3 contractors tested of the requirements to comply with the wage rate requirements via the including of a prevailing wage rate clause in the contract between the contractor and the School District, and therefore, the use prevailing wage rates were not determined. Cause: The School District did not have formal procedures in place to ensure that prevailing wage rate requirements were met on all construction projects over $2,000. Effect: The School District was not in compliance with the Special Tests and Provisions – Wage Rate Requirements of the Uniform Guidance. Repeat Finding: No Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Special Tests and Provisions – Wage Rate Requirements. Additionally, we recommend that the School District establish procedures to ensure that prevailing wage rate requirements are met for federally funded construction projects over $2,000. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-003 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Equipment and Real Property Management US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section F, “Equipment/Real Property Management” of the Compliance Supplement, the School District is required to receive prior approval from the Pennsylvania Department of Education (PDE) for capital expenditures for equipment acquisition or improvements to land, buildings, and equipment. Condition: The School District did not adequately obtain approval from PDE prior to purchasing equipment and building improvements with ESF funds. Cause: The School District did not have a formal procedure in place to obtain prior approval of applicable expenditures. Effect: The School District was not in compliance with the Equipment and Real Property Management requirements of the Uniform Guidance. Repeat Finding: Yes Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Equipment/Real Property Management. We recommend that the School District establish procedures to ensure that Equipment/Real Property Management requirements are met for applicable purchases. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-003 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Equipment and Real Property Management US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section F, “Equipment/Real Property Management” of the Compliance Supplement, the School District is required to receive prior approval from the Pennsylvania Department of Education (PDE) for capital expenditures for equipment acquisition or improvements to land, buildings, and equipment. Condition: The School District did not adequately obtain approval from PDE prior to purchasing equipment and building improvements with ESF funds. Cause: The School District did not have a formal procedure in place to obtain prior approval of applicable expenditures. Effect: The School District was not in compliance with the Equipment and Real Property Management requirements of the Uniform Guidance. Repeat Finding: Yes Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Equipment/Real Property Management. We recommend that the School District establish procedures to ensure that Equipment/Real Property Management requirements are met for applicable purchases. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-003 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Equipment and Real Property Management US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section F, “Equipment/Real Property Management” of the Compliance Supplement, the School District is required to receive prior approval from the Pennsylvania Department of Education (PDE) for capital expenditures for equipment acquisition or improvements to land, buildings, and equipment. Condition: The School District did not adequately obtain approval from PDE prior to purchasing equipment and building improvements with ESF funds. Cause: The School District did not have a formal procedure in place to obtain prior approval of applicable expenditures. Effect: The School District was not in compliance with the Equipment and Real Property Management requirements of the Uniform Guidance. Repeat Finding: Yes Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Equipment/Real Property Management. We recommend that the School District establish procedures to ensure that Equipment/Real Property Management requirements are met for applicable purchases. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-003 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Equipment and Real Property Management US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section F, “Equipment/Real Property Management” of the Compliance Supplement, the School District is required to receive prior approval from the Pennsylvania Department of Education (PDE) for capital expenditures for equipment acquisition or improvements to land, buildings, and equipment. Condition: The School District did not adequately obtain approval from PDE prior to purchasing equipment and building improvements with ESF funds. Cause: The School District did not have a formal procedure in place to obtain prior approval of applicable expenditures. Effect: The School District was not in compliance with the Equipment and Real Property Management requirements of the Uniform Guidance. Repeat Finding: Yes Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Equipment/Real Property Management. We recommend that the School District establish procedures to ensure that Equipment/Real Property Management requirements are met for applicable purchases. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-003 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Equipment and Real Property Management US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section F, “Equipment/Real Property Management” of the Compliance Supplement, the School District is required to receive prior approval from the Pennsylvania Department of Education (PDE) for capital expenditures for equipment acquisition or improvements to land, buildings, and equipment. Condition: The School District did not adequately obtain approval from PDE prior to purchasing equipment and building improvements with ESF funds. Cause: The School District did not have a formal procedure in place to obtain prior approval of applicable expenditures. Effect: The School District was not in compliance with the Equipment and Real Property Management requirements of the Uniform Guidance. Repeat Finding: Yes Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Equipment/Real Property Management. We recommend that the School District establish procedures to ensure that Equipment/Real Property Management requirements are met for applicable purchases. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-004 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Special Tests and Provisions - Wage Rate Requirements US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section N, “Special Tests and Provisions” of the Compliance Supplement, all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds must be paid wages not less than the prevailing wages rates established by the Department of Labor (DOL). Nonfederal entities shall include in their construction contracts subject to the Wage Rate Requirements a provision that the contractor or subcontractor comply with those requirements and DOL regulations. This includes a requirement for the contractor or subcontractor to submit to the nonfederal entity weekly, for each week in which any contract work is performed, a copy of the payroll and a statement of compliance. Condition: The School District did not have adequate internal control procedures in place to ensure that all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds were paid wages not less than those established for the locality of the project (prevailing wage rates) by the Department of Labor. As a result, the School District did not properly notify 1 of the 3 contractors tested of the requirements to comply with the wage rate requirements via the including of a prevailing wage rate clause in the contract between the contractor and the School District, and therefore, the use prevailing wage rates were not determined. Cause: The School District did not have formal procedures in place to ensure that prevailing wage rate requirements were met on all construction projects over $2,000. Effect: The School District was not in compliance with the Special Tests and Provisions – Wage Rate Requirements of the Uniform Guidance. Repeat Finding: No Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Special Tests and Provisions – Wage Rate Requirements. Additionally, we recommend that the School District establish procedures to ensure that prevailing wage rate requirements are met for federally funded construction projects over $2,000. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-004 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Special Tests and Provisions - Wage Rate Requirements US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section N, “Special Tests and Provisions” of the Compliance Supplement, all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds must be paid wages not less than the prevailing wages rates established by the Department of Labor (DOL). Nonfederal entities shall include in their construction contracts subject to the Wage Rate Requirements a provision that the contractor or subcontractor comply with those requirements and DOL regulations. This includes a requirement for the contractor or subcontractor to submit to the nonfederal entity weekly, for each week in which any contract work is performed, a copy of the payroll and a statement of compliance. Condition: The School District did not have adequate internal control procedures in place to ensure that all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds were paid wages not less than those established for the locality of the project (prevailing wage rates) by the Department of Labor. As a result, the School District did not properly notify 1 of the 3 contractors tested of the requirements to comply with the wage rate requirements via the including of a prevailing wage rate clause in the contract between the contractor and the School District, and therefore, the use prevailing wage rates were not determined. Cause: The School District did not have formal procedures in place to ensure that prevailing wage rate requirements were met on all construction projects over $2,000. Effect: The School District was not in compliance with the Special Tests and Provisions – Wage Rate Requirements of the Uniform Guidance. Repeat Finding: No Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Special Tests and Provisions – Wage Rate Requirements. Additionally, we recommend that the School District establish procedures to ensure that prevailing wage rate requirements are met for federally funded construction projects over $2,000. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-004 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Special Tests and Provisions - Wage Rate Requirements US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section N, “Special Tests and Provisions” of the Compliance Supplement, all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds must be paid wages not less than the prevailing wages rates established by the Department of Labor (DOL). Nonfederal entities shall include in their construction contracts subject to the Wage Rate Requirements a provision that the contractor or subcontractor comply with those requirements and DOL regulations. This includes a requirement for the contractor or subcontractor to submit to the nonfederal entity weekly, for each week in which any contract work is performed, a copy of the payroll and a statement of compliance. Condition: The School District did not have adequate internal control procedures in place to ensure that all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds were paid wages not less than those established for the locality of the project (prevailing wage rates) by the Department of Labor. As a result, the School District did not properly notify 1 of the 3 contractors tested of the requirements to comply with the wage rate requirements via the including of a prevailing wage rate clause in the contract between the contractor and the School District, and therefore, the use prevailing wage rates were not determined. Cause: The School District did not have formal procedures in place to ensure that prevailing wage rate requirements were met on all construction projects over $2,000. Effect: The School District was not in compliance with the Special Tests and Provisions – Wage Rate Requirements of the Uniform Guidance. Repeat Finding: No Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Special Tests and Provisions – Wage Rate Requirements. Additionally, we recommend that the School District establish procedures to ensure that prevailing wage rate requirements are met for federally funded construction projects over $2,000. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-004 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Special Tests and Provisions - Wage Rate Requirements US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section N, “Special Tests and Provisions” of the Compliance Supplement, all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds must be paid wages not less than the prevailing wages rates established by the Department of Labor (DOL). Nonfederal entities shall include in their construction contracts subject to the Wage Rate Requirements a provision that the contractor or subcontractor comply with those requirements and DOL regulations. This includes a requirement for the contractor or subcontractor to submit to the nonfederal entity weekly, for each week in which any contract work is performed, a copy of the payroll and a statement of compliance. Condition: The School District did not have adequate internal control procedures in place to ensure that all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds were paid wages not less than those established for the locality of the project (prevailing wage rates) by the Department of Labor. As a result, the School District did not properly notify 1 of the 3 contractors tested of the requirements to comply with the wage rate requirements via the including of a prevailing wage rate clause in the contract between the contractor and the School District, and therefore, the use prevailing wage rates were not determined. Cause: The School District did not have formal procedures in place to ensure that prevailing wage rate requirements were met on all construction projects over $2,000. Effect: The School District was not in compliance with the Special Tests and Provisions – Wage Rate Requirements of the Uniform Guidance. Repeat Finding: No Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Special Tests and Provisions – Wage Rate Requirements. Additionally, we recommend that the School District establish procedures to ensure that prevailing wage rate requirements are met for federally funded construction projects over $2,000. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.
Finding 2024-004 - COVID-19 Education Stabilization Fund (ESF) ALN 84.425 - Special Tests and Provisions - Wage Rate Requirements US Department of Education and PA Department of Education Grant Numbers: 200-210474, 223-210474, 225-210474, 224-210474, 181-212476, 253-200474 Criteria: In accordance with Uniform Guidance requirements found in Part 3 Section N, “Special Tests and Provisions” of the Compliance Supplement, all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds must be paid wages not less than the prevailing wages rates established by the Department of Labor (DOL). Nonfederal entities shall include in their construction contracts subject to the Wage Rate Requirements a provision that the contractor or subcontractor comply with those requirements and DOL regulations. This includes a requirement for the contractor or subcontractor to submit to the nonfederal entity weekly, for each week in which any contract work is performed, a copy of the payroll and a statement of compliance. Condition: The School District did not have adequate internal control procedures in place to ensure that all laborers and mechanics employed by contractors or subcontractors to work on construction contracts in excess of $2,000 financed by federal assistance funds were paid wages not less than those established for the locality of the project (prevailing wage rates) by the Department of Labor. As a result, the School District did not properly notify 1 of the 3 contractors tested of the requirements to comply with the wage rate requirements via the including of a prevailing wage rate clause in the contract between the contractor and the School District, and therefore, the use prevailing wage rates were not determined. Cause: The School District did not have formal procedures in place to ensure that prevailing wage rate requirements were met on all construction projects over $2,000. Effect: The School District was not in compliance with the Special Tests and Provisions – Wage Rate Requirements of the Uniform Guidance. Repeat Finding: No Questioned Costs: Unknown Recommendation: We recommend that the School District revise its purchasing policy to formally reflect the requirements of Special Tests and Provisions – Wage Rate Requirements. Additionally, we recommend that the School District establish procedures to ensure that prevailing wage rate requirements are met for federally funded construction projects over $2,000. Views of Responsible Officials and Planned Corrective Action: The School District agrees with the recommendation. See separate Corrective Action Plan.