Audit 356481

FY End
2024-12-31
Total Expended
$1.33M
Findings
4
Programs
1
Organization: Home Share 092-Hd017 (MN)
Year: 2024 Accepted: 2025-05-16

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
560552 2024-001 Material Weakness - N
560553 2024-001 Material Weakness - N
1136994 2024-001 Material Weakness - N
1136995 2024-001 Material Weakness - N

Programs

ALN Program Spent Major Findings
14.181 Supportive Housing for Persons with Disabilities $80,356 Yes 1

Contacts

Name Title Type
KRHPTQ51QVC4 Jes Cuoco Auditee
6123624400 Kristin Schmidt Auditor
No contacts on file

Notes to SEFA

Title: BASIS OF PRESENTATION Accounting Policies: Expenditures reported on the Schedule are reported on the accrual basis of accounting, except for the capital advance balance as discussed below. 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. De Minimis Rate Used: N Rate Explanation: Home Share did not elect to use the 10% de minimis cost rate allowed under the Uniform Guidance. The accompanying schedule of expenditures of federal awards (the Schedule) includes the federal award activity of Home Share, HUD Project #092-HD017, under programs of the federal government for the year ended December 31, 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 Home Share, it is not intended to and does not present the financial position, changes in net assets, or cash flows of Home Share.
Title: INDIRECT COST RATE Accounting Policies: Expenditures reported on the Schedule are reported on the accrual basis of accounting, except for the capital advance balance as discussed below. 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. De Minimis Rate Used: N Rate Explanation: Home Share did not elect to use the 10% de minimis cost rate allowed under the Uniform Guidance. Home Share did not elect to use the 10% de minimis cost rate allowed under the Uniform Guidance.
Title: LOAN OR LOAN GUARANTEE PROGRAMS Accounting Policies: Expenditures reported on the Schedule are reported on the accrual basis of accounting, except for the capital advance balance as discussed below. 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. De Minimis Rate Used: N Rate Explanation: Home Share did not elect to use the 10% de minimis cost rate allowed under the Uniform Guidance. Federal expenditures for the capital advance received under the Supporting Housing for Persons with Disabilities (Section 811) in the Schedule represent the beginning of the year balance of capital advance outstanding for previous years for which the grantor imposes continuing compliance requirements. The balance outstanding as of December 31, 2024 was $1,254,600.

Finding Details

2024 – 001 Federal Agency: Department of Housing and Urban Development Federal Program Name: Supportive Housing for Persons with Disabilities Assistance Listing Number: 14.181 Award Period: N/A Type of Finding: *Material Weakness in Internal Control over Compliance and Other Matters Criteria or specific requirement: Owners are required to establish and maintain a separate project account in federally insured depository. All rents, charges, income, and revenues arising from the project operation shall be deposited into this account. Project funds must be used for the operation of the project (including required insurance coverage), and to make required deposits to replacement reserve and the residual receipts accounts (24 CFR section 891.400(e)). Condition: It was observed that rent deposits were not being processed through the Sunrise Bank Lockbox (implemented in January of 2024) to the correct entity's operating account. Additionally, in January through September of 2024, the activity was not being transferred to Home Share in a timely manner and there is no proof that the bank reconciliation is being reviewed. Questioned costs: N/A Context: The project is required to maintain a separate account for all project-related income and expenses to ensure proper financial management and compliance with federal regulations. This account should be used exclusively for project operations, including required insurance coverage and deposits to replacement reserve and residual receipts accounts. Additionally, there should be controls in place to ensure these are being properly recorded. Cause: The process for handling rent deposits in January through September of 2024 was not aligned with the established criteria. This misalignment was due to the onboarding of Remit Plus (lockbox company for Sunrise Bank). Accord can only have one lockbox where all checks are sent, including rent for Home Share. Despite having a separate project in Remit Plus for Home Share, not all checks were properly deposited into the company’s operating account, but rather into Accord’s operating account. In Q1-Q3, timely transfer of Home Share funds did not occur. Once Accord identified the issue, timely transfers begin in Q4. Effect: Failure to deposit rent income into the correct operating account and delay in transferring activity to Home Share can lead to financial discrepancies, mismanagement of project funds, and noncompliance with federal regulations. This can ultimately affect the project's ability to meet operational and regulatory requirements. Repeat Finding: No Recommendation: It is recommended that the Project continue to monitor the deposit of Home Share funds into Accord’s operating account & transfer the funds in a timely manner. In addition, a review of the bank reconciliation should be documented to support that the deposits were reviewed and transferred timely. Views of responsible officials: There is no disagreement with the audit findings. Management Response: We have taken corrective action to ensure that funds are transferred to the appropriate account in a timely manner and have strengthened our review procedures to confirm compliance. We are actively working with Remit Plus & Sunrise Bank to prevent future delays and ensure ongoing compliance with federal regulations.
2024 – 001 Federal Agency: Department of Housing and Urban Development Federal Program Name: Supportive Housing for Persons with Disabilities Assistance Listing Number: 14.181 Award Period: N/A Type of Finding: *Material Weakness in Internal Control over Compliance and Other Matters Criteria or specific requirement: Owners are required to establish and maintain a separate project account in federally insured depository. All rents, charges, income, and revenues arising from the project operation shall be deposited into this account. Project funds must be used for the operation of the project (including required insurance coverage), and to make required deposits to replacement reserve and the residual receipts accounts (24 CFR section 891.400(e)). Condition: It was observed that rent deposits were not being processed through the Sunrise Bank Lockbox (implemented in January of 2024) to the correct entity's operating account. Additionally, in January through September of 2024, the activity was not being transferred to Home Share in a timely manner and there is no proof that the bank reconciliation is being reviewed. Questioned costs: N/A Context: The project is required to maintain a separate account for all project-related income and expenses to ensure proper financial management and compliance with federal regulations. This account should be used exclusively for project operations, including required insurance coverage and deposits to replacement reserve and residual receipts accounts. Additionally, there should be controls in place to ensure these are being properly recorded. Cause: The process for handling rent deposits in January through September of 2024 was not aligned with the established criteria. This misalignment was due to the onboarding of Remit Plus (lockbox company for Sunrise Bank). Accord can only have one lockbox where all checks are sent, including rent for Home Share. Despite having a separate project in Remit Plus for Home Share, not all checks were properly deposited into the company’s operating account, but rather into Accord’s operating account. In Q1-Q3, timely transfer of Home Share funds did not occur. Once Accord identified the issue, timely transfers begin in Q4. Effect: Failure to deposit rent income into the correct operating account and delay in transferring activity to Home Share can lead to financial discrepancies, mismanagement of project funds, and noncompliance with federal regulations. This can ultimately affect the project's ability to meet operational and regulatory requirements. Repeat Finding: No Recommendation: It is recommended that the Project continue to monitor the deposit of Home Share funds into Accord’s operating account & transfer the funds in a timely manner. In addition, a review of the bank reconciliation should be documented to support that the deposits were reviewed and transferred timely. Views of responsible officials: There is no disagreement with the audit findings. Management Response: We have taken corrective action to ensure that funds are transferred to the appropriate account in a timely manner and have strengthened our review procedures to confirm compliance. We are actively working with Remit Plus & Sunrise Bank to prevent future delays and ensure ongoing compliance with federal regulations.
2024 – 001 Federal Agency: Department of Housing and Urban Development Federal Program Name: Supportive Housing for Persons with Disabilities Assistance Listing Number: 14.181 Award Period: N/A Type of Finding: *Material Weakness in Internal Control over Compliance and Other Matters Criteria or specific requirement: Owners are required to establish and maintain a separate project account in federally insured depository. All rents, charges, income, and revenues arising from the project operation shall be deposited into this account. Project funds must be used for the operation of the project (including required insurance coverage), and to make required deposits to replacement reserve and the residual receipts accounts (24 CFR section 891.400(e)). Condition: It was observed that rent deposits were not being processed through the Sunrise Bank Lockbox (implemented in January of 2024) to the correct entity's operating account. Additionally, in January through September of 2024, the activity was not being transferred to Home Share in a timely manner and there is no proof that the bank reconciliation is being reviewed. Questioned costs: N/A Context: The project is required to maintain a separate account for all project-related income and expenses to ensure proper financial management and compliance with federal regulations. This account should be used exclusively for project operations, including required insurance coverage and deposits to replacement reserve and residual receipts accounts. Additionally, there should be controls in place to ensure these are being properly recorded. Cause: The process for handling rent deposits in January through September of 2024 was not aligned with the established criteria. This misalignment was due to the onboarding of Remit Plus (lockbox company for Sunrise Bank). Accord can only have one lockbox where all checks are sent, including rent for Home Share. Despite having a separate project in Remit Plus for Home Share, not all checks were properly deposited into the company’s operating account, but rather into Accord’s operating account. In Q1-Q3, timely transfer of Home Share funds did not occur. Once Accord identified the issue, timely transfers begin in Q4. Effect: Failure to deposit rent income into the correct operating account and delay in transferring activity to Home Share can lead to financial discrepancies, mismanagement of project funds, and noncompliance with federal regulations. This can ultimately affect the project's ability to meet operational and regulatory requirements. Repeat Finding: No Recommendation: It is recommended that the Project continue to monitor the deposit of Home Share funds into Accord’s operating account & transfer the funds in a timely manner. In addition, a review of the bank reconciliation should be documented to support that the deposits were reviewed and transferred timely. Views of responsible officials: There is no disagreement with the audit findings. Management Response: We have taken corrective action to ensure that funds are transferred to the appropriate account in a timely manner and have strengthened our review procedures to confirm compliance. We are actively working with Remit Plus & Sunrise Bank to prevent future delays and ensure ongoing compliance with federal regulations.
2024 – 001 Federal Agency: Department of Housing and Urban Development Federal Program Name: Supportive Housing for Persons with Disabilities Assistance Listing Number: 14.181 Award Period: N/A Type of Finding: *Material Weakness in Internal Control over Compliance and Other Matters Criteria or specific requirement: Owners are required to establish and maintain a separate project account in federally insured depository. All rents, charges, income, and revenues arising from the project operation shall be deposited into this account. Project funds must be used for the operation of the project (including required insurance coverage), and to make required deposits to replacement reserve and the residual receipts accounts (24 CFR section 891.400(e)). Condition: It was observed that rent deposits were not being processed through the Sunrise Bank Lockbox (implemented in January of 2024) to the correct entity's operating account. Additionally, in January through September of 2024, the activity was not being transferred to Home Share in a timely manner and there is no proof that the bank reconciliation is being reviewed. Questioned costs: N/A Context: The project is required to maintain a separate account for all project-related income and expenses to ensure proper financial management and compliance with federal regulations. This account should be used exclusively for project operations, including required insurance coverage and deposits to replacement reserve and residual receipts accounts. Additionally, there should be controls in place to ensure these are being properly recorded. Cause: The process for handling rent deposits in January through September of 2024 was not aligned with the established criteria. This misalignment was due to the onboarding of Remit Plus (lockbox company for Sunrise Bank). Accord can only have one lockbox where all checks are sent, including rent for Home Share. Despite having a separate project in Remit Plus for Home Share, not all checks were properly deposited into the company’s operating account, but rather into Accord’s operating account. In Q1-Q3, timely transfer of Home Share funds did not occur. Once Accord identified the issue, timely transfers begin in Q4. Effect: Failure to deposit rent income into the correct operating account and delay in transferring activity to Home Share can lead to financial discrepancies, mismanagement of project funds, and noncompliance with federal regulations. This can ultimately affect the project's ability to meet operational and regulatory requirements. Repeat Finding: No Recommendation: It is recommended that the Project continue to monitor the deposit of Home Share funds into Accord’s operating account & transfer the funds in a timely manner. In addition, a review of the bank reconciliation should be documented to support that the deposits were reviewed and transferred timely. Views of responsible officials: There is no disagreement with the audit findings. Management Response: We have taken corrective action to ensure that funds are transferred to the appropriate account in a timely manner and have strengthened our review procedures to confirm compliance. We are actively working with Remit Plus & Sunrise Bank to prevent future delays and ensure ongoing compliance with federal regulations.