Audit 356735

FY End
2023-12-31
Total Expended
$1.29M
Findings
76
Programs
4
Year: 2023 Accepted: 2025-05-20

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
561096 2023-002 Significant Deficiency - ABCEFGHIJLMNP
561097 2023-004 Significant Deficiency - AB
561098 2023-005 Significant Deficiency - AB
561099 2023-002 Significant Deficiency - ABCEFGHIJLMNP
561100 2023-004 Significant Deficiency - AB
561101 2023-005 Significant Deficiency - AB
561102 2023-002 Significant Deficiency - ABCEFGHIJLMNP
561103 2023-004 Significant Deficiency - AB
561104 2023-005 Significant Deficiency - AB
561105 2023-002 Significant Deficiency - ABCEFGHIJLMNP
561106 2023-004 Significant Deficiency - AB
561107 2023-005 Significant Deficiency - AB
561108 2023-006 Significant Deficiency - AB
561109 2023-007 Significant Deficiency - AB
561110 2023-002 Significant Deficiency - ABCEFGHIJLMNP
561111 2023-004 Significant Deficiency - AB
561112 2023-005 Significant Deficiency - AB
561113 2023-006 Significant Deficiency - AB
561114 2023-007 Significant Deficiency - AB
561115 2023-002 Significant Deficiency - ABCEFGHIJLMNP
561116 2023-004 Significant Deficiency - AB
561117 2023-005 Significant Deficiency - AB
561118 2023-006 Significant Deficiency - AB
561119 2023-007 Significant Deficiency - AB
561120 2023-002 Significant Deficiency - ABCEFGHIJLMNP
561121 2023-004 Significant Deficiency - AB
561122 2023-005 Significant Deficiency - AB
561123 2023-006 Significant Deficiency - AB
561124 2023-007 Significant Deficiency - AB
561125 2023-002 Significant Deficiency - ABCEFGHIJLMNP
561126 2023-004 Significant Deficiency - AB
561127 2023-005 Significant Deficiency - AB
561128 2023-002 Significant Deficiency - ABCEFGHIJLMNP
561129 2023-004 Significant Deficiency - AB
561130 2023-005 Significant Deficiency - AB
561131 2023-002 Significant Deficiency - ABCEFGHIJLMNP
561132 2023-004 Significant Deficiency - AB
561133 2023-005 Significant Deficiency - AB
1137538 2023-002 Significant Deficiency - ABCEFGHIJLMNP
1137539 2023-004 Significant Deficiency - AB
1137540 2023-005 Significant Deficiency - AB
1137541 2023-002 Significant Deficiency - ABCEFGHIJLMNP
1137542 2023-004 Significant Deficiency - AB
1137543 2023-005 Significant Deficiency - AB
1137544 2023-002 Significant Deficiency - ABCEFGHIJLMNP
1137545 2023-004 Significant Deficiency - AB
1137546 2023-005 Significant Deficiency - AB
1137547 2023-002 Significant Deficiency - ABCEFGHIJLMNP
1137548 2023-004 Significant Deficiency - AB
1137549 2023-005 Significant Deficiency - AB
1137550 2023-006 Significant Deficiency - AB
1137551 2023-007 Significant Deficiency - AB
1137552 2023-002 Significant Deficiency - ABCEFGHIJLMNP
1137553 2023-004 Significant Deficiency - AB
1137554 2023-005 Significant Deficiency - AB
1137555 2023-006 Significant Deficiency - AB
1137556 2023-007 Significant Deficiency - AB
1137557 2023-002 Significant Deficiency - ABCEFGHIJLMNP
1137558 2023-004 Significant Deficiency - AB
1137559 2023-005 Significant Deficiency - AB
1137560 2023-006 Significant Deficiency - AB
1137561 2023-007 Significant Deficiency - AB
1137562 2023-002 Significant Deficiency - ABCEFGHIJLMNP
1137563 2023-004 Significant Deficiency - AB
1137564 2023-005 Significant Deficiency - AB
1137565 2023-006 Significant Deficiency - AB
1137566 2023-007 Significant Deficiency - AB
1137567 2023-002 Significant Deficiency - ABCEFGHIJLMNP
1137568 2023-004 Significant Deficiency - AB
1137569 2023-005 Significant Deficiency - AB
1137570 2023-002 Significant Deficiency - ABCEFGHIJLMNP
1137571 2023-004 Significant Deficiency - AB
1137572 2023-005 Significant Deficiency - AB
1137573 2023-002 Significant Deficiency - ABCEFGHIJLMNP
1137574 2023-004 Significant Deficiency - AB
1137575 2023-005 Significant Deficiency - AB

Programs

Contacts

Name Title Type
RZ8NY84M8L54 Karen Reitan Auditee
3126292988 Susan Jones 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. 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: Y Rate Explanation: PHIMC has elected to use the ten 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 Public Health Institute of Metropolitan Chicago ("PHIMC") under programs of the federal government for the year ended December 31, 2023. 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 PHIMC, it is not intended to and does not present the financial position, changes in net assets, or cash flows of PHIMC.
Title: NONCASH ASSISTANCE AND MATCHING Accounting Policies: Expenditures reported on the Schedule are reported on the accrual basis of accounting. Such expenditures are recognized following the cost principles contained in the Uniform Guidance, wherein certain types of expenditures are not allowable or are limited as to reimbursement. De Minimis Rate Used: Y Rate Explanation: PHIMC has elected to use the ten percent de minimis indirect cost rate as allowed under the Uniform Guidance. There was no noncash assistance or matching requirements during the year ended December 31, 2023.
Title: LOANS OUTSTANDING Accounting Policies: Expenditures reported on the Schedule are reported on the accrual basis of accounting. Such expenditures are recognized following the cost principles contained in the Uniform Guidance, wherein certain types of expenditures are not allowable or are limited as to reimbursement. De Minimis Rate Used: Y Rate Explanation: PHIMC has elected to use the ten percent de minimis indirect cost rate as allowed under the Uniform Guidance. There were no loans outstanding at December 31, 2023.
Title: FEDERAL INSURANCE Accounting Policies: Expenditures reported on the Schedule are reported on the accrual basis of accounting. Such expenditures are recognized following the cost principles contained in the Uniform Guidance, wherein certain types of expenditures are not allowable or are limited as to reimbursement. De Minimis Rate Used: Y Rate Explanation: PHIMC has elected to use the ten percent de minimis indirect cost rate as allowed under the Uniform Guidance. PHIMC did not have any insurance coverage in effect that was paid with Federal funds during the year ended December 31, 2023.

Finding Details

Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agency: U.S. Department of Health and Human Services Pass-through Agency: Illinois Department of Public Health Federal program: 93.940 HIV Prevention Activities-Health Department Based Federal award number: 38780057K Criteria: Support for vouchers that are submitted for reimbursement should be maintained. Condition: We identified an instance in which $107 of a $985 voucher could not be obtained. Context: Out of a sample of 40 vouchers charged to the federal program, the underlying support for a portion of the voucher could not be located. Cause: As a result of turnover in the finance department and lack of formal filing procedures, we noted an instance in which the support for a portion of an authorized voucher could not be located Questions Costs: Unknown questioned costs were less than $20,000. Effect: PHIMC could not locate the underlying support for $107 of a $985 voucher charged to the program. Recommendation: We recommend PHIMC develop a formal process to maintain the underlying support for all voucher submissions. Views of Responsible Officials: In conjunction with the hiring of a professional services firm for accounting and finance support, PHIMC will evaluate the current record keeping system and ensure supporting information for submitted vouchers is maintained and accessible.
Agencies: U.S. Department of Health and Human Services Pass-through Agency: Illinois Department of Public Health Federal program: 93.940 HIV Prevention Activities-Health Department Based Criteria: The Uniform Guidance requires passthrough entities to provide reasonable assurance that the subrecipient administered the subaward in compliance with the terms and conditions of the subaward. In addition, passthrough entities should have comprehensive monitoring policies and procedures in place which is risk based. Condition: PHIMC has subrecipient monitoring policies and procedures, but there is a lack of documentation in place to determine if those policies and procedures are being completely followed as well as lack of documentation of the monitoring. In addition, formal agreements between PHIMC and the subrecipient were not located for all subrecipients. Context: PHIMC provides funding to approximately 10-12 subrecipients. Cause: As a result of turnover in the finance department not all documentation could be found and certain documentation was not completed in full. Questions Costs: None. Effect: There is a risk the terms and conditions of all awards provided to subrecipients are not in compliance with the terms and conditions of the award. Recommendation: We recommend PHIMC evaluate their current subrecipient monitoring policies andprocedures and ensure they are comprehensive and actual monitoring is documented. Views of Responsible Officials: In conjunction with the hiring of a professional services firm for accounting and finance support, PHIMC will evaluate subrecipient monitoring policies and procedures
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agency: U.S. Department of Health and Human Services Pass-through Agency: Illinois Department of Public Health Federal program: 93.940 HIV Prevention Activities-Health Department Based Federal award number: 38780057K Criteria: Support for vouchers that are submitted for reimbursement should be maintained. Condition: We identified an instance in which $107 of a $985 voucher could not be obtained. Context: Out of a sample of 40 vouchers charged to the federal program, the underlying support for a portion of the voucher could not be located. Cause: As a result of turnover in the finance department and lack of formal filing procedures, we noted an instance in which the support for a portion of an authorized voucher could not be located Questions Costs: Unknown questioned costs were less than $20,000. Effect: PHIMC could not locate the underlying support for $107 of a $985 voucher charged to the program. Recommendation: We recommend PHIMC develop a formal process to maintain the underlying support for all voucher submissions. Views of Responsible Officials: In conjunction with the hiring of a professional services firm for accounting and finance support, PHIMC will evaluate the current record keeping system and ensure supporting information for submitted vouchers is maintained and accessible.
Agencies: U.S. Department of Health and Human Services Pass-through Agency: Illinois Department of Public Health Federal program: 93.940 HIV Prevention Activities-Health Department Based Criteria: The Uniform Guidance requires passthrough entities to provide reasonable assurance that the subrecipient administered the subaward in compliance with the terms and conditions of the subaward. In addition, passthrough entities should have comprehensive monitoring policies and procedures in place which is risk based. Condition: PHIMC has subrecipient monitoring policies and procedures, but there is a lack of documentation in place to determine if those policies and procedures are being completely followed as well as lack of documentation of the monitoring. In addition, formal agreements between PHIMC and the subrecipient were not located for all subrecipients. Context: PHIMC provides funding to approximately 10-12 subrecipients. Cause: As a result of turnover in the finance department not all documentation could be found and certain documentation was not completed in full. Questions Costs: None. Effect: There is a risk the terms and conditions of all awards provided to subrecipients are not in compliance with the terms and conditions of the award. Recommendation: We recommend PHIMC evaluate their current subrecipient monitoring policies andprocedures and ensure they are comprehensive and actual monitoring is documented. Views of Responsible Officials: In conjunction with the hiring of a professional services firm for accounting and finance support, PHIMC will evaluate subrecipient monitoring policies and procedures
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agency: U.S. Department of Health and Human Services Pass-through Agency: Illinois Department of Public Health Federal program: 93.940 HIV Prevention Activities-Health Department Based Federal award number: 38780057K Criteria: Support for vouchers that are submitted for reimbursement should be maintained. Condition: We identified an instance in which $107 of a $985 voucher could not be obtained. Context: Out of a sample of 40 vouchers charged to the federal program, the underlying support for a portion of the voucher could not be located. Cause: As a result of turnover in the finance department and lack of formal filing procedures, we noted an instance in which the support for a portion of an authorized voucher could not be located Questions Costs: Unknown questioned costs were less than $20,000. Effect: PHIMC could not locate the underlying support for $107 of a $985 voucher charged to the program. Recommendation: We recommend PHIMC develop a formal process to maintain the underlying support for all voucher submissions. Views of Responsible Officials: In conjunction with the hiring of a professional services firm for accounting and finance support, PHIMC will evaluate the current record keeping system and ensure supporting information for submitted vouchers is maintained and accessible.
Agencies: U.S. Department of Health and Human Services Pass-through Agency: Illinois Department of Public Health Federal program: 93.940 HIV Prevention Activities-Health Department Based Criteria: The Uniform Guidance requires passthrough entities to provide reasonable assurance that the subrecipient administered the subaward in compliance with the terms and conditions of the subaward. In addition, passthrough entities should have comprehensive monitoring policies and procedures in place which is risk based. Condition: PHIMC has subrecipient monitoring policies and procedures, but there is a lack of documentation in place to determine if those policies and procedures are being completely followed as well as lack of documentation of the monitoring. In addition, formal agreements between PHIMC and the subrecipient were not located for all subrecipients. Context: PHIMC provides funding to approximately 10-12 subrecipients. Cause: As a result of turnover in the finance department not all documentation could be found and certain documentation was not completed in full. Questions Costs: None. Effect: There is a risk the terms and conditions of all awards provided to subrecipients are not in compliance with the terms and conditions of the award. Recommendation: We recommend PHIMC evaluate their current subrecipient monitoring policies andprocedures and ensure they are comprehensive and actual monitoring is documented. Views of Responsible Officials: In conjunction with the hiring of a professional services firm for accounting and finance support, PHIMC will evaluate subrecipient monitoring policies and procedures
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agency: U.S. Department of Health and Human Services Pass-through Agency: Illinois Department of Public Health Federal program: 93.940 HIV Prevention Activities-Health Department Based Federal award number: 38780057K Criteria: Support for vouchers that are submitted for reimbursement should be maintained. Condition: We identified an instance in which $107 of a $985 voucher could not be obtained. Context: Out of a sample of 40 vouchers charged to the federal program, the underlying support for a portion of the voucher could not be located. Cause: As a result of turnover in the finance department and lack of formal filing procedures, we noted an instance in which the support for a portion of an authorized voucher could not be located Questions Costs: Unknown questioned costs were less than $20,000. Effect: PHIMC could not locate the underlying support for $107 of a $985 voucher charged to the program. Recommendation: We recommend PHIMC develop a formal process to maintain the underlying support for all voucher submissions. Views of Responsible Officials: In conjunction with the hiring of a professional services firm for accounting and finance support, PHIMC will evaluate the current record keeping system and ensure supporting information for submitted vouchers is maintained and accessible.
Agencies: U.S. Department of Health and Human Services Pass-through Agency: Illinois Department of Public Health Federal program: 93.940 HIV Prevention Activities-Health Department Based Criteria: The Uniform Guidance requires passthrough entities to provide reasonable assurance that the subrecipient administered the subaward in compliance with the terms and conditions of the subaward. In addition, passthrough entities should have comprehensive monitoring policies and procedures in place which is risk based. Condition: PHIMC has subrecipient monitoring policies and procedures, but there is a lack of documentation in place to determine if those policies and procedures are being completely followed as well as lack of documentation of the monitoring. In addition, formal agreements between PHIMC and the subrecipient were not located for all subrecipients. Context: PHIMC provides funding to approximately 10-12 subrecipients. Cause: As a result of turnover in the finance department not all documentation could be found and certain documentation was not completed in full. Questions Costs: None. Effect: There is a risk the terms and conditions of all awards provided to subrecipients are not in compliance with the terms and conditions of the award. Recommendation: We recommend PHIMC evaluate their current subrecipient monitoring policies andprocedures and ensure they are comprehensive and actual monitoring is documented. Views of Responsible Officials: In conjunction with the hiring of a professional services firm for accounting and finance support, PHIMC will evaluate subrecipient monitoring policies and procedures
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agency: U.S. Department of Health and Human Services Pass-through Agency: Illinois Department of Public Health Federal program: 93.940 HIV Prevention Activities-Health Department Based Federal award number: 38780057K Criteria: Support for vouchers that are submitted for reimbursement should be maintained. Condition: We identified an instance in which $107 of a $985 voucher could not be obtained. Context: Out of a sample of 40 vouchers charged to the federal program, the underlying support for a portion of the voucher could not be located. Cause: As a result of turnover in the finance department and lack of formal filing procedures, we noted an instance in which the support for a portion of an authorized voucher could not be located Questions Costs: Unknown questioned costs were less than $20,000. Effect: PHIMC could not locate the underlying support for $107 of a $985 voucher charged to the program. Recommendation: We recommend PHIMC develop a formal process to maintain the underlying support for all voucher submissions. Views of Responsible Officials: In conjunction with the hiring of a professional services firm for accounting and finance support, PHIMC will evaluate the current record keeping system and ensure supporting information for submitted vouchers is maintained and accessible.
Agencies: U.S. Department of Health and Human Services Pass-through Agency: Illinois Department of Public Health Federal program: 93.940 HIV Prevention Activities-Health Department Based Criteria: The Uniform Guidance requires passthrough entities to provide reasonable assurance that the subrecipient administered the subaward in compliance with the terms and conditions of the subaward. In addition, passthrough entities should have comprehensive monitoring policies and procedures in place which is risk based. Condition: PHIMC has subrecipient monitoring policies and procedures, but there is a lack of documentation in place to determine if those policies and procedures are being completely followed as well as lack of documentation of the monitoring. In addition, formal agreements between PHIMC and the subrecipient were not located for all subrecipients. Context: PHIMC provides funding to approximately 10-12 subrecipients. Cause: As a result of turnover in the finance department not all documentation could be found and certain documentation was not completed in full. Questions Costs: None. Effect: There is a risk the terms and conditions of all awards provided to subrecipients are not in compliance with the terms and conditions of the award. Recommendation: We recommend PHIMC evaluate their current subrecipient monitoring policies andprocedures and ensure they are comprehensive and actual monitoring is documented. Views of Responsible Officials: In conjunction with the hiring of a professional services firm for accounting and finance support, PHIMC will evaluate subrecipient monitoring policies and procedures
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agency: U.S. Department of Health and Human Services Pass-through Agency: Illinois Department of Public Health Federal program: 93.940 HIV Prevention Activities-Health Department Based Federal award number: 38780057K Criteria: Support for vouchers that are submitted for reimbursement should be maintained. Condition: We identified an instance in which $107 of a $985 voucher could not be obtained. Context: Out of a sample of 40 vouchers charged to the federal program, the underlying support for a portion of the voucher could not be located. Cause: As a result of turnover in the finance department and lack of formal filing procedures, we noted an instance in which the support for a portion of an authorized voucher could not be located Questions Costs: Unknown questioned costs were less than $20,000. Effect: PHIMC could not locate the underlying support for $107 of a $985 voucher charged to the program. Recommendation: We recommend PHIMC develop a formal process to maintain the underlying support for all voucher submissions. Views of Responsible Officials: In conjunction with the hiring of a professional services firm for accounting and finance support, PHIMC will evaluate the current record keeping system and ensure supporting information for submitted vouchers is maintained and accessible.
Agencies: U.S. Department of Health and Human Services Pass-through Agency: Illinois Department of Public Health Federal program: 93.940 HIV Prevention Activities-Health Department Based Criteria: The Uniform Guidance requires passthrough entities to provide reasonable assurance that the subrecipient administered the subaward in compliance with the terms and conditions of the subaward. In addition, passthrough entities should have comprehensive monitoring policies and procedures in place which is risk based. Condition: PHIMC has subrecipient monitoring policies and procedures, but there is a lack of documentation in place to determine if those policies and procedures are being completely followed as well as lack of documentation of the monitoring. In addition, formal agreements between PHIMC and the subrecipient were not located for all subrecipients. Context: PHIMC provides funding to approximately 10-12 subrecipients. Cause: As a result of turnover in the finance department not all documentation could be found and certain documentation was not completed in full. Questions Costs: None. Effect: There is a risk the terms and conditions of all awards provided to subrecipients are not in compliance with the terms and conditions of the award. Recommendation: We recommend PHIMC evaluate their current subrecipient monitoring policies andprocedures and ensure they are comprehensive and actual monitoring is documented. Views of Responsible Officials: In conjunction with the hiring of a professional services firm for accounting and finance support, PHIMC will evaluate subrecipient monitoring policies and procedures
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agency: U.S. Department of Health and Human Services Pass-through Agency: Illinois Department of Public Health Federal program: 93.940 HIV Prevention Activities-Health Department Based Federal award number: 38780057K Criteria: Support for vouchers that are submitted for reimbursement should be maintained. Condition: We identified an instance in which $107 of a $985 voucher could not be obtained. Context: Out of a sample of 40 vouchers charged to the federal program, the underlying support for a portion of the voucher could not be located. Cause: As a result of turnover in the finance department and lack of formal filing procedures, we noted an instance in which the support for a portion of an authorized voucher could not be located Questions Costs: Unknown questioned costs were less than $20,000. Effect: PHIMC could not locate the underlying support for $107 of a $985 voucher charged to the program. Recommendation: We recommend PHIMC develop a formal process to maintain the underlying support for all voucher submissions. Views of Responsible Officials: In conjunction with the hiring of a professional services firm for accounting and finance support, PHIMC will evaluate the current record keeping system and ensure supporting information for submitted vouchers is maintained and accessible.
Agencies: U.S. Department of Health and Human Services Pass-through Agency: Illinois Department of Public Health Federal program: 93.940 HIV Prevention Activities-Health Department Based Criteria: The Uniform Guidance requires passthrough entities to provide reasonable assurance that the subrecipient administered the subaward in compliance with the terms and conditions of the subaward. In addition, passthrough entities should have comprehensive monitoring policies and procedures in place which is risk based. Condition: PHIMC has subrecipient monitoring policies and procedures, but there is a lack of documentation in place to determine if those policies and procedures are being completely followed as well as lack of documentation of the monitoring. In addition, formal agreements between PHIMC and the subrecipient were not located for all subrecipients. Context: PHIMC provides funding to approximately 10-12 subrecipients. Cause: As a result of turnover in the finance department not all documentation could be found and certain documentation was not completed in full. Questions Costs: None. Effect: There is a risk the terms and conditions of all awards provided to subrecipients are not in compliance with the terms and conditions of the award. Recommendation: We recommend PHIMC evaluate their current subrecipient monitoring policies andprocedures and ensure they are comprehensive and actual monitoring is documented. Views of Responsible Officials: In conjunction with the hiring of a professional services firm for accounting and finance support, PHIMC will evaluate subrecipient monitoring policies and procedures
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agency: U.S. Department of Health and Human Services Pass-through Agency: Illinois Department of Public Health Federal program: 93.940 HIV Prevention Activities-Health Department Based Federal award number: 38780057K Criteria: Support for vouchers that are submitted for reimbursement should be maintained. Condition: We identified an instance in which $107 of a $985 voucher could not be obtained. Context: Out of a sample of 40 vouchers charged to the federal program, the underlying support for a portion of the voucher could not be located. Cause: As a result of turnover in the finance department and lack of formal filing procedures, we noted an instance in which the support for a portion of an authorized voucher could not be located Questions Costs: Unknown questioned costs were less than $20,000. Effect: PHIMC could not locate the underlying support for $107 of a $985 voucher charged to the program. Recommendation: We recommend PHIMC develop a formal process to maintain the underlying support for all voucher submissions. Views of Responsible Officials: In conjunction with the hiring of a professional services firm for accounting and finance support, PHIMC will evaluate the current record keeping system and ensure supporting information for submitted vouchers is maintained and accessible.
Agencies: U.S. Department of Health and Human Services Pass-through Agency: Illinois Department of Public Health Federal program: 93.940 HIV Prevention Activities-Health Department Based Criteria: The Uniform Guidance requires passthrough entities to provide reasonable assurance that the subrecipient administered the subaward in compliance with the terms and conditions of the subaward. In addition, passthrough entities should have comprehensive monitoring policies and procedures in place which is risk based. Condition: PHIMC has subrecipient monitoring policies and procedures, but there is a lack of documentation in place to determine if those policies and procedures are being completely followed as well as lack of documentation of the monitoring. In addition, formal agreements between PHIMC and the subrecipient were not located for all subrecipients. Context: PHIMC provides funding to approximately 10-12 subrecipients. Cause: As a result of turnover in the finance department not all documentation could be found and certain documentation was not completed in full. Questions Costs: None. Effect: There is a risk the terms and conditions of all awards provided to subrecipients are not in compliance with the terms and conditions of the award. Recommendation: We recommend PHIMC evaluate their current subrecipient monitoring policies andprocedures and ensure they are comprehensive and actual monitoring is documented. Views of Responsible Officials: In conjunction with the hiring of a professional services firm for accounting and finance support, PHIMC will evaluate subrecipient monitoring policies and procedures
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: The Uniform Grant Guidance requires PHIMC to submit the Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse within the earlier of nine months following its fiscal year end, or 30 days after receipt of the auditors' report. Condition: PHIMC did not submit its 2023 Data Collection Form and single audit reporting package to the Federal Audit Clearinghouse before the deadline. In addition, PHIMC's Consolidated Year End Financial Report (CYEFR) required by the Grant Accountability and Transparency Act was also submitted late. Context: The 2023 single audit reporting package was due to the Federal Clearinghouse no later than September 30, 2024. However, as a result of significant turnover in the business office, there were delays in completing both the financial and single audits. The CYEFR was due September 30, 2024. Cause: Significant turnover in the business office led to delays in starting and completing the financial statement and single audits. Questions Costs: None identified. Effect: Timely reporting to governmental agencies was not achieved. Grantor agencies may reduce or withdraw funding if compliance requirements are not met. Recommendation: We recommend PHIMC obtain adequate personnel or third party resources to ensure the timely and adequate close of PHIMC's year end and scheduling of the financial statement and single audits. Views of Responsible Officials: Management concurs and hired a professional services firm to supplement its existing finance department.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: Personnel files should be maintained for every employee and include documentation such as Form I- 9, termination letters, enrollment, benefit waiver forms, documentation of pay rate changes, etc. Condition: We identified several instances in which personnel file were missing certain documentation, including pay rates, merit increases, hire dates, etc. Context: Out of a sample of ten employee files, ten files were missing information, including support for current wage information. Sample was not statistically valid. Cause: As a result of turnover in human resources and the finance department, a complete evaluation of personnel records has not been performed and personnel files have not been updated for the most current information. Questions Costs: No questioned costs were identified. Effect: Our audit procedures uncovered no instances in which personnel were not paid the correct wage as all merit increases were verbally approved by the President and Chief Executive Officer. However, incomplete personnel files can lead to errors in interpreting benefits and miscommunication with employees as well as errors in payroll and government grant record keeping. Recommendation: We recommend personnel files be reviewed for completeness, any missing documentation should be replaced immediately, and proper documentation should be maintained going forward. Views of Responsible Officials: Management plans to perform a review of all personnel files to ensure applicable files are complete and have up to date information.
Agencies: Corporation for National Community Service and U.S. Department of Health and Human Services Federal Program: All federal awards. Criteria: It is PHIMC's policy to have timecards prepared and signed by the employee and their applicable supervisor. In addition, 2 CFR 200.430 (i) Compensation-Personnel Services, Standards for Documentation of Personnel Services requires payroll systems must be based on records that accurately reflect the work performed and supported by a system of internal controls that provides reasonable assurances that charges are accurate; allowable and reasonable; and properly allocated. Condition: We identified an instance in which a timesheet was not signed off by applicable supervisor and there was no evidence of review. In addition, we noted an instance in which the timesheet did not include all time worked. Context: Out of a sample of 40 timesheets, two timesheets were not complete. Sample was not statistically valid. Cause: The lack of supervisory authorizations and incomplete timesheets appear to be a result of human error and an oversight. Questions Costs: No questioned costs were identified. Effect: Amounts charged to federal awards related to these incomplete timesheets were accurate. However, lack of supervisory review and inaccurate timesheet data can lead to errors in payroll and government grant record keeping. Recommendation: We recommend PHIMC reiterate applicable policy, and ensure all timesheets are prepared, reviewed, and contain appropriate approvals. Views of Responsible Officials: Management plans to reiterate the time and effort reporting policy and ensure timesheets are completed in accordance with PHIMC policy