Audit 357894

FY End
2024-06-30
Total Expended
$6.26M
Findings
8
Programs
6
Year: 2024 Accepted: 2025-06-03

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
563613 2024-002 Material Weakness - E
563614 2024-002 Material Weakness - E
563615 2024-002 Material Weakness - E
563616 2024-002 Material Weakness - E
1140055 2024-002 Material Weakness - E
1140056 2024-002 Material Weakness - E
1140057 2024-002 Material Weakness - E
1140058 2024-002 Material Weakness - E

Contacts

Name Title Type
DM2UJKJMJ1M3 Adonis Banegas Auditee
2156273100 William Loughery Auditor
No contacts on file

Notes to SEFA

Title: RELATIONSHIP TO BASIC FINANCIAL STATEMENTS Accounting Policies: Basis of Presentation The accompanying schedule of expenditures of federal, state, city and county awards (the Schedule) includes the federal, state, city, and county awards activity of Council of Spanish Speaking Organizations, Inc. (Concilio) for the year ended June 30, 2024. All financial assistance received directly from federal agencies as well as financial assistance passed through other governmental agencies or nonprofit organizations are included in the Schedule. 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 Concilio, it is not intended to and does not present the financial position, changes in net assets, or cash flows of Concilio. Summary of Significant Accounting Policies Expenditures reported on the Schedule are reported on the accrual basis of accounting. Such expenditures are recognized following the cost principals contained in the Uniform Guidance, wherein certain types of expenditures are not allowable or are limited as to reimbursement. During the year ended June 30, 2024, Concilio did not pass-through federal funding to subrecipients. De Minimis Rate Used: Y Rate Explanation: Concilio has elected to use the 10% de minimis indirect cost rate allowed under the Uniform Guidance. Federal, state, city and county expenditures are reported on the statement of functional expenses as program expenses. In certain programs, the expenditures reported in the basic financial statements may differ from the expenditures reported in the schedule of expenditures of federal, state, city, and county awards due to program expenditures exceeding grant or contract budget limitations which are not included as federal, state, city, and county awards.

Finding Details

Federal Agency: U.S. Department of Health and Human Services Federal Program Name: Foster Care Title IV-E Assistance Listing Number: 93.658 Pass-Through Agency: City of Philadelphia Department of Human Services Contract Number(s): 21-20075, 23-20289 and 23-20800 Award Period: July 1, 2023 through June 30, 2024 Type of Finding: - Material Weakness in Internal Control over Eligibility Compliance - Other Matters Criteria: 3 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of eligibility and reporting. Concilio’s Community Umbrella Agency Number 3, should have procedures and controls in place to ensure that all client files contained the required documentation to comply with the eligibility and reporting requirements under Uniform Guidance. Condition and Context: In our eligibility test, we requested a sample of 60 foster care children who were managed by Community Umbrella Agency 3 during the fiscal year ended June 30, 2024. As part of our testing, we reviewed each child’s case file in order to determine whether required documentation was included in the file as per the requirements of both the City of Philadelphia, Department of Human Services and the Commonwealth of Pennsylvania, Department of Human Services. Such forms are essential and help to ensure that participants are eligible for, receiving, and reporting the progress of those services provided. The results from this review indicate that documentation was either missing, appeared to have gaps of time between submissions or were not prepared timely. This included the: (a) 30 CUA In-Home Services Referral were either not provide by City of Philadelphia, DHS or followed-up by the CUA, (b) 29 CUA Safety Assessment Worksheets, (c) 30 CUA Safety Plans, (d) 7 CUA - PA Model - Risk Assessment, (e) 3 CUA - Documented Client Visits (Structure Case Notes), (f) 7 FAST - Family Advocacy Forms, (g) 17 Life Skills Assessment/ Biopsychosocial Evaluation/ IEP or Ages & Stages Questionnaire (ASQ), (h) 11 CUA - School Report Cards, (k) 6 CUA - Authorization to Release Information (medical, dental, school), (i) 9 CUA- Immunizations, (j) 3 DHS Court Sheet and Court Orders, (k) 14 Photo on file, (l) 10 Initial CUA Single Case Plan. (m) 6 CUA - Required to be Updates Every Month Single Case Plan (Revised CUA Single Case Plan), (n) 17 Initial CUA Service Conference, and (o)16 Ongoing CUA Services Conference Summary Report. Furthermore, each child's file needed to contain specific documents from the DHS, which had to be supplied by the department or shown evidence of request by the CUA. Missing documents consisted of: (a) 34 DHS Service Authorization Forms, (b) 21 DHS CUA Provider Referral Forms, and (c) 30 DHS CUA In-Home Services Referral Forms. The total number of exceptions throughout totaled 270. Questioned Costs: No Cause: Based on our observations and discussions with management, Concilio encountered logistical challenges while starting-up and onboarding this new program while needing to scale quickly in order to meet the needs of its program consumers. These challenges attributed to the lack of documentation and file management throughout the fiscal year ended June 30, 2024. Effect: Both the lack of proper documentation and the timeliness of the completion of this documentation could lead to children either receiving inappropriate services or missing the required service described in the child’s individualized service plan. Additionally, this could lead to issues of noncompliance and/or additional unwanted liabilities in the welfare of a child had been comprised. Recommendation: We recommend that management continue to develop policies and procedures in order to properly include all pertinent documentation within each client file as required by the City of Philadelphia, Department of Human Services. In addition, we recommend that program leadership and/or the quality control department performs periodic audits of the client files to ensure all required documentation is included. Views of responsible officials and planned corrective actions: Please refer to Concilio’s Corrective Action Plan.
Federal Agency: U.S. Department of Health and Human Services Federal Program Name: Foster Care Title IV-E Assistance Listing Number: 93.658 Pass-Through Agency: City of Philadelphia Department of Human Services Contract Number(s): 21-20075, 23-20289 and 23-20800 Award Period: July 1, 2023 through June 30, 2024 Type of Finding: - Material Weakness in Internal Control over Eligibility Compliance - Other Matters Criteria: 3 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of eligibility and reporting. Concilio’s Community Umbrella Agency Number 3, should have procedures and controls in place to ensure that all client files contained the required documentation to comply with the eligibility and reporting requirements under Uniform Guidance. Condition and Context: In our eligibility test, we requested a sample of 60 foster care children who were managed by Community Umbrella Agency 3 during the fiscal year ended June 30, 2024. As part of our testing, we reviewed each child’s case file in order to determine whether required documentation was included in the file as per the requirements of both the City of Philadelphia, Department of Human Services and the Commonwealth of Pennsylvania, Department of Human Services. Such forms are essential and help to ensure that participants are eligible for, receiving, and reporting the progress of those services provided. The results from this review indicate that documentation was either missing, appeared to have gaps of time between submissions or were not prepared timely. This included the: (a) 30 CUA In-Home Services Referral were either not provide by City of Philadelphia, DHS or followed-up by the CUA, (b) 29 CUA Safety Assessment Worksheets, (c) 30 CUA Safety Plans, (d) 7 CUA - PA Model - Risk Assessment, (e) 3 CUA - Documented Client Visits (Structure Case Notes), (f) 7 FAST - Family Advocacy Forms, (g) 17 Life Skills Assessment/ Biopsychosocial Evaluation/ IEP or Ages & Stages Questionnaire (ASQ), (h) 11 CUA - School Report Cards, (k) 6 CUA - Authorization to Release Information (medical, dental, school), (i) 9 CUA- Immunizations, (j) 3 DHS Court Sheet and Court Orders, (k) 14 Photo on file, (l) 10 Initial CUA Single Case Plan. (m) 6 CUA - Required to be Updates Every Month Single Case Plan (Revised CUA Single Case Plan), (n) 17 Initial CUA Service Conference, and (o)16 Ongoing CUA Services Conference Summary Report. Furthermore, each child's file needed to contain specific documents from the DHS, which had to be supplied by the department or shown evidence of request by the CUA. Missing documents consisted of: (a) 34 DHS Service Authorization Forms, (b) 21 DHS CUA Provider Referral Forms, and (c) 30 DHS CUA In-Home Services Referral Forms. The total number of exceptions throughout totaled 270. Questioned Costs: No Cause: Based on our observations and discussions with management, Concilio encountered logistical challenges while starting-up and onboarding this new program while needing to scale quickly in order to meet the needs of its program consumers. These challenges attributed to the lack of documentation and file management throughout the fiscal year ended June 30, 2024. Effect: Both the lack of proper documentation and the timeliness of the completion of this documentation could lead to children either receiving inappropriate services or missing the required service described in the child’s individualized service plan. Additionally, this could lead to issues of noncompliance and/or additional unwanted liabilities in the welfare of a child had been comprised. Recommendation: We recommend that management continue to develop policies and procedures in order to properly include all pertinent documentation within each client file as required by the City of Philadelphia, Department of Human Services. In addition, we recommend that program leadership and/or the quality control department performs periodic audits of the client files to ensure all required documentation is included. Views of responsible officials and planned corrective actions: Please refer to Concilio’s Corrective Action Plan.
Federal Agency: U.S. Department of Health and Human Services Federal Program Name: Foster Care Title IV-E Assistance Listing Number: 93.658 Pass-Through Agency: City of Philadelphia Department of Human Services Contract Number(s): 21-20075, 23-20289 and 23-20800 Award Period: July 1, 2023 through June 30, 2024 Type of Finding: - Material Weakness in Internal Control over Eligibility Compliance - Other Matters Criteria: 3 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of eligibility and reporting. Concilio’s Community Umbrella Agency Number 3, should have procedures and controls in place to ensure that all client files contained the required documentation to comply with the eligibility and reporting requirements under Uniform Guidance. Condition and Context: In our eligibility test, we requested a sample of 60 foster care children who were managed by Community Umbrella Agency 3 during the fiscal year ended June 30, 2024. As part of our testing, we reviewed each child’s case file in order to determine whether required documentation was included in the file as per the requirements of both the City of Philadelphia, Department of Human Services and the Commonwealth of Pennsylvania, Department of Human Services. Such forms are essential and help to ensure that participants are eligible for, receiving, and reporting the progress of those services provided. The results from this review indicate that documentation was either missing, appeared to have gaps of time between submissions or were not prepared timely. This included the: (a) 30 CUA In-Home Services Referral were either not provide by City of Philadelphia, DHS or followed-up by the CUA, (b) 29 CUA Safety Assessment Worksheets, (c) 30 CUA Safety Plans, (d) 7 CUA - PA Model - Risk Assessment, (e) 3 CUA - Documented Client Visits (Structure Case Notes), (f) 7 FAST - Family Advocacy Forms, (g) 17 Life Skills Assessment/ Biopsychosocial Evaluation/ IEP or Ages & Stages Questionnaire (ASQ), (h) 11 CUA - School Report Cards, (k) 6 CUA - Authorization to Release Information (medical, dental, school), (i) 9 CUA- Immunizations, (j) 3 DHS Court Sheet and Court Orders, (k) 14 Photo on file, (l) 10 Initial CUA Single Case Plan. (m) 6 CUA - Required to be Updates Every Month Single Case Plan (Revised CUA Single Case Plan), (n) 17 Initial CUA Service Conference, and (o)16 Ongoing CUA Services Conference Summary Report. Furthermore, each child's file needed to contain specific documents from the DHS, which had to be supplied by the department or shown evidence of request by the CUA. Missing documents consisted of: (a) 34 DHS Service Authorization Forms, (b) 21 DHS CUA Provider Referral Forms, and (c) 30 DHS CUA In-Home Services Referral Forms. The total number of exceptions throughout totaled 270. Questioned Costs: No Cause: Based on our observations and discussions with management, Concilio encountered logistical challenges while starting-up and onboarding this new program while needing to scale quickly in order to meet the needs of its program consumers. These challenges attributed to the lack of documentation and file management throughout the fiscal year ended June 30, 2024. Effect: Both the lack of proper documentation and the timeliness of the completion of this documentation could lead to children either receiving inappropriate services or missing the required service described in the child’s individualized service plan. Additionally, this could lead to issues of noncompliance and/or additional unwanted liabilities in the welfare of a child had been comprised. Recommendation: We recommend that management continue to develop policies and procedures in order to properly include all pertinent documentation within each client file as required by the City of Philadelphia, Department of Human Services. In addition, we recommend that program leadership and/or the quality control department performs periodic audits of the client files to ensure all required documentation is included. Views of responsible officials and planned corrective actions: Please refer to Concilio’s Corrective Action Plan.
Federal Agency: U.S. Department of Health and Human Services Federal Program Name: Foster Care Title IV-E Assistance Listing Number: 93.658 Pass-Through Agency: City of Philadelphia Department of Human Services Contract Number(s): 21-20075, 23-20289 and 23-20800 Award Period: July 1, 2023 through June 30, 2024 Type of Finding: - Material Weakness in Internal Control over Eligibility Compliance - Other Matters Criteria: 3 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of eligibility and reporting. Concilio’s Community Umbrella Agency Number 3, should have procedures and controls in place to ensure that all client files contained the required documentation to comply with the eligibility and reporting requirements under Uniform Guidance. Condition and Context: In our eligibility test, we requested a sample of 60 foster care children who were managed by Community Umbrella Agency 3 during the fiscal year ended June 30, 2024. As part of our testing, we reviewed each child’s case file in order to determine whether required documentation was included in the file as per the requirements of both the City of Philadelphia, Department of Human Services and the Commonwealth of Pennsylvania, Department of Human Services. Such forms are essential and help to ensure that participants are eligible for, receiving, and reporting the progress of those services provided. The results from this review indicate that documentation was either missing, appeared to have gaps of time between submissions or were not prepared timely. This included the: (a) 30 CUA In-Home Services Referral were either not provide by City of Philadelphia, DHS or followed-up by the CUA, (b) 29 CUA Safety Assessment Worksheets, (c) 30 CUA Safety Plans, (d) 7 CUA - PA Model - Risk Assessment, (e) 3 CUA - Documented Client Visits (Structure Case Notes), (f) 7 FAST - Family Advocacy Forms, (g) 17 Life Skills Assessment/ Biopsychosocial Evaluation/ IEP or Ages & Stages Questionnaire (ASQ), (h) 11 CUA - School Report Cards, (k) 6 CUA - Authorization to Release Information (medical, dental, school), (i) 9 CUA- Immunizations, (j) 3 DHS Court Sheet and Court Orders, (k) 14 Photo on file, (l) 10 Initial CUA Single Case Plan. (m) 6 CUA - Required to be Updates Every Month Single Case Plan (Revised CUA Single Case Plan), (n) 17 Initial CUA Service Conference, and (o)16 Ongoing CUA Services Conference Summary Report. Furthermore, each child's file needed to contain specific documents from the DHS, which had to be supplied by the department or shown evidence of request by the CUA. Missing documents consisted of: (a) 34 DHS Service Authorization Forms, (b) 21 DHS CUA Provider Referral Forms, and (c) 30 DHS CUA In-Home Services Referral Forms. The total number of exceptions throughout totaled 270. Questioned Costs: No Cause: Based on our observations and discussions with management, Concilio encountered logistical challenges while starting-up and onboarding this new program while needing to scale quickly in order to meet the needs of its program consumers. These challenges attributed to the lack of documentation and file management throughout the fiscal year ended June 30, 2024. Effect: Both the lack of proper documentation and the timeliness of the completion of this documentation could lead to children either receiving inappropriate services or missing the required service described in the child’s individualized service plan. Additionally, this could lead to issues of noncompliance and/or additional unwanted liabilities in the welfare of a child had been comprised. Recommendation: We recommend that management continue to develop policies and procedures in order to properly include all pertinent documentation within each client file as required by the City of Philadelphia, Department of Human Services. In addition, we recommend that program leadership and/or the quality control department performs periodic audits of the client files to ensure all required documentation is included. Views of responsible officials and planned corrective actions: Please refer to Concilio’s Corrective Action Plan.
Federal Agency: U.S. Department of Health and Human Services Federal Program Name: Foster Care Title IV-E Assistance Listing Number: 93.658 Pass-Through Agency: City of Philadelphia Department of Human Services Contract Number(s): 21-20075, 23-20289 and 23-20800 Award Period: July 1, 2023 through June 30, 2024 Type of Finding: - Material Weakness in Internal Control over Eligibility Compliance - Other Matters Criteria: 3 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of eligibility and reporting. Concilio’s Community Umbrella Agency Number 3, should have procedures and controls in place to ensure that all client files contained the required documentation to comply with the eligibility and reporting requirements under Uniform Guidance. Condition and Context: In our eligibility test, we requested a sample of 60 foster care children who were managed by Community Umbrella Agency 3 during the fiscal year ended June 30, 2024. As part of our testing, we reviewed each child’s case file in order to determine whether required documentation was included in the file as per the requirements of both the City of Philadelphia, Department of Human Services and the Commonwealth of Pennsylvania, Department of Human Services. Such forms are essential and help to ensure that participants are eligible for, receiving, and reporting the progress of those services provided. The results from this review indicate that documentation was either missing, appeared to have gaps of time between submissions or were not prepared timely. This included the: (a) 30 CUA In-Home Services Referral were either not provide by City of Philadelphia, DHS or followed-up by the CUA, (b) 29 CUA Safety Assessment Worksheets, (c) 30 CUA Safety Plans, (d) 7 CUA - PA Model - Risk Assessment, (e) 3 CUA - Documented Client Visits (Structure Case Notes), (f) 7 FAST - Family Advocacy Forms, (g) 17 Life Skills Assessment/ Biopsychosocial Evaluation/ IEP or Ages & Stages Questionnaire (ASQ), (h) 11 CUA - School Report Cards, (k) 6 CUA - Authorization to Release Information (medical, dental, school), (i) 9 CUA- Immunizations, (j) 3 DHS Court Sheet and Court Orders, (k) 14 Photo on file, (l) 10 Initial CUA Single Case Plan. (m) 6 CUA - Required to be Updates Every Month Single Case Plan (Revised CUA Single Case Plan), (n) 17 Initial CUA Service Conference, and (o)16 Ongoing CUA Services Conference Summary Report. Furthermore, each child's file needed to contain specific documents from the DHS, which had to be supplied by the department or shown evidence of request by the CUA. Missing documents consisted of: (a) 34 DHS Service Authorization Forms, (b) 21 DHS CUA Provider Referral Forms, and (c) 30 DHS CUA In-Home Services Referral Forms. The total number of exceptions throughout totaled 270. Questioned Costs: No Cause: Based on our observations and discussions with management, Concilio encountered logistical challenges while starting-up and onboarding this new program while needing to scale quickly in order to meet the needs of its program consumers. These challenges attributed to the lack of documentation and file management throughout the fiscal year ended June 30, 2024. Effect: Both the lack of proper documentation and the timeliness of the completion of this documentation could lead to children either receiving inappropriate services or missing the required service described in the child’s individualized service plan. Additionally, this could lead to issues of noncompliance and/or additional unwanted liabilities in the welfare of a child had been comprised. Recommendation: We recommend that management continue to develop policies and procedures in order to properly include all pertinent documentation within each client file as required by the City of Philadelphia, Department of Human Services. In addition, we recommend that program leadership and/or the quality control department performs periodic audits of the client files to ensure all required documentation is included. Views of responsible officials and planned corrective actions: Please refer to Concilio’s Corrective Action Plan.
Federal Agency: U.S. Department of Health and Human Services Federal Program Name: Foster Care Title IV-E Assistance Listing Number: 93.658 Pass-Through Agency: City of Philadelphia Department of Human Services Contract Number(s): 21-20075, 23-20289 and 23-20800 Award Period: July 1, 2023 through June 30, 2024 Type of Finding: - Material Weakness in Internal Control over Eligibility Compliance - Other Matters Criteria: 3 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of eligibility and reporting. Concilio’s Community Umbrella Agency Number 3, should have procedures and controls in place to ensure that all client files contained the required documentation to comply with the eligibility and reporting requirements under Uniform Guidance. Condition and Context: In our eligibility test, we requested a sample of 60 foster care children who were managed by Community Umbrella Agency 3 during the fiscal year ended June 30, 2024. As part of our testing, we reviewed each child’s case file in order to determine whether required documentation was included in the file as per the requirements of both the City of Philadelphia, Department of Human Services and the Commonwealth of Pennsylvania, Department of Human Services. Such forms are essential and help to ensure that participants are eligible for, receiving, and reporting the progress of those services provided. The results from this review indicate that documentation was either missing, appeared to have gaps of time between submissions or were not prepared timely. This included the: (a) 30 CUA In-Home Services Referral were either not provide by City of Philadelphia, DHS or followed-up by the CUA, (b) 29 CUA Safety Assessment Worksheets, (c) 30 CUA Safety Plans, (d) 7 CUA - PA Model - Risk Assessment, (e) 3 CUA - Documented Client Visits (Structure Case Notes), (f) 7 FAST - Family Advocacy Forms, (g) 17 Life Skills Assessment/ Biopsychosocial Evaluation/ IEP or Ages & Stages Questionnaire (ASQ), (h) 11 CUA - School Report Cards, (k) 6 CUA - Authorization to Release Information (medical, dental, school), (i) 9 CUA- Immunizations, (j) 3 DHS Court Sheet and Court Orders, (k) 14 Photo on file, (l) 10 Initial CUA Single Case Plan. (m) 6 CUA - Required to be Updates Every Month Single Case Plan (Revised CUA Single Case Plan), (n) 17 Initial CUA Service Conference, and (o)16 Ongoing CUA Services Conference Summary Report. Furthermore, each child's file needed to contain specific documents from the DHS, which had to be supplied by the department or shown evidence of request by the CUA. Missing documents consisted of: (a) 34 DHS Service Authorization Forms, (b) 21 DHS CUA Provider Referral Forms, and (c) 30 DHS CUA In-Home Services Referral Forms. The total number of exceptions throughout totaled 270. Questioned Costs: No Cause: Based on our observations and discussions with management, Concilio encountered logistical challenges while starting-up and onboarding this new program while needing to scale quickly in order to meet the needs of its program consumers. These challenges attributed to the lack of documentation and file management throughout the fiscal year ended June 30, 2024. Effect: Both the lack of proper documentation and the timeliness of the completion of this documentation could lead to children either receiving inappropriate services or missing the required service described in the child’s individualized service plan. Additionally, this could lead to issues of noncompliance and/or additional unwanted liabilities in the welfare of a child had been comprised. Recommendation: We recommend that management continue to develop policies and procedures in order to properly include all pertinent documentation within each client file as required by the City of Philadelphia, Department of Human Services. In addition, we recommend that program leadership and/or the quality control department performs periodic audits of the client files to ensure all required documentation is included. Views of responsible officials and planned corrective actions: Please refer to Concilio’s Corrective Action Plan.
Federal Agency: U.S. Department of Health and Human Services Federal Program Name: Foster Care Title IV-E Assistance Listing Number: 93.658 Pass-Through Agency: City of Philadelphia Department of Human Services Contract Number(s): 21-20075, 23-20289 and 23-20800 Award Period: July 1, 2023 through June 30, 2024 Type of Finding: - Material Weakness in Internal Control over Eligibility Compliance - Other Matters Criteria: 3 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of eligibility and reporting. Concilio’s Community Umbrella Agency Number 3, should have procedures and controls in place to ensure that all client files contained the required documentation to comply with the eligibility and reporting requirements under Uniform Guidance. Condition and Context: In our eligibility test, we requested a sample of 60 foster care children who were managed by Community Umbrella Agency 3 during the fiscal year ended June 30, 2024. As part of our testing, we reviewed each child’s case file in order to determine whether required documentation was included in the file as per the requirements of both the City of Philadelphia, Department of Human Services and the Commonwealth of Pennsylvania, Department of Human Services. Such forms are essential and help to ensure that participants are eligible for, receiving, and reporting the progress of those services provided. The results from this review indicate that documentation was either missing, appeared to have gaps of time between submissions or were not prepared timely. This included the: (a) 30 CUA In-Home Services Referral were either not provide by City of Philadelphia, DHS or followed-up by the CUA, (b) 29 CUA Safety Assessment Worksheets, (c) 30 CUA Safety Plans, (d) 7 CUA - PA Model - Risk Assessment, (e) 3 CUA - Documented Client Visits (Structure Case Notes), (f) 7 FAST - Family Advocacy Forms, (g) 17 Life Skills Assessment/ Biopsychosocial Evaluation/ IEP or Ages & Stages Questionnaire (ASQ), (h) 11 CUA - School Report Cards, (k) 6 CUA - Authorization to Release Information (medical, dental, school), (i) 9 CUA- Immunizations, (j) 3 DHS Court Sheet and Court Orders, (k) 14 Photo on file, (l) 10 Initial CUA Single Case Plan. (m) 6 CUA - Required to be Updates Every Month Single Case Plan (Revised CUA Single Case Plan), (n) 17 Initial CUA Service Conference, and (o)16 Ongoing CUA Services Conference Summary Report. Furthermore, each child's file needed to contain specific documents from the DHS, which had to be supplied by the department or shown evidence of request by the CUA. Missing documents consisted of: (a) 34 DHS Service Authorization Forms, (b) 21 DHS CUA Provider Referral Forms, and (c) 30 DHS CUA In-Home Services Referral Forms. The total number of exceptions throughout totaled 270. Questioned Costs: No Cause: Based on our observations and discussions with management, Concilio encountered logistical challenges while starting-up and onboarding this new program while needing to scale quickly in order to meet the needs of its program consumers. These challenges attributed to the lack of documentation and file management throughout the fiscal year ended June 30, 2024. Effect: Both the lack of proper documentation and the timeliness of the completion of this documentation could lead to children either receiving inappropriate services or missing the required service described in the child’s individualized service plan. Additionally, this could lead to issues of noncompliance and/or additional unwanted liabilities in the welfare of a child had been comprised. Recommendation: We recommend that management continue to develop policies and procedures in order to properly include all pertinent documentation within each client file as required by the City of Philadelphia, Department of Human Services. In addition, we recommend that program leadership and/or the quality control department performs periodic audits of the client files to ensure all required documentation is included. Views of responsible officials and planned corrective actions: Please refer to Concilio’s Corrective Action Plan.
Federal Agency: U.S. Department of Health and Human Services Federal Program Name: Foster Care Title IV-E Assistance Listing Number: 93.658 Pass-Through Agency: City of Philadelphia Department of Human Services Contract Number(s): 21-20075, 23-20289 and 23-20800 Award Period: July 1, 2023 through June 30, 2024 Type of Finding: - Material Weakness in Internal Control over Eligibility Compliance - Other Matters Criteria: 3 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of eligibility and reporting. Concilio’s Community Umbrella Agency Number 3, should have procedures and controls in place to ensure that all client files contained the required documentation to comply with the eligibility and reporting requirements under Uniform Guidance. Condition and Context: In our eligibility test, we requested a sample of 60 foster care children who were managed by Community Umbrella Agency 3 during the fiscal year ended June 30, 2024. As part of our testing, we reviewed each child’s case file in order to determine whether required documentation was included in the file as per the requirements of both the City of Philadelphia, Department of Human Services and the Commonwealth of Pennsylvania, Department of Human Services. Such forms are essential and help to ensure that participants are eligible for, receiving, and reporting the progress of those services provided. The results from this review indicate that documentation was either missing, appeared to have gaps of time between submissions or were not prepared timely. This included the: (a) 30 CUA In-Home Services Referral were either not provide by City of Philadelphia, DHS or followed-up by the CUA, (b) 29 CUA Safety Assessment Worksheets, (c) 30 CUA Safety Plans, (d) 7 CUA - PA Model - Risk Assessment, (e) 3 CUA - Documented Client Visits (Structure Case Notes), (f) 7 FAST - Family Advocacy Forms, (g) 17 Life Skills Assessment/ Biopsychosocial Evaluation/ IEP or Ages & Stages Questionnaire (ASQ), (h) 11 CUA - School Report Cards, (k) 6 CUA - Authorization to Release Information (medical, dental, school), (i) 9 CUA- Immunizations, (j) 3 DHS Court Sheet and Court Orders, (k) 14 Photo on file, (l) 10 Initial CUA Single Case Plan. (m) 6 CUA - Required to be Updates Every Month Single Case Plan (Revised CUA Single Case Plan), (n) 17 Initial CUA Service Conference, and (o)16 Ongoing CUA Services Conference Summary Report. Furthermore, each child's file needed to contain specific documents from the DHS, which had to be supplied by the department or shown evidence of request by the CUA. Missing documents consisted of: (a) 34 DHS Service Authorization Forms, (b) 21 DHS CUA Provider Referral Forms, and (c) 30 DHS CUA In-Home Services Referral Forms. The total number of exceptions throughout totaled 270. Questioned Costs: No Cause: Based on our observations and discussions with management, Concilio encountered logistical challenges while starting-up and onboarding this new program while needing to scale quickly in order to meet the needs of its program consumers. These challenges attributed to the lack of documentation and file management throughout the fiscal year ended June 30, 2024. Effect: Both the lack of proper documentation and the timeliness of the completion of this documentation could lead to children either receiving inappropriate services or missing the required service described in the child’s individualized service plan. Additionally, this could lead to issues of noncompliance and/or additional unwanted liabilities in the welfare of a child had been comprised. Recommendation: We recommend that management continue to develop policies and procedures in order to properly include all pertinent documentation within each client file as required by the City of Philadelphia, Department of Human Services. In addition, we recommend that program leadership and/or the quality control department performs periodic audits of the client files to ensure all required documentation is included. Views of responsible officials and planned corrective actions: Please refer to Concilio’s Corrective Action Plan.