Audit 363263

FY End
2024-12-31
Total Expended
$25.78M
Findings
72
Programs
12
Organization: Livingston Parish Council (LA)
Year: 2024 Accepted: 2025-07-29

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
572100 2024-001 Material Weakness Yes ABGHILM
572101 2024-002 Material Weakness Yes ABGHILM
572102 2024-003 Significant Deficiency - ABGHILM
572103 2024-001 Material Weakness Yes ABFGIMN
572104 2024-002 Material Weakness Yes ABFGIMN
572105 2024-001 Material Weakness Yes ABFGIMN
572106 2024-002 Material Weakness Yes ABFGIMN
572107 2024-001 Material Weakness Yes ABFGIMN
572108 2024-002 Material Weakness Yes ABFGIMN
572109 2024-001 Material Weakness Yes ABCFIM
572110 2024-002 Material Weakness Yes ABCFIM
572111 2024-004 Material Weakness - ABCFIM
572112 2024-001 Material Weakness Yes ABCEHI
572113 2024-002 Material Weakness Yes ABCEHI
572114 2024-001 Material Weakness Yes ABCEHI
572115 2024-002 Material Weakness Yes ABCEHI
572116 2024-001 Material Weakness Yes ABCEHI
572117 2024-002 Material Weakness Yes ABCEHI
572118 2024-001 Material Weakness Yes ABCEHI
572119 2024-002 Material Weakness Yes ABCEHI
572120 2024-001 Material Weakness Yes ABCEHL
572121 2024-002 Material Weakness Yes ABCEHL
572122 2024-001 Material Weakness Yes ABCEHL
572123 2024-002 Material Weakness Yes ABCEHL
572124 2024-001 Material Weakness Yes ABCEHL
572125 2024-002 Material Weakness Yes ABCEHL
572126 2024-001 Material Weakness Yes ABCEHL
572127 2024-002 Material Weakness Yes ABCEHL
572128 2024-001 Material Weakness Yes ABCEHL
572129 2024-002 Material Weakness Yes ABCEHL
572130 2024-001 Material Weakness Yes ABCEHL
572131 2024-002 Material Weakness Yes ABCEHL
572132 2024-001 Material Weakness Yes ABCEHL
572133 2024-002 Material Weakness Yes ABCEHL
572134 2024-001 Material Weakness Yes ABCEHL
572135 2024-002 Material Weakness Yes ABCEHL
1148542 2024-001 Material Weakness Yes ABGHILM
1148543 2024-002 Material Weakness Yes ABGHILM
1148544 2024-003 Significant Deficiency - ABGHILM
1148545 2024-001 Material Weakness Yes ABFGIMN
1148546 2024-002 Material Weakness Yes ABFGIMN
1148547 2024-001 Material Weakness Yes ABFGIMN
1148548 2024-002 Material Weakness Yes ABFGIMN
1148549 2024-001 Material Weakness Yes ABFGIMN
1148550 2024-002 Material Weakness Yes ABFGIMN
1148551 2024-001 Material Weakness Yes ABCFIM
1148552 2024-002 Material Weakness Yes ABCFIM
1148553 2024-004 Material Weakness - ABCFIM
1148554 2024-001 Material Weakness Yes ABCEHI
1148555 2024-002 Material Weakness Yes ABCEHI
1148556 2024-001 Material Weakness Yes ABCEHI
1148557 2024-002 Material Weakness Yes ABCEHI
1148558 2024-001 Material Weakness Yes ABCEHI
1148559 2024-002 Material Weakness Yes ABCEHI
1148560 2024-001 Material Weakness Yes ABCEHI
1148561 2024-002 Material Weakness Yes ABCEHI
1148562 2024-001 Material Weakness Yes ABCEHL
1148563 2024-002 Material Weakness Yes ABCEHL
1148564 2024-001 Material Weakness Yes ABCEHL
1148565 2024-002 Material Weakness Yes ABCEHL
1148566 2024-001 Material Weakness Yes ABCEHL
1148567 2024-002 Material Weakness Yes ABCEHL
1148568 2024-001 Material Weakness Yes ABCEHL
1148569 2024-002 Material Weakness Yes ABCEHL
1148570 2024-001 Material Weakness Yes ABCEHL
1148571 2024-002 Material Weakness Yes ABCEHL
1148572 2024-001 Material Weakness Yes ABCEHL
1148573 2024-002 Material Weakness Yes ABCEHL
1148574 2024-001 Material Weakness Yes ABCEHL
1148575 2024-002 Material Weakness Yes ABCEHL
1148576 2024-001 Material Weakness Yes ABCEHL
1148577 2024-002 Material Weakness Yes ABCEHL

Contacts

Name Title Type
ED1VJWJ2T9B1 Mickey McMorris Auditee
2256864409 Jacob Waguespack Auditor
No contacts on file

Notes to SEFA

Title: General Accounting Policies: Accrual Basis of Accounting De Minimis Rate Used: N Rate Explanation: The Parish has not elected to use the percentage de minims indirect cost as allowed under the Uniform Guidance. The accompanying schedule of expenditures of federal awards (the Schedule) includes the federal award activity for the Parish under programs of the federal government for the year ended December 31, 2024. The information in this Schedule is presented in accordance with the requirements of Title 2 U.S. Code of Federal Regulations Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Guidance). Because the Schedule presents only a selected portion of the operations of the Parish, it is not intended to and does not present the financial position, changes in net position, or cash flows of the Parish. All federal financial assistance received directly from federal agencies is included on the schedule, as well as federal financial assistance passed through other agencies. There was no activity passed through to other agencies by the Parish in 2024.
Title: Basis of Accounting Accounting Policies: Accrual Basis of Accounting De Minimis Rate Used: N Rate Explanation: The Parish has not elected to use the percentage de minims indirect cost as allowed under the Uniform Guidance. The Parish’s Schedule is presented using the accrual basis of accounting, which is described in Note 1 to the Parish’s financial statements for the year ended December 31, 2024. Such expenditures are recognized following the cost principles contained in the Uniform Guidance and OMB Circular A-87, Cost Principles for State, Local, and Indian Tribal Governments), wherein certain types of expenditures are not allowable or are limited as to reimbursement.
Title: Indirect Cost Rate Accounting Policies: Accrual Basis of Accounting De Minimis Rate Used: N Rate Explanation: The Parish has not elected to use the percentage de minims indirect cost as allowed under the Uniform Guidance. The Parish has not elected to use the percentage de minims indirect cost as allowed under the Uniform Guidance.
Title: Relationship to the Federal Reports Accounting Policies: Accrual Basis of Accounting De Minimis Rate Used: N Rate Explanation: The Parish has not elected to use the percentage de minims indirect cost as allowed under the Uniform Guidance. Amounts reported in the Schedule agree with the amounts reported in the related federal financial reports except for changes made to reflect amounts in accordance with accounting principles generally accepted in the United States of America.

Finding Details

Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Additionally, per 2 CFR §200.403 and §200.302, costs charged to federal awards must be allowable, allocable, and properly documented, and financial reporting must be accurate, complete, and supported by the accounting system. Condition: Although the Parish has implemented internal controls related to the allowability of costs and the preparation of required reports for the Coronavirus State and Local Fiscal Recovery funds, they were not operating effectively during fiscal year 2024. Tests of controls indicated that transactions were not tracked appropriately to ensure they were charged to the correct funding source. In addition, quarterly project and expenditure reports submitted to the U.S. Treasury included inaccurate or unsupported information due to a lack of tracking and reconciliation procedures. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. The documented controls were not in practice because of this. Effect: While no instances of noncompliance were noted, the lack of documented controls in practice increases the risk that future required reports could be incomplete, inaccurate, or untimely, as well as, federal costs being unallowed per the cost principles which could potentially result in program noncompliance. Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001, to prevent noncompliance of the Uniform Guidance as required.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: In accordance with 2 CFR § 200.331, a non-federal entity that passes federal awards to subrecipients is responsible for 1) evaluating each subrecipient’s risk of noncompliance, 2) monitoring the activities of subrecipients to ensure that the subaward is used for authorized purposes, in compliance with laws and the terms and conditions of the subaward, and 3) verifying that subrecipients have audits in accordance with the Uniform Guidance, if applicable. Adequate internal controls are required to ensure compliance with these requirements under 2 CFR § 200.303. Condition: During our audit, we noted that the Parish did not have sufficient internal controls in place to ensure effective subrecipient monitoring. Specifically, there was no documented risk assessment of subrecipients prior to issuing subawards, the Parish did not perform periodic reviews or site visits to monitor subrecipient performance or compliance, and the subrecipient audit reports were not consistently obtained or reviewed. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. The documented controls were not in practice because of this. Effect: Failure to properly monitor subrecipients increases the risk that federal funds may be misused or not spent in accordance with program requirements to achieve program objectives. It also exposes the Parish to potential liability for questioned costs incurred by subrecipients to be repaid to the federal agency. Recommendation: We recommend that the entity establish and implement formal policies and procedures for subrecipient monitoring in accordance with 2 CFR § 200.331. This should include conducting and documenting pre-award risk assessments, developing a subrecipient monitoring plan (e.g., site visits, desk reviews), reviewing subrecipient performance and audit reports on a regular basis.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Additionally, per 2 CFR §200.403 and §200.302, costs charged to federal awards must be allowable, allocable, and properly documented, and financial reporting must be accurate, complete, and supported by the accounting system. Condition: Although the Parish has implemented internal controls related to the allowability of costs and the preparation of required reports for the Coronavirus State and Local Fiscal Recovery funds, they were not operating effectively during fiscal year 2024. Tests of controls indicated that transactions were not tracked appropriately to ensure they were charged to the correct funding source. In addition, quarterly project and expenditure reports submitted to the U.S. Treasury included inaccurate or unsupported information due to a lack of tracking and reconciliation procedures. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. The documented controls were not in practice because of this. Effect: While no instances of noncompliance were noted, the lack of documented controls in practice increases the risk that future required reports could be incomplete, inaccurate, or untimely, as well as, federal costs being unallowed per the cost principles which could potentially result in program noncompliance. Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001, to prevent noncompliance of the Uniform Guidance as required.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: In accordance with 2 CFR § 200.331, a non-federal entity that passes federal awards to subrecipients is responsible for 1) evaluating each subrecipient’s risk of noncompliance, 2) monitoring the activities of subrecipients to ensure that the subaward is used for authorized purposes, in compliance with laws and the terms and conditions of the subaward, and 3) verifying that subrecipients have audits in accordance with the Uniform Guidance, if applicable. Adequate internal controls are required to ensure compliance with these requirements under 2 CFR § 200.303. Condition: During our audit, we noted that the Parish did not have sufficient internal controls in place to ensure effective subrecipient monitoring. Specifically, there was no documented risk assessment of subrecipients prior to issuing subawards, the Parish did not perform periodic reviews or site visits to monitor subrecipient performance or compliance, and the subrecipient audit reports were not consistently obtained or reviewed. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. The documented controls were not in practice because of this. Effect: Failure to properly monitor subrecipients increases the risk that federal funds may be misused or not spent in accordance with program requirements to achieve program objectives. It also exposes the Parish to potential liability for questioned costs incurred by subrecipients to be repaid to the federal agency. Recommendation: We recommend that the entity establish and implement formal policies and procedures for subrecipient monitoring in accordance with 2 CFR § 200.331. This should include conducting and documenting pre-award risk assessments, developing a subrecipient monitoring plan (e.g., site visits, desk reviews), reviewing subrecipient performance and audit reports on a regular basis.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.
Criteria: Per 2 CFR § 200.510(b), the auditee must prepare a Schedule of Expenditures of Federal Awards (SEFA) for the period covered by the auditee’s financial statements. The SEFA must be complete and accurate and include the total federal awards expended, the Assistance Listing Numbers (ALNs), the name of the federal agency, and any amounts provided to subrecipients. Condition: The SEFA was not prepared as prescribed by 2CFR Part 200.510(b) of the Uniform Guidance. The Parish did not have adequate internal controls in place to ensure the accurate and complete preparation of the SEFA. Specifically, the federal expenditure data provided for audit omitted multiple federal awards, contained inaccuracies in reported expenditures for multiple programs, did not allocate the federal and local cost share accurately, and amounts reported did not adequately trace back to the Parish’s financial reporting system. Cause: The deficiencies were caused by a lack of updated formal policies and procedures for gathering and reconciling federal expenditures across departments. Additionally, there was insufficient review by management to ensure the completeness and accuracy of the SEFA. The Parish experienced turnover in several departments, including the finance director/chief financial officer position in 2024. During the time of the transition, there were various accounting issues identified that required a significant amount of time and resources to address. Parish administration and management were immediately tasked with enhancing operations related to procedural concerns from the prior administration and performing the accounting function without sufficient documentation on several balances and transactions. Effect: As a result, the Parish provided incomplete and inaccurate data when preparing the SEFA which resulted in the Parish excluding federal awards and misstating expenditures and being noncompliant with federal reporting requirements. These errors required material adjustments to be made during the audit process, increasing the risk of misreporting to oversight agencies. Recommendation: We recommend that the Parish enhance policies and procedures over financial reporting and preparation of the SEFA so that duties are well defined, and responsibilities are properly outlined to assist periods of transition or turnover of key employees, as well as identifying and correcting errors on a more frequent basis through a monthly reconciliation process for all material and/or significant account balances. Additionally, we recommend that all journal entries proposed are reviewed and approved by the chief financial officer or designee.
Criteria: Per 2 CFR § 200.303(a), the non-Federal entity must establish, document, and maintain effective internal control over Federal awards that provides reasonable assurance that the entity is managing the award in compliance with Federal statutes, regulations, and the terms and conditions of the awards. Condition: Although the Parish maintains an internal grants policy which documents internal controls, the policy is not up to date with current Federal requirements and is not as prescribed in the grants policy as required by the Uniform Guidance. Further, the policy did not cover all aspects of compliance pertaining to the federal programs the Parish facilitates. Cause: As discussed in item 2024-001, the Parish encountered several challenges during the transition of administration and key personnel during 2024. Effect: The Parish’s failure to document internal control procedures increases the risk of noncompliance with federal requirements, misstatement of financial reports, and potential misuse of federal funds. This also contributed to inaccurate and unsupported data reported on the Parish’s SEFA, noncompliance with Uniform Guidance reporting requirements, and a delay in preparing the financial statements and the issuance of the financial statement audit in a timely manner. Therefore, the Parish is not in compliance with the internal control compliance requirement per 2 CFR § 200.303(a). Recommendation: We recommend that the Parish enhance and document internal controls over financial reporting, as described in our recommendations described under item 2024-001.