Finding 2024-001: Late Audit Submission Resulting from Lack of Timely Reconciliation, Adjustments and Audit Preparation Audit finding 2024-01 represents a material weakness in internal control over compliance for Turning Point of Central California, Inc.'s major federal programs. Federal Program Information: Health and Human Services Medical Assistance Program, Passed thru the County of Fresno - AL No. 93.778, Grant No. 17-265, 17-266, 23-274, 23-296 and 23-287 Department of Housing and Urban Development Continuum of Care Program, Direct funding – AL No. 14.267, Grant No. CA1320L9T142208. CA1320L9T142309, CA1255L9T142208, CA0841L9T141908, CA0773L9T142214, CA0773L9T142315, CA1317L9T132106 and CA1403L9T132106 Questioned Costs: None How the questioned costs were computed: N/A Condition – The June 30, 2024 audit and reporting package is being submitted after the required due date. Wipfli, LLP noted various accounts were not reconciled in a timely manner, leading to delays in providing the financial information necessary to complete the audit in a timely manner. Based on the lack of timely reconciliation and adjustments made to accounts, a material weakness exists in Turning Point of Central California, Inc.’s internal controls over financial reporting. Criteria – 2 CFR section 200.512(a) requires the reporting package and data collection form be submitted to the Federal Audit Clearinghouse the earlier of 30 calendar days after the reports are received from the auditors or nine months after the end of the audit period. Accounts should be reconciled monthly with the adjustments posted timely so that management is relying on accurate financial information to make decisions. Cause – Due to turnover in Turning Point of Central California, Inc.’s finance department, timely analysis, reconciliation of all accounts and preparation of financial statements did not occur. During audit fieldwork, Wipfli, LLP proposed and Turning Point of Central California, Inc. recorded adjustments to various accounts. These accounts and the adjustments made to them are significant to the overall financial statement presentation. Effect – As a result of not reconciling and adjusting certain account balances in a timely manner, a material weakness exists in internal controls. Recommendation – We recommend management and those charged with governance evaluate the operation of the business office and implement adequate and timely closing procedures to ensure that financial statement amounts are being reconciled and adjusted appropriately. View of Responsible Officials – Management agrees with the assessment and has committed to a corrective action plan.
Finding 2024-001: Late Audit Submission Resulting from Lack of Timely Reconciliation, Adjustments and Audit Preparation Audit finding 2024-01 represents a material weakness in internal control over compliance for Turning Point of Central California, Inc.'s major federal programs. Federal Program Information: Health and Human Services Medical Assistance Program, Passed thru the County of Fresno - AL No. 93.778, Grant No. 17-265, 17-266, 23-274, 23-296 and 23-287 Department of Housing and Urban Development Continuum of Care Program, Direct funding – AL No. 14.267, Grant No. CA1320L9T142208. CA1320L9T142309, CA1255L9T142208, CA0841L9T141908, CA0773L9T142214, CA0773L9T142315, CA1317L9T132106 and CA1403L9T132106 Questioned Costs: None How the questioned costs were computed: N/A Condition – The June 30, 2024 audit and reporting package is being submitted after the required due date. Wipfli, LLP noted various accounts were not reconciled in a timely manner, leading to delays in providing the financial information necessary to complete the audit in a timely manner. Based on the lack of timely reconciliation and adjustments made to accounts, a material weakness exists in Turning Point of Central California, Inc.’s internal controls over financial reporting. Criteria – 2 CFR section 200.512(a) requires the reporting package and data collection form be submitted to the Federal Audit Clearinghouse the earlier of 30 calendar days after the reports are received from the auditors or nine months after the end of the audit period. Accounts should be reconciled monthly with the adjustments posted timely so that management is relying on accurate financial information to make decisions. Cause – Due to turnover in Turning Point of Central California, Inc.’s finance department, timely analysis, reconciliation of all accounts and preparation of financial statements did not occur. During audit fieldwork, Wipfli, LLP proposed and Turning Point of Central California, Inc. recorded adjustments to various accounts. These accounts and the adjustments made to them are significant to the overall financial statement presentation. Effect – As a result of not reconciling and adjusting certain account balances in a timely manner, a material weakness exists in internal controls. Recommendation – We recommend management and those charged with governance evaluate the operation of the business office and implement adequate and timely closing procedures to ensure that financial statement amounts are being reconciled and adjusted appropriately. View of Responsible Officials – Management agrees with the assessment and has committed to a corrective action plan.
Finding 2024-002: Procurement Federal Program Information: Department of Housing and Urban Development Continuum of Care Program, Direct funding – AL No. 14.267, Grant No. CA1320L9T142208. CA1320L9T142309, CA1255L9T142208, CA0841L9T141908, CA0773L9T142214, CA0773L9T142315, CA1317L9T132106 and CA1403L9T132106 Condition: Wipfli, LLP obtained the supporting documentation for purchases of client furnishings, cleaning services, and pest control services. The documentation indicated these vendors were selected based on best price. Turning Point of Central California, Inc. was able to provide explanations for why the vendor were selected, but procurement records supporting the explanations were not available for the pest control vendor. In addition, Wipfli noted Turning Point of Central California, Inc.’s procurement policy included references to outdated federal regulations and did not comply with all of the procurement requirements in the Uniform Guidance (2 CFR Part 200). This is a repeat finding from the June 30, 2021, 2022 and 2023 audits. Criteria: The Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards, 2 CFR Part 200, section 318(i) (Uniform Guidance) states that the non-Federal entity must maintain records sufficient to detail the history of procurement. The records will include, but are not necessarily limited to the following: rationale for the method of procurement, selection of contractor type, contractor selection or rejection, and the basis for the contract price. In addition, the Uniform Guidance, 2 CFR Part 200, section 200.118 states that the non-Federal entity must follow the procurement standards set out at 2 CFR sections 200.318 through 200.326 and must use their own documented procurement procedures that must conform to applicable federal statutes and the procurement requirements identified in 2 CFR Part 200. Cause: Turning Point of Central California, Inc. did not retain procurement records to support its assertion that it is contracting with vendors that provide the best prices. Turning Point of Central California, Inc. has not updated its procurement policy to comply with the Uniform Guidance (2 CFR Part 200). Effect: Due to the conditions noted above, Turning Point of Central California, Inc. was not in compliance with the procurement regulations and there exists a material weakness in internal controls over the procurement compliance requirement. Recommendation: We recommend Turning Point of Central California, Inc. implement controls to ensure the procurement decisions are properly documented in accordance with updated internal policies and procedures that conform to the Uniform Guidance (2 CFR Part 200). View of responsible officials: Management agrees with the finding and has submitted a corrective action plan.