Audit 366814

FY End
2024-09-30
Total Expended
$123.58M
Findings
102
Programs
18
Year: 2024 Accepted: 2025-09-19
Auditor: Rsm US LLP

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
1153550 2024-001 Material Weakness Yes I
1153551 2024-001 Material Weakness Yes I
1153552 2024-001 Material Weakness Yes I
1153553 2024-001 Material Weakness Yes I
1153554 2024-001 Material Weakness Yes I
1153555 2024-001 Material Weakness Yes I
1153556 2024-001 Material Weakness Yes I
1153557 2024-001 Material Weakness Yes I
1153558 2024-001 Material Weakness Yes I
1153559 2024-001 Material Weakness Yes I
1153560 2024-001 Material Weakness Yes I
1153561 2024-001 Material Weakness Yes I
1153562 2024-001 Material Weakness Yes I
1153563 2024-001 Material Weakness Yes I
1153564 2024-001 Material Weakness Yes I
1153565 2024-001 Material Weakness Yes I
1153566 2024-001 Material Weakness Yes I
1153567 2024-001 Material Weakness Yes I
1153568 2024-001 Material Weakness Yes I
1153569 2024-001 Material Weakness Yes I
1153570 2024-001 Material Weakness Yes I
1153571 2024-001 Material Weakness Yes I
1153572 2024-001 Material Weakness Yes I
1153573 2024-001 Material Weakness Yes I
1153574 2024-001 Material Weakness Yes I
1153575 2024-001 Material Weakness Yes I
1153576 2024-001 Material Weakness Yes I
1153577 2024-001 Material Weakness Yes I
1153578 2024-001 Material Weakness Yes I
1153579 2024-001 Material Weakness Yes I
1153580 2024-001 Material Weakness Yes I
1153581 2024-001 Material Weakness Yes I
1153582 2024-001 Material Weakness Yes I
1153583 2024-001 Material Weakness Yes I
1153584 2024-001 Material Weakness Yes I
1153585 2024-001 Material Weakness Yes I
1153586 2024-001 Material Weakness Yes I
1153587 2024-001 Material Weakness Yes I
1153588 2024-001 Material Weakness Yes I
1153589 2024-001 Material Weakness Yes I
1153590 2024-001 Material Weakness Yes I
1153591 2024-001 Material Weakness Yes I
1153592 2024-001 Material Weakness Yes I
1153593 2024-001 Material Weakness Yes I
1153594 2024-001 Material Weakness Yes I
1153595 2024-001 Material Weakness Yes I
1153596 2024-001 Material Weakness Yes I
1153597 2024-001 Material Weakness Yes I
1153598 2024-001 Material Weakness Yes I
1153599 2024-001 Material Weakness Yes I
1153600 2024-001 Material Weakness Yes I
1153601 2024-001 Material Weakness Yes I
1153602 2024-001 Material Weakness Yes I
1153603 2024-001 Material Weakness Yes I
1153604 2024-001 Material Weakness Yes I
1153605 2024-001 Material Weakness Yes I
1153606 2024-001 Material Weakness Yes I
1153607 2024-001 Material Weakness Yes I
1153608 2024-001 Material Weakness Yes I
1153609 2024-001 Material Weakness Yes I
1153610 2024-001 Material Weakness Yes I
1153611 2024-001 Material Weakness Yes I
1153612 2024-001 Material Weakness Yes I
1153613 2024-001 Material Weakness Yes I
1153614 2024-001 Material Weakness Yes I
1153615 2024-001 Material Weakness Yes I
1153616 2024-001 Material Weakness Yes I
1153617 2024-001 Material Weakness Yes I
1153618 2024-001 Material Weakness Yes I
1153619 2024-001 Material Weakness Yes I
1153620 2024-001 Material Weakness Yes I
1153621 2024-001 Material Weakness Yes I
1153622 2024-001 Material Weakness Yes I
1153623 2024-001 Material Weakness Yes I
1153624 2024-001 Material Weakness Yes I
1153625 2024-001 Material Weakness Yes I
1153626 2024-001 Material Weakness Yes I
1153627 2024-001 Material Weakness Yes I
1153628 2024-001 Material Weakness Yes I
1153629 2024-001 Material Weakness Yes I
1153630 2024-001 Material Weakness Yes I
1153631 2024-001 Material Weakness Yes I
1153632 2024-001 Material Weakness Yes I
1153633 2024-001 Material Weakness Yes I
1153634 2024-001 Material Weakness Yes I
1153635 2024-001 Material Weakness Yes I
1153636 2024-001 Material Weakness Yes I
1153637 2024-001 Material Weakness Yes I
1153638 2024-001 Material Weakness Yes I
1153639 2024-001 Material Weakness Yes I
1153640 2024-001 Material Weakness Yes I
1153641 2024-001 Material Weakness Yes I
1153642 2024-001 Material Weakness Yes I
1153643 2024-001 Material Weakness Yes I
1153644 2024-001 Material Weakness Yes I
1153645 2024-001 Material Weakness Yes I
1153646 2024-001 Material Weakness Yes I
1153647 2024-001 Material Weakness Yes I
1153648 2024-001 Material Weakness Yes I
1153649 2024-001 Material Weakness Yes I
1153650 2024-001 Material Weakness Yes I
1153651 2024-001 Material Weakness Yes I

Contacts

Name Title Type
V2DWM1KMJNK5 Badu Mireku Auditee
2025720088 Jeri Fleming Auditor
No contacts on file

Notes to SEFA

The accompanying schedule of expenditures of federal awards includes the federal grant activity of the International Republican Institute (IRI) and is presented on the accrual basis of accounting. 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). Therefore, some amounts presented in this schedule may differ from amounts presented in, or used in the preparation of, the basic financial statements.
Expenditures reported on the schedule are reported on the accrual basis of accounting. Such expenditures are recognized following the cost principles contained in the Uniform Guidance, wherein certain types of expenditures are not allowable or are limited as to reimbursement.
Negative amounts shown on the schedule represent adjustments or credits made in the normal course of business to amounts reported as expenditures in prior years. Several of IRI’s awards with federal agencies had negative values for the year ended September 30, 2024. The primary reasons for the negative balances are due to indirect rate adjustments, liquidations of project holder advances, corrections of prior year mis-postings, reclassification of disallowed costs and foreign currency fluctuations.
IRI has finalized rates through fiscal year 2022, and has been given provisional rates for fiscal year 2023, and onward, until amended. Based on the final approval rates through 2022, IRI has updated all grants accordingly. As such, IRI has elected to not use the 10% de minimis indirect rate as allowed under the Uniform Guidance.
The accompanying schedule of expenditures of federal awards is reconciled to the statement of activities for the year ended September 30, 2024, of IRI as follows: "See the Notes to the SEFA for table"

Finding Details

Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.
Finding 2024-001: Lack of Reasonable Price Documentation for Micro-Purchases Other Matter – Noncompliance/Significant deficiency Identification of federal programs: 98.001 USAID Foreign Assistance for Programs Overseas Criteria: According to 2 CFR § 200.320(a)(1)(ii), recipients of federal funds may use micro-purchase procedures without soliciting competitive quotations only if the price is considered reasonable and documentation is maintained to support this determination. Condition: During our review of micro-purchase transactions, we identified transactions that lacked contemporaneous documentation supporting a reasonable price determination. Cause: IRI’s management did not retain documentation in compliance with the above criteria. Effect or potential effect: The absence of timely documentation undermines the assurance that federal funds were used in accordance with procurement standards. Questioned costs: None Context: From the sample of 40 micro-purchase transactions, half lacked proper contemporaneous documentation supporting a reasonable price determination. We did note that proper approvals were sited for any vendor agreements, invoices, and journal entries as applicable noting due diligence was performed. Repeat Finding: No Recommendation: We recommend that IRI reinforce training on procurement documentation requirements, implement stronger internal controls to ensure compliance at the time of purchase, and conduct periodic reviews to verify adherence to policy. Views of responsible officials and planned corrective actions: Management agrees with the finding. See corrective action plan.