Audit 38543

FY End
2022-09-30
Total Expended
$2.81M
Findings
12
Programs
5
Year: 2022 Accepted: 2023-06-29
Auditor: Sjt Group LLC

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
41688 2022-002 Significant Deficiency - I
41689 2022-002 Significant Deficiency - I
41690 2022-002 Significant Deficiency - I
41691 2022-002 Significant Deficiency - I
41692 2022-002 Significant Deficiency - I
41693 2022-002 Significant Deficiency - I
618130 2022-002 Significant Deficiency - I
618131 2022-002 Significant Deficiency - I
618132 2022-002 Significant Deficiency - I
618133 2022-002 Significant Deficiency - I
618134 2022-002 Significant Deficiency - I
618135 2022-002 Significant Deficiency - I

Programs

Contacts

Name Title Type
HVC1Q1N28A47 Jennifer Hogan Auditee
5052601033 Joshua Trujillo Auditor
No contacts on file

Notes to SEFA

Title: Reconciliation to the Financial Statements Accounting Policies: Expenditures reported on the Schedule are reported on the modified accrual basis of accounting. Such expenditures are recognized following the cost principles contained in Title 2 U.S. Code of Federal Regulations Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Guidance), wherein certain types of expenditures are not allowable or are limited as to reimbursement. Pass-through entity identifying numbers are presented where available. De Minimis Rate Used: N Rate Explanation: The auditee did not use the de minimis cost rate. The following is a reconciliation of the expenditures reported on the Schedule to the financial statements: Research grants and agreements revenue reported in the statement of activities $ 5,798,307 Less: Nonfederal research grants and agreements (2,987,858) Total expenditures of federal awards $ 2,810,449

Finding Details

2022-002?Procurement Federal program information: Funding agency: All Title: All ALN: All Award year and number: All Pass-through entity (if applicable): All Criteria: Non-federal entities other than states must follow the procurement standards set out at 2 CFR sections 200.318 through 200.326. They must use their own documented procurement procedures, which reflect applicable state and local laws and regulations, provided that the procurements conform to applicable federal statutes and the procurement requirements identified in 2 CFR Part 200. According to BRINM?s Purchasing SOP?s, project purchase requests exceeding a value of $25,000 require obtaining three bids. Purchase orders are created for approved project purchase requests and reviewed and signed by the Executive Director or Assistant Director before it can be issued to a vendor. Condition: During fiscal year 2022, BRINM paid a vendor $93,808 for services related to a project. There is no evidence that three bids were obtained for selection of this vendor. Additionally, there was not an approved purchase order for one of the three invoices paid to this vendor. Questioned Costs: None Context: One of 25 nonpayroll transactions tested. Additionally, one of four vendors/subawards tested that were paid over $25,000 during fiscal year 2022. Cause: BRINM?s Grants Manager, who was responsible for all records related to purchasing, accounts payable, and credit cards, resigned in November 2021 without filing many documents. Evidence of bids obtained for use of this vendor could not be located. Effect: Procurement of vendors does not comply with BRINM SOP?s and the procurement requirements identified in 2 CFR Part 200. Auditor?s Recommendations: BRINM should implement its approved SOP?s as referenced above to ensure that purchasing SOP?s are implemented and selection of vendors is adequately documented. Management?s Response: Current Management is not able to confirm nor deny that appropriate documentation was not collected prior to payment but highly doubts that it was not collected based on the reliability of the previous Grants Manager. Management notes that the vendor was specifically mentioned in the Grant submission. Management will ensure that purchasing SOP are implemented and selection of vendors is adequately documented. Management has secured a project management software that will retain project documentation. This should ensure appropriate documentation is collected and available to all Management for the life of the project, until date of destruction.
2022-002?Procurement Federal program information: Funding agency: All Title: All ALN: All Award year and number: All Pass-through entity (if applicable): All Criteria: Non-federal entities other than states must follow the procurement standards set out at 2 CFR sections 200.318 through 200.326. They must use their own documented procurement procedures, which reflect applicable state and local laws and regulations, provided that the procurements conform to applicable federal statutes and the procurement requirements identified in 2 CFR Part 200. According to BRINM?s Purchasing SOP?s, project purchase requests exceeding a value of $25,000 require obtaining three bids. Purchase orders are created for approved project purchase requests and reviewed and signed by the Executive Director or Assistant Director before it can be issued to a vendor. Condition: During fiscal year 2022, BRINM paid a vendor $93,808 for services related to a project. There is no evidence that three bids were obtained for selection of this vendor. Additionally, there was not an approved purchase order for one of the three invoices paid to this vendor. Questioned Costs: None Context: One of 25 nonpayroll transactions tested. Additionally, one of four vendors/subawards tested that were paid over $25,000 during fiscal year 2022. Cause: BRINM?s Grants Manager, who was responsible for all records related to purchasing, accounts payable, and credit cards, resigned in November 2021 without filing many documents. Evidence of bids obtained for use of this vendor could not be located. Effect: Procurement of vendors does not comply with BRINM SOP?s and the procurement requirements identified in 2 CFR Part 200. Auditor?s Recommendations: BRINM should implement its approved SOP?s as referenced above to ensure that purchasing SOP?s are implemented and selection of vendors is adequately documented. Management?s Response: Current Management is not able to confirm nor deny that appropriate documentation was not collected prior to payment but highly doubts that it was not collected based on the reliability of the previous Grants Manager. Management notes that the vendor was specifically mentioned in the Grant submission. Management will ensure that purchasing SOP are implemented and selection of vendors is adequately documented. Management has secured a project management software that will retain project documentation. This should ensure appropriate documentation is collected and available to all Management for the life of the project, until date of destruction.
2022-002?Procurement Federal program information: Funding agency: All Title: All ALN: All Award year and number: All Pass-through entity (if applicable): All Criteria: Non-federal entities other than states must follow the procurement standards set out at 2 CFR sections 200.318 through 200.326. They must use their own documented procurement procedures, which reflect applicable state and local laws and regulations, provided that the procurements conform to applicable federal statutes and the procurement requirements identified in 2 CFR Part 200. According to BRINM?s Purchasing SOP?s, project purchase requests exceeding a value of $25,000 require obtaining three bids. Purchase orders are created for approved project purchase requests and reviewed and signed by the Executive Director or Assistant Director before it can be issued to a vendor. Condition: During fiscal year 2022, BRINM paid a vendor $93,808 for services related to a project. There is no evidence that three bids were obtained for selection of this vendor. Additionally, there was not an approved purchase order for one of the three invoices paid to this vendor. Questioned Costs: None Context: One of 25 nonpayroll transactions tested. Additionally, one of four vendors/subawards tested that were paid over $25,000 during fiscal year 2022. Cause: BRINM?s Grants Manager, who was responsible for all records related to purchasing, accounts payable, and credit cards, resigned in November 2021 without filing many documents. Evidence of bids obtained for use of this vendor could not be located. Effect: Procurement of vendors does not comply with BRINM SOP?s and the procurement requirements identified in 2 CFR Part 200. Auditor?s Recommendations: BRINM should implement its approved SOP?s as referenced above to ensure that purchasing SOP?s are implemented and selection of vendors is adequately documented. Management?s Response: Current Management is not able to confirm nor deny that appropriate documentation was not collected prior to payment but highly doubts that it was not collected based on the reliability of the previous Grants Manager. Management notes that the vendor was specifically mentioned in the Grant submission. Management will ensure that purchasing SOP are implemented and selection of vendors is adequately documented. Management has secured a project management software that will retain project documentation. This should ensure appropriate documentation is collected and available to all Management for the life of the project, until date of destruction.
2022-002?Procurement Federal program information: Funding agency: All Title: All ALN: All Award year and number: All Pass-through entity (if applicable): All Criteria: Non-federal entities other than states must follow the procurement standards set out at 2 CFR sections 200.318 through 200.326. They must use their own documented procurement procedures, which reflect applicable state and local laws and regulations, provided that the procurements conform to applicable federal statutes and the procurement requirements identified in 2 CFR Part 200. According to BRINM?s Purchasing SOP?s, project purchase requests exceeding a value of $25,000 require obtaining three bids. Purchase orders are created for approved project purchase requests and reviewed and signed by the Executive Director or Assistant Director before it can be issued to a vendor. Condition: During fiscal year 2022, BRINM paid a vendor $93,808 for services related to a project. There is no evidence that three bids were obtained for selection of this vendor. Additionally, there was not an approved purchase order for one of the three invoices paid to this vendor. Questioned Costs: None Context: One of 25 nonpayroll transactions tested. Additionally, one of four vendors/subawards tested that were paid over $25,000 during fiscal year 2022. Cause: BRINM?s Grants Manager, who was responsible for all records related to purchasing, accounts payable, and credit cards, resigned in November 2021 without filing many documents. Evidence of bids obtained for use of this vendor could not be located. Effect: Procurement of vendors does not comply with BRINM SOP?s and the procurement requirements identified in 2 CFR Part 200. Auditor?s Recommendations: BRINM should implement its approved SOP?s as referenced above to ensure that purchasing SOP?s are implemented and selection of vendors is adequately documented. Management?s Response: Current Management is not able to confirm nor deny that appropriate documentation was not collected prior to payment but highly doubts that it was not collected based on the reliability of the previous Grants Manager. Management notes that the vendor was specifically mentioned in the Grant submission. Management will ensure that purchasing SOP are implemented and selection of vendors is adequately documented. Management has secured a project management software that will retain project documentation. This should ensure appropriate documentation is collected and available to all Management for the life of the project, until date of destruction.
2022-002?Procurement Federal program information: Funding agency: All Title: All ALN: All Award year and number: All Pass-through entity (if applicable): All Criteria: Non-federal entities other than states must follow the procurement standards set out at 2 CFR sections 200.318 through 200.326. They must use their own documented procurement procedures, which reflect applicable state and local laws and regulations, provided that the procurements conform to applicable federal statutes and the procurement requirements identified in 2 CFR Part 200. According to BRINM?s Purchasing SOP?s, project purchase requests exceeding a value of $25,000 require obtaining three bids. Purchase orders are created for approved project purchase requests and reviewed and signed by the Executive Director or Assistant Director before it can be issued to a vendor. Condition: During fiscal year 2022, BRINM paid a vendor $93,808 for services related to a project. There is no evidence that three bids were obtained for selection of this vendor. Additionally, there was not an approved purchase order for one of the three invoices paid to this vendor. Questioned Costs: None Context: One of 25 nonpayroll transactions tested. Additionally, one of four vendors/subawards tested that were paid over $25,000 during fiscal year 2022. Cause: BRINM?s Grants Manager, who was responsible for all records related to purchasing, accounts payable, and credit cards, resigned in November 2021 without filing many documents. Evidence of bids obtained for use of this vendor could not be located. Effect: Procurement of vendors does not comply with BRINM SOP?s and the procurement requirements identified in 2 CFR Part 200. Auditor?s Recommendations: BRINM should implement its approved SOP?s as referenced above to ensure that purchasing SOP?s are implemented and selection of vendors is adequately documented. Management?s Response: Current Management is not able to confirm nor deny that appropriate documentation was not collected prior to payment but highly doubts that it was not collected based on the reliability of the previous Grants Manager. Management notes that the vendor was specifically mentioned in the Grant submission. Management will ensure that purchasing SOP are implemented and selection of vendors is adequately documented. Management has secured a project management software that will retain project documentation. This should ensure appropriate documentation is collected and available to all Management for the life of the project, until date of destruction.
2022-002?Procurement Federal program information: Funding agency: All Title: All ALN: All Award year and number: All Pass-through entity (if applicable): All Criteria: Non-federal entities other than states must follow the procurement standards set out at 2 CFR sections 200.318 through 200.326. They must use their own documented procurement procedures, which reflect applicable state and local laws and regulations, provided that the procurements conform to applicable federal statutes and the procurement requirements identified in 2 CFR Part 200. According to BRINM?s Purchasing SOP?s, project purchase requests exceeding a value of $25,000 require obtaining three bids. Purchase orders are created for approved project purchase requests and reviewed and signed by the Executive Director or Assistant Director before it can be issued to a vendor. Condition: During fiscal year 2022, BRINM paid a vendor $93,808 for services related to a project. There is no evidence that three bids were obtained for selection of this vendor. Additionally, there was not an approved purchase order for one of the three invoices paid to this vendor. Questioned Costs: None Context: One of 25 nonpayroll transactions tested. Additionally, one of four vendors/subawards tested that were paid over $25,000 during fiscal year 2022. Cause: BRINM?s Grants Manager, who was responsible for all records related to purchasing, accounts payable, and credit cards, resigned in November 2021 without filing many documents. Evidence of bids obtained for use of this vendor could not be located. Effect: Procurement of vendors does not comply with BRINM SOP?s and the procurement requirements identified in 2 CFR Part 200. Auditor?s Recommendations: BRINM should implement its approved SOP?s as referenced above to ensure that purchasing SOP?s are implemented and selection of vendors is adequately documented. Management?s Response: Current Management is not able to confirm nor deny that appropriate documentation was not collected prior to payment but highly doubts that it was not collected based on the reliability of the previous Grants Manager. Management notes that the vendor was specifically mentioned in the Grant submission. Management will ensure that purchasing SOP are implemented and selection of vendors is adequately documented. Management has secured a project management software that will retain project documentation. This should ensure appropriate documentation is collected and available to all Management for the life of the project, until date of destruction.
2022-002?Procurement Federal program information: Funding agency: All Title: All ALN: All Award year and number: All Pass-through entity (if applicable): All Criteria: Non-federal entities other than states must follow the procurement standards set out at 2 CFR sections 200.318 through 200.326. They must use their own documented procurement procedures, which reflect applicable state and local laws and regulations, provided that the procurements conform to applicable federal statutes and the procurement requirements identified in 2 CFR Part 200. According to BRINM?s Purchasing SOP?s, project purchase requests exceeding a value of $25,000 require obtaining three bids. Purchase orders are created for approved project purchase requests and reviewed and signed by the Executive Director or Assistant Director before it can be issued to a vendor. Condition: During fiscal year 2022, BRINM paid a vendor $93,808 for services related to a project. There is no evidence that three bids were obtained for selection of this vendor. Additionally, there was not an approved purchase order for one of the three invoices paid to this vendor. Questioned Costs: None Context: One of 25 nonpayroll transactions tested. Additionally, one of four vendors/subawards tested that were paid over $25,000 during fiscal year 2022. Cause: BRINM?s Grants Manager, who was responsible for all records related to purchasing, accounts payable, and credit cards, resigned in November 2021 without filing many documents. Evidence of bids obtained for use of this vendor could not be located. Effect: Procurement of vendors does not comply with BRINM SOP?s and the procurement requirements identified in 2 CFR Part 200. Auditor?s Recommendations: BRINM should implement its approved SOP?s as referenced above to ensure that purchasing SOP?s are implemented and selection of vendors is adequately documented. Management?s Response: Current Management is not able to confirm nor deny that appropriate documentation was not collected prior to payment but highly doubts that it was not collected based on the reliability of the previous Grants Manager. Management notes that the vendor was specifically mentioned in the Grant submission. Management will ensure that purchasing SOP are implemented and selection of vendors is adequately documented. Management has secured a project management software that will retain project documentation. This should ensure appropriate documentation is collected and available to all Management for the life of the project, until date of destruction.
2022-002?Procurement Federal program information: Funding agency: All Title: All ALN: All Award year and number: All Pass-through entity (if applicable): All Criteria: Non-federal entities other than states must follow the procurement standards set out at 2 CFR sections 200.318 through 200.326. They must use their own documented procurement procedures, which reflect applicable state and local laws and regulations, provided that the procurements conform to applicable federal statutes and the procurement requirements identified in 2 CFR Part 200. According to BRINM?s Purchasing SOP?s, project purchase requests exceeding a value of $25,000 require obtaining three bids. Purchase orders are created for approved project purchase requests and reviewed and signed by the Executive Director or Assistant Director before it can be issued to a vendor. Condition: During fiscal year 2022, BRINM paid a vendor $93,808 for services related to a project. There is no evidence that three bids were obtained for selection of this vendor. Additionally, there was not an approved purchase order for one of the three invoices paid to this vendor. Questioned Costs: None Context: One of 25 nonpayroll transactions tested. Additionally, one of four vendors/subawards tested that were paid over $25,000 during fiscal year 2022. Cause: BRINM?s Grants Manager, who was responsible for all records related to purchasing, accounts payable, and credit cards, resigned in November 2021 without filing many documents. Evidence of bids obtained for use of this vendor could not be located. Effect: Procurement of vendors does not comply with BRINM SOP?s and the procurement requirements identified in 2 CFR Part 200. Auditor?s Recommendations: BRINM should implement its approved SOP?s as referenced above to ensure that purchasing SOP?s are implemented and selection of vendors is adequately documented. Management?s Response: Current Management is not able to confirm nor deny that appropriate documentation was not collected prior to payment but highly doubts that it was not collected based on the reliability of the previous Grants Manager. Management notes that the vendor was specifically mentioned in the Grant submission. Management will ensure that purchasing SOP are implemented and selection of vendors is adequately documented. Management has secured a project management software that will retain project documentation. This should ensure appropriate documentation is collected and available to all Management for the life of the project, until date of destruction.
2022-002?Procurement Federal program information: Funding agency: All Title: All ALN: All Award year and number: All Pass-through entity (if applicable): All Criteria: Non-federal entities other than states must follow the procurement standards set out at 2 CFR sections 200.318 through 200.326. They must use their own documented procurement procedures, which reflect applicable state and local laws and regulations, provided that the procurements conform to applicable federal statutes and the procurement requirements identified in 2 CFR Part 200. According to BRINM?s Purchasing SOP?s, project purchase requests exceeding a value of $25,000 require obtaining three bids. Purchase orders are created for approved project purchase requests and reviewed and signed by the Executive Director or Assistant Director before it can be issued to a vendor. Condition: During fiscal year 2022, BRINM paid a vendor $93,808 for services related to a project. There is no evidence that three bids were obtained for selection of this vendor. Additionally, there was not an approved purchase order for one of the three invoices paid to this vendor. Questioned Costs: None Context: One of 25 nonpayroll transactions tested. Additionally, one of four vendors/subawards tested that were paid over $25,000 during fiscal year 2022. Cause: BRINM?s Grants Manager, who was responsible for all records related to purchasing, accounts payable, and credit cards, resigned in November 2021 without filing many documents. Evidence of bids obtained for use of this vendor could not be located. Effect: Procurement of vendors does not comply with BRINM SOP?s and the procurement requirements identified in 2 CFR Part 200. Auditor?s Recommendations: BRINM should implement its approved SOP?s as referenced above to ensure that purchasing SOP?s are implemented and selection of vendors is adequately documented. Management?s Response: Current Management is not able to confirm nor deny that appropriate documentation was not collected prior to payment but highly doubts that it was not collected based on the reliability of the previous Grants Manager. Management notes that the vendor was specifically mentioned in the Grant submission. Management will ensure that purchasing SOP are implemented and selection of vendors is adequately documented. Management has secured a project management software that will retain project documentation. This should ensure appropriate documentation is collected and available to all Management for the life of the project, until date of destruction.
2022-002?Procurement Federal program information: Funding agency: All Title: All ALN: All Award year and number: All Pass-through entity (if applicable): All Criteria: Non-federal entities other than states must follow the procurement standards set out at 2 CFR sections 200.318 through 200.326. They must use their own documented procurement procedures, which reflect applicable state and local laws and regulations, provided that the procurements conform to applicable federal statutes and the procurement requirements identified in 2 CFR Part 200. According to BRINM?s Purchasing SOP?s, project purchase requests exceeding a value of $25,000 require obtaining three bids. Purchase orders are created for approved project purchase requests and reviewed and signed by the Executive Director or Assistant Director before it can be issued to a vendor. Condition: During fiscal year 2022, BRINM paid a vendor $93,808 for services related to a project. There is no evidence that three bids were obtained for selection of this vendor. Additionally, there was not an approved purchase order for one of the three invoices paid to this vendor. Questioned Costs: None Context: One of 25 nonpayroll transactions tested. Additionally, one of four vendors/subawards tested that were paid over $25,000 during fiscal year 2022. Cause: BRINM?s Grants Manager, who was responsible for all records related to purchasing, accounts payable, and credit cards, resigned in November 2021 without filing many documents. Evidence of bids obtained for use of this vendor could not be located. Effect: Procurement of vendors does not comply with BRINM SOP?s and the procurement requirements identified in 2 CFR Part 200. Auditor?s Recommendations: BRINM should implement its approved SOP?s as referenced above to ensure that purchasing SOP?s are implemented and selection of vendors is adequately documented. Management?s Response: Current Management is not able to confirm nor deny that appropriate documentation was not collected prior to payment but highly doubts that it was not collected based on the reliability of the previous Grants Manager. Management notes that the vendor was specifically mentioned in the Grant submission. Management will ensure that purchasing SOP are implemented and selection of vendors is adequately documented. Management has secured a project management software that will retain project documentation. This should ensure appropriate documentation is collected and available to all Management for the life of the project, until date of destruction.
2022-002?Procurement Federal program information: Funding agency: All Title: All ALN: All Award year and number: All Pass-through entity (if applicable): All Criteria: Non-federal entities other than states must follow the procurement standards set out at 2 CFR sections 200.318 through 200.326. They must use their own documented procurement procedures, which reflect applicable state and local laws and regulations, provided that the procurements conform to applicable federal statutes and the procurement requirements identified in 2 CFR Part 200. According to BRINM?s Purchasing SOP?s, project purchase requests exceeding a value of $25,000 require obtaining three bids. Purchase orders are created for approved project purchase requests and reviewed and signed by the Executive Director or Assistant Director before it can be issued to a vendor. Condition: During fiscal year 2022, BRINM paid a vendor $93,808 for services related to a project. There is no evidence that three bids were obtained for selection of this vendor. Additionally, there was not an approved purchase order for one of the three invoices paid to this vendor. Questioned Costs: None Context: One of 25 nonpayroll transactions tested. Additionally, one of four vendors/subawards tested that were paid over $25,000 during fiscal year 2022. Cause: BRINM?s Grants Manager, who was responsible for all records related to purchasing, accounts payable, and credit cards, resigned in November 2021 without filing many documents. Evidence of bids obtained for use of this vendor could not be located. Effect: Procurement of vendors does not comply with BRINM SOP?s and the procurement requirements identified in 2 CFR Part 200. Auditor?s Recommendations: BRINM should implement its approved SOP?s as referenced above to ensure that purchasing SOP?s are implemented and selection of vendors is adequately documented. Management?s Response: Current Management is not able to confirm nor deny that appropriate documentation was not collected prior to payment but highly doubts that it was not collected based on the reliability of the previous Grants Manager. Management notes that the vendor was specifically mentioned in the Grant submission. Management will ensure that purchasing SOP are implemented and selection of vendors is adequately documented. Management has secured a project management software that will retain project documentation. This should ensure appropriate documentation is collected and available to all Management for the life of the project, until date of destruction.
2022-002?Procurement Federal program information: Funding agency: All Title: All ALN: All Award year and number: All Pass-through entity (if applicable): All Criteria: Non-federal entities other than states must follow the procurement standards set out at 2 CFR sections 200.318 through 200.326. They must use their own documented procurement procedures, which reflect applicable state and local laws and regulations, provided that the procurements conform to applicable federal statutes and the procurement requirements identified in 2 CFR Part 200. According to BRINM?s Purchasing SOP?s, project purchase requests exceeding a value of $25,000 require obtaining three bids. Purchase orders are created for approved project purchase requests and reviewed and signed by the Executive Director or Assistant Director before it can be issued to a vendor. Condition: During fiscal year 2022, BRINM paid a vendor $93,808 for services related to a project. There is no evidence that three bids were obtained for selection of this vendor. Additionally, there was not an approved purchase order for one of the three invoices paid to this vendor. Questioned Costs: None Context: One of 25 nonpayroll transactions tested. Additionally, one of four vendors/subawards tested that were paid over $25,000 during fiscal year 2022. Cause: BRINM?s Grants Manager, who was responsible for all records related to purchasing, accounts payable, and credit cards, resigned in November 2021 without filing many documents. Evidence of bids obtained for use of this vendor could not be located. Effect: Procurement of vendors does not comply with BRINM SOP?s and the procurement requirements identified in 2 CFR Part 200. Auditor?s Recommendations: BRINM should implement its approved SOP?s as referenced above to ensure that purchasing SOP?s are implemented and selection of vendors is adequately documented. Management?s Response: Current Management is not able to confirm nor deny that appropriate documentation was not collected prior to payment but highly doubts that it was not collected based on the reliability of the previous Grants Manager. Management notes that the vendor was specifically mentioned in the Grant submission. Management will ensure that purchasing SOP are implemented and selection of vendors is adequately documented. Management has secured a project management software that will retain project documentation. This should ensure appropriate documentation is collected and available to all Management for the life of the project, until date of destruction.