Audit 389734

FY End
2025-06-30
Total Expended
$19.87M
Findings
5
Programs
13
Year: 2025 Accepted: 2026-03-02
Auditor: UHY LLP

Organization Exclusion Status:

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Findings

ID Ref Severity Repeat Requirement
1175804 2025-001 Material Weakness Yes N
1175805 2025-002 Material Weakness Yes N
1175806 2025-003 Material Weakness Yes N
1175807 2025-003 Material Weakness Yes N
1175808 2025-003 Material Weakness Yes N

Contacts

Name Title Type
LCFLMPUNNGJ3 Michele Vien Auditee
5186947216 Alex Zhang Auditor
No contacts on file

Notes to SEFA

Basis of Presentation The accompanying Schedule of Expenditures of Federal Awards (Schedule) has been prepared 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). The purpose of the Schedule is to present a summary of the activities of Albany College of Pharmacy and Health Sciences (College) funded by the federal government or pass-through entities for the year ended June 30, 2025, using the accrual basis of accounting. The College is described in Note 1 to the financial statements. For purposes of the Schedule, federal awards could include any assistance provided by a federal agency directly or indirectly in the form of grants, contracts, cooperative agreements, loans and local governments, and other noncash assistance. Negative amounts on the Schedule, if any, represent adjustments made to prior year expenditures in the normal course of business. Relationship to Financial Statements Federal award revenues are reported in the College’s financial statements as grants. The College’s financial statements are presented using the accrual basis. The Schedule presents only a selected portion of activities of the College. It is not intended to, and does not present either the financial position, statement of activities, or changes in net assets of the College. Direct and Indirect Costs Expenditures for direct and indirect costs are recognized as incurred using the accrual method of accounting and in accordance with the cost principles contained in the Uniform Guidance. Under those cost principles, certain types of expenditures are not allowable or are limited as to reimbursement.
The College administers the Federal Perkins Loan Program, Health Professions Student Loan Program, and the Direct Loan Program (which includes Stafford loans, Unsubsidized Stafford loans, and Parent Plus loans for undergraduate students). The College does not have any continuing administrative or compliance responsibilities for the Direct Loan Program once the student completes the associated semester. The College administers the following federal loan programs: See Notes to SEFA for table. The Federal Expenditures figure on the Schedule of Expenditures of Federal Awards for each federal loan program is made up of the following: See Notes to SEFA for Table.
For the year ended June 30, 2025, the College did not elect to use the 15% de minimis indirect cost rate.

Finding Details

Federal Assistance Listing Number: 84.268 Federal Direct Student Loans Criteria: Per 34 CFR 668.165(a)(3), the College must notify the student or parent of an anticipated Direct Loan disbursement in writing no earlier than 30 days before, and no later than 30 days after, disbursing the loan to the student’s account. Condition: For two of the forty students tested with Direct PLUS Loan disbursements from October 1, 2024 through October 31, 2024, the College did not send the disbursement notifications to the student or parent within the required 30 days. Cause: During October 2024, the College was unable to process Direct PLUS Loan notifications via the Student Information System due to a disruption in service which impacted the College’s electronic process over the Direct PLUS Loan notifications. As a result, manual intervention was required by their software company to upload these loans and certain steps in the process that would typically occur electronically were circumvented causing certain notifications to be missed. The College did not identify any other issue during this timeframe and determines this to be an isolated incident. Effect: The College is not in compliance with the federal regulations regarding the notification of Direct Loan disbursements to students. Prevalence: There were no notifications sent out for twenty-four Direct PLUS loan disbursements that took place during October 2024. Upon discovery, notifications for the Direct PLUS loan disbursements were sent out on August 8, 2025 and August 12, 2025. Recommendation: The College should enhance their control processes to ensure that all Direct PLUS Loan disbursements are identified in a timely manner when the electronic process cannot be utilized. Management’s Response and Planned Corrective Action: Management identified the issue on August 4, 2025 and new letters were emailed on August 8, 2025 and August 12, 2025. To mitigate potential disruptions in the electronic process, the College enhanced its controls to include manual validation of letters.
Federal Assistance Listing Number: 84.268 Federal Direct Student Loans Criteria: Per 34 CFR 682.604(a), a school must ensure that exit counseling is conducted with each Stafford Loan borrower and graduate or professional student PLUS Loan borrower either in person, by audiovisual presentation, or by interactive electronic means. If exit counseling is conducted by electronic interactive means, the College must take reasonable steps to ensure that each student borrower receives the counseling materials, and participates in and completes the counseling. Condition: For 9 out of the 40 students tested, the College did not send an exit counseling package or otherwise take reasonable steps to ensure that the exit counseling materials were received for students who had received Direct Loan disbursements. Cause: The financial aid department at the College experienced staff turnover during the year which resulted in the College not conducting required communications for exit counseling in a timely manner for certain students. Effect: The College is not in compliance with the federal regulations regarding Direct Loan exit counseling communications to students. Prevalence: There was no exit counseling package sent to students who received Direct Loan disbursements and graduated in May 2025. Upon discovery, exit counseling guidance was sent to the students on October 1, 2025. Recommendation: The College should enhance their control processes to ensure that all Direct Loan exit counseling communications are conducted in a timely manner. Management’s Response and Planned Corrective Action: Management identified the issue on September 23, 2025 and exit counseling packages were sent on October 1, 2025. The issue resulted from staff turnover during the year. Upon discovery, management promptly updated procedures, including adding calendar reminders to avoid such missed occurrences going forward.
Federal Assistance Listing Number: 84.007 Federal Supplemental Educational Opportunity Grant(“FSEOG”), 84.033 Federal Work-Study Program (“FWS”), 84.038 Federal Perkins Loan Program (“Perkins”) Criteria: Per the federal register and the federal student aid electronic communication, the deadline for the electronic submission of the Fiscal Operations Report for 2024-25and the Application to Participate for 2026-27 (“FISAP”) was 11:59 pm eastern time on October 1, 2025. Transmission must be completed prior to midnight. Additionally, the signature page must be printed, signed, and mailed by the October 1, 2025 deadline. Condition: The College did not submit the FISAP for Award Year July 1, 2024 - June 30, 2025 (Application Award Year July 1, 2026 - June 30, 2027) until October 3, 2025 and did not sign the signature page until October 15, 2025. Cause: The financial aid department at the College experienced staff turnover during the year which resulted in the College not meeting the submission and filing deadline. Effect: The College is not in compliance with the federal regulations regarding the submission of the FISAP and related signature page which may require the College to return campus-based aid drawn down for the FSEOG, FWS, and Perkins programs in the amount of approximately $441,023 for the 2024-2025 award year. Additionally, this may impact the College’s eligibility to receive campus-based aid for the 2026-2027 school year. The College has requested a waiver from the Department of Education for not meeting the submission and filing deadline. As of the date of the report, the waiver is pending approval therefore it is uncertain whether the return of the 2024-2025 campus-based aid (FSEOG of $87,862, FWS of $152,318, and Perkins of $200,842 totaling $441,023) will be required. Prevalence: The College did not submit the FISAP until October 3, 2025 and did not sign the signature page until October 15, 2025. Recommendation: The College should improve their control processes to ensure timely reporting and submission of the FISAP and related signature page. Management’s Response and Planned Corrective Action: Management identified the issue on October 3, 2025 and made the FISAP submission immediately and filed the signature page on October 15, 2025. The issue resulted from staff turnover during the year. Upon discovery, management promptly updated procedures, including adding calendar reminders to avoid such missed occurrences going forward. Additionally, the College has submitted a waiver request with the Department of Education to avoid the return of $441,023 in campus-based aid and to obtain eligibility to receive campus-based aid for the 2026-2027 school year. As of the date of the report, a response to the waiver request from the Department of Education has not been received.