Audit 44098

FY End
2022-12-31
Total Expended
$10.32M
Findings
6
Programs
10
Organization: Long Island Fqhc, Inc. (NY)
Year: 2022 Accepted: 2023-05-24

Organization Exclusion Status:

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Contacts

Name Title Type
HM8AGGB4CM37 Savitree Pestano Auditee
5165464201 Heather Weber Auditor
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Notes to SEFA

Title: Basis of Presentation Accounting Policies: Expenditures reported on the Schedule are reported on the accrual basis of accounting. Suchexpenditures are recognized following the cost principles contained in the Uniform Guidance, whereincertain types of expenditures are not allowable or are limited as to reimbursement. Negative amountsshown, if any, represent adjustments or credits made in the normal course of business to amountsreported as expenditures in prior years. Pass-through entity identifying numbers are presented whenavailable. De Minimis Rate Used: Y Rate Explanation: LIFQHC has elected to use the 10% de-minimis indirect cost rate allowed under the UniformGuidance for WIC Special Supplemental Nutrition Program for Women, Infants and Children only. The10% de-minimis indirect cost rate was not available to be selected for any other federal grants. The accompanying schedule of expenditures of federal awards (the Schedule) includes the federal grant activity of the Long Island FQHC, Inc. and subsidiary (LIFQHC) under programs of the federal government for the year ended December 31, 2022.The information in the 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). Since the Schedule presents only a select portion of the operations of LIFQHC, it is not intended to and does not present the consolidated financial position, changes in net assets or cash flows of LIFQHC.
Title: Provider Relief Fund and American Rescue Plan (ARP) Rural Distribution Accounting Policies: Expenditures reported on the Schedule are reported on the accrual basis of accounting. Suchexpenditures are recognized following the cost principles contained in the Uniform Guidance, whereincertain types of expenditures are not allowable or are limited as to reimbursement. Negative amountsshown, if any, represent adjustments or credits made in the normal course of business to amountsreported as expenditures in prior years. Pass-through entity identifying numbers are presented whenavailable. De Minimis Rate Used: Y Rate Explanation: LIFQHC has elected to use the 10% de-minimis indirect cost rate allowed under the UniformGuidance for WIC Special Supplemental Nutrition Program for Women, Infants and Children only. The10% de-minimis indirect cost rate was not available to be selected for any other federal grants. For the HHS award related to the Provider Relief Fund and American Rescue Plan (ARP) Rural Distribution (PRF) program, HHS has indicated the amounts on the Schedule be reported corresponding to reporting requirements of the Health Resources and Services Administration (HRSA) PRF Reporting Portal. Payments from HHS for PRF are assigned to 'Payment Received Periods' (each, a Period) based upon the date each payment from the PRF was received. Each Period has a specified Period of Availability and timing of reporting requirements. Entities report into the HRSA PRF Reporting Portal after each Period's deadline to use the funds (i.e., after the end of the Period of Availability).The Schedule includes $178,455 received from HHS between July 1, 2021 through December 31, 2021. In accordance with guidance from HHS, these amounts are presented as Period 4. LIFQHC did not receive funding in Period 3. Such amounts were recognized as other grant revenue in LIFQHC's consolidated financial statements as shown in the Schedule in the years ended December 31, 2022.The Schedule includes the following entity that received the Provider Relief Fund and American Rescue Plan (ARP) Rural Distribution program: Legal Entity Name Tax Identification Number Long Island FQHC, Inc. 27-0216316

Finding Details

Finding 2022-001: Special Tests and Provisions - Significant Deficiency - Failure to Update and Apply the Sliding Scale Federal Assistance Listing Number: 93.224/93.527- Health Center Program [including Covid-19 funds] Federal Agency: U.S. Department of Health and Human Services Federal Award Numbers: H80CS00313-13-12; H8FCS41390-01-00, H2ECS45521-01-00 Federal Award Year: January 1, 2022- December 31, 2022 Pass-Through Entity: Hudson River Health Care Criteria: Under 42 CFR Sections 51c.303(e), (f) and (g), health centers must prepare and apply a sliding fee discount schedule so that the amounts owed for health center services by eligible patients are adjusted based on the patient's ability to pay. To verify this criteria, the compliance supplement has the suggested audit procedures which require the auditor to review a sample of patients treated. LIFQHC should maintain patient files to support the patient's eligibility and that the patient charges were appropriately adjusted based on income and family size by appropriately applying LIFQHC's sliding fee discount schedule. Questioned Cost: None Condition: 3 out of 40 selected patients receiving healthcare under the sliding fee arrangement had income which did not align with the sliding scale category, and therefore, were not charged appropriately based on the appropriate sliding scale category. Context: We recalculated the annual income thresholds utilizing the patient files to validate the sliding fee scale in which the patients were categorized. 3 out of 40 selected patients receiving healthcare services under the sliding fee arrangement had income which did not align with the sliding scale category, and therefore, were not charged appropriately based on the appropriate sliding scale category. This was not a statistically valid sample. Effect: 3 out of 40 patients were not charged the appropriate fees based on their income levels. Incorrect payment amount was received per the sliding fee scale. This is a significant deficiency in internal controls. Cause: A review was not performed to verify that annual patient income was input correctly. The updated sliding fee scale was not uploaded and utilized timely. Recommendation: We recommend that LIFQHC continue to implement procedures to ensure that the sliding fee scale is appropriately charged to every patient and that an annual verification is performed. Procedures should also be implemented to validate the accuracy of the annual patient income for sliding scale categorization purposes. The updated sliding fee scale should be approved by the board and updated timely. Views of Responsible Officials and Planned and Corrective Actions: LIFQHC has implemented procedures to ensure that all patients are charged appropriately based on services, income and where they should be categorized on the LIFQHC sliding fee scale. Management is currently providing training to the registration staff across all sites. The objective of this training is to verify patients' information, such as income, in order to ensure that all patients are charged appropriately. All the above findings were happened before the training was provided. Management has also implemented a new process in which the sliding fee scale will be updated on a more timely basis. LIFQHC will update the sliding fee scale in the electronic medical record system as soon as the current year's poverty guidelines are available. Responsible Party: Savitree Pestano, Chief Financial Officer Estimated Time of Completion: December 31, 2022
Finding 2022-001: Special Tests and Provisions - Significant Deficiency - Failure to Update and Apply the Sliding Scale Federal Assistance Listing Number: 93.224/93.527- Health Center Program [including Covid-19 funds] Federal Agency: U.S. Department of Health and Human Services Federal Award Numbers: H80CS00313-13-12; H8FCS41390-01-00, H2ECS45521-01-00 Federal Award Year: January 1, 2022- December 31, 2022 Pass-Through Entity: Hudson River Health Care Criteria: Under 42 CFR Sections 51c.303(e), (f) and (g), health centers must prepare and apply a sliding fee discount schedule so that the amounts owed for health center services by eligible patients are adjusted based on the patient's ability to pay. To verify this criteria, the compliance supplement has the suggested audit procedures which require the auditor to review a sample of patients treated. LIFQHC should maintain patient files to support the patient's eligibility and that the patient charges were appropriately adjusted based on income and family size by appropriately applying LIFQHC's sliding fee discount schedule. Questioned Cost: None Condition: 3 out of 40 selected patients receiving healthcare under the sliding fee arrangement had income which did not align with the sliding scale category, and therefore, were not charged appropriately based on the appropriate sliding scale category. Context: We recalculated the annual income thresholds utilizing the patient files to validate the sliding fee scale in which the patients were categorized. 3 out of 40 selected patients receiving healthcare services under the sliding fee arrangement had income which did not align with the sliding scale category, and therefore, were not charged appropriately based on the appropriate sliding scale category. This was not a statistically valid sample. Effect: 3 out of 40 patients were not charged the appropriate fees based on their income levels. Incorrect payment amount was received per the sliding fee scale. This is a significant deficiency in internal controls. Cause: A review was not performed to verify that annual patient income was input correctly. The updated sliding fee scale was not uploaded and utilized timely. Recommendation: We recommend that LIFQHC continue to implement procedures to ensure that the sliding fee scale is appropriately charged to every patient and that an annual verification is performed. Procedures should also be implemented to validate the accuracy of the annual patient income for sliding scale categorization purposes. The updated sliding fee scale should be approved by the board and updated timely. Views of Responsible Officials and Planned and Corrective Actions: LIFQHC has implemented procedures to ensure that all patients are charged appropriately based on services, income and where they should be categorized on the LIFQHC sliding fee scale. Management is currently providing training to the registration staff across all sites. The objective of this training is to verify patients' information, such as income, in order to ensure that all patients are charged appropriately. All the above findings were happened before the training was provided. Management has also implemented a new process in which the sliding fee scale will be updated on a more timely basis. LIFQHC will update the sliding fee scale in the electronic medical record system as soon as the current year's poverty guidelines are available. Responsible Party: Savitree Pestano, Chief Financial Officer Estimated Time of Completion: December 31, 2022
Finding 2022-001: Special Tests and Provisions - Significant Deficiency - Failure to Update and Apply the Sliding Scale Federal Assistance Listing Number: 93.224/93.527- Health Center Program [including Covid-19 funds] Federal Agency: U.S. Department of Health and Human Services Federal Award Numbers: H80CS00313-13-12; H8FCS41390-01-00, H2ECS45521-01-00 Federal Award Year: January 1, 2022- December 31, 2022 Pass-Through Entity: Hudson River Health Care Criteria: Under 42 CFR Sections 51c.303(e), (f) and (g), health centers must prepare and apply a sliding fee discount schedule so that the amounts owed for health center services by eligible patients are adjusted based on the patient's ability to pay. To verify this criteria, the compliance supplement has the suggested audit procedures which require the auditor to review a sample of patients treated. LIFQHC should maintain patient files to support the patient's eligibility and that the patient charges were appropriately adjusted based on income and family size by appropriately applying LIFQHC's sliding fee discount schedule. Questioned Cost: None Condition: 3 out of 40 selected patients receiving healthcare under the sliding fee arrangement had income which did not align with the sliding scale category, and therefore, were not charged appropriately based on the appropriate sliding scale category. Context: We recalculated the annual income thresholds utilizing the patient files to validate the sliding fee scale in which the patients were categorized. 3 out of 40 selected patients receiving healthcare services under the sliding fee arrangement had income which did not align with the sliding scale category, and therefore, were not charged appropriately based on the appropriate sliding scale category. This was not a statistically valid sample. Effect: 3 out of 40 patients were not charged the appropriate fees based on their income levels. Incorrect payment amount was received per the sliding fee scale. This is a significant deficiency in internal controls. Cause: A review was not performed to verify that annual patient income was input correctly. The updated sliding fee scale was not uploaded and utilized timely. Recommendation: We recommend that LIFQHC continue to implement procedures to ensure that the sliding fee scale is appropriately charged to every patient and that an annual verification is performed. Procedures should also be implemented to validate the accuracy of the annual patient income for sliding scale categorization purposes. The updated sliding fee scale should be approved by the board and updated timely. Views of Responsible Officials and Planned and Corrective Actions: LIFQHC has implemented procedures to ensure that all patients are charged appropriately based on services, income and where they should be categorized on the LIFQHC sliding fee scale. Management is currently providing training to the registration staff across all sites. The objective of this training is to verify patients' information, such as income, in order to ensure that all patients are charged appropriately. All the above findings were happened before the training was provided. Management has also implemented a new process in which the sliding fee scale will be updated on a more timely basis. LIFQHC will update the sliding fee scale in the electronic medical record system as soon as the current year's poverty guidelines are available. Responsible Party: Savitree Pestano, Chief Financial Officer Estimated Time of Completion: December 31, 2022
Finding 2022-001: Special Tests and Provisions - Significant Deficiency - Failure to Update and Apply the Sliding Scale Federal Assistance Listing Number: 93.224/93.527- Health Center Program [including Covid-19 funds] Federal Agency: U.S. Department of Health and Human Services Federal Award Numbers: H80CS00313-13-12; H8FCS41390-01-00, H2ECS45521-01-00 Federal Award Year: January 1, 2022- December 31, 2022 Pass-Through Entity: Hudson River Health Care Criteria: Under 42 CFR Sections 51c.303(e), (f) and (g), health centers must prepare and apply a sliding fee discount schedule so that the amounts owed for health center services by eligible patients are adjusted based on the patient's ability to pay. To verify this criteria, the compliance supplement has the suggested audit procedures which require the auditor to review a sample of patients treated. LIFQHC should maintain patient files to support the patient's eligibility and that the patient charges were appropriately adjusted based on income and family size by appropriately applying LIFQHC's sliding fee discount schedule. Questioned Cost: None Condition: 3 out of 40 selected patients receiving healthcare under the sliding fee arrangement had income which did not align with the sliding scale category, and therefore, were not charged appropriately based on the appropriate sliding scale category. Context: We recalculated the annual income thresholds utilizing the patient files to validate the sliding fee scale in which the patients were categorized. 3 out of 40 selected patients receiving healthcare services under the sliding fee arrangement had income which did not align with the sliding scale category, and therefore, were not charged appropriately based on the appropriate sliding scale category. This was not a statistically valid sample. Effect: 3 out of 40 patients were not charged the appropriate fees based on their income levels. Incorrect payment amount was received per the sliding fee scale. This is a significant deficiency in internal controls. Cause: A review was not performed to verify that annual patient income was input correctly. The updated sliding fee scale was not uploaded and utilized timely. Recommendation: We recommend that LIFQHC continue to implement procedures to ensure that the sliding fee scale is appropriately charged to every patient and that an annual verification is performed. Procedures should also be implemented to validate the accuracy of the annual patient income for sliding scale categorization purposes. The updated sliding fee scale should be approved by the board and updated timely. Views of Responsible Officials and Planned and Corrective Actions: LIFQHC has implemented procedures to ensure that all patients are charged appropriately based on services, income and where they should be categorized on the LIFQHC sliding fee scale. Management is currently providing training to the registration staff across all sites. The objective of this training is to verify patients' information, such as income, in order to ensure that all patients are charged appropriately. All the above findings were happened before the training was provided. Management has also implemented a new process in which the sliding fee scale will be updated on a more timely basis. LIFQHC will update the sliding fee scale in the electronic medical record system as soon as the current year's poverty guidelines are available. Responsible Party: Savitree Pestano, Chief Financial Officer Estimated Time of Completion: December 31, 2022
Finding 2022-001: Special Tests and Provisions - Significant Deficiency - Failure to Update and Apply the Sliding Scale Federal Assistance Listing Number: 93.224/93.527- Health Center Program [including Covid-19 funds] Federal Agency: U.S. Department of Health and Human Services Federal Award Numbers: H80CS00313-13-12; H8FCS41390-01-00, H2ECS45521-01-00 Federal Award Year: January 1, 2022- December 31, 2022 Pass-Through Entity: Hudson River Health Care Criteria: Under 42 CFR Sections 51c.303(e), (f) and (g), health centers must prepare and apply a sliding fee discount schedule so that the amounts owed for health center services by eligible patients are adjusted based on the patient's ability to pay. To verify this criteria, the compliance supplement has the suggested audit procedures which require the auditor to review a sample of patients treated. LIFQHC should maintain patient files to support the patient's eligibility and that the patient charges were appropriately adjusted based on income and family size by appropriately applying LIFQHC's sliding fee discount schedule. Questioned Cost: None Condition: 3 out of 40 selected patients receiving healthcare under the sliding fee arrangement had income which did not align with the sliding scale category, and therefore, were not charged appropriately based on the appropriate sliding scale category. Context: We recalculated the annual income thresholds utilizing the patient files to validate the sliding fee scale in which the patients were categorized. 3 out of 40 selected patients receiving healthcare services under the sliding fee arrangement had income which did not align with the sliding scale category, and therefore, were not charged appropriately based on the appropriate sliding scale category. This was not a statistically valid sample. Effect: 3 out of 40 patients were not charged the appropriate fees based on their income levels. Incorrect payment amount was received per the sliding fee scale. This is a significant deficiency in internal controls. Cause: A review was not performed to verify that annual patient income was input correctly. The updated sliding fee scale was not uploaded and utilized timely. Recommendation: We recommend that LIFQHC continue to implement procedures to ensure that the sliding fee scale is appropriately charged to every patient and that an annual verification is performed. Procedures should also be implemented to validate the accuracy of the annual patient income for sliding scale categorization purposes. The updated sliding fee scale should be approved by the board and updated timely. Views of Responsible Officials and Planned and Corrective Actions: LIFQHC has implemented procedures to ensure that all patients are charged appropriately based on services, income and where they should be categorized on the LIFQHC sliding fee scale. Management is currently providing training to the registration staff across all sites. The objective of this training is to verify patients' information, such as income, in order to ensure that all patients are charged appropriately. All the above findings were happened before the training was provided. Management has also implemented a new process in which the sliding fee scale will be updated on a more timely basis. LIFQHC will update the sliding fee scale in the electronic medical record system as soon as the current year's poverty guidelines are available. Responsible Party: Savitree Pestano, Chief Financial Officer Estimated Time of Completion: December 31, 2022
Finding 2022-001: Special Tests and Provisions - Significant Deficiency - Failure to Update and Apply the Sliding Scale Federal Assistance Listing Number: 93.224/93.527- Health Center Program [including Covid-19 funds] Federal Agency: U.S. Department of Health and Human Services Federal Award Numbers: H80CS00313-13-12; H8FCS41390-01-00, H2ECS45521-01-00 Federal Award Year: January 1, 2022- December 31, 2022 Pass-Through Entity: Hudson River Health Care Criteria: Under 42 CFR Sections 51c.303(e), (f) and (g), health centers must prepare and apply a sliding fee discount schedule so that the amounts owed for health center services by eligible patients are adjusted based on the patient's ability to pay. To verify this criteria, the compliance supplement has the suggested audit procedures which require the auditor to review a sample of patients treated. LIFQHC should maintain patient files to support the patient's eligibility and that the patient charges were appropriately adjusted based on income and family size by appropriately applying LIFQHC's sliding fee discount schedule. Questioned Cost: None Condition: 3 out of 40 selected patients receiving healthcare under the sliding fee arrangement had income which did not align with the sliding scale category, and therefore, were not charged appropriately based on the appropriate sliding scale category. Context: We recalculated the annual income thresholds utilizing the patient files to validate the sliding fee scale in which the patients were categorized. 3 out of 40 selected patients receiving healthcare services under the sliding fee arrangement had income which did not align with the sliding scale category, and therefore, were not charged appropriately based on the appropriate sliding scale category. This was not a statistically valid sample. Effect: 3 out of 40 patients were not charged the appropriate fees based on their income levels. Incorrect payment amount was received per the sliding fee scale. This is a significant deficiency in internal controls. Cause: A review was not performed to verify that annual patient income was input correctly. The updated sliding fee scale was not uploaded and utilized timely. Recommendation: We recommend that LIFQHC continue to implement procedures to ensure that the sliding fee scale is appropriately charged to every patient and that an annual verification is performed. Procedures should also be implemented to validate the accuracy of the annual patient income for sliding scale categorization purposes. The updated sliding fee scale should be approved by the board and updated timely. Views of Responsible Officials and Planned and Corrective Actions: LIFQHC has implemented procedures to ensure that all patients are charged appropriately based on services, income and where they should be categorized on the LIFQHC sliding fee scale. Management is currently providing training to the registration staff across all sites. The objective of this training is to verify patients' information, such as income, in order to ensure that all patients are charged appropriately. All the above findings were happened before the training was provided. Management has also implemented a new process in which the sliding fee scale will be updated on a more timely basis. LIFQHC will update the sliding fee scale in the electronic medical record system as soon as the current year's poverty guidelines are available. Responsible Party: Savitree Pestano, Chief Financial Officer Estimated Time of Completion: December 31, 2022