Audit 45749

FY End
2022-05-31
Total Expended
$56.59M
Findings
12
Programs
7
Year: 2022 Accepted: 2022-10-27
Auditor: Eide Bailly LLP

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
41968 2022-001 Material Weakness - N
41969 2022-001 Material Weakness - N
41970 2022-001 Material Weakness - N
41971 2022-001 Material Weakness - N
41972 2022-001 Material Weakness - N
41973 2022-001 Material Weakness - N
618410 2022-001 Material Weakness - N
618411 2022-001 Material Weakness - N
618412 2022-001 Material Weakness - N
618413 2022-001 Material Weakness - N
618414 2022-001 Material Weakness - N
618415 2022-001 Material Weakness - N

Programs

ALN Program Spent Major Findings
84.268 Federal Direct Student Loans $37.35M Yes 1
84.038 Federal Perkins Loan Program $694,739 Yes 0
84.425 Education Stabilization Fund $440,497 Yes 0
84.033 Federal Work-Study Program $306,305 Yes 0
84.007 Federal Supplemental Educational Opportunity Grants $246,422 Yes 0
84.379 Teacher Education Assistance for College and Higher Education Grants (teach Grants) $11,316 Yes 0
84.063 Federal Pell Grant Program $6,525 Yes 1

Contacts

Name Title Type
JQZPGE33SU95 Jennifer Ramm Auditee
2542955527 Jeromy Stephens Auditor
No contacts on file

Notes to SEFA

Title: Loan/loan guarantee outstanding balances Accounting Policies: Expenditures reported on the schedule are reported on the accrual basis of accounting. When applicable, 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. No federal assistance has been provided to a subrecipient. De Minimis Rate Used: N Rate Explanation: The auditee did not use the de minimis cost rate. The University has not elected to use the 10% de minimis indirect cost rate allowed under the Uniform Guidance. FEDERAL PERKINS LOAN PROGRAM (84.038) - Balances outstanding at the end of the audit period were 360,555. The federal student loan program listed subsequently is administered directly by the University and balances and transactions relating to this program are included in the University's basic financial statements. During September 2015, the Federal government allowed the Perkins Loan Program to expire. The Department of Education (the Department) has published guidance on the wind-down of the Perkins Loans. Associated with this wind-down, the University will be required to return the Department of Educations share of the University's Perkins Loans, assign the Perkins Loans to the Department of Education, or liquidate the Perkins Loans. Currently, the University is in the process of complying with the Department's instructions to assign all Perkins Loans in default to the Department. The University is continuing to service non-defaulted Perkins loans and will re-evaluate the program requirements annually based on guidance issued. Federal law no longer allows new loans under the Perkins Loan Program.
Title: Basis of Presentation Accounting Policies: Expenditures reported on the schedule are reported on the accrual basis of accounting. When applicable, 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. No federal assistance has been provided to a subrecipient. De Minimis Rate Used: N Rate Explanation: The auditee did not use the de minimis cost rate. The University has not elected to use the 10% de minimis indirect cost rate allowed under the Uniform Guidance. The accompanying consolidated schedule of expenditures of federal and state awards (the schedule) includes the federal and state grant activity of University of Mary Hardin-Baylor (the University). The federal information in this schedule is presented in accordance with the requirements of Title 2 U.S. Code of Federal Regulations (CFR) Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (the Uniform Guidance). Because the schedule presents only a selected portion of the operations of the University, it is not intended to and does not present the financial position, changes in net assets, or cash flows of the University.
Title: State Awards Accounting Policies: Expenditures reported on the schedule are reported on the accrual basis of accounting. When applicable, 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. No federal assistance has been provided to a subrecipient. De Minimis Rate Used: N Rate Explanation: The auditee did not use the de minimis cost rate. The University has not elected to use the 10% de minimis indirect cost rate allowed under the Uniform Guidance. The state awards included in the accompanying consolidated schedule of expenditures of federal and state awards are presented for informational purposes only and are not subject to requirements of the state of Texas single audit circular, as colleges and universities are excluded per the Texas uniform grant and contract management act; section 783.003(4).

Finding Details

Finding 2022-001 Federal Agency Name: U.S. Department of Education Program Name: Student Financial Assistance Cluster ALN: 84.063 and 84.268 Federal Award Number: P063P202288, P063P212288, P063Q202288, P063Q212288, P268K212288, P268K222288 Award Year: 2021/2022 Type of Finding: Material Weakness in Internal Control over Compliance and Material Noncompliance Compliance Requirement: Special Tests and Provisions ? Enrollment Reporting Criteria: Per 34 CFR 690.83(b)(2), 34 CFR 685.309, and the 2021 Compliance Supplement, institutions are required to report enrollment information under the Pell grant and Direct loan program via the National Student Loan Data System (NSLDS). The administration of the Title IV programs depends heavily on the accuracy and timeliness of the enrollment information reported by the institutions. Institutions must review, update, and verify student enrollment statuses, program information, and effective dates that appear on the Enrollment Reporting Roster file or on the Enrollment Maintenance page of the NSLDS Professional Access website. Institutions are responsible for accurately reporting the following significant data elements that the Department of Education considers high risk: Enrollment Effective Date and Enrollment Status. Further, schools are required to certify enrollment statuses every 60 days or every other month. Condition: We tested a sample of 68 students who received Title IV funds and had an enrollment status change during the year, noting 5 students with errors. Of the students with errors, two students had incorrect withdrawal status effective dates reported to NSLDS. The other three students with errors had incorrect enrollment statuses reported to NSLDS, which also resulted in reporting outside of the 60 day timely reporting window. These three students were reported as attending instead of withdrawn. Cause: Causes for the errors were varied. Due to a reporting error, one student?s withdrawal status effective date was incorrectly submitted as the end of his current term instead of the date of his official withdrawal communication. Due to timing of the NSLDS initial reporting for the term, one student?s withdrawal status effective date was incorrectly entered as the end of his previous term; the effective date should have been during the first month of the subsequent term which he attended for several days, and from which he then withdrew. Due to an error in automated enrollment status reporting package parameters, three students withdrew prior to the end of the spring semester, but their withdrawn status changes were inadvertently excluded from the automated enrollment roster reporting. Effect: Each of these five students had an incorrect data reported to NSLDS relating to their withdrawal. The result is an incorrect beginning date for their loan repayment grace periods. Questioned Costs: None reported. Context/Sampling: A nonstatistical sample of 68 students who received $582,192 in Title IV Aid, out of a population of 806 students who received $9,210,850 in Title IV aid. All students in the population and sample withdrew, graduated, or had a reduction or increase in attendance levels during the year. 5 of the students had errors in reported data. Repeat Finding from Prior Year: No Recommendation: We recommend that the University revisit enrollment status change reporting policies to ensure that student changes entered into Jenzabar are appropriately included in the regularly scheduled enrollment reporting roster uploads. Further, we suggest that the University analyze the specific situations to determine how and why the errors occurred. View of Responsible Officials: Management agrees with the finding. See Corrective action plan.
Finding 2022-001 Federal Agency Name: U.S. Department of Education Program Name: Student Financial Assistance Cluster ALN: 84.063 and 84.268 Federal Award Number: P063P202288, P063P212288, P063Q202288, P063Q212288, P268K212288, P268K222288 Award Year: 2021/2022 Type of Finding: Material Weakness in Internal Control over Compliance and Material Noncompliance Compliance Requirement: Special Tests and Provisions ? Enrollment Reporting Criteria: Per 34 CFR 690.83(b)(2), 34 CFR 685.309, and the 2021 Compliance Supplement, institutions are required to report enrollment information under the Pell grant and Direct loan program via the National Student Loan Data System (NSLDS). The administration of the Title IV programs depends heavily on the accuracy and timeliness of the enrollment information reported by the institutions. Institutions must review, update, and verify student enrollment statuses, program information, and effective dates that appear on the Enrollment Reporting Roster file or on the Enrollment Maintenance page of the NSLDS Professional Access website. Institutions are responsible for accurately reporting the following significant data elements that the Department of Education considers high risk: Enrollment Effective Date and Enrollment Status. Further, schools are required to certify enrollment statuses every 60 days or every other month. Condition: We tested a sample of 68 students who received Title IV funds and had an enrollment status change during the year, noting 5 students with errors. Of the students with errors, two students had incorrect withdrawal status effective dates reported to NSLDS. The other three students with errors had incorrect enrollment statuses reported to NSLDS, which also resulted in reporting outside of the 60 day timely reporting window. These three students were reported as attending instead of withdrawn. Cause: Causes for the errors were varied. Due to a reporting error, one student?s withdrawal status effective date was incorrectly submitted as the end of his current term instead of the date of his official withdrawal communication. Due to timing of the NSLDS initial reporting for the term, one student?s withdrawal status effective date was incorrectly entered as the end of his previous term; the effective date should have been during the first month of the subsequent term which he attended for several days, and from which he then withdrew. Due to an error in automated enrollment status reporting package parameters, three students withdrew prior to the end of the spring semester, but their withdrawn status changes were inadvertently excluded from the automated enrollment roster reporting. Effect: Each of these five students had an incorrect data reported to NSLDS relating to their withdrawal. The result is an incorrect beginning date for their loan repayment grace periods. Questioned Costs: None reported. Context/Sampling: A nonstatistical sample of 68 students who received $582,192 in Title IV Aid, out of a population of 806 students who received $9,210,850 in Title IV aid. All students in the population and sample withdrew, graduated, or had a reduction or increase in attendance levels during the year. 5 of the students had errors in reported data. Repeat Finding from Prior Year: No Recommendation: We recommend that the University revisit enrollment status change reporting policies to ensure that student changes entered into Jenzabar are appropriately included in the regularly scheduled enrollment reporting roster uploads. Further, we suggest that the University analyze the specific situations to determine how and why the errors occurred. View of Responsible Officials: Management agrees with the finding. See Corrective action plan.
Finding 2022-001 Federal Agency Name: U.S. Department of Education Program Name: Student Financial Assistance Cluster ALN: 84.063 and 84.268 Federal Award Number: P063P202288, P063P212288, P063Q202288, P063Q212288, P268K212288, P268K222288 Award Year: 2021/2022 Type of Finding: Material Weakness in Internal Control over Compliance and Material Noncompliance Compliance Requirement: Special Tests and Provisions ? Enrollment Reporting Criteria: Per 34 CFR 690.83(b)(2), 34 CFR 685.309, and the 2021 Compliance Supplement, institutions are required to report enrollment information under the Pell grant and Direct loan program via the National Student Loan Data System (NSLDS). The administration of the Title IV programs depends heavily on the accuracy and timeliness of the enrollment information reported by the institutions. Institutions must review, update, and verify student enrollment statuses, program information, and effective dates that appear on the Enrollment Reporting Roster file or on the Enrollment Maintenance page of the NSLDS Professional Access website. Institutions are responsible for accurately reporting the following significant data elements that the Department of Education considers high risk: Enrollment Effective Date and Enrollment Status. Further, schools are required to certify enrollment statuses every 60 days or every other month. Condition: We tested a sample of 68 students who received Title IV funds and had an enrollment status change during the year, noting 5 students with errors. Of the students with errors, two students had incorrect withdrawal status effective dates reported to NSLDS. The other three students with errors had incorrect enrollment statuses reported to NSLDS, which also resulted in reporting outside of the 60 day timely reporting window. These three students were reported as attending instead of withdrawn. Cause: Causes for the errors were varied. Due to a reporting error, one student?s withdrawal status effective date was incorrectly submitted as the end of his current term instead of the date of his official withdrawal communication. Due to timing of the NSLDS initial reporting for the term, one student?s withdrawal status effective date was incorrectly entered as the end of his previous term; the effective date should have been during the first month of the subsequent term which he attended for several days, and from which he then withdrew. Due to an error in automated enrollment status reporting package parameters, three students withdrew prior to the end of the spring semester, but their withdrawn status changes were inadvertently excluded from the automated enrollment roster reporting. Effect: Each of these five students had an incorrect data reported to NSLDS relating to their withdrawal. The result is an incorrect beginning date for their loan repayment grace periods. Questioned Costs: None reported. Context/Sampling: A nonstatistical sample of 68 students who received $582,192 in Title IV Aid, out of a population of 806 students who received $9,210,850 in Title IV aid. All students in the population and sample withdrew, graduated, or had a reduction or increase in attendance levels during the year. 5 of the students had errors in reported data. Repeat Finding from Prior Year: No Recommendation: We recommend that the University revisit enrollment status change reporting policies to ensure that student changes entered into Jenzabar are appropriately included in the regularly scheduled enrollment reporting roster uploads. Further, we suggest that the University analyze the specific situations to determine how and why the errors occurred. View of Responsible Officials: Management agrees with the finding. See Corrective action plan.
Finding 2022-001 Federal Agency Name: U.S. Department of Education Program Name: Student Financial Assistance Cluster ALN: 84.063 and 84.268 Federal Award Number: P063P202288, P063P212288, P063Q202288, P063Q212288, P268K212288, P268K222288 Award Year: 2021/2022 Type of Finding: Material Weakness in Internal Control over Compliance and Material Noncompliance Compliance Requirement: Special Tests and Provisions ? Enrollment Reporting Criteria: Per 34 CFR 690.83(b)(2), 34 CFR 685.309, and the 2021 Compliance Supplement, institutions are required to report enrollment information under the Pell grant and Direct loan program via the National Student Loan Data System (NSLDS). The administration of the Title IV programs depends heavily on the accuracy and timeliness of the enrollment information reported by the institutions. Institutions must review, update, and verify student enrollment statuses, program information, and effective dates that appear on the Enrollment Reporting Roster file or on the Enrollment Maintenance page of the NSLDS Professional Access website. Institutions are responsible for accurately reporting the following significant data elements that the Department of Education considers high risk: Enrollment Effective Date and Enrollment Status. Further, schools are required to certify enrollment statuses every 60 days or every other month. Condition: We tested a sample of 68 students who received Title IV funds and had an enrollment status change during the year, noting 5 students with errors. Of the students with errors, two students had incorrect withdrawal status effective dates reported to NSLDS. The other three students with errors had incorrect enrollment statuses reported to NSLDS, which also resulted in reporting outside of the 60 day timely reporting window. These three students were reported as attending instead of withdrawn. Cause: Causes for the errors were varied. Due to a reporting error, one student?s withdrawal status effective date was incorrectly submitted as the end of his current term instead of the date of his official withdrawal communication. Due to timing of the NSLDS initial reporting for the term, one student?s withdrawal status effective date was incorrectly entered as the end of his previous term; the effective date should have been during the first month of the subsequent term which he attended for several days, and from which he then withdrew. Due to an error in automated enrollment status reporting package parameters, three students withdrew prior to the end of the spring semester, but their withdrawn status changes were inadvertently excluded from the automated enrollment roster reporting. Effect: Each of these five students had an incorrect data reported to NSLDS relating to their withdrawal. The result is an incorrect beginning date for their loan repayment grace periods. Questioned Costs: None reported. Context/Sampling: A nonstatistical sample of 68 students who received $582,192 in Title IV Aid, out of a population of 806 students who received $9,210,850 in Title IV aid. All students in the population and sample withdrew, graduated, or had a reduction or increase in attendance levels during the year. 5 of the students had errors in reported data. Repeat Finding from Prior Year: No Recommendation: We recommend that the University revisit enrollment status change reporting policies to ensure that student changes entered into Jenzabar are appropriately included in the regularly scheduled enrollment reporting roster uploads. Further, we suggest that the University analyze the specific situations to determine how and why the errors occurred. View of Responsible Officials: Management agrees with the finding. See Corrective action plan.
Finding 2022-001 Federal Agency Name: U.S. Department of Education Program Name: Student Financial Assistance Cluster ALN: 84.063 and 84.268 Federal Award Number: P063P202288, P063P212288, P063Q202288, P063Q212288, P268K212288, P268K222288 Award Year: 2021/2022 Type of Finding: Material Weakness in Internal Control over Compliance and Material Noncompliance Compliance Requirement: Special Tests and Provisions ? Enrollment Reporting Criteria: Per 34 CFR 690.83(b)(2), 34 CFR 685.309, and the 2021 Compliance Supplement, institutions are required to report enrollment information under the Pell grant and Direct loan program via the National Student Loan Data System (NSLDS). The administration of the Title IV programs depends heavily on the accuracy and timeliness of the enrollment information reported by the institutions. Institutions must review, update, and verify student enrollment statuses, program information, and effective dates that appear on the Enrollment Reporting Roster file or on the Enrollment Maintenance page of the NSLDS Professional Access website. Institutions are responsible for accurately reporting the following significant data elements that the Department of Education considers high risk: Enrollment Effective Date and Enrollment Status. Further, schools are required to certify enrollment statuses every 60 days or every other month. Condition: We tested a sample of 68 students who received Title IV funds and had an enrollment status change during the year, noting 5 students with errors. Of the students with errors, two students had incorrect withdrawal status effective dates reported to NSLDS. The other three students with errors had incorrect enrollment statuses reported to NSLDS, which also resulted in reporting outside of the 60 day timely reporting window. These three students were reported as attending instead of withdrawn. Cause: Causes for the errors were varied. Due to a reporting error, one student?s withdrawal status effective date was incorrectly submitted as the end of his current term instead of the date of his official withdrawal communication. Due to timing of the NSLDS initial reporting for the term, one student?s withdrawal status effective date was incorrectly entered as the end of his previous term; the effective date should have been during the first month of the subsequent term which he attended for several days, and from which he then withdrew. Due to an error in automated enrollment status reporting package parameters, three students withdrew prior to the end of the spring semester, but their withdrawn status changes were inadvertently excluded from the automated enrollment roster reporting. Effect: Each of these five students had an incorrect data reported to NSLDS relating to their withdrawal. The result is an incorrect beginning date for their loan repayment grace periods. Questioned Costs: None reported. Context/Sampling: A nonstatistical sample of 68 students who received $582,192 in Title IV Aid, out of a population of 806 students who received $9,210,850 in Title IV aid. All students in the population and sample withdrew, graduated, or had a reduction or increase in attendance levels during the year. 5 of the students had errors in reported data. Repeat Finding from Prior Year: No Recommendation: We recommend that the University revisit enrollment status change reporting policies to ensure that student changes entered into Jenzabar are appropriately included in the regularly scheduled enrollment reporting roster uploads. Further, we suggest that the University analyze the specific situations to determine how and why the errors occurred. View of Responsible Officials: Management agrees with the finding. See Corrective action plan.
Finding 2022-001 Federal Agency Name: U.S. Department of Education Program Name: Student Financial Assistance Cluster ALN: 84.063 and 84.268 Federal Award Number: P063P202288, P063P212288, P063Q202288, P063Q212288, P268K212288, P268K222288 Award Year: 2021/2022 Type of Finding: Material Weakness in Internal Control over Compliance and Material Noncompliance Compliance Requirement: Special Tests and Provisions ? Enrollment Reporting Criteria: Per 34 CFR 690.83(b)(2), 34 CFR 685.309, and the 2021 Compliance Supplement, institutions are required to report enrollment information under the Pell grant and Direct loan program via the National Student Loan Data System (NSLDS). The administration of the Title IV programs depends heavily on the accuracy and timeliness of the enrollment information reported by the institutions. Institutions must review, update, and verify student enrollment statuses, program information, and effective dates that appear on the Enrollment Reporting Roster file or on the Enrollment Maintenance page of the NSLDS Professional Access website. Institutions are responsible for accurately reporting the following significant data elements that the Department of Education considers high risk: Enrollment Effective Date and Enrollment Status. Further, schools are required to certify enrollment statuses every 60 days or every other month. Condition: We tested a sample of 68 students who received Title IV funds and had an enrollment status change during the year, noting 5 students with errors. Of the students with errors, two students had incorrect withdrawal status effective dates reported to NSLDS. The other three students with errors had incorrect enrollment statuses reported to NSLDS, which also resulted in reporting outside of the 60 day timely reporting window. These three students were reported as attending instead of withdrawn. Cause: Causes for the errors were varied. Due to a reporting error, one student?s withdrawal status effective date was incorrectly submitted as the end of his current term instead of the date of his official withdrawal communication. Due to timing of the NSLDS initial reporting for the term, one student?s withdrawal status effective date was incorrectly entered as the end of his previous term; the effective date should have been during the first month of the subsequent term which he attended for several days, and from which he then withdrew. Due to an error in automated enrollment status reporting package parameters, three students withdrew prior to the end of the spring semester, but their withdrawn status changes were inadvertently excluded from the automated enrollment roster reporting. Effect: Each of these five students had an incorrect data reported to NSLDS relating to their withdrawal. The result is an incorrect beginning date for their loan repayment grace periods. Questioned Costs: None reported. Context/Sampling: A nonstatistical sample of 68 students who received $582,192 in Title IV Aid, out of a population of 806 students who received $9,210,850 in Title IV aid. All students in the population and sample withdrew, graduated, or had a reduction or increase in attendance levels during the year. 5 of the students had errors in reported data. Repeat Finding from Prior Year: No Recommendation: We recommend that the University revisit enrollment status change reporting policies to ensure that student changes entered into Jenzabar are appropriately included in the regularly scheduled enrollment reporting roster uploads. Further, we suggest that the University analyze the specific situations to determine how and why the errors occurred. View of Responsible Officials: Management agrees with the finding. See Corrective action plan.
Finding 2022-001 Federal Agency Name: U.S. Department of Education Program Name: Student Financial Assistance Cluster ALN: 84.063 and 84.268 Federal Award Number: P063P202288, P063P212288, P063Q202288, P063Q212288, P268K212288, P268K222288 Award Year: 2021/2022 Type of Finding: Material Weakness in Internal Control over Compliance and Material Noncompliance Compliance Requirement: Special Tests and Provisions ? Enrollment Reporting Criteria: Per 34 CFR 690.83(b)(2), 34 CFR 685.309, and the 2021 Compliance Supplement, institutions are required to report enrollment information under the Pell grant and Direct loan program via the National Student Loan Data System (NSLDS). The administration of the Title IV programs depends heavily on the accuracy and timeliness of the enrollment information reported by the institutions. Institutions must review, update, and verify student enrollment statuses, program information, and effective dates that appear on the Enrollment Reporting Roster file or on the Enrollment Maintenance page of the NSLDS Professional Access website. Institutions are responsible for accurately reporting the following significant data elements that the Department of Education considers high risk: Enrollment Effective Date and Enrollment Status. Further, schools are required to certify enrollment statuses every 60 days or every other month. Condition: We tested a sample of 68 students who received Title IV funds and had an enrollment status change during the year, noting 5 students with errors. Of the students with errors, two students had incorrect withdrawal status effective dates reported to NSLDS. The other three students with errors had incorrect enrollment statuses reported to NSLDS, which also resulted in reporting outside of the 60 day timely reporting window. These three students were reported as attending instead of withdrawn. Cause: Causes for the errors were varied. Due to a reporting error, one student?s withdrawal status effective date was incorrectly submitted as the end of his current term instead of the date of his official withdrawal communication. Due to timing of the NSLDS initial reporting for the term, one student?s withdrawal status effective date was incorrectly entered as the end of his previous term; the effective date should have been during the first month of the subsequent term which he attended for several days, and from which he then withdrew. Due to an error in automated enrollment status reporting package parameters, three students withdrew prior to the end of the spring semester, but their withdrawn status changes were inadvertently excluded from the automated enrollment roster reporting. Effect: Each of these five students had an incorrect data reported to NSLDS relating to their withdrawal. The result is an incorrect beginning date for their loan repayment grace periods. Questioned Costs: None reported. Context/Sampling: A nonstatistical sample of 68 students who received $582,192 in Title IV Aid, out of a population of 806 students who received $9,210,850 in Title IV aid. All students in the population and sample withdrew, graduated, or had a reduction or increase in attendance levels during the year. 5 of the students had errors in reported data. Repeat Finding from Prior Year: No Recommendation: We recommend that the University revisit enrollment status change reporting policies to ensure that student changes entered into Jenzabar are appropriately included in the regularly scheduled enrollment reporting roster uploads. Further, we suggest that the University analyze the specific situations to determine how and why the errors occurred. View of Responsible Officials: Management agrees with the finding. See Corrective action plan.
Finding 2022-001 Federal Agency Name: U.S. Department of Education Program Name: Student Financial Assistance Cluster ALN: 84.063 and 84.268 Federal Award Number: P063P202288, P063P212288, P063Q202288, P063Q212288, P268K212288, P268K222288 Award Year: 2021/2022 Type of Finding: Material Weakness in Internal Control over Compliance and Material Noncompliance Compliance Requirement: Special Tests and Provisions ? Enrollment Reporting Criteria: Per 34 CFR 690.83(b)(2), 34 CFR 685.309, and the 2021 Compliance Supplement, institutions are required to report enrollment information under the Pell grant and Direct loan program via the National Student Loan Data System (NSLDS). The administration of the Title IV programs depends heavily on the accuracy and timeliness of the enrollment information reported by the institutions. Institutions must review, update, and verify student enrollment statuses, program information, and effective dates that appear on the Enrollment Reporting Roster file or on the Enrollment Maintenance page of the NSLDS Professional Access website. Institutions are responsible for accurately reporting the following significant data elements that the Department of Education considers high risk: Enrollment Effective Date and Enrollment Status. Further, schools are required to certify enrollment statuses every 60 days or every other month. Condition: We tested a sample of 68 students who received Title IV funds and had an enrollment status change during the year, noting 5 students with errors. Of the students with errors, two students had incorrect withdrawal status effective dates reported to NSLDS. The other three students with errors had incorrect enrollment statuses reported to NSLDS, which also resulted in reporting outside of the 60 day timely reporting window. These three students were reported as attending instead of withdrawn. Cause: Causes for the errors were varied. Due to a reporting error, one student?s withdrawal status effective date was incorrectly submitted as the end of his current term instead of the date of his official withdrawal communication. Due to timing of the NSLDS initial reporting for the term, one student?s withdrawal status effective date was incorrectly entered as the end of his previous term; the effective date should have been during the first month of the subsequent term which he attended for several days, and from which he then withdrew. Due to an error in automated enrollment status reporting package parameters, three students withdrew prior to the end of the spring semester, but their withdrawn status changes were inadvertently excluded from the automated enrollment roster reporting. Effect: Each of these five students had an incorrect data reported to NSLDS relating to their withdrawal. The result is an incorrect beginning date for their loan repayment grace periods. Questioned Costs: None reported. Context/Sampling: A nonstatistical sample of 68 students who received $582,192 in Title IV Aid, out of a population of 806 students who received $9,210,850 in Title IV aid. All students in the population and sample withdrew, graduated, or had a reduction or increase in attendance levels during the year. 5 of the students had errors in reported data. Repeat Finding from Prior Year: No Recommendation: We recommend that the University revisit enrollment status change reporting policies to ensure that student changes entered into Jenzabar are appropriately included in the regularly scheduled enrollment reporting roster uploads. Further, we suggest that the University analyze the specific situations to determine how and why the errors occurred. View of Responsible Officials: Management agrees with the finding. See Corrective action plan.
Finding 2022-001 Federal Agency Name: U.S. Department of Education Program Name: Student Financial Assistance Cluster ALN: 84.063 and 84.268 Federal Award Number: P063P202288, P063P212288, P063Q202288, P063Q212288, P268K212288, P268K222288 Award Year: 2021/2022 Type of Finding: Material Weakness in Internal Control over Compliance and Material Noncompliance Compliance Requirement: Special Tests and Provisions ? Enrollment Reporting Criteria: Per 34 CFR 690.83(b)(2), 34 CFR 685.309, and the 2021 Compliance Supplement, institutions are required to report enrollment information under the Pell grant and Direct loan program via the National Student Loan Data System (NSLDS). The administration of the Title IV programs depends heavily on the accuracy and timeliness of the enrollment information reported by the institutions. Institutions must review, update, and verify student enrollment statuses, program information, and effective dates that appear on the Enrollment Reporting Roster file or on the Enrollment Maintenance page of the NSLDS Professional Access website. Institutions are responsible for accurately reporting the following significant data elements that the Department of Education considers high risk: Enrollment Effective Date and Enrollment Status. Further, schools are required to certify enrollment statuses every 60 days or every other month. Condition: We tested a sample of 68 students who received Title IV funds and had an enrollment status change during the year, noting 5 students with errors. Of the students with errors, two students had incorrect withdrawal status effective dates reported to NSLDS. The other three students with errors had incorrect enrollment statuses reported to NSLDS, which also resulted in reporting outside of the 60 day timely reporting window. These three students were reported as attending instead of withdrawn. Cause: Causes for the errors were varied. Due to a reporting error, one student?s withdrawal status effective date was incorrectly submitted as the end of his current term instead of the date of his official withdrawal communication. Due to timing of the NSLDS initial reporting for the term, one student?s withdrawal status effective date was incorrectly entered as the end of his previous term; the effective date should have been during the first month of the subsequent term which he attended for several days, and from which he then withdrew. Due to an error in automated enrollment status reporting package parameters, three students withdrew prior to the end of the spring semester, but their withdrawn status changes were inadvertently excluded from the automated enrollment roster reporting. Effect: Each of these five students had an incorrect data reported to NSLDS relating to their withdrawal. The result is an incorrect beginning date for their loan repayment grace periods. Questioned Costs: None reported. Context/Sampling: A nonstatistical sample of 68 students who received $582,192 in Title IV Aid, out of a population of 806 students who received $9,210,850 in Title IV aid. All students in the population and sample withdrew, graduated, or had a reduction or increase in attendance levels during the year. 5 of the students had errors in reported data. Repeat Finding from Prior Year: No Recommendation: We recommend that the University revisit enrollment status change reporting policies to ensure that student changes entered into Jenzabar are appropriately included in the regularly scheduled enrollment reporting roster uploads. Further, we suggest that the University analyze the specific situations to determine how and why the errors occurred. View of Responsible Officials: Management agrees with the finding. See Corrective action plan.
Finding 2022-001 Federal Agency Name: U.S. Department of Education Program Name: Student Financial Assistance Cluster ALN: 84.063 and 84.268 Federal Award Number: P063P202288, P063P212288, P063Q202288, P063Q212288, P268K212288, P268K222288 Award Year: 2021/2022 Type of Finding: Material Weakness in Internal Control over Compliance and Material Noncompliance Compliance Requirement: Special Tests and Provisions ? Enrollment Reporting Criteria: Per 34 CFR 690.83(b)(2), 34 CFR 685.309, and the 2021 Compliance Supplement, institutions are required to report enrollment information under the Pell grant and Direct loan program via the National Student Loan Data System (NSLDS). The administration of the Title IV programs depends heavily on the accuracy and timeliness of the enrollment information reported by the institutions. Institutions must review, update, and verify student enrollment statuses, program information, and effective dates that appear on the Enrollment Reporting Roster file or on the Enrollment Maintenance page of the NSLDS Professional Access website. Institutions are responsible for accurately reporting the following significant data elements that the Department of Education considers high risk: Enrollment Effective Date and Enrollment Status. Further, schools are required to certify enrollment statuses every 60 days or every other month. Condition: We tested a sample of 68 students who received Title IV funds and had an enrollment status change during the year, noting 5 students with errors. Of the students with errors, two students had incorrect withdrawal status effective dates reported to NSLDS. The other three students with errors had incorrect enrollment statuses reported to NSLDS, which also resulted in reporting outside of the 60 day timely reporting window. These three students were reported as attending instead of withdrawn. Cause: Causes for the errors were varied. Due to a reporting error, one student?s withdrawal status effective date was incorrectly submitted as the end of his current term instead of the date of his official withdrawal communication. Due to timing of the NSLDS initial reporting for the term, one student?s withdrawal status effective date was incorrectly entered as the end of his previous term; the effective date should have been during the first month of the subsequent term which he attended for several days, and from which he then withdrew. Due to an error in automated enrollment status reporting package parameters, three students withdrew prior to the end of the spring semester, but their withdrawn status changes were inadvertently excluded from the automated enrollment roster reporting. Effect: Each of these five students had an incorrect data reported to NSLDS relating to their withdrawal. The result is an incorrect beginning date for their loan repayment grace periods. Questioned Costs: None reported. Context/Sampling: A nonstatistical sample of 68 students who received $582,192 in Title IV Aid, out of a population of 806 students who received $9,210,850 in Title IV aid. All students in the population and sample withdrew, graduated, or had a reduction or increase in attendance levels during the year. 5 of the students had errors in reported data. Repeat Finding from Prior Year: No Recommendation: We recommend that the University revisit enrollment status change reporting policies to ensure that student changes entered into Jenzabar are appropriately included in the regularly scheduled enrollment reporting roster uploads. Further, we suggest that the University analyze the specific situations to determine how and why the errors occurred. View of Responsible Officials: Management agrees with the finding. See Corrective action plan.
Finding 2022-001 Federal Agency Name: U.S. Department of Education Program Name: Student Financial Assistance Cluster ALN: 84.063 and 84.268 Federal Award Number: P063P202288, P063P212288, P063Q202288, P063Q212288, P268K212288, P268K222288 Award Year: 2021/2022 Type of Finding: Material Weakness in Internal Control over Compliance and Material Noncompliance Compliance Requirement: Special Tests and Provisions ? Enrollment Reporting Criteria: Per 34 CFR 690.83(b)(2), 34 CFR 685.309, and the 2021 Compliance Supplement, institutions are required to report enrollment information under the Pell grant and Direct loan program via the National Student Loan Data System (NSLDS). The administration of the Title IV programs depends heavily on the accuracy and timeliness of the enrollment information reported by the institutions. Institutions must review, update, and verify student enrollment statuses, program information, and effective dates that appear on the Enrollment Reporting Roster file or on the Enrollment Maintenance page of the NSLDS Professional Access website. Institutions are responsible for accurately reporting the following significant data elements that the Department of Education considers high risk: Enrollment Effective Date and Enrollment Status. Further, schools are required to certify enrollment statuses every 60 days or every other month. Condition: We tested a sample of 68 students who received Title IV funds and had an enrollment status change during the year, noting 5 students with errors. Of the students with errors, two students had incorrect withdrawal status effective dates reported to NSLDS. The other three students with errors had incorrect enrollment statuses reported to NSLDS, which also resulted in reporting outside of the 60 day timely reporting window. These three students were reported as attending instead of withdrawn. Cause: Causes for the errors were varied. Due to a reporting error, one student?s withdrawal status effective date was incorrectly submitted as the end of his current term instead of the date of his official withdrawal communication. Due to timing of the NSLDS initial reporting for the term, one student?s withdrawal status effective date was incorrectly entered as the end of his previous term; the effective date should have been during the first month of the subsequent term which he attended for several days, and from which he then withdrew. Due to an error in automated enrollment status reporting package parameters, three students withdrew prior to the end of the spring semester, but their withdrawn status changes were inadvertently excluded from the automated enrollment roster reporting. Effect: Each of these five students had an incorrect data reported to NSLDS relating to their withdrawal. The result is an incorrect beginning date for their loan repayment grace periods. Questioned Costs: None reported. Context/Sampling: A nonstatistical sample of 68 students who received $582,192 in Title IV Aid, out of a population of 806 students who received $9,210,850 in Title IV aid. All students in the population and sample withdrew, graduated, or had a reduction or increase in attendance levels during the year. 5 of the students had errors in reported data. Repeat Finding from Prior Year: No Recommendation: We recommend that the University revisit enrollment status change reporting policies to ensure that student changes entered into Jenzabar are appropriately included in the regularly scheduled enrollment reporting roster uploads. Further, we suggest that the University analyze the specific situations to determine how and why the errors occurred. View of Responsible Officials: Management agrees with the finding. See Corrective action plan.
Finding 2022-001 Federal Agency Name: U.S. Department of Education Program Name: Student Financial Assistance Cluster ALN: 84.063 and 84.268 Federal Award Number: P063P202288, P063P212288, P063Q202288, P063Q212288, P268K212288, P268K222288 Award Year: 2021/2022 Type of Finding: Material Weakness in Internal Control over Compliance and Material Noncompliance Compliance Requirement: Special Tests and Provisions ? Enrollment Reporting Criteria: Per 34 CFR 690.83(b)(2), 34 CFR 685.309, and the 2021 Compliance Supplement, institutions are required to report enrollment information under the Pell grant and Direct loan program via the National Student Loan Data System (NSLDS). The administration of the Title IV programs depends heavily on the accuracy and timeliness of the enrollment information reported by the institutions. Institutions must review, update, and verify student enrollment statuses, program information, and effective dates that appear on the Enrollment Reporting Roster file or on the Enrollment Maintenance page of the NSLDS Professional Access website. Institutions are responsible for accurately reporting the following significant data elements that the Department of Education considers high risk: Enrollment Effective Date and Enrollment Status. Further, schools are required to certify enrollment statuses every 60 days or every other month. Condition: We tested a sample of 68 students who received Title IV funds and had an enrollment status change during the year, noting 5 students with errors. Of the students with errors, two students had incorrect withdrawal status effective dates reported to NSLDS. The other three students with errors had incorrect enrollment statuses reported to NSLDS, which also resulted in reporting outside of the 60 day timely reporting window. These three students were reported as attending instead of withdrawn. Cause: Causes for the errors were varied. Due to a reporting error, one student?s withdrawal status effective date was incorrectly submitted as the end of his current term instead of the date of his official withdrawal communication. Due to timing of the NSLDS initial reporting for the term, one student?s withdrawal status effective date was incorrectly entered as the end of his previous term; the effective date should have been during the first month of the subsequent term which he attended for several days, and from which he then withdrew. Due to an error in automated enrollment status reporting package parameters, three students withdrew prior to the end of the spring semester, but their withdrawn status changes were inadvertently excluded from the automated enrollment roster reporting. Effect: Each of these five students had an incorrect data reported to NSLDS relating to their withdrawal. The result is an incorrect beginning date for their loan repayment grace periods. Questioned Costs: None reported. Context/Sampling: A nonstatistical sample of 68 students who received $582,192 in Title IV Aid, out of a population of 806 students who received $9,210,850 in Title IV aid. All students in the population and sample withdrew, graduated, or had a reduction or increase in attendance levels during the year. 5 of the students had errors in reported data. Repeat Finding from Prior Year: No Recommendation: We recommend that the University revisit enrollment status change reporting policies to ensure that student changes entered into Jenzabar are appropriately included in the regularly scheduled enrollment reporting roster uploads. Further, we suggest that the University analyze the specific situations to determine how and why the errors occurred. View of Responsible Officials: Management agrees with the finding. See Corrective action plan.