Audit 53415

FY End
2022-06-30
Total Expended
$2.90M
Findings
8
Programs
13
Year: 2022 Accepted: 2023-03-30

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
47191 2022-003 Significant Deficiency - ABH
47192 2022-004 - - N
47193 2022-003 Significant Deficiency - ABH
47194 2022-004 - - N
623633 2022-003 Significant Deficiency - ABH
623634 2022-004 - - N
623635 2022-003 Significant Deficiency - ABH
623636 2022-004 - - N

Contacts

Name Title Type
PD1TT3GNW5M6 Kaye Seibel Auditee
7017465431 Nicole Heldstab Auditor
No contacts on file

Notes to SEFA

Title: BASIS OF PRESENTATION Accounting Policies: Expenditures reported on the accompanying schedule of expenditures of federal awards (theschedule) are reported on the accrual basis of accounting. Such expenditures are recognizedfollowing the cost principles contained in the Uniform Guidance, wherein certain types ofexpenditures are not allowable or are limited as to reimbursement. Negative amounts shown onthe Schedule represent adjustments or credits made in the normal course of business toamounts reported as expenditures in prior years. De Minimis Rate Used: N Rate Explanation: The auditee did not use the de minimis cost rate. The schedule includes the federal grant activity of Red River Valley Community Action underprograms of the federal government for the year ended June 30, 2022. The information in thisSchedule is presented in accordance with the requirements of Title 2 U.S. Code of FederalRegulations Part 200, Uniform Administrative Requirements, Cost Principles, and AuditRequirements for Federal Awards (Uniform Guidance). Because the schedule presents only aselected portion of the operations of Red River Valley Community Action, it is not intended toand does not present the financial position, changes in net assets, or cash flows of Red RiverValley Community Action.
Title: SUBRECIPIENTS Accounting Policies: Expenditures reported on the accompanying schedule of expenditures of federal awards (theschedule) are reported on the accrual basis of accounting. Such expenditures are recognizedfollowing the cost principles contained in the Uniform Guidance, wherein certain types ofexpenditures are not allowable or are limited as to reimbursement. Negative amounts shown onthe Schedule represent adjustments or credits made in the normal course of business toamounts reported as expenditures in prior years. De Minimis Rate Used: N Rate Explanation: The auditee did not use the de minimis cost rate. During the year ended June 30, 2022, Red River Valley Community Action did not pass anyfederal money to subrecipients.

Finding Details

2022-003 Federal Program AL 93.569 Community Services Block Grant Compliance Requirement Activities Allowed or Unallowed, Allowable Costs/Cost Principles and Period of Performance Criteria Per Uniform Guidance 2 CFR section 200.403(h), a non-federal entity may charge only allowable costs incurred during the federal award?s period of performance or grant period. The ?Basic Guidelines? section of 2 CFR Part 200, Subpart E Section 200.403, requires charges to federal awards to be necessary and reasonable for the performance of the federal award and be allocable thereto under these principles. Costs must also be adequately documented. Condition The Organization did not have the invoice or other supporting documentation for a credit card transaction charged to this federal program. Therefore, was unable to determine period of performance for this expense or if this was an allowable cost or activity. An employee who left the Organization was paid a percentage of their sick leave bank that exceeded the Organization?s policy. This severance payment was charged to this federal program. Cause The Organization did not have sufficient procedures in place to ensure all supporting documentation for disbursements are obtained and to ensure the correct severance amount is paid based on the Organization?s policy. Effect The Organization charged this federal program for an expense with no supporting documentation and an employee overpayment. Context A sample of 46 transactions were selected for testing this federal program. The Organization did not have supporting documentation for one credit card transaction. The Organization has a severance policy that allows employees to be paid 10% of their sick leave bank balance when they leave the Organization. This employee was eligible for 96 hours of sick leave but was paid for 114 hours due to an error in the calculation. Questioned Costs Immaterial Repeat Finding No Recommendation The Organization should review their policies and procedures to ensure supporting documentation is obtained for all disbursements and employees are paid the correct amount based on the Organization?s policy. Views of Responsible Officials and Planned Corrective Actions Management agrees with the recommendation and will review their procedures to ensure all supporting documentation is obtained for disbursements and employees are paid the correct amount per policy.
Federal Program AL 93.569 Community Services Block Grant Compliance Requirement Special Test ? Tri-Partite Board Compliance Criteria The CSBG Act at 42 USC 9910(a), requires nonprofit organizations administer CSBG through a board comprising of one third of the members be elected representatives in the community or their designee and not fewer than one third of the members be representatives of the lowincome individuals and families served. Condition The Organization?s board did not meet the one third requirement for representatives of lowincome individuals. Cause The Organization has not been able to find board members to meet the low-income criteria. Effect The Organization did not meet the Tri-Partite Board Compliance requirement. Context The Organization has a total of 12 board member positions. During the year ended June 30, 2022, the Organization only had 3 low-income representative board members, instead of the 4 required. The Organization met the other requirement by having 4 members that are elected representatives in the community or their designee. Questioned Costs None Repeat Finding No Recommendation The Organization should continue to look for board members who represent the low-income community. Views of Responsible Officials and Planned Corrective Actions Management agrees with the recommendation and will continue to look for low-income representative board members.
2022-003 Federal Program AL 93.569 Community Services Block Grant Compliance Requirement Activities Allowed or Unallowed, Allowable Costs/Cost Principles and Period of Performance Criteria Per Uniform Guidance 2 CFR section 200.403(h), a non-federal entity may charge only allowable costs incurred during the federal award?s period of performance or grant period. The ?Basic Guidelines? section of 2 CFR Part 200, Subpart E Section 200.403, requires charges to federal awards to be necessary and reasonable for the performance of the federal award and be allocable thereto under these principles. Costs must also be adequately documented. Condition The Organization did not have the invoice or other supporting documentation for a credit card transaction charged to this federal program. Therefore, was unable to determine period of performance for this expense or if this was an allowable cost or activity. An employee who left the Organization was paid a percentage of their sick leave bank that exceeded the Organization?s policy. This severance payment was charged to this federal program. Cause The Organization did not have sufficient procedures in place to ensure all supporting documentation for disbursements are obtained and to ensure the correct severance amount is paid based on the Organization?s policy. Effect The Organization charged this federal program for an expense with no supporting documentation and an employee overpayment. Context A sample of 46 transactions were selected for testing this federal program. The Organization did not have supporting documentation for one credit card transaction. The Organization has a severance policy that allows employees to be paid 10% of their sick leave bank balance when they leave the Organization. This employee was eligible for 96 hours of sick leave but was paid for 114 hours due to an error in the calculation. Questioned Costs Immaterial Repeat Finding No Recommendation The Organization should review their policies and procedures to ensure supporting documentation is obtained for all disbursements and employees are paid the correct amount based on the Organization?s policy. Views of Responsible Officials and Planned Corrective Actions Management agrees with the recommendation and will review their procedures to ensure all supporting documentation is obtained for disbursements and employees are paid the correct amount per policy.
Federal Program AL 93.569 Community Services Block Grant Compliance Requirement Special Test ? Tri-Partite Board Compliance Criteria The CSBG Act at 42 USC 9910(a), requires nonprofit organizations administer CSBG through a board comprising of one third of the members be elected representatives in the community or their designee and not fewer than one third of the members be representatives of the lowincome individuals and families served. Condition The Organization?s board did not meet the one third requirement for representatives of lowincome individuals. Cause The Organization has not been able to find board members to meet the low-income criteria. Effect The Organization did not meet the Tri-Partite Board Compliance requirement. Context The Organization has a total of 12 board member positions. During the year ended June 30, 2022, the Organization only had 3 low-income representative board members, instead of the 4 required. The Organization met the other requirement by having 4 members that are elected representatives in the community or their designee. Questioned Costs None Repeat Finding No Recommendation The Organization should continue to look for board members who represent the low-income community. Views of Responsible Officials and Planned Corrective Actions Management agrees with the recommendation and will continue to look for low-income representative board members.
2022-003 Federal Program AL 93.569 Community Services Block Grant Compliance Requirement Activities Allowed or Unallowed, Allowable Costs/Cost Principles and Period of Performance Criteria Per Uniform Guidance 2 CFR section 200.403(h), a non-federal entity may charge only allowable costs incurred during the federal award?s period of performance or grant period. The ?Basic Guidelines? section of 2 CFR Part 200, Subpart E Section 200.403, requires charges to federal awards to be necessary and reasonable for the performance of the federal award and be allocable thereto under these principles. Costs must also be adequately documented. Condition The Organization did not have the invoice or other supporting documentation for a credit card transaction charged to this federal program. Therefore, was unable to determine period of performance for this expense or if this was an allowable cost or activity. An employee who left the Organization was paid a percentage of their sick leave bank that exceeded the Organization?s policy. This severance payment was charged to this federal program. Cause The Organization did not have sufficient procedures in place to ensure all supporting documentation for disbursements are obtained and to ensure the correct severance amount is paid based on the Organization?s policy. Effect The Organization charged this federal program for an expense with no supporting documentation and an employee overpayment. Context A sample of 46 transactions were selected for testing this federal program. The Organization did not have supporting documentation for one credit card transaction. The Organization has a severance policy that allows employees to be paid 10% of their sick leave bank balance when they leave the Organization. This employee was eligible for 96 hours of sick leave but was paid for 114 hours due to an error in the calculation. Questioned Costs Immaterial Repeat Finding No Recommendation The Organization should review their policies and procedures to ensure supporting documentation is obtained for all disbursements and employees are paid the correct amount based on the Organization?s policy. Views of Responsible Officials and Planned Corrective Actions Management agrees with the recommendation and will review their procedures to ensure all supporting documentation is obtained for disbursements and employees are paid the correct amount per policy.
Federal Program AL 93.569 Community Services Block Grant Compliance Requirement Special Test ? Tri-Partite Board Compliance Criteria The CSBG Act at 42 USC 9910(a), requires nonprofit organizations administer CSBG through a board comprising of one third of the members be elected representatives in the community or their designee and not fewer than one third of the members be representatives of the lowincome individuals and families served. Condition The Organization?s board did not meet the one third requirement for representatives of lowincome individuals. Cause The Organization has not been able to find board members to meet the low-income criteria. Effect The Organization did not meet the Tri-Partite Board Compliance requirement. Context The Organization has a total of 12 board member positions. During the year ended June 30, 2022, the Organization only had 3 low-income representative board members, instead of the 4 required. The Organization met the other requirement by having 4 members that are elected representatives in the community or their designee. Questioned Costs None Repeat Finding No Recommendation The Organization should continue to look for board members who represent the low-income community. Views of Responsible Officials and Planned Corrective Actions Management agrees with the recommendation and will continue to look for low-income representative board members.
2022-003 Federal Program AL 93.569 Community Services Block Grant Compliance Requirement Activities Allowed or Unallowed, Allowable Costs/Cost Principles and Period of Performance Criteria Per Uniform Guidance 2 CFR section 200.403(h), a non-federal entity may charge only allowable costs incurred during the federal award?s period of performance or grant period. The ?Basic Guidelines? section of 2 CFR Part 200, Subpart E Section 200.403, requires charges to federal awards to be necessary and reasonable for the performance of the federal award and be allocable thereto under these principles. Costs must also be adequately documented. Condition The Organization did not have the invoice or other supporting documentation for a credit card transaction charged to this federal program. Therefore, was unable to determine period of performance for this expense or if this was an allowable cost or activity. An employee who left the Organization was paid a percentage of their sick leave bank that exceeded the Organization?s policy. This severance payment was charged to this federal program. Cause The Organization did not have sufficient procedures in place to ensure all supporting documentation for disbursements are obtained and to ensure the correct severance amount is paid based on the Organization?s policy. Effect The Organization charged this federal program for an expense with no supporting documentation and an employee overpayment. Context A sample of 46 transactions were selected for testing this federal program. The Organization did not have supporting documentation for one credit card transaction. The Organization has a severance policy that allows employees to be paid 10% of their sick leave bank balance when they leave the Organization. This employee was eligible for 96 hours of sick leave but was paid for 114 hours due to an error in the calculation. Questioned Costs Immaterial Repeat Finding No Recommendation The Organization should review their policies and procedures to ensure supporting documentation is obtained for all disbursements and employees are paid the correct amount based on the Organization?s policy. Views of Responsible Officials and Planned Corrective Actions Management agrees with the recommendation and will review their procedures to ensure all supporting documentation is obtained for disbursements and employees are paid the correct amount per policy.
Federal Program AL 93.569 Community Services Block Grant Compliance Requirement Special Test ? Tri-Partite Board Compliance Criteria The CSBG Act at 42 USC 9910(a), requires nonprofit organizations administer CSBG through a board comprising of one third of the members be elected representatives in the community or their designee and not fewer than one third of the members be representatives of the lowincome individuals and families served. Condition The Organization?s board did not meet the one third requirement for representatives of lowincome individuals. Cause The Organization has not been able to find board members to meet the low-income criteria. Effect The Organization did not meet the Tri-Partite Board Compliance requirement. Context The Organization has a total of 12 board member positions. During the year ended June 30, 2022, the Organization only had 3 low-income representative board members, instead of the 4 required. The Organization met the other requirement by having 4 members that are elected representatives in the community or their designee. Questioned Costs None Repeat Finding No Recommendation The Organization should continue to look for board members who represent the low-income community. Views of Responsible Officials and Planned Corrective Actions Management agrees with the recommendation and will continue to look for low-income representative board members.