Audit 55320

FY End
2022-09-30
Total Expended
$6.60M
Findings
4
Programs
1
Year: 2022 Accepted: 2023-02-27
Auditor: Cohnreznick LLP

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
58531 2022-001 Material Weakness - N
58532 2022-001 Material Weakness - N
634973 2022-001 Material Weakness - N
634974 2022-001 Material Weakness - N

Programs

ALN Program Spent Major Findings
14.157 Supportive Housing for the Elderly $6.20M Yes 1

Contacts

Name Title Type
V6K1ZX85HS97 Major Philip Swyers Auditee
4047286700 Amy Blocker Auditor
No contacts on file

Notes to SEFA

Title: Note - Basis of presentation Accounting Policies: Note B - Summary of significant accounting policiesExpenditures reported on the Schedule are reported on the accrual basis of accounting. Suchexpenditures are recognized following, as applicable, the cost principles contained in the UniformGuidance. Catherine Booth Friendship House has elected not to use the 10-percent de minimisindirect cost rate allowed under Uniform Guidance. De Minimis Rate Used: N Rate Explanation: The auditee did not use the de minimis cost rate. The accompanying schedule of expenditures of federal awards includes the federal award activity of Catherine Booth Friendship House, HUD Project No.: 113-EE021, under programs of the federal government for the year ended September 30, 2022. The information in this 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 Audits Requirements for Federal Awards ("Uniform Guidance"). Because the Schedule presents only a selected portion of the operations of Catherine Booth Friendship House, it is not intended to and does not present the financial position,changes in net assets, or cash flows of Catherine Booth Friendship House.
Title: Note C - U.S. Department of Housing and Urban Development loan program Accounting Policies: Note B - Summary of significant accounting policiesExpenditures reported on the Schedule are reported on the accrual basis of accounting. Suchexpenditures are recognized following, as applicable, the cost principles contained in the UniformGuidance. Catherine Booth Friendship House has elected not to use the 10-percent de minimisindirect cost rate allowed under Uniform Guidance. De Minimis Rate Used: N Rate Explanation: The auditee did not use the de minimis cost rate. Catherine Booth Friendship House has received a U.S. Department of Housing and UrbanDevelopment capital grant under Section 202 of the National Housing Act. The capital grant balance outstanding at the beginning of the year is included in the federal expenditures presented in the Schedule. Catherine Booth Friendship House received no additional grants during the year. The balance of the capital advance outstanding at September 30, 2022 consists of:A: Number Name of Federal Program or ClusterOutstandingBalance atSeptember 30,202214.157 Section 202 Capital Advance $ 6 ,195,244

Finding Details

Department of Housing and Urban Development Finding 2022-001 Section 202 Supportive Housing for the Elderly, AL 14.157 Statement of Condition During the year ended September 30, 2022, the Organization repaid affiliate advances totaling $73,000 without HUD approval. The advances were made as a result of delays in receipt of PRAC funds used for operations. Criteria The terms of the HAP contract and HUD handbook 4370.2 require repayments of related party loans to be limited to available surplus cash computed on a semi-annual or annual basis unless approved by HUD. As the Organization is a nonprofit and does not receive surplus cash, HUD approval for repayment was required. Cause Delays in receiving the PRAC renewal funds resulted in the affiliate lending funds to the property to fund operations. Upon final receipt of PRAC funds, the affiliate was repaid a portion of the advances made. Procedures were not in place to ensure that repayment of related party advances were approved by HUD. Effect or Potential Effect The repayment of $73,000 was technically an unauthorized distribution without HUD approval, and therefore considered to be a questioned cost. Questioned Costs $73,000 Recommendation Management should obtain HUD approval of repayment of these advances as well as repayment of the remaining $23,000 advances outstanding. In the future, management should request PRAC funding advances, if needed, from the replacement reserve or residual receipts reserve, or obtain HUD approval for repayment to Owner upon receipt of PRAC funds. Auditor Noncompliance Code: H - Unauthorized distribution of project assets (REAC); N - Special Tests and Provisions (UG). Finding Resolution Status: In process. The remaining $23,000 advance was repaid to the affiliate North Texas Area Command on October 7, 2022. Approval on all $96,000 of the unauthorized transfers is outstanding as of January 3, 2023. Management is planning to reach out to HUD for approval in the near future. Reporting Views of Responsible Officials The funds were a short-term advance to the property by the affiliate to fund operations, to enable management to continue to provide services to our elderly tenants and pay our staff while the property waited for the PRAC funds from HUD. These funds were not distributed to the officers or owners and the advances were not collateralized. In the future we will obtain HUD approval first, or we will request withdrawal from replacement reserves or residual receipts reserve.
Department of Housing and Urban Development Finding 2022-001 Section 202 Supportive Housing for the Elderly, AL 14.157 Statement of Condition During the year ended September 30, 2022, the Organization repaid affiliate advances totaling $73,000 without HUD approval. The advances were made as a result of delays in receipt of PRAC funds used for operations. Criteria The terms of the HAP contract and HUD handbook 4370.2 require repayments of related party loans to be limited to available surplus cash computed on a semi-annual or annual basis unless approved by HUD. As the Organization is a nonprofit and does not receive surplus cash, HUD approval for repayment was required. Cause Delays in receiving the PRAC renewal funds resulted in the affiliate lending funds to the property to fund operations. Upon final receipt of PRAC funds, the affiliate was repaid a portion of the advances made. Procedures were not in place to ensure that repayment of related party advances were approved by HUD. Effect or Potential Effect The repayment of $73,000 was technically an unauthorized distribution without HUD approval, and therefore considered to be a questioned cost. Questioned Costs $73,000 Recommendation Management should obtain HUD approval of repayment of these advances as well as repayment of the remaining $23,000 advances outstanding. In the future, management should request PRAC funding advances, if needed, from the replacement reserve or residual receipts reserve, or obtain HUD approval for repayment to Owner upon receipt of PRAC funds. Auditor Noncompliance Code: H - Unauthorized distribution of project assets (REAC); N - Special Tests and Provisions (UG). Finding Resolution Status: In process. The remaining $23,000 advance was repaid to the affiliate North Texas Area Command on October 7, 2022. Approval on all $96,000 of the unauthorized transfers is outstanding as of January 3, 2023. Management is planning to reach out to HUD for approval in the near future. Reporting Views of Responsible Officials The funds were a short-term advance to the property by the affiliate to fund operations, to enable management to continue to provide services to our elderly tenants and pay our staff while the property waited for the PRAC funds from HUD. These funds were not distributed to the officers or owners and the advances were not collateralized. In the future we will obtain HUD approval first, or we will request withdrawal from replacement reserves or residual receipts reserve.
Department of Housing and Urban Development Finding 2022-001 Section 202 Supportive Housing for the Elderly, AL 14.157 Statement of Condition During the year ended September 30, 2022, the Organization repaid affiliate advances totaling $73,000 without HUD approval. The advances were made as a result of delays in receipt of PRAC funds used for operations. Criteria The terms of the HAP contract and HUD handbook 4370.2 require repayments of related party loans to be limited to available surplus cash computed on a semi-annual or annual basis unless approved by HUD. As the Organization is a nonprofit and does not receive surplus cash, HUD approval for repayment was required. Cause Delays in receiving the PRAC renewal funds resulted in the affiliate lending funds to the property to fund operations. Upon final receipt of PRAC funds, the affiliate was repaid a portion of the advances made. Procedures were not in place to ensure that repayment of related party advances were approved by HUD. Effect or Potential Effect The repayment of $73,000 was technically an unauthorized distribution without HUD approval, and therefore considered to be a questioned cost. Questioned Costs $73,000 Recommendation Management should obtain HUD approval of repayment of these advances as well as repayment of the remaining $23,000 advances outstanding. In the future, management should request PRAC funding advances, if needed, from the replacement reserve or residual receipts reserve, or obtain HUD approval for repayment to Owner upon receipt of PRAC funds. Auditor Noncompliance Code: H - Unauthorized distribution of project assets (REAC); N - Special Tests and Provisions (UG). Finding Resolution Status: In process. The remaining $23,000 advance was repaid to the affiliate North Texas Area Command on October 7, 2022. Approval on all $96,000 of the unauthorized transfers is outstanding as of January 3, 2023. Management is planning to reach out to HUD for approval in the near future. Reporting Views of Responsible Officials The funds were a short-term advance to the property by the affiliate to fund operations, to enable management to continue to provide services to our elderly tenants and pay our staff while the property waited for the PRAC funds from HUD. These funds were not distributed to the officers or owners and the advances were not collateralized. In the future we will obtain HUD approval first, or we will request withdrawal from replacement reserves or residual receipts reserve.
Department of Housing and Urban Development Finding 2022-001 Section 202 Supportive Housing for the Elderly, AL 14.157 Statement of Condition During the year ended September 30, 2022, the Organization repaid affiliate advances totaling $73,000 without HUD approval. The advances were made as a result of delays in receipt of PRAC funds used for operations. Criteria The terms of the HAP contract and HUD handbook 4370.2 require repayments of related party loans to be limited to available surplus cash computed on a semi-annual or annual basis unless approved by HUD. As the Organization is a nonprofit and does not receive surplus cash, HUD approval for repayment was required. Cause Delays in receiving the PRAC renewal funds resulted in the affiliate lending funds to the property to fund operations. Upon final receipt of PRAC funds, the affiliate was repaid a portion of the advances made. Procedures were not in place to ensure that repayment of related party advances were approved by HUD. Effect or Potential Effect The repayment of $73,000 was technically an unauthorized distribution without HUD approval, and therefore considered to be a questioned cost. Questioned Costs $73,000 Recommendation Management should obtain HUD approval of repayment of these advances as well as repayment of the remaining $23,000 advances outstanding. In the future, management should request PRAC funding advances, if needed, from the replacement reserve or residual receipts reserve, or obtain HUD approval for repayment to Owner upon receipt of PRAC funds. Auditor Noncompliance Code: H - Unauthorized distribution of project assets (REAC); N - Special Tests and Provisions (UG). Finding Resolution Status: In process. The remaining $23,000 advance was repaid to the affiliate North Texas Area Command on October 7, 2022. Approval on all $96,000 of the unauthorized transfers is outstanding as of January 3, 2023. Management is planning to reach out to HUD for approval in the near future. Reporting Views of Responsible Officials The funds were a short-term advance to the property by the affiliate to fund operations, to enable management to continue to provide services to our elderly tenants and pay our staff while the property waited for the PRAC funds from HUD. These funds were not distributed to the officers or owners and the advances were not collateralized. In the future we will obtain HUD approval first, or we will request withdrawal from replacement reserves or residual receipts reserve.