2 CFR 200 § 200.305

Findings Citing § 200.305

Federal payment.

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About this section
Section 200.305 outlines the rules for federal payments to states and other recipients. It requires that payments minimize delays between fund transfers and disbursements, mandates advance payments for recipients who demonstrate proper financial management, and emphasizes timely payments to contractors.
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FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
State of Utah
Compliance Requirement: C
Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) re...

Federal Funds Received Were Not Disbursed or Refunded Within Required Timeframe(Utah State University)Federal Agency: Department of EducationAssistance Listing Number and Title: VariousFederal Award Number: VariousQuestioned Costs: N/APass-through Entity: N/APrior Year Single Audit Report Finding Number: N/AFor one of the two tested advanced cash draws, Utah State University (University) did not disburse or refund $729,728 of $2,154,816 draw amount within required timeframe. 2 CFR 200.305(b) requires that payments methods must minimize the time elapsing between the transfer of funds from the United States Treasury?and the disbursement by the non-Federal entity? 34 CFR 668.162(b)(3) further requires that these advance funds be disbursed within three business days, but the University did not disburse or refund the advanced amount of $729,728 until over a month later. In addition, the advanced fund that the University held after three business days did not meet the excess cash tolerance criteria as stated in 34 CFR 668.166(b) as excess cash exceeded 1% of total fiscal year 2021 draws and was not fully disbursed within the next seven calendar days. Therefore, the University ?must return immediately?any amount of excess cash?? to the U.S. Department of Education (ED) as required by this federal regulation. This issue was the result of University personnel not monitoring advance cash draws to ensure they were disbursed or refunded within the required timeframe. Due to noncompliance with federal regulations, the ED could revoke the University?s permission to request funds on an advance basis. Because the excess cash was either disbursed or refunded to ED before year-end, no costs were questioned.Recommendation:We recommend that the University monitor the amount of advance draws and disburse or refund advance funds within the required timeframe.University?s Response:We agree with the finding.

FY End: 2022-06-30
Maricopa County
Compliance Requirement: C
Assistance Listings number and name: 84.374 Teacher and School Leader Incentive GrantsAward number and year: U374A160041-20, October 1, 2020 through September 30, 2022Federal agency: U.S. Department of EducationCompliance requirement: Cash managementQuestioned costs: $925,524Condition?Contrary to federal regulation, the Maricopa County School Superintendent?s Office overdrew $1,370,113 of program monies for its May 2022 reimbursement request for program expenditures it did not incur, or 18 perce...

Assistance Listings number and name: 84.374 Teacher and School Leader Incentive GrantsAward number and year: U374A160041-20, October 1, 2020 through September 30, 2022Federal agency: U.S. Department of EducationCompliance requirement: Cash managementQuestioned costs: $925,524Condition?Contrary to federal regulation, the Maricopa County School Superintendent?s Office overdrew $1,370,113 of program monies for its May 2022 reimbursement request for program expenditures it did not incur, or 18 percent of the program?s total expenditures for the year.Effect?The Office risks having to return the $1,370,113 of program monies for expenditures that it had not incurred and was not eligible to receive, along with any interest it earned exceeding $500, to the federal grantor. However, the Office incurred additional program expenditures of $444,589 during the fiscal year for which it did not request reimbursement because it wanted to first resolve the $1,370,113 overdrawn amount. Therefore, the total questioned costs at fiscal year-end were $925,524, which the Office reported notifying the federal grantor of the error and requesting guidance on how to repay the federal monies. The federal program ended on September 30, 2022, and the Office will need to work with the federal grantor to resolve the overpayment during the grant?s close-out.Cause?The Office?s former Assistant Superintendent incorrectly based the May 2022 drawdown on the wrong time period?July 1, 2019 through May 2020 instead of the time period of July 1, 2021 through May 2022, resulting in a requested drawdown of $1,915,288 rather than the needed drawdown of $545,175?due to an apparent oversight. The Office?s policies and procedures did not require the reviewer to perform a reconciliation of the year?s program expenditures to the drawdown request prior to approving the request for submission to the federal grantor, and the assigned reviewer did not detect the error. Had the Office performed a more careful preparation and detailed review of the reimbursement request, it may have been able to detect and correct the error before submitting the reimbursement request to the federal grantor.Criteria?The Office?s federal award terms and federal Uniform Guidance require the Office to use the reimbursement method to administer the program, whereby the Office is reimbursed with federal program monies only after it spends its own monies for authorized program purposes and requests reimbursement from the federal grantor (2 Code of Federal Regulations [CFR] ?200.305[b][3]). Accordingly, both the Office and County-wide policies and procedures require an independent review and approval of federal program reimbursement requests and reports before submitting them to the grantor. Also, federal regulation requires the County and all its departments administering federal grants to establish and maintain effective internal control over federal awards that provides reasonable assurance that federal programs are being administered in accordance with all applicable laws, regulations, and award terms (2 CFR ?200.303).Recommendations?The Office should develop and implement policies and procedures for preparing and reviewing federal reimbursement requests that require:1. The assigned reimbursement request reviewer to review or reconcile program expenditures recorded on the County?s financial accounting system to the drawdown request before approving the request to be submitted to the federal grantor.2. The Office to continue to work with the federal grantor to repay award amounts exceeding what the Office was eligible to receive, if any such amounts exist during the grant's close-out.The County?s corrective action plan at the end of this report includes the views and planned corrective action of its responsible officials. We are not required to audit and have not audited these responses and planned corrective actions and therefore provide no assurances as to their accuracy.

FY End: 2022-06-30
Rowan-Salisbury Board of Education
Compliance Requirement: C
SIGNIFICANT DEFICIENCYFinding Number: 2022-001Prior Year Finding Number: N/ACompliance Requirement: Cash ManagementProgram: Teacher and School Leader Incentive ProgramFederal Assistance Listing Number: 84.374AAward #: S374A200044Award Year: 7/1/2021 ? 6/30/2022Governing Department/Agency: United States Department of EducationCriteria: The Uniform Guidance in 2 CFR section 200.305(b)(3) requires that program costs must be paid by non-federal entity funds before submitting a payment request for re...

SIGNIFICANT DEFICIENCYFinding Number: 2022-001Prior Year Finding Number: N/ACompliance Requirement: Cash ManagementProgram: Teacher and School Leader Incentive ProgramFederal Assistance Listing Number: 84.374AAward #: S374A200044Award Year: 7/1/2021 ? 6/30/2022Governing Department/Agency: United States Department of EducationCriteria: The Uniform Guidance in 2 CFR section 200.305(b)(3) requires that program costs must be paid by non-federal entity funds before submitting a payment request for reimbursement.Condition: Based on testing performed over cash management, we noted that for all twelve months during the year, management requested funds for an amount that was different and often more than actual expenditures for the given month. Specifically, during November 2021, the grant team noted that the budgeted fringe rates differed from actuals. This was brought to the attention of the finance department who was unable to explain the discrepancy. Rather than requesting reimbursement based on actual expenditures, the team kept track of the discrepancy and requested reimbursement based on the budgeted amounts. Upon investigating further, it was deemed that the difference was due to the grant team miscalculating the fringe benefit due to pre-tax contributions, and therefore, the Organization requested reimbursement for an amount more than what was actually expended.Cause: Although program management has controls in place for the grant analyst to perform a reconciliation between the budgeted amounts and actual expenditures each month prior to requesting for reimbursement, discrepancies noted are not fully investigated prior to requesting funds for reimbursement. In addition, the error occurred during the period of time when the Organization?s CFO had resigned. Once a new CFO was in place, the error was identified and resolved.Effect: Without adequate controls in place to ensure that discrepancies between budget to actual expenditures are being fully investigated and resolved prior to requests for reimbursements being made, non-compliance with cash management requirements could occur and not be detected by management.Questioned Costs ? Known: $7,793.78Related Noncompliance ? NoncomplianceRecommendation: Management should strengthen the Organization?s internal controls to ensure that program staff are timely investigating and resolving all differences noted in the monthly reconciliation and only requesting reimbursement for those costs that have been expended during the month.

FY End: 2022-06-30
American Baptist Theological Seminary
Compliance Requirement: C
Cash Management Criteria or specific requirement: 2 CFR § 200.305 Federal payment stipulates a non-federal entity must be paid in advance, provided it maintains or demonstrates the willingness to maintain both written procedures that minimize the time elapsing between the transfer of funds and disbursement by the non-Federal entity, and financial management systems that meet the standards for fund control and accountability as established in this part. Advance payments to a non-Federal entity m...

Cash Management Criteria or specific requirement: 2 CFR § 200.305 Federal payment stipulates a non-federal entity must be paid in advance, provided it maintains or demonstrates the willingness to maintain both written procedures that minimize the time elapsing between the transfer of funds and disbursement by the non-Federal entity, and financial management systems that meet the standards for fund control and accountability as established in this part. Advance payments to a non-Federal entity must be limited to the minimum amounts needed and be timed to be in accordance with the actual, immediate cash requirements of the non-Federal entity in carrying out the purpose of the approved program or project. The timing and amount of advance payments must be as close as is administratively feasible to the actual disbursements by the non-Federal entity for direct program or project costs and the proportionate share of any allowable indirect costs. Interest earned amounts up to $500 per year may be retained by the non-Federal entity for administrative expense. Any additional interest earned on Federal advance payments deposited in interest-bearing accounts must be remitted annually to the Department of Health and Human Services. Condition and Context: The Title IIIB funds drawn in advance were not limited to immediate cash requirements. Cause: Due to the improper reconciliation of deferred revenue liability, although the college was drawing for immediate current payments, some of the construction related payments included in the current drawdowns had previously been obligated and included in the computation of the previous year’s expenditures and earned revenue. Effect: The School has drawn down funds above its immediate cash requirements. Questioned costs: None Recommendation The Institution follow controls to properly ensure that funds drawn have been used before drawing additional funds in order to minimize the time between receipt of funds from the granting agency and disbursement of those funds. The institution also needs to compute interest earned on advance funds and remit it to the grantor when required.

FY End: 2022-06-30
North Fork Area Transit
Compliance Requirement: ABC
Activities Allowed or Unallowed; Allowable Costs/Cost Principles; Cash Management Federal Award Identification Assistance Listing Program Title: Formula Grants for Rural Areas Assistance Listing Program Number: 20.509 Federal Award ID Number and Year: Various Federal Agency: U.S. Department of Transportation Pass-Through Entity: Nebraska Department of Transportation Criteria The Organization must establish and maintain effective internal control over the Federal award that provides reasonable as...

Activities Allowed or Unallowed; Allowable Costs/Cost Principles; Cash Management Federal Award Identification Assistance Listing Program Title: Formula Grants for Rural Areas Assistance Listing Program Number: 20.509 Federal Award ID Number and Year: Various Federal Agency: U.S. Department of Transportation Pass-Through Entity: Nebraska Department of Transportation Criteria The Organization must establish and maintain effective internal control over the Federal award that provides reasonable assurance that they are managing the Federal award in compliance with Federal statutes, regulations, and the terms and conditions of the Federal Award (2 CFR 200.303). Costs must be adequately documented. (2 CFR 200.403(g)). Costs must be paid for prior to the date of the reimbursement request. (2 CFR 200.305(b)(3)). Condition The Organization lacked adequate documentation to support: - That certain expenditures followed an approval process before being paid. - That certain expenditures were for allowable activities and in accordance with allowable cost principles. The Organization requested reimbursement for expenses that had not yet been paid. Repeat Finding No. Cause Procedures within the Organization were inadequate to ensure that expenditures follow a review and approval process prior to being paid, that costs were in accordance with Federal requirements and that only costs which had been paid for were requested for reimbursement. Effect or Potential Effect Increased potential for errors or misuse of funds. Questioned Costs Known $35,806 Statistical Sample No. Context During the fiscal year, the Organization requested a monthly reimbursement from the pass-through entity. Auditor selected three of these monthly reimbursement requests (September 2021, May 2022, and June 2022) for testing, reviewing all non-payroll-related expenses, resulting in testing approximately 90 different line items composing many more individual transactions. Within this sample, auditor noted: - Multiple instances where no documentation existed to support a system of internal control whereby expenditures were approved by a competent individual prior to their being paid. - Multiple instances where documentation provided did not include sufficient detail to determine if products and/or services provided meet the definition of allowable activity, resulting in questioned costs of $2,921. - One expenditure for which reimbursement was requested in May 2022 and again in June 2022 amounting to $1,283 (questioned cost amount included in previous point). - For June 2022, an inability to crosswalk between the Organization’s internal fuel summary report and the related vendor statements, resulting in questioned costs of $32,885. Additionally, we noted both character and line transposition errors between the fuel summary report and the reimbursement request. Similarly, auditor was unable to obtain evidence that fuel expenditures were paid prior to the Organization requesting reimbursement. - Multiple instances of expenditure misclassification in violation of the invoicing and documentation guidelines issued by the pass-through entity, resulting in no additional questioned costs. Recommendation We recommend the Organization establish a system of internal control consisting of policies and procedures whereby all expenditures are properly explained with supporting documentation and are reviewed and approved prior to payment. Additionally, that only those expenditures which have been paid for are requested for reimbursement. Views of Responsible Officials See Corrective Action Plan, below.

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