Finding 1101079 (2024-001)

Significant Deficiency
Requirement
C
Questioned Costs
$1
Year
2024
Accepted
2025-02-27
Audit: 344088
Organization: Eureka College (IL)
Auditor: Sikich CPA LLC

AI Summary

  • Core Issue: The College held excess cash from federal student aid for more than the allowed time, violating cash management rules.
  • Impacted Requirements: Non-compliance with 34 CFR 668.163 and 668.166 regarding timely disbursement of federal funds.
  • Recommended Follow-Up: Implement new procedures and cash controls to prevent excess cash retention in the future.

Finding Text

2024-001 - Student Financial Aid Cluster - (a) Federal Pell Grant (b) Federal Supplemental Educational Opportunity Grant (c) Federal Work Study Grant (d) Federal Perkins Loan Program (e) Federal Direct Student Loans (f) Teacher education Assistance for College and Higher Education ALN No. (a) 84.063 (b) 84.007 (c) 84.033 (d) 84.038 (e) 84.268 (f) 84.379 - Year Ended June 30, 2024. Criteria: 34 CFR 668.163, 668.166 notes, “the Secretary considers excess cash to be any amount of title IV, HEA program funds, other than Federal Perkins Loan program funds, that an institution does not disburse to students by the end of the third business day following the date the institution received those funds from the Secretary or deposited or transferred to its depository account previously disbursed title IV, HEA program funds, such as those resulting from award adjustments, recoveries, or cancellations. An institution may maintain for up to seven days an amount of excess cash that does not exceed one percent of the total amount of funds the institution drew down in the prior award year. The institution must return immediately to the Secretary any amount of excess cash over the one-percent tolerance and any amount of excess cash remaining in its account after the seven-day tolerance period.(34 CFR 668.163, 668.166)”. Condition: During our testing of thirty-seven draw downs, we noted four individuals (11%) that resulted in having cash on hand that exceeded the immediate disbursement need for three working days and the excess cash tolerances were not eliminated within seven working days. We consider this condition to be a significant deficiency relating to the Cash Management compliance requirement. Statistical sampling was not used in making sample selections. Questioned Costs: $25,712 Cause and Effect: The condition was caused by changes in students enrollment statuses that were not caught in their reconciliation process which resulted in them requesting funds from the Common Origination and Disbursement (COD) system although they were no longer eligible for disbursements in the Spring semester due to graduating, withdrawing, or other circumstances. As a result, the College is retaining federal monies longer than allowed. Recommendation: We recommend that the College implement procedures and cash controls to avoid having excess cash. Views of Responsible Officials: Management agrees with this Single Audit Finding and response is included in the Corrective Action Plan.

Categories

Questioned Costs Student Financial Aid Cash Management

Other Findings in this Audit

Programs in Audit

ALN Program Name Expenditures
84.268 Federal Direct Student Loans $2.56M
84.063 Federal Pell Grant Program $1.43M
11.307 Economic Adjustment Assistance $797,429
84.033 Federal Work-Study Program $82,440
84.031 Higher Education_institutional Aid $67,920
84.007 Federal Supplemental Educational Opportunity Grants $57,084
84.038 Federal Perkins Loan Program $54,815
45.301 Museums for America $34,003
45.149 Promotion of the Humanities_division of Preservation and Access $5,160
84.379 Teacher Education Assistance for College and Higher Education Grants (teach Grants) $3,772