Finding Text
Finding 2023-002 – Procurement, Suspension and Debarment (Material Weakness in Internal Controls over Compliance and Material Noncompliance)
Major Program Affected –
AL Number Program Name Award Number Award Year
93.441 Indian Self-Determination 248-96-0027 2023
Criteria – The Tribe’s procurement policies and procedures require at least three written bids or quotes for purchases over $2,500. Federal regulations require that grantees have controls in place to verify that vendors are not suspended or debarred prior to entering into contracts for goods or services exceeding $25,000.
In accordance with 2 CFR 200.213, federal regulations and criteria of the Indian Self-Determination and Education Assistance Act (ISDEAA) requires that full bid and open competition be promoted in soliciting offers and awarding contracts for purchases. Contracting without providing for full and open competition is only permitted if there is only one responsible source and no other supplies or services will satisfy agency requirements, among other circumstances.
Condition and Context – During the year, the Tribe had eight vendor contracts for the Indian Self-Determination program with expenditures greater than $2,500. Using a random sample methodology, we selected a sample of two vendors. For both vendors tested, we noted there was no evidence that three written bids or quotes were obtained prior to vendor selection. The Tribe provided sole source justification, however, the description for justifying limiting competition was not in accordance with the Tribe’s procurement policy.
The Tribe had two vendor contracts with expenditures greater than $25,000. For both vendors tested, we noted there was no evidence that a suspension and debarment check was performed before entering into contracts or making payments to the vendors. Based on our verification on www.sam.gov, we noted both vendors were not suspended or debarred.
Cause – A combination of lack of adequate personnel, and insufficient internal controls over the procurement, suspension and debarment procedures may have contributed to this finding. Additionally, the Tribe’s procurement policies do not address the suspension and debarment requirements.
Effect – The Tribe could be subjected to questioned costs or other sanctions from funding agencies if they determine the program did not follow its procurement policies. The Tribe could be subjected to questioned costs or other sanctions from funding agencies if they determine vendors paid with federal funding were suspended or debarred.
Questioned Costs – We are unable to determine if the Tribe could have obtained a better price for procurement that was not made through a full and open competitive process, and as such we cannot determine if any overpayment may have occurred. Therefore, questioned costs are unknown. Further, the vendors we tested were not suspended or debarred, so there are no question costs to report related to suspension and debarment requirements.
Recommendation – We recommend the Tribe re-evaluate its internal controls over procurement, suspension and debarment and implement a supervisory review process to ensure compliance with the Tribe’s policies. We also recommend the Tribe consider updating its procurement policy in accordance with the 2024 Revisions to the Uniform Guidance (2 CFR 200), which would reduce undue burden on the Tribe’s finance and program manager personnel and Tribal Council.
Views of Responsible Officials – The Tribe has continued to train new program and department staff regarding procurement thresholds for Request for Proposal’s (RFP’s) and will update the continued training with emphasis on threshold amounts to endure adherence to the current procurement policy. The Tribe has experienced a large amount of program and department personnel turned over post pandemic resulting in program staff that were only minimally trained. The Tribe will complete a comprehensive review of the RFP process and purpose changes to our internal policy and controls to align in the future with guidance standards. The Tribe will implement a two-part process to review bidding procedures to ensure alignment with existing policies. The Tribe has implemented a new debarment procedure that uses time and date stamp information on all debarment searches and an of attestation of search being done and by whom.