Finding Text
Lack of Supporting Documentation for Non-Payroll Disbursements - Activities Allowed or Unallowed and Allowable Costs/Cost Principles (Significant Deficiency) AL Number and Title: 84.362A - Native Hawaiian Education Program Award Number: S362A200024
Award Year: 2023
Federal Agency: Department of Education
Criteria: Under 2 CFR § 200.302(b)(3) and 2 CFR § 200.403(g), non-Federal entities are required to maintain documentation to support costs charged to federal awards. Costs must be necessary, reasonable, allocable, and adequately documented to
be allowable under a federal program. Internal controls should ensure proper retention of records for audit and compliance purposes. Condition: During our testing of compliance and internal controls over compliance for Activities Allowed or Unallowed and Allowable Costs/Cost Principles, we selected a haphazard sample of 40 non-payroll disbursements. The auditee was unable to provide any supporting documentation (such as invoices or receipts) for five transactions totaling $200.19. These transactions were for program and class supplies from various vendors. Cause: The lack of documentation appears to result from weaknesses in the Organization’s record-keeping practices and non-compliance with established documentation retention policies. The Organization’s internal controls did not ensure that all supporting documentation for federal expenditures was consistently maintained Effect: Without adequate supporting documentation, we were unable to determine whether these costs were allowable, allocable, and reasonable in accordance with federal grant requirements. This noncompliance increases the risk that unallowable or unauthorized costs could be charged to the federal program without detection. Repeat Finding? No Recommendation:
We recommend that the Organization:
1. Enhance internal controls to ensure that all federal expenditures are properly supported
and retained for compliance purposes;
2. Implement a centralized documentation retention system to track and store invoices,
receipts, and other supporting records;
3. Provide staff training on documentation requirements for federal grant expenditures to
ensure compliance with 2 CFR § 200.302(b)(3) and 2 CFR § 200.403(g); and
4. Conduct periodic internal reviews of disbursement records to verify that required
documentation is maintained and readily available for audit purposes.
Views of Responsible Officials and Planned Corrective Action:
Mana Maoli agrees with the finding and the recommendation. See Part V, Corrective Action Plan.