Finding 1159424 (2024-003)

Material Weakness Repeat Finding
Requirement
A
Questioned Costs
$1
Year
2024
Accepted
2025-09-30

AI Summary

  • Core Issue: Inadequate documentation and support for payroll allocations to federal grants, leading to potential noncompliance.
  • Impacted Requirements: Compliance with 2 CFR Part 200, specifically the need for accurate records and internal controls for allowable costs.
  • Recommended Follow-Up: Implement a formal time and effort reporting system for employees to document and certify their time on grant activities.

Finding Text

Criteria: SEE must establish internal control procedures over compliance with provisions of 2 U.S. Code of Federal Regulations Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Guidance), that require, among other things, that direct charges to federal awards be for allowable costs. To be an allowable cost, charges must be supported by appropriate documentation and be properly approved. The specific requirements for allowable activities are unique to each Federal Program and are found in the laws, regulations, and the provisions of each contract or grant agreement pertaining to the federal program. Section 200.340(8)(i) of the Uniform Guidance, Standards for Documentation of Personnel Expenses, states, “(1) Charges to Federal awards for salaries and wages must be based on records that accurately reflect the work performed. These records must: (i) Be supported by a system of internal control which provides reasonable assurance that the charges are accurate, allowable, and properly allocated.” Condition/context: During our audit, we noted that the allocation methodology used to distribute payroll and payroll-related expenses across programs and funding sources was not adequately documented or supported. There was an inconsistency of formal effort reports for this specific grant to substantiate the basis for the allocations of expenses charged to the federal programs. Our testing noted that, for 13 of the 40 payroll transactions sampled for ALN 21.027, timesheets did not adequately support the charges to grants. Additionally, in the 15 payroll transactions tested for ALN 66.615, there was no sufficient documentation to support the total fringe benefit amounts charged to the grants. These deficiencies limit our ability to verify that salary and total fringe benefits charged to the grants are based on actual time and effort spent. The samples selected for testing were not chosen using a statistical sampling technique. Cause: This deficiency appears to result from insufficient controls over payroll cost allocation and documentation. SEE needs to enforce a formalized process requiring all project level employees to document and certify their time and effort spent on grant-related activities, similar to SEE Operations employees. Questioned Costs: Unknown Effect: Unsupported payroll allocations increase the risk of noncompliance with grant requirements and may lead to questioned costs during audits. The absence of supporting HR documentation increases the risk of unauthorized or inaccurate salary payments. Recommendation: We recommend that SEE implement a formal time and effort reporting system that requires employees to document and certify the percentage of time spent on grant-funded activities. Repeat Finding: Yes. See Finding 2023-003. Views of Responsible Officials: Management agrees with the finding and procedures have been implemented to address the related issues.

Corrective Action Plan

Single Audit Finding: 2024-003 Allowable Costs and Allowable Activities (Material Weakness in Internal Controls over Compliance) Condition: The auditors identified an instance of material noncompliance; for transactions sampled under ALN 21.027, timesheets did not adequately support the charges to grants. Additionally, in the transactions tested for ALN 66.615, there was no sufficient documentation to support the total fringe benefit amounts charged to the grants. Repeat Finding: Yes, similar deficiencies noted in 2023‐003. Views of Responsible Officials: There was a finding that was noted related to the tracking of personnel costs to the federally funded contract. SEE Accounting and Administration, which includes HR, has established and implemented uniform timekeeping procedures requiring all employees, both exempt and non-exempt, whose salaries are charged to federal contracts to submit accurate and complete timecards that reflect the actual hours worked. These formal procedures are monitored, reviewed, and reconciled on a monthly basis. Official Responsible for Ensuring CAP: Jennifer Hoffman, CEO; Anna Zaricki, CFO; Trevis Bird, COO; Monique Gutierrez, Sr-HRD; Arthur Doi, Controller; and Justin Yamashiro, Audit Manager are responsible for ensuring corrective action is implemented. Planned Completion Date for CAP: December 31, 2026

Categories

Questioned Costs Allowable Costs / Cost Principles

Other Findings in this Audit

  • 1159422 2024-003
    Material Weakness Repeat
  • 1159423 2024-003
    Material Weakness Repeat

Programs in Audit

ALN Program Name Expenditures
66.615 Environmental Justice Thriving Communities Grantmaking Program (ej Tcgm) $739,699
93.243 Substance Abuse and Mental Health Services Projects of Regional and National Significance $258,191
16.751 Edward Byrne Memorial Competitive Grant Program $243,960
93.575 Child Care and Development Block Grant $235,621
98.001 Usaid Foreign Assistance for Programs Overseas $178,112
21.027 Coronavirus State and Local Fiscal Recovery Funds $145,361
93.566 Refugee and Entrant Assistance State/replacement Designee Administered Programs $99,001
15.557 Applied Science Grants $94,441
19.040 Public Diplomacy Programs $32,054
93.569 Community Services Block Grant $22,340
16.045 Community-Based Violence Intervention and Prevention Initiative $10,079