Finding 1161832 (2024-001)

Material Weakness Repeat Finding
Requirement
M
Questioned Costs
-
Year
2024
Accepted
2025-11-04

AI Summary

  • Core Issue: Lack of evidence for monitoring subrecipients, which is essential for compliance with federal regulations.
  • Impacted Requirements: Noncompliance with 2 CFR 200.332, risking misuse of federal funds and unresolved compliance issues.
  • Recommended Follow-Up: Develop a risk-based monitoring plan, conduct regular reviews, and train staff on compliance requirements.

Finding Text

Finding No: 2024.001 Type: Significant Deficiency - Internal Control: Subrecipient Monitoring Condition: We were not able to substantiate evidence of monitoring grants to others. Criteria: Under 2 CFR 200.332, pass-through entities are required to monitor the activities of subrecipients as necessary to ensure that federal funds are used for authorized purposes in compliance with statutes, regulations, and terms and conditions of the award. This includes evaluating risk of noncompliance, conducting reviews (desk or on-site), following up on deficiencies, and ensuring timely corrective action, as well as resolving audit findings specific to the subaward. Internal control over compliance requirement related to subrecipient monitoring was not evidenced. Amount: not applicable Cause: The nonprofit did not implement sufficient monitoring processes over its subrecipients. Effect or Potential Effect: Failure to monitor subrecipients increases the risk of misused federal funds, nonachievement of performance goals, or uncorrected compliance issues. This can potentially result in questioned costs, the need for repayment of grant funds, reputational damage, and jeopardized future grant eligibility. Repeat Audit Finding: No Recommendations: Establish and implement a risk-based subrecipient monitoring plan that includes documented risk assessments, regular desk and/or on-site reviews, timely followup and resolution of deficiencies, and maintenance of supporting documentation for all monitoring activities. Provide training to staff on subrecipient monitoring requirements and ensure formal procedures comply with 2 CFR 200.332.

Corrective Action Plan

Force Detroit will monitor compliance through: ● Vendors/grantees must submit regular financial and programmatic reports, including expenditures, progress toward goals, and any issues encountered. ● Reports will be reviewed for accuracy, completeness, and alignment with the approved budget and program plan. ● Site visits to verify program activities, financial management practices, and overall compliance. Findings will be documented, and any deficiencies will trigger the Corrective Action Plan. ● Review of financial and programmatic documentation ● Verification of debarment and good standing with regulatory bodies ○ Vendors/grantees must provide confirmation that they are not debarred, suspended, or otherwise restricted from receiving federal funds.

Categories

Subrecipient Monitoring

Other Findings in this Audit

  • 1161833 2024-002
    Material Weakness Repeat

Programs in Audit

ALN Program Name Expenditures
21.027 CORONAVIRUS STATE AND LOCAL FISCAL RECOVERY FUNDS $810,296
16.045 Violence Intervention and Prevention $403,583
21.927 CORONAVIRUS STATE AND LOCAL FISCAL RECOVERY FUNDS $343,652
00.U01 MDHHS $129,836