Finding 1166460 (2025-006)

Material Weakness Repeat Finding
Requirement
N
Questioned Costs
-
Year
2025
Accepted
2025-12-23
Audit: 377480
Organization: Kearney Housing Agency (NE)

AI Summary

  • Core Issue: The Agency failed to use the latest depository agreements required by HUD, leading to noncompliance.
  • Impacted Requirements: Agreements must ensure 100% collateralization of uninsured funds with specific U.S. securities, which were not properly monitored.
  • Recommended Follow-Up: The Agency should update its agreements with banks, ensure all accounts are included, and regularly verify that collateral is adequate.

Finding Text

Finding 2025-006: HUD Depository Agreements Housing Choice Voucher Cluster, 14.871 and 14.879 Material Weakness/Noncompliance – Special Tests and Provisions Repeat Finding 2024-002 Criteria: The Agency is required to enter into depository agreements with its financial institutions in the form required by HUD. The agreements serve as safeguards for federal funds and provide third-party rights to HUD. That agreement states: Any portion of HA Funds not insured by a Federal insurance organization shall be fully (100%) and continuously collateralized with specific and identifiable U.S. Government or Agency securities prescribed by HUD in a notice. Collateralization is required on a daily basis at the end of the business day. Such securities shall be pledged and set aside in accordance with applicable law or Federal regulations. The HA shall have possession of the securities (or the HA will take possession of the securities) or an independent custodian (or an independent third party) holds the securities on behalf of the HA as a bailee (evidenced by safe keeping receipt and a written bailment for hire contract) and will be maintained for the full term of deposit. Condition: The Agency did have depository agreements with its banks but they were not the most recent version of the form. Further, the Agency’s Mainstream Voucher bank account was not listed on the depository agreement the Agency did have. We further noted the Agency was not monitoring the collateral pledged to cover the deposits and did not have information to support the pledges as of March 31, 2025. Cause: The Agency was not monitoring to ensure it had the most recent version of the form and to ensure all accounts were included and did not take action to correct the prior year finding. Effect or Potential Effect: The Agency was in noncompliance with HUD’s requirement to have proper depository agreements. Recommendation: The Agency should contact its financial institutions and review the depository agreement and follow the terms which includes proper collateralization. The Agency should monitor to ensure the securities pledged are adequate to cover the Agency’s deposits at the bank. View of the Responsible Officials of the Auditee: The auditee's management agrees with the finding.

Corrective Action Plan

New depository agreements have been executed between the Housing Agency and the banks. Signature from HUD is pending.

Categories

HUD Housing Programs Special Tests & Provisions Subrecipient Monitoring Material Weakness

Other Findings in this Audit

  • 1166457 2025-005
    Material Weakness Repeat
  • 1166458 2025-005
    Material Weakness Repeat
  • 1166459 2025-006
    Material Weakness Repeat

Programs in Audit

ALN Program Name Expenditures
10.415 RURAL RENTAL HOUSING LOANS $1.20M
14.157 SUPPORTIVE HOUSING FOR THE ELDERLY $893,978
14.871 SECTION 8 HOUSING CHOICE VOUCHERS $832,740
10.447 RURAL MULTI-FAMILY HOUSING REVITALIZATION DEMONSTRATION PROGRAM (MPR) $532,931
14.850 PUBLIC HOUSING OPERATING FUND $435,633
14.872 PUBLIC HOUSING CAPITAL FUND $328,580
14.896 FAMILY SELF-SUFFICIENCY PROGRAM $165,396
10.427 RURAL RENTAL ASSISTANCE PAYMENTS $127,109
14.870 RESIDENT OPPORTUNITY AND SUPPORTIVE SERVICES - SERVICE COORDINATORS $80,699
14.879 MAINSTREAM VOUCHERS $69,490