Finding 1176595 (2025-002)

Material Weakness Repeat Finding
Requirement
E
Questioned Costs
-
Year
2025
Accepted
2026-03-05

AI Summary

  • Core Issue: Lowell Terrace Corporation failed to re-examine tenant eligibility and submit recertifications on time, missing the 15-month deadline.
  • Impacted Requirements: This violates HUD regulations requiring annual recertification of tenant eligibility based on income and family composition.
  • Recommended Follow-Up: Implement monitoring controls to ensure timely completion of annual recertifications as per HUD guidelines.

Finding Text

Finding: Eligibility Federal Assistance Listing No. 14.181 Supportive Housing for Persons with Disabilities (Section 811) U.S. Department of Housing and Urban Development Criteria or Specific Requirement: In accordance with 24 CFR section 891.410, section 5.230, and OMB No. 2502-0204, owner shall re-examine tenant eligibility at least every 12 months with respect to family income, composition and is required to obtain signed consent forms from assistance applicants. In accordance with HUD Multifamily Occupancy Handbook, Chapter 7, annual certification should be completed and submitted through TRACS within 15 months from previous year’s anniversary date. Condition: For two out of three testing selections, Lowell Terrace Corporation did not obtain and submit the required recertification within the required time period. Lowell Terrace Corporation has contracted out this process to a third-party vendor. Recertification was completed 16 months after previous year’s anniversary date. Our sampling methodology was no, and was not intended to be, statistically valid. Questioned Costs: N/A Effect: Recertification did not occur within the required time period. Cause: Lowell Terrace Corporation did not have controls to ensure timely completion of annual recertifications. Identification as a repeat finding: Not a repeat finding Recommendation: We recommend that the Lowell Terrace Corporation add monitoring controls to help ensure recertifications occur in accordance with 24 CFR section 891-410, section 5.230, and OMB No. 2502-0204. Views of Responsible Officials: The Organization agrees with the finding. See separate auditee document for planned corrective action.

Corrective Action Plan

February 25, 2026 CORRECTIVE ACTION PLAN FISCAL YEAR OF FINDING: June 30, 2025 AUDITOR FINDING: 2025-002 – AL# 14.181 Supportive Housing for Persons with Disabilities (Section 811) Area: Eligibility In accordance with 24 CFR section 891.410, section 5.230, and OMB No. 2502-0204, owner shall re-examine tenant eligibility at least every 12 months with respect to family income, composition and is required to obtain signed consent forms from assistance applicants. In accordance with HUD Multifamily Occupancy Handbook, Chapter 7, annual certification should be completed and submitted through TRACS within 15 months from previous year’s anniversary date. Based on testing performed recertifications did not occur within the required time period. It is recommended to add monitoring controls to help ensure recertifications are completed in accordance with 24 CFR section 891-410, section 5.230, and OMB No. 2502-0204. CLIENT PLANNED ACTION: (1) Annual recertification report will be reviewed monthly with ComCap Management to ensure timely completion of all recertifications. Demands will be given to tenants if recertifications are not completed within 60 days of initial notification. (2) Monthly dashboards will continue to be produced and reviewed with ComCap Management. The monthly dashboards include annual recertifications, occupancy/vacancy, and move-in/move-outs. CLIENT RESPONSIBLE PARTY: Darla Goddard, Director of Real Estate COMPLETION DATE: 01/01/2026

Categories

HUD Housing Programs

Other Findings in this Audit

  • 1176594 2025-002
    Material Weakness Repeat

Programs in Audit

ALN Program Name Expenditures
14.181 SUPPORTIVE HOUSING FOR PERSONS WITH DISABILITIES (SECTION 811) $117,236