Finding 11849 (2021-006)

Material Weakness
Requirement
P
Questioned Costs
-
Year
2021
Accepted
2024-02-05

AI Summary

  • Core Issue: AIRS lacks written procurement policies and procedures as required by 2 CFR 200.318(a).
  • Impacted Requirements: Compliance with procurement standards outlined in 2 CFR 200.317 through 2 CFR 200.327 is not met.
  • Recommended Follow-Up: Management and the board should develop and implement compliant procurement policies and standards for organizational conflicts of interest.

Finding Text

Criteria: A non-federal entity is required to have certain written policies and procedure in compliance with Uniform Guidance and must comply with the procurement standards as described in 2 CFR 200.318 through 2 CFR 200.327. Specifically, the non-federal entity must comply with the following: • The non-Federal entity must have and use documented procurement procedures, consistent with State, local, and tribal laws and regulations and the standards of this section, for the acquisition of property or services required under a Federal award or subaward. The non-Federal entity's documented procurement procedures must conform to the procurement standards identified in §§ 200.317 through 200.327. • If the non-Federal entity has a parent, affiliate, or subsidiary organization that is not a State, local government, or Indian tribe, the non-Federal entity must also maintain written standards of conduct covering organizational conflicts of interest. Organizational conflicts of interest means that because of relationships with a parent company, affiliate, or subsidiary organization, the non-Federal entity is unable or appears to be unable to be impartial in conducting a procurement action involving a related organization. Condition: AIRS does not appear to have created written purchasing or procurement policies and procedures as required by 2 CFR 200.318(a). Since AIRS is an affiliate organization of the Ethiopian Community Development Council (ECDC), it appears that the relationship between AIRS and ECDC meets the “affiliate” requirement under 2 CFR 200.318 (c) (2). It does appear that AIRS has created written standards of conduct covering organizational conflicts of interest. Cause: Management has not created or maintained certain written policies and procedures as required under 2 CFR 200.318. Effect: AIRS is not in compliance with certain written policies and procedures as required under 2 CFR 200.318. Questioned Costs: None reported Repeat Finding from Prior Year: No Recommendation: Management and board should create written procurement policies and procedures and written standards of conduct covering organizational conflicts of interest that comply with the procurement standards as required under 2 CFR 200.317 through 2 CFR 200.327. Views of Responsible Officials: Management concurs with this audit finding.

Corrective Action Plan

Management of the Organization has stated the process of creating new and updating policies, procedures related to financial reporting, activities, including written procurement standards and written conflicts of interest.

Categories

Procurement, Suspension & Debarment Subrecipient Monitoring Matching / Level of Effort / Earmarking

Other Findings in this Audit

  • 11847 2021-004
    Material Weakness
  • 11848 2021-005
    Material Weakness
  • 588289 2021-004
    Material Weakness
  • 588290 2021-005
    Material Weakness
  • 588291 2021-006
    Material Weakness

Programs in Audit

ALN Program Name Expenditures
93.566 Refugee and Entrant Assistance_state Administered Programs $272,781
21.023 Emergency Rental Assistance Program $272,365
19.510 U.s. Refugee Admissions Program $117,250
93.567 Refugee and Entrant Assistance_voluntary Agency Programs $88,150
93.576 Refugee and Entrant Assistance_discretionary Grants $81,186
21.019 Coronavirus Relief Fund $29,227