Finding 1191220 (2025-003)

Material Weakness Repeat Finding
Requirement
I
Questioned Costs
-
Year
2025
Accepted
2026-03-27
Audit: 395352
Organization: Talladega College (AL)

AI Summary

  • Core Issue: The College failed to verify vendor eligibility by not conducting required checks against SAM.gov for 12 contracts over $25,000.
  • Impacted Requirements: Non-compliance with federal procurement regulations, specifically 2 CFR § 180.220 and 2 CFR § 200.318, which mandate checks for suspension and debarment.
  • Recommended Follow-up: Develop a formal procurement manual and ensure staff are trained to perform and document SAM.gov checks for all relevant transactions.

Finding Text

Federal Program: Higher Education Institutional Aid (Title III) Assistance Listing Number: 84.031 Compliance Requirement: Procurement, Suspension and Debarment Criteria: Per 2 CFR § 180.220 and 2 CFR § 200.318, non-federal entities are required to have written procurement policies and procedures governing the acquisition of goods and services funded by federal awards. Furthermore, a non-federal entity is prohibited from contracting with or making subawards to parties that are suspended or debarred. Recipients must verify that the entity is not excluded or disqualified by checking the System for Award Management (SAM.gov), collecting a certification from the entity, or adding a clause or condition to the contract. Condition: During our test of 51 procurement transactions, we noted that for 12 contracts (exceeding the $25,000 threshold), the College could not provide documentation that a suspension and debarment check had been performed via SAM.gov prior to the award. Additionally, the contracts did not include a provision requiring the contractor to certify their eligibility. Cause: Management had not implemented a formal, documented process requiring staff to perform and retain evidence of SAM.gov checks for all covered transactions. Staff involved in the procurement process were unaware of the specific documentation requirements under the Uniform Guidance. Effect: The College entered into contracts with vendors without verifying their eligibility to receive federal funds. While our subsequent search of SAM.gov revealed that the vendors involved were not actually suspended or debarred, the College was in violation of federal compliance requirements. Questioned Costs: None (since the vendors were not actually excluded). Recommendation: Management should draft and adopt a formal procurement manual. For every federally funded purchase exceeding the micro-purchase threshold, staff must print and file a SAM.gov "Exclusion Search" result prior to executing the contract. Views of Responsible Officials: Management agrees with the finding. We are currently implementing a new procurement checklist that requires a printed copy of the SAM.gov search result to be attached to the purchase order packet. Staff training on federal procurement requirements will be required.

Corrective Action Plan

1. Finding Summary: The College entered into contracts with vendors without verifying their eligibility to receive federal funds. Testing of 50 procurement transactions identified that the College could not provide documentation that a suspension or debarment check had been performed via SAM.gov prior to the award for 13 contracts (exceeding the $25,000 threshold). Additionally, the contracts did not include a provision requiring the contractor to certify their eligibility. While the subsequent search of SAM.gov revealed that the vendors involved were not actually suspended or debarred, the College was in violation of federal compliance requirements. 2. Management’s Position – Management agrees with the finding. We are currently implementing a new procurement checklist that requires a printed copy of the SAM.gov search results to be attached to the purchase order packet. Staff training on federal procurement requirements will be required. 3. Corrective Action – Management will adhere to new procurement checklist that requires a printed copy of the SAM.gov search results to be attached to the purchase order packet. Management will consider whether certain contracts will require the contractor to certify their eligibility as part of the request for proposal or submission of a final contract. Staff training on federal procurement requirements will be required, with a target completion date prior to July 1, 2026. 4. Responsible Party – While the Office of Sponsored Research and Programs will be responsible for adherence to the policy and completing the checklist, the VP of Finance & Administration will monitor compliance of this process. Additionally, the VP of Finance & Administration will reinforce adherence of the new policy with personnel involved with any federal contracts, specifically ensuring that the executive cabinet members are aware as well as the Director of Sponsored Programs. 5. Implementation Timeline – Implementation effective July 1, 2026. 6. Status of Corrective Action (if related to prior year) – Corrective actions are in progress.

Categories

Procurement, Suspension & Debarment

Programs in Audit

ALN Program Name Expenditures
84.268 FEDERAL DIRECT STUDENT LOANS $4.76M
84.063 FEDERAL PELL GRANT PROGRAM $3.06M
10.766 COMMUNITY FACILITIES LOANS AND GRANTS $2.92M
84.031 HIGHER EDUCATION INSTITUTIONAL AID $2.53M
11.618 NATIONAL INSTITUTE OF STANDARDS AND TECHNOLOGY CONSTRUCTION GRANT PROGRAM $656,122
84.007 FEDERAL SUPPLEMENTAL EDUCATIONAL OPPORTUNITY GRANTS $315,409
84.217 TRIO MCNAIR POST-BACCALAUREATE ACHIEVEMENT $258,126
84.033 FEDERAL WORK-STUDY PROGRAM $194,043
47.076 STEM EDUCATION (FORMERLY EDUCATION AND HUMAN RESOURCES) $64,192
84.047 TRIO UPWARD BOUND $51,080