Finding 1201601 (2025-001)

Material Weakness Repeat Finding
Requirement
L
Questioned Costs
-
Year
2025
Accepted
2026-03-30

AI Summary

  • Core Issue: The Association failed to report approximately fifty first-tier subawards of $30,000 or more as required by FFATA, leading to noncompliance.
  • Impacted Requirements: Timely and accurate reporting of subawards in SAM.gov is essential for federal spending transparency and oversight.
  • Recommended Follow-Up: Establish written internal controls and provide training for grants management staff to ensure compliance with FFATA reporting requirements.

Finding Text

Federal Program: Program Name: Integrated Ocean Observing System (IOOS) Assistance Listing: 11.012 Criteria: The Federal Funding Accountability and Transparency Act (“FFATA”), as implemented through 2 CFR Part 170, requires prime recipients of federal grants and cooperative agreements to report first-tier subawards of $30,000 or more, including amendments to subawards that increase the total obligated above the $30,000 threshold in a subsequent year, in SAM.gov (previously in the FFATA Subaward Reporting System (“FSRS”) through March 8, 2025) by the end of the month following the month in which the subaward was obligated. Accurate and complete subaward reporting is required to ensure transparency of federal spending. Failure to report timely constitutes noncompliance with the FFATA reporting requirement included in the OMB Compliance Supplement. Condition/Context: During testing of FFATA reporting requirements, we identified that the Association did not report any of the approximately fifty first-tier subawards meeting the reporting threshold under any of the three separate prime awards received under its cooperative agreement with the Integrated Ocean Observing System (“IOOS”) Office within the National Oceanic and Atmospheric Administration (“NOAA”). Cause: The Association was subject to FFATA reporting requirements under its cooperative agreement with the Integrated Ocean Observing System (“IOOS”) Office within the National Oceanic and Atmospheric Administration (“NOAA”). The cause of the FFATA reporting lapses was a requirements-interpretation gap in a cooperative agreement context, and management has agreed to promptly remediate and implement controls. The noncompliance resulted from a good-faith misunderstanding regarding the applicability of FFATA to cooperative agreements and did not stem from intentional misconduct or an overall deficient control environment. Effect: Failure to report subawards in FSRS/SAM.gov may reduce the transparency of federal spending and result in noncompliance with FFATA requirements. Incomplete federal reporting could impair the ability of oversight bodies to effectively track federal funds. NOAA/IOOS maintained visibility and comprehensive oversight through proposals (with subrecipient budgets), quarterly financial reports, semiannual performance reports containing subaward level detail, and annual amendment approvals under the cooperative agreement. These mechanisms provided effective oversight, notwithstanding FFATA lapses, and did not result in obscuring where funds went, impeding oversight, and or failing to provide information that would influence federal decision-making. Questioned Costs: None. FFATA reporting is a compliance requirement related to transparency, and no direct financial impact was identified. Repeat Finding: No Recommendation: We recommend the Association establish written internal controls, including procedures and tracking mechanisms to ensure timely FFATA reporting, as well as provide training to grants management personnel responsible for FFATA submissions to ensure timely and accurate reporting. Further, the Association should complete the FFATA reporting for the subawards promptly at the time a new subaward agreement for $30,000 or more is signed or when an amendment for a previous subaward increases the amount over the $30,000 threshold. Management Response: Management concurs with the finding. The Association acknowledges lapses in timely reporting of first-tier subawards in the FSRS/SAM.gov and gaps in internal controls, including procedure documentation, tracking of subaward obligation dates, and staff training. The Association is in the process of establishing written internal controls, including procedures and tracking mechanisms to ensure timely FFATA reporting, as well as providing training to grants management personnel responsible for FFATA submissions to ensure timely and accurate reporting. The overdue FSRS/SAM.gov reports will be submitted, and NOAA IOOS will be provided with documentation of completion. Management notes that all other financial and performance reporting requirements which included subaward information for the aforementioned subawards were filed timely.

Corrective Action Plan

Corrective Action Plan (CAP) Award Information: NOAA Program Office: NOS Integrated Ocean Observations Systems (IOOS) Federal Award Numbers (FAIN): NA21NOS0120097, NA24NOSX012C0024, and NA23NOS0120243 Recipient Organization: Southeast Coastal Ocean Observing Regional Association Recipient UEI: EEL2LR5E2R85 Project Title: SECOORA: Delivering actionable coastal and ocean information from high-quality science and observations for the Southeast Project Period: 7/1/21-6/30/26 Criteria: During our single audit for the year ended June 30, 2025, we identified that required subawards were not reported in SAM.gov (previously in the FFATA Subaward Reporting System (“FSRS”)) within the 30-day FFATA reporting window, as required by 2 CFR Part 170 and NOAA award terms. This constitutes noncompliance with federal award requirements and may trigger remedies under 2 CFR § 200.339. Cause: The Association was subject to FFATA reporting requirements under its cooperative agreement with the Integrated Ocean Observing System (“IOOS”) Office within the National Oceanic and Atmospheric Administration (“NOAA”). The cause of the FFATA reporting lapses was an interpretation gap of requirements under a cooperative agreement versus a prime grant award, and management has agreed to promptly remediate and implement controls. The noncompliance resulted from a good-faith misunderstanding regarding the applicability of FFATA to cooperative agreements and did not stem from intentional misconduct or an overall deficient control environment. Immediate Corrective Actions Taken: The Association acknowledges lapses in timely reporting of first-tier subawards in the FSRS/SAM.gov and gaps in internal controls, including procedure documentation, tracking of subaward obligation dates, and staff training. The overdue FSRS/SAM.gov reports will be submitted, and NOAA/IOOS will be provided documentation of completion. Long-Term Corrective Actions / Preventive Measures: The Association is in the process of establishing written internal controls, including procedures and tracking mechanisms to ensure timely FFATA reporting, as well as provide training to grants management personnel responsible for FFATA submissions to ensure timely and accurate reporting. Management will continue to use standardized subaward agreements to clearly capture obligation dates and FFATA applicability. Subawards will not be fully executed in the system until the FFATA data fields are completed. There will be a separation of duties for distinct roles for preparer and reviewer/approver. The Association will evidence retention with a central archive of FSRS confirmations, checklists, and supporting documentation and maintain a tracking log with automated reminders for key reporting deadlines. Responsible Personnel: Chief Financial Officer: Megan Lee – Oversees, Reviews, and Approves FFATA reporting compliance and SAM.gov reporting. Ensures required reporting of subaward obligations for FFATA reporting on a monthly basis and ensures timely data submission. Pre/Post Award Grant Specialist– Prepares required reporting of subaward obligations for FFATA reporting on a monthly basis. Timeline for Completion Corrective Action Responsible Party Completion Date Submit overdue FFATA report Chief Financial Officer 06/30/2026 Update written procedures Chief Financial Officer 04/30/2026 Staff online training on FFATA requirements Chief Financial Officer 05/31/2026 Implement dual review of reporting Chief Financial Officer 04/30/2026 Internal Monitoring and Verification: The Association will perform quarterly internal reviews of a sample of subawards to verify: timeliness, data accuracy, documentation, and adherence to reporting process. Finally, the Chief Financial Officer and Pre/Post Award Grant Specialist will report to the Executive Director and escalate any issues identified and implement corrective training as needed. Certification: I certify that the information provided in this Corrective Action Plan is accurate and that the organization is committed to full compliance with the terms and conditions of the NOAA award and the Uniform Guidance (2 CFR Part 200), including remediation of noncompliance consistent with 2 CFR § 200.339.

Categories

Subrecipient Monitoring Internal Control / Segregation of Duties

Other Findings in this Audit

  • 1201593 2025-001
    Material Weakness Repeat
  • 1201594 2025-001
    Material Weakness Repeat
  • 1201595 2025-001
    Material Weakness Repeat
  • 1201596 2025-001
    Material Weakness Repeat
  • 1201597 2025-001
    Material Weakness Repeat
  • 1201598 2025-001
    Material Weakness Repeat
  • 1201599 2025-001
    Material Weakness Repeat
  • 1201600 2025-001
    Material Weakness Repeat

Programs in Audit

ALN Program Name Expenditures
11.478 CENTER FOR SPONSORED COASTAL OCEAN RESEARCH COASTAL OCEAN PROGRAM $41,084
11.431 CLIMATE AND ATMOSPHERIC RESEARCH $26,276
43.001 SCIENCE $9,469
11.012 INTEGRATED OCEAN OBSERVING SYSTEM (IOOS) $4,008