Finding 1224523 (2025-002)

Material Weakness Repeat Finding
Requirement
M
Questioned Costs
-
Year
2025
Accepted
2026-07-23

AI Summary

  • Core Issue: There was a lack of completed monitoring for subrecipients under the Low Income Home Energy Assistance Program (LIHEAP), leading to potential noncompliance.
  • Impacted Requirements: Internal controls designed to ensure compliance with Uniform Guidance were not fully executed, resulting in missed subawards and inadequate oversight.
  • Recommended Follow-Up: Update monitoring procedures with clear milestones, enhance staff training, and establish regular meetings to ensure ongoing compliance and reduce risks from staff changes.

Finding Text

Federal Programs – AL 93.568 – Low Income Home Energy Assistance Program Criteria – A good system of internal controls allows for the compliance with Uniform Guidance to monitor funds that are passed through to subrecipients and the continued stewardship of those federal dollars. Condition – For the year ended December 31, 2025, we discussed the policies and procedures in effect for CAPND employees to adequately monitor the subrecipients under the Low Income Home Energy Assistance Program (LIHEAP). We reviewed any subawards between CAPND and subrecipients under the Low Income Home Energy Assistance Program (LIHEAP). We noted one subrecipient was missing a subaward during the year. Although the policies and procedures in effect during the year ended December 31, 2025 were appropriately designed, they were not completed throughout the year. Cause – There was a general misunderstanding between staff and management on the process of completing subrecipient monitoring controls throughout the year. Effect – Noncompliance will not be prevented or detected and corrected in a timely manner. Repeat Finding – This is not a repeat finding. Recommendation - The subrecipient monitoring policies and procedures should be updated to include specific milestones and broken down into specific tasks that are to be achieved throughout the year. These could then be monitored through meetings between the board treasurer and the LIHEAP program coordinator. Redundancies and cross-training could be included to reduce the risk that lapses in monitoring occur due to staff turnover or extended absences. In addition, training for all staff upon employment and periodically throughout the year over LIHEAP policies and procedures would allow for better clarity and understanding. Views of Responsible Officials - Management recognizes the deficiency and plans to implement the auditor’s recommendation.

Corrective Action Plan

Subrecipient Monitoring Controls - LIHEAP Person responsible for corrective action – Andrea Olson, Executive Director Responsible official’s response – Management is in agreement with this finding. Corrective action planned – CAPND has a comprehensive monitoring plan to monitor all grantsupported activities in accordance with program rules relative to LIHEAP program including rules established by the program, those established by CAPND, and by 2 CFR Part 200. The plan was not fully adhered to during the year 2025. Planned implementation date of corrective action – July 1, 2026

Categories

Subrecipient Monitoring

Other Findings in this Audit

  • 1224522 2025-002
    Material Weakness Repeat
  • 1224524 2025-003
    Material Weakness Repeat
  • 1224525 2025-003
    Material Weakness Repeat

Programs in Audit

ALN Program Name Expenditures
64.033 VA SUPPORTIVE SERVICES FOR VETERAN FAMILIES PROGRAM $2.44M
14.239 HOME INVESTMENT PARTNERSHIPS PROGRAM $524,134
93.568 LOW-INCOME HOME ENERGY ASSISTANCE $450,680
93.569 COMMUNITY SERVICES BLOCK GRANT $407,291
81.042 WEATHERIZATION ASSISTANCE FOR LOW-INCOME PERSONS $20,727