Finding 1229025 (2025-001)

Material Weakness Repeat Finding
Requirement
G
Questioned Costs
-
Year
2025
Accepted
2026-09-08
Audit: 410496
Organization: Town of Scituate (RI)

AI Summary

  • Core Issue: Scituate School District failed to maintain adequate documentation for its Maintenance of Effort (MOE) calculation, impacting compliance with federal funding requirements.
  • Impacted Requirements: The lack of supporting documents raises concerns about the completeness and accuracy of the MOE calculation, which could lead to material noncompliance.
  • Recommended Follow-Up: Management should implement formal procedures for MOE documentation, including data sources, methodology, and independent reviews to ensure compliance moving forward.

Finding Text

Criteria – The OMB Compliance Supplement identifies Matching, Level of Effort, Earmarking as a type of compliance requirement subject to audit for applicable major programs and identifies level of effort as a compliance category within that requirement. Maintenance of effort is specifically described as the requirement that specified service or expenditure levels be maintained. As part of maintaining compliance with this requirement, the District should maintain documentation sufficient to support the MOE calculation used in its grant funding request and to demonstrate that required expenditure levels we met. Under 2 CFR § 200.516, deficiencies in internal control over compliance for major programs are reportable when they rise to the level of a material weakness or significant deficiency. Condition – Scituate School District was required to prepare a MOE calculation to support its special education grant funding request, however it did not retain sufficient supporting documentation for the calculation. Specifically, detailed budget and actual expenditure reports, reconciliations to the general ledger or other underlying accounting records, and/or retained workpapers supporting the underlying inputs were not maintained in a manner that permitted full verification of the calculation. As a result, we were unable to fully verify the completeness and accuracy of the underlying inputs used in the District’s MOE calculation. Although other audit procedures \did not identify actual noncompliance with MOE requirements for the period under audit, the District did not maintain adequate documentation of evidence to be in compliance with this requirement. Cause – The District’s controls over budgetary inputs, specifically regarding MOE documentation and retention were not designed or operating effectively. Contributing factors appear to include one or more of the following: • Lack of formal written procedures addressing preparation, review and retention of MOE calculation support; • Insufficient monitoring or supervisory review to ensure the calculation was fully supported and reconciled to underlying records; and/or • Staff turnover or limited training regarding budgetary input and documentation expectations for federal compliance requirements. Effect – The absence of adequate supporting documentation creates a reasonable possibility that material noncompliance with the MOE requirement could occur and not be prevented, or detected and corrected, on a timely basis. In addition, the District’s ability to demonstrate compliance with maintenance of effort to the pass-through entity (RIDE), federal agency, or other reviewers is impaired when the calculation cannot be fully supported. If this condition is not corrected, future periods could result in undetected MOE errors, questioned costs, repayment obligations, delays in funding, or other administrative sanctions. Questioned Costs – None Recommendation – We recommend that management establish and implement formal written procedures to ensure complete supporting documentation is prepared and maintained for all MOE calculations. At a minimum, those procedures should require: • Clearly identified sources of data used in calculation; • Documentation of methodology used in the MOE calculation provided annually to the pass-through entity; • Retention of detailed budget vs actual expenditure reports in accordance with the Uniform Chart of Accounts and other underlying support; • Reconciliations of calculation inputs to the general ledger or other accounting records; • Independent review and approval of the completed MOE calculation and supporting workpapers prior to submission Management’s Response – Management acknowledges the lapse in internal controls and the lack of documented procedures regarding MOE preparation, review, and retention of MOE calculation support in FY 2025. Corrective Action: This issue was addressed and corrected during FY2026. Specifically, we have implemented the following: 1. A formal written procedure on the MOE calculation describing the methodology, data sources, document retention, review and approvals. 2. UCOA training has been provided to secretarial staff and school administrators involved in related processes to ensure proper coding of expenses. 3. Implementation of new approval chains to review and approve the UCOA coding to ensure proper coding of expenses. 4. Monthly transaction reconciliations. Expected Completion: The corrective actions have been substantially competed as of this writing. Final completion expected by June 30, 2026

Corrective Action Plan

– Management acknowledges the lapse in internal controls and the lack of documented procedures regarding MOE preparation, review, and retention of MOE calculation support in FY 2025. Corrective Action: This issue was addressed and corrected during FY2026. Specifically, we have implemented the following: 1. A formal written procedure on the MOE calculation describing the methodology, data sources, document retention, review and approvals. 2. UCOA training has been provided to secretarial staff and school administrators involved in related processes to ensure proper coding of expenses. 3. Implementation of new approval chains to review and approve the UCOA coding to ensure proper coding of expenses. 4. Monthly transaction reconciliations. Expected Completion: The corrective actions have been substantially competed as of this writing. Final completion expected by June 30, 2026.

Categories

Matching / Level of Effort / Earmarking Subrecipient Monitoring

Other Findings in this Audit

  • 1229023 2025-001
    Material Weakness Repeat
  • 1229024 2025-002
    Material Weakness Repeat
  • 1229026 2025-002
    Material Weakness Repeat

Programs in Audit

ALN Program Name Expenditures
21.027 CORONAVIRUS STATE AND LOCAL FISCAL RECOVERY FUNDS $1.46M
84.027 SPECIAL EDUCATION GRANTS TO STATES $1.23M
84.184 SCHOOL SAFELY NATIONAL ACTIVITIES $364,252
10.902 SOIL AND WATER CONSERVATION $288,758
84.425 EDUCATION STABILIZATION FUND $188,479
84.010 TITLE I GRANTS TO LOCAL EDUCATIONAL AGENCIES $156,113
84.173 SPECIAL EDUCATION PRESCHOOL GRANTS $90,276
20.219 RECREATIONAL TRAILS PROGRAM $85,187
84.048 CAREER AND TECHNICAL EDUCATION -- BASIC GRANTS TO STATES $47,516
97.039 HAZARD MITIGATION GRANT $45,000
16.710 PUBLIC SAFETY PARTNERSHIP AND COMMUNITY POLICING GRANTS $29,922
81.128 ENERGY EFFICIENCY AND CONSERVATION BLOCK GRANT PROGRAM (EECBG) $23,906
10.555 NATIONAL SCHOOL LUNCH PROGRAM $23,700
16.835 BODY WORN CAMERA POLICY AND IMPLEMENTATION $22,252
97.042 EMERGENCY MANAGEMENT PERFORMANCE GRANTS $19,000
10.553 SCHOOL BREAKFAST PROGRAM $17,829
93.044 SPECIAL PROGRAMS FOR THE AGING, TITLE III, PART B, GRANTS FOR SUPPORTIVE SERVICES AND SENIOR CENTERS $16,742
20.600 STATE AND COMMUNITY HIGHWAY SAFETY $9,662
97.067 HOMELAND SECURITY GRANT PROGRAM $8,482
90.404 HAVA ELECTION SECURITY GRANTS $2,271
20.616 NATIONAL PRIORITY SAFETY PROGRAMS $1,257
93.387 NATIONAL AND STATE TOBACCO CONTROL PROGRAM $591