Finding 1229687 (2025-003)

Material Weakness Repeat Finding
Requirement
ABCI
Questioned Costs
-
Year
2025
Accepted
2026-09-11

AI Summary

  • Core Issue: The City lacks formal written policies and procedures for managing federal awards, which is a requirement under the Uniform Guidance.
  • Impacted Requirements: Compliance with 2 CFR 200.303, which mandates effective internal controls over federal awards.
  • Recommended Follow-Up: The City should develop, adopt, and implement written policies for internal controls related to federal awards.

Finding Text

2025-003 – WRITTEN POLICIES AND PROCEDURES REQUIRED BY THE UNIFORM GUIDANCE (REPEAT) Federal Agencies: U.S. Department of Treasury; Environmental Protection Agency Program Names: Coronavirus State and Local Fiscal Recovery Funds; Drinking Water State Revolving Fund Assistance Listing Numbers: 21.027; 66.468 Pass-through Entity: Michigan Department of Environment, Great Lakes, and Energy (EGLE); Michigan Department of Labor and Economic Opportunity Grant Number: A5823-01; A7708-01; E20240030, Project 7708-01 Criteria: The Uniform Guidance requires a non-federal entity that has expended federal awards to have written policies pertaining to: 1) advance payments and reimbursements; 2) determination of allowable costs; 3) compensation (personnel and benefits policies); 4) travel costs; and 5) procurement procedures. Pursuant to 2 CFR 200.303(a), an auditee must maintain effective internal controls over the federal awards that provide assurance that the entity is managing the federal awards in compliance with federal statutes, regulations, and conditions of the federal award. Condition: The City was not able to provide written policies and procedures related to the internal control structure over federal awards as required by 2 CFR section 200. Cause: Turnover of key employees. Effect: The City is not compliant with 2 CFR 200.303. Questioned Costs: None. Identification of How Questioned Costs were Computed: N/A Perspective: The City has processes in place to conform with the requirements of the Uniform Guidance; however, no formal written policies and procedures were able to be located during our audit. Repeat Finding: Yes. Recommendation: The City should formalize its policies and procedures related to federal awards through presenting, adopting, and implementing written policies and procedures for internal controls over federal awards. Views of Responsible Officials: Management agrees with the finding and has taken corrective action.

Corrective Action Plan

2025-003 – WRITTEN POLICIES AND PROCEDURES REQUIRED BY THE UNIFORM GUIDANCE (REPEAT) Corrective Action Plan: Management developed written policies and procedures related to federal awards, which were formally adopted by the City Council at the June 18, 2025 Council meeting. Responsible Party(ies): • City Council • City Manager • Deputy City Manager / Finance Director Anticipated Completion Date: June 18, 2025.

Categories

Cash Management Procurement, Suspension & Debarment Subrecipient Monitoring Allowable Costs / Cost Principles Matching / Level of Effort / Earmarking

Other Findings in this Audit

  • 1229684 2025-003
    Material Weakness Repeat
  • 1229685 2025-003
    Material Weakness Repeat
  • 1229686 2025-003
    Material Weakness Repeat

Programs in Audit

ALN Program Name Expenditures
66.468 DRINKING WATER STATE REVOLVING FUND $5.59M
21.027 CORONAVIRUS STATE AND LOCAL FISCAL RECOVERY FUNDS $141,849
10.935 URBAN AGRICULTURE AND INNOVATIVE PRODUCTION GRANTS PROGRAM (UAIP) $46,897
20.600 STATE AND COMMUNITY HIGHWAY SAFETY $10,428