Finding 1229760 (2025-001)

Material Weakness Repeat Finding
Requirement
N
Questioned Costs
-
Year
2025
Accepted
2026-09-15

AI Summary

  • Core Issue: The Public Housing Authority (PHA) failed to document rent reasonableness for 5% of tenant files, violating federal requirements.
  • Impacted Requirements: Noncompliance with 24 CFR § 982.158(f)(7) and § 982.54(d)(15) regarding record-keeping and administrative plans for rent determinations.
  • Recommended Follow-Up: Ensure all tenant files are complete with required documentation and review policies to prevent future issues.

Finding Text

Finding Number: 2025-001 Assistance Listing (AL) Number and Title: AL # 14.871 - Section 8 Housing Choice Vouchers/Housing Voucher Cluster Federal Award Identification Number and Year: 2025 Federal Agency: U.S. Department of Housing and Urban Development (HUD) Compliance Requirement: Special Tests and Provisions, Reasonable Rent Pass-Through Entity: N/A Repeat Finding from Prior Audit? Yes Prior Audit Finding Number: 2024-005 Noncompliance and Material Weakness- Rent Reasonableness 24 CFR § 982.158(f)(7) provides that the Public Housing Authority (PHA) must keep records, for at least three years, to document the basis for PHA determination that rent to owner is a reasonable rent (initially and during the term of a Housing Assistance Payment (HAP) contract). 24 CFR § 982.54(d)(15) provides the PHA administrative plan must cover policies on the method of determining that rent to owner is a reasonable rent (initially and during the term of a HAP contract). The Authority’s Housing Choice Voucher Administrative Plan, Chapter 8 provides the Authority will make a rent reasonableness determination at initial occupancy and whenever the owner requests a rent adjustment. The Authority’s Plan also acknowledges the obligation to make rent reasonableness determinations in accordance with 24 CFR § 982.507(a), under mandatory HUD requirements. While the Authority correctly outlines its duty to make rent reasonableness determinations, the Authority could not provide the reasonable rent forms showing the calculation for 5 percent of the current files tested for the Housing Voucher Cluster program. This is due to inadequate policies and procedures in completing and maintaining the required forms. The failure to document rent reasonableness could lead to future questioned costs, reduced future federal funding, and a requirement to repay HUD. The Executive Director and Housing Voucher Cluster employees should ensure all tenant files maintain the appropriate documentation and meet the requirements for rent reasonableness. Officials’ Response: See Corrective Action Plan.

Corrective Action Plan

Finding Number: 2025-001 Planned Corrective Action: The Housing Authority has contracted with the Nelrod Company a national technical consulting firm specializing in Federal Assisted Housing Programs to perform our rent reasonableness determinations. All files moving forward will have a rent reasonableness determination. Anticipated Completion Date: 9/3/2026 Responsible Contact Person: Zackary Dye, Executive Director

Categories

HUD Housing Programs

Other Findings in this Audit

  • 1229759 2025-001
    Material Weakness Repeat

Programs in Audit

ALN Program Name Expenditures
14.850 PUBLIC HOUSING OPERATING FUND $420,215
14.872 PUBLIC HOUSING CAPITAL FUND $202,281
14.871 SECTION 8 HOUSING CHOICE VOUCHERS $99,491
14.896 FAMILY SELF-SUFFICIENCY PROGRAM $89,777