Finding 36446 (2022-001)

-
Requirement
B
Questioned Costs
$1
Year
2022
Accepted
2022-12-13

AI Summary

  • Core Issue: The District overcharged the Child Nutrition Cluster program for indirect costs by using total federal revenue instead of the correct direct cost base expenditures.
  • Impacted Requirements: This violates federal regulations (2 CFR Part 200) and Iowa Department of Education guidelines on indirect cost calculations.
  • Recommended Follow-Up: Revise the indirect cost calculation to compare federal revenues with direct cost base expenditures, using the lesser amount for adjustments, and utilize the Iowa Department of Education template.

Finding Text

Finding: The District overcharged the program for indirect costs. Criteria: The federal criteria for indirect costs and allocations is established in 2 Code of Federal Regulations (CFR) Part 200, Appendix VII: ??Base means the accumulated direct costs (normally either total direct salaries and wages or total direct costs exclusive of any extraordinary or distorting expenditures) used to distribute indirect costs to individual Federal awards. The direct cost base selected should result in each Federal award bearing a fair share of the indirect costs in reasonable relation to the benefits received from the costs.? ??The distribution base may be (1) total direct costs (excluding capital expenditures and other distorting items, such as pass-through funds, subcontracts in excess of $25,000, participant support costs, etc.), (2) direct salaries and wages, or (3) another base which results in an equitable distribution.? The Iowa Department of Education criteria was established in the Iowa Department of Education Local Education Agency Federal Indirect Cost Rate Proposal dated December 2019 and Guidance for State Agencies, Public School District School Food Authorities dated March 29, 2013. Guidance to Iowa School Food Authorities was updated in September 2022 to clarify the earlier memos and guidance the department had issued. The March 29, 2013 document states in the section How to Apply the Indirect Cost Rate, ?..The federal grant amount to which the rate may be applied is the total expenditures in the federal grant excluding the same unallowed or excluded costs that were unallowed or excluded within the state plan.? The Iowa Department of Education provided the worksheet calculation to school districts which requires districts to compare total direct base cost expenditures and total federal revenues and to use the lesser of the two totals for the calculation. Condition: The District charged the program for indirect costs using a calculation based on total federal revenue rather than the direct cost base expenditures which were less than total federal revenue for the fiscal year.Cause: The calculation for the indirect costs charged to the program has historically been based on total federal revenues due to direct cost base expenditures exceeding federal revenues received in prior years. However, due to the COVID-19 pandemic funding to the program in the current year, federal revenues exceeded the direct cost base expenditures. The District charged the program using the same calculation as the prior year instead of adjusting the calculation for the lesser of the two base amounts. Effect: The Child Nutrition Cluster program was overcharged for indirect costs. Questioned Costs: Known questioned costs are $151,885. Context: Indirect costs represent 1.8 percent of total program expenditures reported on the Schedule of Expenditures of Federal Awards. Identification as a repeat finding: This is not a repeat finding. Recommendation: We recommend the District revise the indirect cost calculation to include a comparison of federal revenues and direct cost base expenditures and use the lesser of the two totals for the annual adjustment. We recommend the District use the Iowa Department of Education template.

Corrective Action Plan

Response and Corrective Action Plan: The District will update the annual calculation to include a comparison of the base used for the indirect cost adjustment. Sarah Kautz, June 30, 2023.

Categories

Questioned Costs Allowable Costs / Cost Principles Reporting School Nutrition Programs

Other Findings in this Audit

Programs in Audit

ALN Program Name Expenditures
10.555 National School Lunch Program $6.42M
10.553 School Breakfast Program $1.21M
84.425 Covid-19 Elementary and Secondary School Emergency Relief (esser Ii) Fund $809,528
84.027 Special Education_grants to States $556,454
10.555 Commodities- Noncash $392,592
10.559 Summer Food Service Program for Children $223,366
10.555 Commodities- Noncash, Department of Defense $197,999
84.367 Supporting Effective Instruction State Grants- Federal Teacher Quality Program $119,938
84.027 Covid-19 Special Education_grants to States $85,846
97.036 Disaster Grants - Public Assistance (presidentially Declared Disasters) $72,540
84.425 Covid-19 Rethink K-12 Education Models Discretionary Grants $65,985
84.425 Covid-19 Elementary and Secondary School Emergency Relief (arp-Esser) Fund $58,131
10.555 Covid-19 National School Lunch Program $53,733
84.048 Career and Technical Education -- Basic Grants to States $48,061
10.575 Farm to School Grant Program $30,131
93.575 Covid-19 Child Care and Development Block Grant $19,524
84.365 English Language Acquisition State Grants $17,500
84.424 Student Support and Academic Enrichment Program $16,649
84.425 Covid-19 Arp-Elementary and Secondary School Emergency Relief- Homeless Youth $10,299
84.010 Title I Grants to Local Educational Agencies $8,985
10.649 Covid-19 Pandemic Ebt Administrative Costs $3,063
84.425 Covid-19 Governor's Emergency Education Relief (geerf) Fund $1,154
10.579 Child Nutrition Discretionary Grants Limited Availability $1,000
10.310 Agriculture and Food Research Initiative (afri) $250