Finding 3673 (2023-001)

Material Weakness
Requirement
E
Questioned Costs
-
Year
2023
Accepted
2023-12-07

AI Summary

  • Core Issue: The Housing Authority failed to maintain proper documentation for tenant eligibility and reexaminations under the Moving To Work Program.
  • Impacted Requirements: Annual reexaminations and necessary forms, including HUD 50058 and HUD 9886, were not consistently completed.
  • Recommended Follow-Up: Strengthen controls and processes to ensure compliance with federal eligibility requirements and maintain accurate documentation.

Finding Text

Finding 2023-001 - Tenant Eligibility and Reexaminations (Material Weakness, Material Noncompliance) Moving To Work Demonstration Program – ALN No. 14.881; Grant period – fiscal year ended March 31, 2023 Criteria The Public Housing Occupancy Guidebook and other HUD PIH Notices and Handbooks provide requirements and guidance for which the Moving To Work Demonstration Program is to be administered and operated under with respect to tenant eligibility and reexaminations. Specifically, the Housing Authority must conduct annual reexaminations for all persons and families assisted under the Program. Condition and Perspective During audit fieldwork, forty tenant files that were administered under the Moving To Work Demonstration Program were requested for review for compliance with Program eligibility and reexamination requirements. Housing Authority management was unable to provide two of the requested files, in addition to several other forms, all of which were applicable to Public Housing. The following omissions were noted from the thirty-eight files provided: 1) One file was missing HUD 50058 Reexamination Forms 2) Two files were missing a signed HUD 9886 Authorization for Release of Information Form 3) Three files were missing a third-party verification of income Cause Failure to execute controls over the federal ‘Eligibility’ compliance requirement. Effect Non-compliance with the federal ‘Eligibility’ requirement. Questioned Costs - None noted. Recommendation We recommend that the Housing Authority implement and execute strengthened controls over the federal ‘Eligibility’ compliance requirement to include the performance of annual reexaminations and documentation maintenance. Management’s Response We became aware of these issues before audit fieldwork was performed and have made personnel changes in addition to internal control changes that have strengthened the controls over federal ‘Eligibility’ compliance requirements.

Corrective Action Plan

Corrective Action Plan (CAP) The Ozark Housing Authority (Housing Authority) To the Department of Housing and Urban Development, During the Fiscal Year 2023 audit, the Housing Authority could not locate two tenant files along with one HUD 50058 Reexamination form, two HUD 9886 Authorization forms and three third party verification documents. The Housing Authority’s Executive Director, Dannie Walker, is responsible for implementing the corrective action plan. CAP developed to resolve audit finding: Finding 2023-001 – Tenant Eligibility and Reexaminations We were aware of the tenant file deficiencies before audit fieldwork began and had begun implementing the recommendation of strengthening internal controls over eligibility requirements in addition to having made personnel changes to the eligibility department. The deficiency that led to this finding will be corrected by March 31, 2024.

Categories

HUD Housing Programs Eligibility Material Weakness Internal Control / Segregation of Duties

Other Findings in this Audit

  • 580115 2023-001
    Material Weakness

Programs in Audit

ALN Program Name Expenditures
14.881 Moving to Work Demonstration Program $5.52M
10.558 Child and Adult Care Food Program $9,793