Finding 374650 (2023-003)

Significant Deficiency
Requirement
N
Questioned Costs
-
Year
2023
Accepted
2024-03-09
Audit: 294326
Organization: Seward County Community College (KS)
Auditor: Adamsbrown LLC

AI Summary

  • Core Issue: The College's written information security policies lack compliance with one of the seven required elements of the Gramm-Leach-Bliley Act (GLBA).
  • Impacted Requirements: Specifically, the College has not implemented multi-factor authentication and lacks a policy for the secure disposal of customer information, violating 16 CFR Part 314.
  • Recommended Follow-Up: Update the College’s written policies to include all seven required elements and ensure compliance with GLBA standards.

Finding Text

2023-003 – Student Financial Assistance Cluster – Special Tests and Provisions – Student Information Security Criteria or specific requirement The Gramm-Leach-Bliley Act (Pub. L. No. 106-102) (GLBA) requires financial institutions to explain their information-sharing practices to their customers and to safeguard sensitive data. The Federal Trade Commission considers institutions that participate in Title IV Educational Assistance Programs as “financial institutions” and are subject to the GBLA. 16 CFR Part 314 requires that information safeguarding standards be implemented by institutions and establishes minimum standards that must be met. Institutions are required to develop, implement, and maintain a comprehensive information security program that is written in one or more readily accessible parts. This written information is required to include seven elements, and institutions were required to be in compliance no later than June 9, 2023. Condition During testing, it was determined that the College’s written policies did not reflect one of the seven required elements. Context The element that was not in compliance is as follows: Provides for the design and implementation of safeguards to control the risks the institution or servicer identifies through its risk assessment (16 CFR 314.4(c)). At a minimum, the written information security program must address the implementation of the minimum safeguards identified in 16 CFR 314.4(c)(1) through (8). The eight minimum safeguards referenced above include: implement and periodically review access controls; conduct a periodic inventory of data, noting where it’s collected, stored, or transmitted; encrypt customer information on the institution’s system and when it is in transit; assess apps developed by the institution; implement multi-factor authentication for anyone accessing customer information on the institution’s system; dispose of customer information securely; anticipate and evaluate changes to the information system or network; and maintain a log of authorized users’ activity and keep an eye out for unauthorized access. The College had not implemented multi-factor authentication for anyone accessing customer information on its system. The College also did not have a written policy regarding the secure disposal of customer information. Cause The College is in the process of implementing the required aspects of the element, but it was not in compliance by the required date. Effect The College’s written policies did not meet the minimum standards established by 16 CFR Part 314. Recommendation We recommend that the College’s written policies be updated to properly reflect all seven elements required. Views of responsible officials See Corrective Action Plan.

Corrective Action Plan

2023-003 – Student Financial Assistance Cluster – Special Tests and Provisions – Student Information Security Condition During testing, it was determined that the College’s written policies did not reflect one of the seven required elements. Recommendation We recommend that the College’s written policies be updated to properly reflect all seven elements required. Comments on the Finding Management is aware of the oversite and has enacted the practice of the missing policy in FY24. They have also worked on a policy to take to the SCCC Board of Trustees for approval. Actions Taken The policy has been written, reviewed, and is planned to go to the SCCC Board of Trustees on March 4, 2024.

Categories

Special Tests & Provisions Student Financial Aid Subrecipient Monitoring Equipment & Real Property Management

Other Findings in this Audit

  • 374651 2023-004
    Significant Deficiency
  • 374652 2023-003
    Significant Deficiency
  • 374653 2023-003
    Significant Deficiency
  • 374654 2023-003
    Significant Deficiency
  • 374655 2023-004
    Significant Deficiency
  • 951092 2023-003
    Significant Deficiency
  • 951093 2023-004
    Significant Deficiency
  • 951094 2023-003
    Significant Deficiency
  • 951095 2023-003
    Significant Deficiency
  • 951096 2023-003
    Significant Deficiency
  • 951097 2023-004
    Significant Deficiency

Programs in Audit

ALN Program Name Expenditures
84.063 Federal Pell Grant Program $1.81M
84.268 Federal Direct Student Loans $356,972
84.042 Trio_student Support Services $276,393
84.002 Adult Education - Basic Grants to States $250,798
84.048 Career and Technical Education -- Basic Grants to States $196,035
21.027 Coronavirus State and Local Fiscal Recovery Funds $140,631
84.336 Teacher Quality Partnership Grants $93,882
84.007 Federal Supplemental Educational Opportunity Grants $55,600
84.033 Federal Work-Study Program $41,480
84.425 Education Stabilization Fund $30,000
59.037 Small Business Development Centers $22,464
47.076 Education and Human Resources $10,469
12.598 Centers for Academic Excellence $4,909
45.164 Promotion of the Humanities_public Programs $4,094
93.859 Biomedical Research and Research Training $1,245