Finding 387194 (2023-001)

Significant Deficiency
Requirement
N
Questioned Costs
-
Year
2023
Accepted
2024-03-28
Audit: 299468
Organization: University of St. Thomas (MN)

AI Summary

  • Core Issue: The University failed to obtain the third-party servicer's compliance audit report, which is necessary for due diligence on the Perkins Loan program.
  • Impacted Requirements: This situation violates the requirement for maintaining an internal control system as outlined in the Code of Federal Regulations Title 34, Subtitle B, Chapter VI, Part 674.19.
  • Recommended Follow-Up: Establish a procedure with the third-party servicer to ensure timely completion of compliance reports for future due diligence.

Finding Text

Federal Agency: United States Department of Education Federal Program Name: Federal Perkins Loan Program Assistance Listing Number: 84.038 Federal Award Identification Number and Year: N/A Pass-Through Agency: N/A Pass-Through Number(s): N/A Award Period: July 1, 2022 to June 30, 2023 Type of Finding: • Significant Deficiency in Internal Control over Compliance • Other Matters Criteria or specific requirement: Code of Federal Regulations Title 34, Subtitle B, Chapter VI, Part 674.19 requires that in administering its Federal Perkins Loan program, an institution shall establish and maintain an internal control system of checks and balances that ensures that no office can both authorize payments and disburse funds to students. When an institution uses a third-party servicer for its Perkins Loan program, the institution must perform due diligence to ensure that the third-party service is in compliance with the requirements for the functions the third-party servicer is performing for the institution. Such due diligence could include obtaining and reviewing the third-party servicer’s most recent Title IV compliance audit. Condition: The University utilizes a third party service for its Perkins Loan servicing. This is a very common practice for colleges and universities in order to provide the most efficient and effective means to not only collect loans but meet the federal regulations for servicing student Perkins Loans. In order to perform the due diligence required per the Code of Regulations, the institution utilizes the external compliance report performed for the third party servicer by other auditors. The third party servicer’s compliance audit report for the year ended June 30, 2023 was not issued as of the report date of the uniform guidance report. Therefore, the University was unable to perform due diligence on the third party provider’s internal control over the Perkin’s requirements. Questioned costs: None Context: We noted that the University was not able to obtain the third party’s compliance report as of the date of the Uniform Guidance Report. Cause: The third party servicer, did not have their Title IV compliance audit report completed for the year ending June 30, 2023 so that the University can perform their required due diligence on the third party servicer. Effect: The University did not perform due diligence to ensure that the third-party service is in compliance with the requirements for the functions the third-party servicer is performing for the institution. Repeat Finding: No Recommendation: We recommend the University implement a procedure with the third party servicer to ensure that their report is completed timely so that the University can perform the necessary due diligence they need to perform. Views of responsible officials: There is no disagreement with the audit finding.

Corrective Action Plan

Federal Perkins Loan Program – Assistance Listing No. 84.038 Recommendation: We recommend the University implement a procedure with the third party servicer to ensure that their report is completed timely so that the University can perform the necessary due diligence they need to perform. Explanation of disagreement with audit finding: There is no disagreement with the audit finding. Action taken in response to finding: Recognizing the importance of resolving this finding the University of St Thomas intends to leverage its Internal Audit function in review of its relationship with UAS and the regulations and compliance items therein. Name of the contact person responsible for corrective action: Wade Holmberg Planned completion date for corrective action plan: 6/1/2024

Categories

Student Financial Aid Matching / Level of Effort / Earmarking Internal Control / Segregation of Duties Significant Deficiency

Other Findings in this Audit

  • 963636 2023-001
    Significant Deficiency

Programs in Audit

ALN Program Name Expenditures
84.268 Federal Direct Student Loans $49.18M
84.063 Federal Pell Grant Program $5.87M
84.007 Federal Supplemental Educational Opportunity Grants $1.17M
84.033 Federal Work-Study Program $734,000
93.732 Mental and Behavioral Health Education and Training Grants $474,000
84.336 Teacher Quality Partnership Grants $473,000
84.325 Special Education - Personnel Development to Improve Services and Results for Children with Disabilities $251,000
47.076 Education and Human Resources $143,000
59.037 Small Business Development Centers $121,000
84.038 Federal Perkins Loan Program $116,000
93.853 Extramural Research Programs in the Neurosciences and Neurological Disorders $92,000
12.000 Develop University Coursework to Educate & Train Future Process Engineers on Application of Software Technologies for Advanced Manufacturing $86,000
22.010 Vehicle Technology Readiness Levels $50,000
47.074 Biological Sciences $34,000
47.041 Biological Sciences $12,000
47.041 Engineering $8,000
47.070 Computer and Information Science and Engineering $5,000
47.050 Geosciences $5,000
84.282 Charter Schools $4,000
45.024 Promotion of the Arts_grants to Organizations and Individuals $4,000
43.012 Space Technology $2,000