Finding 403404 (2023-003)

Material Weakness Repeat Finding
Requirement
EN
Questioned Costs
-
Year
2023
Accepted
2024-06-27
Audit: 310515
Organization: Anthony Housing Authority (TX)
Auditor: Mike Estes PC

AI Summary

  • Core Issue: SEMAP was not filed on time, leading to documentation gaps and insufficient controls over tenant eligibility and HAP payments.
  • Impacted Requirements: Missing tenant waitlist explanations, discrepancies in HAP payments, and lack of required EIV documentation for annual re-exams.
  • Recommended Follow-Up: Implement improved procedures and training for staff to address deficiencies and ensure compliance with HUD requirements.

Finding Text

Section 8 Housing Choice Voucher Program-CDFA #14.871, Low Rent Program CDFA#14.850 2023-003-Tenant file deficiencies and SEMAP errors noted-Eligibility and Special Tests Criteria and Specific Requirement (a)-SEMAP should be timely filed and properly documented (b)-Tenants who moved in during the audit year should be found on the waiting list. In addition, the waiting lists should contain explanations of why the applicants listed before (above) the admitted tested tenant was not admitted instead of the applicant who was. (c)-HAP payments should be the same amount of expenditure as listed on the last 50058 before the HAP payment is disbursed (d)-Reasonable rent comparisons should be made for all Move Ins(e)-Income Enterprise Verifications (EIV) should be documented for all tenants when their annual re-examination is done (f)-All 1099’s issued to landlords should be available for third party review. Condition Found (a)-SEMAP was not filed before the regulatory deadline. Since the deadline was missed, the SEMAP could not be submitted. We requested the worksheets used to document SEMAP. management brought in the files that they claim were used to review for SEMAP. the other thing available were twenty inspection forms that management claims were HQ’s. We were unable to determine whether the HQ’s covered both failed and passed initial inspections. Again, no worksheets were available to document the results of the tests. in the last two audit periods, we gave examples and explanations to management of an adequate way to document SEMAP. We recommended a couple of webcasts to attend on SEMAP. Management claims they viewed the webcasts. (b)-We reviewed twenty-five HCV files. Nine were current year move ins. sixteen were annual re-exams. Of the nine move ins tested, we could not locate three on the waiting lists (we asked management three weeks before we reviewed the files to tab the waiting list for the tested move ins). In addition, of one of the six that we did locate on the waiting list, we could not find an explanation of why the applicants listed before (above) were not admitted. We reviewed two move-ins for low rent, a non-major program. We located the applicants on the waiting list. however, there was no explanation why the applicants listed before (above) were not admitted. (c)-Of the twenty -five HCV files tested, the September 2023 HAP payment did not agree to the last available 50058 filed before September for two tenants. We asked if there were possibly interim 50058s that did not make it to the file, but we did not receive any. two were immaterial differences-one being $9 per month, the other $3 per month. (d)-Of the nine move-ins tested, we could not locate a reasonable rent survey for two. (e)-Of the sixteen re-exams we reviewed, we could not find an EIV for the re-exam of one tenant.(f)-We were unable to agree the names of several landlords to 1099’s issued in their name or to a DBA (doing business as). Cause Unknown Effect Controls over the admittance process, calculation of HAP payments, and other facets of eligibility and occupancy are not as strong as they should be. Recommendation to prevent future occurrences The above inadequacies should be corrected. Suggested improved procedures and internal controls have been discussed with management in prior audits. View of responsible official We will comply with the auditor’s recommendation. I do note that we were short of personnel for the entire audit period. I believe that I have staff presently that can do most of the assigned duties. I admit that not all of the deficiencies noted were due to being understaffed, but lack of training (being new to HUD) and understanding. But we will also correct those errors to the best of our ability.

Corrective Action Plan

Corrective Action Plan Finding: 2023-003-Tenant file deficiencies and SEMAP errors noted-Eligibility and Special Tests Condition: (a)-SEMAP was not filed before the regulatory deadline. Since the deadline was missed, the SEMAP could not be submitted. We requested the worksheets used to document SEMAP. management brought in the files that they claim were used to review for SEMAP. the other thing available were twenty inspection forms that management claims were HQ’s. We were unable to determine whether the HQ’s covered both failed and passed initial inspections. Again, no worksheets were available to document the results of the tests. in the last two audit periods, we gave examples and explanations to management of an adequate way to document SEMAP. We recommended a couple of webcasts to attend on SEMAP. Management claims they viewed the webcasts. (b)-We reviewed twenty-five HCV files. Nine were current year move ins. sixteen were annual re-exams. Of the nine move ins tested, we could not locate three on the waiting lists (we asked management three weeks before we reviewed the files to tab the waiting list for the tested move ins). In addition, of one of the six that we did locate on the waiting list, we could not find an explanation of why the applicants listed before (above) were not admitted. We reviewed two move-ins for low rent, a non-major program. We located the applicants on the waiting list. however, there was no explanation why the applicants listed before (above) were not admitted. (c)-Of the twenty -five HCV files tested, the September 2023 HAP payment did not agree to the last available 50058 filed before September for two tenants. We asked if there were possibly interim 50058s that did not make it to the file, but we did not receive any. two were immaterial differences-one being $9 per month, the other $3 per month. (d)-Of the nine move-ins tested, we could not locate a reasonable rent survey for two. (e)-Of the sixteen re-exams we reviewed, we could not find an EIV for the re-exam of one tenant. (e)-Income Enterprise Verifications (EIV) should be documented for all tenants when their annual re-examination is done (f)-All 1099’s issued to landlords should be available for third party review. Corrective Action Planned: We will comply with the auditor’s recommendation. I do note that we were short of personnel for the entire audit period. I believe that I have staff presently that can do most of the assigned duties. I admit that not all of the deficiencies noted were due to being understaffed, but lack of training (being new to HUD) and understanding. But we will also correct those errors to the best of our ability. Person responsible for corrective action: Mary Grace Saenz, Executive Director Telephone: (915) 886-4650 Housing Authority of the Town of Anthony, Texas Fax: (915) 886-2296 1007 Franklin Anthony, TX 79821 Anticipated Completion Date: September 30, 2024

Categories

HUD Housing Programs Eligibility Internal Control / Segregation of Duties Special Tests & Provisions

Other Findings in this Audit

  • 403402 2023-001
    Material Weakness Repeat
  • 403403 2023-002
    Material Weakness
  • 403405 2023-004
    Material Weakness
  • 403406 2023-001
    Material Weakness
  • 403407 2023-002
    Material Weakness
  • 403408 2023-003
    Material Weakness
  • 403409 2023-004
    Material Weakness
  • 979844 2023-001
    Material Weakness Repeat
  • 979845 2023-002
    Material Weakness
  • 979846 2023-003
    Material Weakness Repeat
  • 979847 2023-004
    Material Weakness
  • 979848 2023-001
    Material Weakness
  • 979849 2023-002
    Material Weakness
  • 979850 2023-003
    Material Weakness
  • 979851 2023-004
    Material Weakness

Programs in Audit

ALN Program Name Expenditures
14.871 Section 8 Housing Choice Vouchers $3.23M
14.872 Public Housing Capital Fund $175,849
14.850 Public and Indian Housing $114,191