Finding 481212 (2023-001)

Significant Deficiency
Requirement
N
Questioned Costs
-
Year
2023
Accepted
2024-08-15
Audit: 317325
Organization: Ridgecrest at Richfield (VA)

AI Summary

  • Core Issue: The Project failed to deposit $22,818 in surplus cash into the residual receipts fund within the required 60 days after the fiscal year end.
  • Impacted Requirements: This violates the Regulatory Agreement for Multifamily Housing Projects, which mandates timely deposits of residual receipts.
  • Recommended Follow-Up: Management should establish controls to ensure surplus cash calculations are reviewed and deposits are made to the mortgagee within the required timeframe.

Finding Text

Criteria: The Regulatory Agreement for Multifamily Housing Projects dated May 20, 2008, states in section 2. (c), that the owners shall establish and maintain, in addition to the reserve fund for replacements, a residual receipts fund by depositing thereto, with the mortgagee, the residual receipts, as defined herein, within 60 days after the end of the semiannual or annual fiscal period within which such receipts are realized. Condition: During our testing of the surplus cash calculation and residual receipts account, we noticed the surplus cash computed as of the September 30, 2022 fiscal year was not deposited in the residual receipts fund account held by the mortgagee. Cause: During the fiscal year 2023, the majority of the Project’s sole member’s assets were sold to two other organizations. As such, several staff transferred to the new organization. The Project was left with only the current CFO and no accounting staff. Management did not have the appropriate controls or staff in place to ensure the surplus cash was deposited timely with the mortgagee. Effect: The Project did not deposit the surplus cash amount of $22,818 calculated as of September 30, 2022, with the mortgagee within 60 days of the fiscal year end. Questioned Costs: None noted. Recommendation: We recommend that management implement controls to review the calculation of surplus cash as soon as possible after the fiscal year end and forward any surplus cash computed to the mortgagee within 60 days of the fiscal year end. Management views and Corrective Action Plan: Management agrees with this finding. Please refer to the Corrective Action Plan.

Corrective Action Plan

Action plan to improve the filing process for Ridgecrest Surplus cash deposit. For FY24, Mary Clements, CFO, and only accounting professional left at Richfield, has set an annual reminder for 45 days after the end of the fiscal year. HUD form 93486 will be completed and funds will be sent to the reserve within 60 days if the end of the fiscal year. The FY22 deposit is combined with the FY23 deposit on form 93486. The deposit for FY23 is also late. I have notified Evangeline Hilboldt at Lument. When she receives the payment, she will mark both years as complying. The deposit is being sent today, 8/2/2024.

Categories

Cash Management HUD Housing Programs

Other Findings in this Audit

  • 1057654 2023-001
    Significant Deficiency

Programs in Audit

ALN Program Name Expenditures
14.134 Mortgage Insurance_rental Housing $2.13M
14.195 Section 8 Housing Assistance Payments Program $582,409