Finding Text
Criteria: HUD regulations states the following: a. 24 CFR 5.230(a) Required consent by assistance applicants and participants. Each member of the family of an assistance applicant or participant who is at least 18 years of age, and each family head and spouse regardless of age, shall sign one or more consent forms. b. 24 CFR 891.410(b). The Owner must accept applications for admission to the project in the form prescribed by HUD is obligated to confirm all information provided by applicant families on the application. Applicant households applying for assisted units must complete a certification of eligibility as part of the application for admission. Applicant households must meet the disclosure and verification requirements for Social Security Numbers. Applicant families must sign and submit consent forms for the obtaining of wage and claim information from State Wage Information Collection Agencies. Both the Owner and the applicant household must complete and sign the application for admission. On request, the Owner must furnish copies of all applications for admission to HUD. c. 24 CFR 886.318 (a) The owner shall be responsible for the management and maintenance of the project in accordance with requirements established by HUD. These responsibilities shall include but not be limited to: Performance of all management functions, including the taking of applications; determining eligibility of applicants; selection of families, including verification of income, obtaining and verifying Social Security Numbers submitted by applicants, obtaining signed consent forms from applicants for the obtaining of wage and claim information from State Wage Information Collection Agencies and other pertinent requirements; and determination of the amount of tenant rent in accordance with HUD established schedules and criteria. Condition: The auditors selected 10 tenant samples from the rent roll and inspected their corresponding folders. Inspections revealed that 1 tenant's folder is missing signatures on the following documents: HUD 9887, EIV, and recertification. Cause of Condition: This condition arises from not strictly adhering to the provisions outlined
in 24 CFR 5.230 (a), 24 CFR 891.410 (b), and 24 CFR 886.318 (a).
Potential Effect of Condition: Not following the above guidance may cause several effects such
as (a) Non-Compliance Issues – Failure to obtain required signatures on consent forms may
result in non-compliance with HUD Regulations, which could lead to penalties or sanctions
against housing provider. (b) Inaccurate Eligibility Determination – Without proper consent, the
housing provider might not be able to verify critical information, such as income or Social
Security Numbers, potentially leading to incorrect eligibility determinations for housing
assistance.
Questioned Costs: The auditors have identified questioned costs of $8,432 for annual rental
subsidies. These questioned costs pertain only to the sample tested.
Reporting Views of Responsible Officials: The responsible officials agree with the findings
and recommendations and will adhere to the corrective action plan.
Context: Tenants must remain in full compliance with the documentary requirements set forth
by HUD, as outlined in their regulations. Failure to meet these requirements may result in non_x0002_compliance findings, which can impact program eligibility and participation. During the year, we
have noted that 1 tenant's folder with missing signature on HUD 9887, EIV, and recertification.
Recommendation: To ensure compliance, the auditors recommend the Project to (a) Develop a
checklist to ensure that all required consent forms are signed by every eligible household
member and that these forms are collected at the time of application or recertification. (b) Clearly
inform applicants about the need for signatures on consent forms during the application process,
provide assistance if they have questions or need help with completing the forms. ( c) Ensure
proper documentation and retention of signed consent forms as per HUD requirements and
internal policies, maintaining records for the appropriate duration. (d) Train staff in the
importance of obtaining all necessary signatures and on the specific consent forms required.
Ensure they understand the implications of non-compliance.
Management’s Response: To prevent similar occurrences in the future, we will continue our
efforts to have a robust monitoring and review process and improve our coordination with the
tenants. We will explore alternative methods to ensure the HUD documentation is completed as
required.