Finding 503872 (2024-001)

Material Weakness
Requirement
E
Questioned Costs
-
Year
2024
Accepted
2024-10-28
Audit: 326215
Organization: Renaissance Gardens, Inc. (MD)
Auditor: Cohnreznick LLP

AI Summary

  • Core Issue: Tenant lease files were not maintained according to HUD guidelines, leading to potential eligibility errors.
  • Impacted Requirements: EIV reports were missing or generated late, and essential documentation was absent in several lease files.
  • Recommended Follow-Up: Management should enhance training, monitoring, and accountability to ensure compliance with HUD requirements and improve lease file management.

Finding Text

Criteria Tenant lease files are required to be maintained and tenant eligibility determined in accordance with HUD Handbook 4350.3, Occupancy Requirements of Subsidized Multifamily Housing Programs. Condition In connection with our lease file review, we noted the following deficiencies: - 1 out of 1 lease files for new tenants did not follow EIV guidelines, no EIV report was generated for move-in certification. - 2 out of 6 lease files for existing tenants did not follow EIV guidelines, EIV report was not generated for recertification for one tenant and for the second tenant the report was generated outside of the allowed 120-day period. - 2 out of 6 lease files for existing tenants did not contain necessary documentation, both files were missing gross rent change forms and latest executed versions of HUD-50059 form, one file was also missing support for medical expenses presented on corrected HUD-50059 form. - 1 out of 6 lease files for existing tenants did not contain necessary documentation to support medical deductions. - 1 out of 1 lease files for former tenants had security deposit refund that exceeded 30-day post move-out window. Cause Management's policies with respect to the determination of eligibility and the maintenance of tenant lease files in accordance with HUD Handbook 4350.3, Occupancy Requirements of Subsidized Multifamily Housing Programs were not consistently followed. Effect or Potential Effect The procedures for eligibility and maintaining tenant lease files were not consistently applied in accordance with HUD Handbook 4350.3, Occupancy Requirements of Subsidized Multifamily Housing Programs. This could result in units being rented to ineligible tenants or errors in the rent subsidies paid by HUD. Recommendation Management should establish procedures and monitor compliance with those procedures to ensure that tenant eligibility is correctly determined and that tenant lease files are properly maintained in accordance with the requirements of HUD Handbook 4350.3, Occupancy Requirements of Subsidized Multifamily Housing Programs. Auditor Noncompliance Code R. Section 8 program administration View of Responsible Officials Management agrees with the finding. Managements Plan of Action for Non-Compliance of the HUD Guidelines includes the immediate steps below:  Provide additional training and resources to ensure that the staff has a clear understanding of HUD requirements that will include the importance of adhering to procedures and guidelines with a specific focus on the EIV requirements and reporting, along with the timely processing of annual recertifications.  Implement increased monitoring and oversight mechanisms to detect and correct compliance issues.  Establish clear accountability measures for not following procedures through appropriate corrective actions.  Effectively communicate the importance of following procedures to all staff, emphasizing the impact on organizational efficiency and compliance.  Encourage a culture of continuous improvement where procedures are regularly reviewed, communicated with the staff and provide regular training of changing circumstances or best practices. Finding Resolution Status: Resolved

Corrective Action Plan

Management agrees with the finding. Managements Plan of Action for Non- Compliance of the HUD Guidelines includes the immediate steps below: 1. Move in EIV’s – All move in files are sent to our in house compliance department and Franklin Group has an EIV specialist how follows and tracks all moves for accuracy for all move files and the EIV specialist also sends out the 90 day reminders for all move in. 2. Existing Tenant EIV – It is the policy that all existing tenant EIV & 120-day reports are run per the 4350 guidelines. The Community Manager for Renaissance Gardens has been provided the HUD Trainings and have noted on her daily task reminder from One Site to pull all reports as required. The RM is required during monthly visits to spot check at least 5 existing tenants. 3. Gross Rent Change & Medical Reporting – The policy states that all Gross Rent Changes are to be completed as approved by the new rent schedule – The Community Manager is required to scheduled appointments with all residents to sign the effective gross rent change and file in tenants files, it is also required that residents 50059s are signed and in the file, the Community Manager has taken the latest HUD training with our in house HUD Compliance Manager- The Regional Manager will also spot check files to be certain that all Gross Rent Changes are in it’s 6 part file folders. Medical reporting records were discussed in our HUD Compliance Training and all expenses must be in the 6-part file folder. Again, the RM will continue to spot check files during the monthly required inspections. All HUD Communities were required to participate in the HUD Training as a reminder tool. 4. Security Deposit – Franklin Companies has a policy that all security deposit refunds must be submitted within the 3 days move out period. This situation was due to the changeover in Management. In closing it is the Franklin Companies policy to always follow the HUD guidelines of the 4350. We will continue to train, and connect our team members with the in house HUD Compliance Specialist for support.

Categories

HUD Housing Programs Eligibility Subrecipient Monitoring Reporting

Other Findings in this Audit

  • 503873 2024-001
    Material Weakness
  • 503874 2024-002
    Material Weakness
  • 503875 2024-002
    Material Weakness
  • 503876 2024-003
    Material Weakness
  • 503877 2024-003
    Material Weakness
  • 1080314 2024-001
    Material Weakness
  • 1080315 2024-001
    Material Weakness
  • 1080316 2024-002
    Material Weakness
  • 1080317 2024-002
    Material Weakness
  • 1080318 2024-003
    Material Weakness
  • 1080319 2024-003
    Material Weakness

Programs in Audit

ALN Program Name Expenditures
14.157 Supportive Housing for the Elderly $7.98M
14.157 Supportive Housing for the Elderly ("prac") $308,616