Finding 50778 (2022-002)

-
Requirement
N
Questioned Costs
-
Year
2022
Accepted
2023-01-22
Audit: 53818
Organization: Greencroft Manor Iii, Inc. (IN)

AI Summary

  • Core Issue: The Corporation deposited prior year surplus cash into the residual receipts account after the required deadline.
  • Impacted Requirements: Surplus cash must be deposited within 90 days of year-end, as outlined in the HUD FRAG Guide.
  • Recommended Follow-Up: Management should enhance monitoring processes to ensure timely deposits of surplus cash in future fiscal years.

Finding Text

Finding Type - Immaterial noncompliance with major program requirements Title and Assistance Listing Number of Federal Program - 14.155 U.S. Department of Housing and Urban Development Mortgage Insurance for the Purchase or Refinancing of Existing Multifamily Projects (Section 207/223(f)) Finding Resolution Status - Resolved Information on Universe and Population Size - Population includes prior year surplus cash to be deposited into the residual receipts account. Sample Size Information - N/A - Population includes all prior year surplus cash to be deposited into the residual receipts account. Identification of Repeat Finding and Finding Reference Number - Not a repeat finding. Criteria - The Corporation should deposit surplus cash within the required time frame specified in the FRAG Guide. Statement of Condition - The Corporation deposited prior year surplus cash after the deadline, as stated in the Real Estate Assessment Center?s Summary of Financial Reporting and Auditing Guidance for HUD (FRAG Guide) under Section 2.8. Cause - The Corporation failed to monitor the cash requirements of the residual receipts account, as specified by HUD. Effect or Potential Effect - The residual receipts account was not funded in the time frame specified by HUD. Auditor Noncompliance Code - B - Failure to make required residual receipt deposits Reporting Views of Responsible Officials - Management agrees with the finding as reported. Context - During testing of the residual receipts account, it was noted that the property did not make the prior year surplus cash deposit within 90 days of year end, as required by HUD. Recommendation - Management should ensure surplus cash amounts be deposited within 90 days of year end, as required by HUD. Auditor's Summary of the Auditee's Comments on the Findings and Recommendations - Management agrees with the finding and recommendation as reported. Response Indicator - Agree Completion Date - October 4, 2021 Response - Management acknowledges noncompliance in the current fiscal year and has taken measures to improve internal controls over compliance. Management deposited the surplus cash amount of $43,488 into the residual receipts account on October 4, 2021.

Corrective Action Plan

Finding Number: 2022-002 Condition: The Corporation deposited prior year surplus cash after the deadline as stated in the Real Estate Assessment Center?s Summary of Financial Reporting and Auditing Guidance for HUD (FRAG Guide) under Section 2.8. Planned Corrective Action: Management acknowledges noncompliance in the current fiscal year and has taken measures to improve internal controls over compliance. Management deposited the surplus cash amount of $43,488 into the residual receipts account on October 4, 2021. Contact person responsible for corrective action: Scott Martin Anticipated Completion Date: October 4, 2021

Categories

HUD Housing Programs Procurement, Suspension & Debarment Reporting Internal Control / Segregation of Duties

Other Findings in this Audit

Programs in Audit

ALN Program Name Expenditures
14.155 Mortgage Insurance for the Purchase Or Refinancing of Existing Multifamily Housing Projects $1.80M
14.195 Section 8 Housing Assistance Payments Program $290,890