Finding 51119 (2022-003)

Material Weakness
Requirement
A
Questioned Costs
$1
Year
2022
Accepted
2023-03-26
Audit: 48079
Organization: Russellville Housing Authority (AR)
Auditor: Urlaub & CO PLLC

AI Summary

  • Core Issue: The Authority improperly charged $76,054 in administrative costs to the Capital Fund Program, which were not supported as eligible expenses.
  • Impacted Requirements: The Authority failed to comply with PIH Notice 2020-07 and 24 CFR 905.314(h), leading to $66,637 in questioned costs.
  • Recommended Follow-Up: Review Capital Fund Program requirements, ensure all administrative costs are justified, and consult with the fee accountant to verify allowable expenses.

Finding Text

Section III ? Federal Award Findings and Questioned Costs 2022-003 Activities Allowed or Unallowed ?Capital Fund Program (Identical of 2022-002) Condition: The Authority expended ineligible funds from the Capital fund Program that were not supported for the use and administration of the program. Criteria: In PIH Notice 2020-07, HUD noted that PHAs may encounter higher costs to administer Capital Fund grants because of the substantial challenges of having to do most of the work remotely. To provide accommodation for this possible constraint, HUD is waiving the Administration cost limitation established in 24 CFR 905.314(h) of 10 percent and temporarily resetting it to 15 percent. Context: During our analysis of Capital Funds, we noted that the Authority charged $76,054 in administrative salary costs to the Capital Fund Program during the current fiscal year. This, compared to the administrative salary amount charged to Operating Fund in the amount of $63,256, is $12,798 higher. This exceeded the prior fiscal year amount of $9,994 charged to administrative salaries in the Capital Fund Program by $66,060. The Authority was unable to provide support that these costs were associated with the administration and management of the Capital Fund Program. Based on the discussions and transactions recorded, this appeared to be a method of shifting Operating Fund costs to the Capital Fund Program. Effect: The Authority did not use the Capital Fund monies for eligible administrative expenses. Questioned Costs: The amount of questioned costs determined to be ineligible was $66,637. Recommendation: It is recommended that the Authority review the Capital Fund Program requirements to ensure all funds are spent on eligible activities. Administrative costs charged to the Capital Fund Program should be supported to verify that the costs are related to the management of the Capital Fund Program. Response: The email received from HUD regarding CARES and CFP was misinterpreted by the Housing Authority and after reviewing with the fee accountant, the fee accountant misinterpreted the information, thus provided inaccurate information on how to expend funds. The Housing Authority will review all disbursements monthly and consult with the fee accountant as to the purpose and nature of any costs that could be deemed as questionable or allowable under the Capital fund Program. In addition, the Housing Authority will ensure that all disbursements are adequately supported and can be easily traced to any LOCCS draw. We will also be requesting a budget revision.

Corrective Action Plan

2022-001 - Internal Control over Financial Statements. Condition ? The financial statements and the Financial Data Schedule submitted to REAC had several material misstatements and were not prepared in accordance with Generally Accepted Accounting Principles (GAAP). Cause ? During the current fiscal year, the Housing Authority inexperienced staff was not aware of the year end documentation that was required to complete the financial statement preparation. In addition, the fee accountant was not specific in explaining the necessary items for Year End. Plan of Action ? The Housing Authority will conduct a monthly review of all financial data to ensure that all financial activities have been properly recorded. The Housing Authority will coordinate the Year End Process as outlined in the Year End checklist provided by Lindsey. In addition, in the future the financial statement preparation will be conducted on the Housing Authority?s server which enable the Housing Authority to retain records within the actual accounting system. Person Responsible: Ms. Donna Smith (Executive Director) Period of Action: The review will be conducted monthly and in coordination with MRI Software. 2022-002 Activities Allowed or Unallowed ? Capital Fund Program. Condition ? The Authority expended ineligible funds from the Capital fund Program that were not supported for the use of and administration of the program. Cause ? The Housing Authority misinterpreted the information regarding CARES and CFP sent from HUD and after reviewing with fee accountant, fee accountant misinterepreted the information provided, as well, thus providing inaccurate information on how to expense funds. Plan of Action ? The Housing Authority will review all disbursements monthly and consult with the fee accountant as to the purpose and nature of any costs that could be deemed as questionable or allowable under the Capital fund Program. In addition, the Housing Authority will ensure that all disbursements are adequately supported and can be easily traced to any LOCCS draw. We will also be requesting a budget revision. Person Responsible: Ms. Donna Smith (Executive Director)

Categories

Questioned Costs HUD Housing Programs Eligibility

Other Findings in this Audit

  • 627561 2022-003
    Material Weakness

Programs in Audit

ALN Program Name Expenditures
14.850 Public and Indian Housing $552,959
14.871 Section 8 Housing Choice Vouchers $475,895
14.872 Public Housing Capital Fund $395,654