Finding 525945 (2023-005)

Material Weakness
Requirement
ABCI
Questioned Costs
-
Year
2023
Accepted
2025-03-06

AI Summary

  • Core Issue: The organization lacks written policies and procedures for allowable costs, cash management, and procurement, which are required by federal regulations.
  • Impacted Requirements: Compliance with 2 CFR Part 200, specifically Subparts D and E, is at risk due to the absence of necessary documentation.
  • Recommended Follow-Up: Review and update written policies to align with Uniform Guidance and ensure compliance with federal program requirements.

Finding Text

Assistance Listing Number(s): 10.912 Name of Federal Program or Cluster: Environmental Quality Incentives Program Name of Federal Agency: Department of Agriculture Award Periods: September 3, 2019 through July 31, 2024 and September 30, 2020 through September 30, 2025 Assistance Listing Number(s): 10.924 Name of Federal Program or Cluster: Conservation Stewardship Program Name of Federal Agency: Department of Agriculture Award Periods: September 3, 2019 through July 31, 2024 and September 30, 2020 through September 30, 2025 Criteria or Specific Requirement: Subparts D and E of 2 CFR Part 200 require a nonfederal entity to establish written policies, procedures, and standards of conduct, including procedures to implement the cash management requirements of 2 CFR section 200.305, procedures that comply with the procurement standards of 2 CFR sections 200.318 through 200.326, and procedures for determining the allowability of costs in accordance with Subpart E of 2 CFR Part 200. Specifically, 2 CFR sections 200.430, 200.431, and 200.475 require written policies. Condition: There are no written policies and procedures for allowable costs/cost principles, cash management, procurement and suspension and debarment requirements. Cause: The Organization does not have a process for reviewing their accounting policies and procedures manual on a regular basis to ensure written procedures conform to Uniform Guidance requirements. Effect or Potential Effect: A lack of written policies, procedures, and standards of conduct may result in noncompliance with the requirements of federal programs and/or disallowed costs. Repeat Finding: No Recommendation: We recommend the Organization’s written policies and procedures be reviewed and updated for compliance with Uniform Guidance. The organization should become familiar with the requirements of Subparts D and E of 2 CFR Part 200 and establish appropriate written policies, procedures, and standards of conduct. Views of Responsible Officials: Management agrees with the finding and they will evaluate our findings to determine an appropriate corrective action.

Corrective Action Plan

Finding: 2023-005 • Condition: There are no written policies and procedures for allowable costs/cost principles, cash management, procurement and suspension and debarment requirements. • Planned Corrective Action: Financial policies and procedures will be created and implemented. Contact Person: Katherine Jaeger Anticipated Date of Completion: 6/30/2025

Categories

Procurement, Suspension & Debarment Allowable Costs / Cost Principles

Other Findings in this Audit

  • 525946 2023-006
    Material Weakness
  • 525947 2023-007
    Significant Deficiency
  • 525948 2023-005
    Material Weakness
  • 525949 2023-006
    Material Weakness
  • 525950 2023-007
    Significant Deficiency
  • 1102387 2023-005
    Material Weakness
  • 1102388 2023-006
    Material Weakness
  • 1102389 2023-007
    Significant Deficiency
  • 1102390 2023-005
    Material Weakness
  • 1102391 2023-006
    Material Weakness
  • 1102392 2023-007
    Significant Deficiency

Programs in Audit

ALN Program Name Expenditures
10.912 Environmental Quality Incentives Program $162,505
10.924 Conservation Stewardship Program $162,505
10.664 Cooperative Forestry Assistance $102,361
15.630 Coastal Program $64,450
10.902 Soil and Water Conservation $60,617
15.662 Great Lakes Restoration $9,886