Finding 555092 (2022-007)

Significant Deficiency Repeat Finding
Requirement
ABCL
Questioned Costs
-
Year
2022
Accepted
2025-04-15

AI Summary

  • Core Issue: The Corporation lacks sufficient documentation for internal controls related to compliance with federal laws and regulations.
  • Impacted Requirements: This affects compliance with Uniform Grant Guidance (2 CFR 200.303) regarding documentation of control activities and supervisory reviews.
  • Recommended Follow-Up: Management should review and improve documentation processes for approvals and supervisory reviews to prevent future funding loss.

Finding Text

2022-007 Maintenance of Documentation of Internal Control Over Compliance U.S. Department of Justice, Passed through Illinois Criminal Justice Information Authority Crime Victim Assistance – Assistance Listing Number 16.575, Pass-through Entity Identifying Number 546-00-1745 Criteria: Uniform Grant Guidance (2 CFR 200.303) requires nonfederal entities receiving Federal awards to establish and maintain internal controls designed to reasonably ensure compliance with Federal laws, regulations, and program compliance requirements. Effective internal controls should include procedures to ensure that documentation to evidence the operation of internal controls, such as supervisory reviews.   Condition: The Corporation did not have sufficient documentation that internal controls were in place and operating effectively for control activities required for assessment of activities allowed or unallowed and for allowable costs/cost principles. The Corporation also did not have sufficient documentation that internal controls were in place and operating effectively for monitoring procedures required for cash management and reporting compliance requirements. Although the Corporation provided documentation supporting the costs reported, there was no formal documentation of the control activities for approval of activities allowed or unallowed and allowable costs/cost principles. Formal documentation of the supervisory review of cash management and supervisory review and approval of the information compiled for the reporting compliance requirement was also unavailable. Cause: The Corporation did not maintain documentation evidencing the operation of specific internal controls. Effect: Lack of properly documented evidence of approval of activities allowed or unallowed and allowable costs/cost principles. Lack of properly documented evidence of supervisory review of cash management and reporting policies and procedures could result in the loss of future funding. Questioned costs: None Identification as a repeat finding, if applicable: 2021-010 Recommendation: We recommend that management reviews current processes, polices, and procedures to ensure that approval of activities allowed or unallowed and approval of allowable costs/cost principles are properly documented. We recommend that management reviews current processes, policies, and procedures to ensure that supervisory review of cash management and reporting compliance requirements are properly documented. View of responsible officials of the auditee: Management agrees with the finding and recommendation.

Corrective Action Plan

2022-007 Maintenance of Documentation of Internal Control Over Compliance Finding: Under Uniform Grant Guidance (2 CFR 200.303) requires nonfederal entities receiving Federal awards to establish and maintain internal controls designed to reasonably ensure compliance with Federal laws, regulations, and program compliance requirements. Effective internal controls should include procedures to ensure that documentation to evidence the operation of internal controls, such as supervisory reviews. The Corporation did not have sufficient documentation that internal controls were in place and operating effectively for control activities required for assessment of activities allowed or unallowed and for allowable costs/cost principles. The Corporation also did not have sufficient documentation that internal controls were in place and operating effectively for monitoring procedures required for cash management and reporting compliance requirements. Corrective Actions Taken or Planned: Due to turnover of key positions responsible for grant submission, supporting documentation that was kept on these individuals’ computers was not saved, passed on, nor stored in a central storage location so that the new hires that were brought in to replace these individuals as well as others in the department could view them. In August 2023, the Corporation provided education and training to the staff regarding identifying documentation and files related to the annual SEFA as well as establishing a central departmental drive to store the documentations so that others can locate them when necessary. Name of contact person responsible for corrective action: Jamie Mack, Vice President of Finance

Categories

Subrecipient Monitoring Allowable Costs / Cost Principles Cash Management Reporting Matching / Level of Effort / Earmarking

Other Findings in this Audit

  • 555090 2022-005
    Significant Deficiency Repeat
  • 555091 2022-006
    Material Weakness Repeat
  • 555093 2022-008
    Significant Deficiency
  • 555094 2022-005
    Significant Deficiency Repeat
  • 555095 2022-006
    Material Weakness Repeat
  • 1131532 2022-005
    Significant Deficiency Repeat
  • 1131533 2022-006
    Material Weakness Repeat
  • 1131534 2022-007
    Significant Deficiency Repeat
  • 1131535 2022-008
    Significant Deficiency
  • 1131536 2022-005
    Significant Deficiency Repeat
  • 1131537 2022-006
    Material Weakness Repeat

Programs in Audit

ALN Program Name Expenditures
16.575 Crime Victim Assistance $1.12M
93.011 National Organizations for State and Local Officials $701,483