Finding 58441 (2022-101)

Significant Deficiency Repeat Finding
Requirement
AEL
Questioned Costs
-
Year
2022
Accepted
2023-06-05
Audit: 55181
Organization: B J Enterprises, Inc. (AZ)

AI Summary

  • Core Issue: Multiple clerical errors in meal claims for the Child and Adult Care Food Program led to inaccurate reimbursements and potential overpayments.
  • Impacted Requirements: Compliance with Arizona Department of Education guidelines regarding meal claims, including eligibility criteria for providers' own children and accurate menu records.
  • Recommended Follow-Up: Implement thorough reviews of menus and meal count sheets for accuracy, and ensure only eligible children are claimed for reimbursement, with documentation of these reviews.

Finding Text

REFERENCE: 2022-101 REPEAT FINDING REFERENCE: 2021-001 CFDA NUMBER: 10.558 ? CHILD AND ADULT CARE FOOD PROGRAM U.S. DEPARTMENT OF AGRICULTURE - FOOD AND NUTRITION - 2022 PASSED THROUGH ARIZONA STATE DEPARTMENT OF EDUCATION GRANT NUMBER 6AZ300003 QUESTIONED COSTS N/A CONDITION The following errors were noted during testing of FDCH Site Claims, the Sponsor?s Meal Served Report and 40 Day Care Home provider files for the months of March 2022 and June 2022: 1. For 2 of 40 provider files tested, menus were clerically inaccurate and did not support the meals claimed. This error occurred in March 2022. 2. For 1 of 40 provider files tested, meals were claimed for the provider?s own child, when the provider was not eligible for free or reduced meals. This error occurred in June 2022. 3. For 2 of 40 provider files tested, meals were claimed when the provider?s children were the only children present. This error occurred in June 2022. 4. For 1 of 40 provider files tested, meals were claimed outside of the current claim month. This error occurred in March 2022. 5. For 4 of 40 provider files tested, meals were claimed when the child was not indicated as being present for the meal. This error occurred in June 2022. 6. For 1 of 40 provider files tested, meals were claimed when no menu components were listed on the menu. This error occurred in March 2022. These errors resulted in the following revised meal counts: SEE SCHEDULE OF FINDINGS AND QUESTIONED COSTS FOR TABLE These variances resulted in an over payment (known questioned costs) of $195. However, after projecting the various types of errors over six meal categories for the entire year, likely questioned costs totaled $10,037. CRITERIA In accordance with the Arizona Department of Education, Day Care Home Compliance Manual, Revised June 2019, Chapter 6 New Provider Eligibility Requirements, 6.3 Provider?s Own, at least one non-residential child must be enrolled and receiving care by the provider in order for the provider to qualify as a family child care home for CACFP eligibility purposes. Payment may be made for meals served to the provider's own children only when: ? Such children are enrolled and participating in the child care program during the time of the meal service, ? Enrolled nonresident children are present and participating in the child care program, and ? The provider is eligible for Tier I reimbursement and providers' children are eligible to receive free or reduced-price meals. In accordance with the Arizona Department of Education, Day Care Home Compliance Manual, Revised June 2019, Chapter 10, Meal Requirements, Section 10.7 Other Meal Requirements, in order to claim a meal, the provider must abide by the following criteria: ? The provider must serve a fully reimbursable meal that meets the meal pattern requirements and are supported by complete and up to date attendance, meal count, and menu records; ? The child must be present and participate in the meal service; ? All meal components must be served together; ? The meal must be fully consumed on the premises in a congregate setting. Meals sent home with a child due to the parent picking up the child during meal service cannot be claimed; ? Meal must be served during approved meal service time; ? The provider can be reimbursed for a maximum of two meals and one snack or two snacks and one meal per child, per day; ? Only children who are enrolled can be claimed and the number of children cannot exceed the allowable ratio; ? Payment may be made for meals served to provider?s own child(ren) or foster children only when: ? Their child(ren) are enrolled and participating in the child care program during the time of the meal service; ? At least one enrolled, non-resident child is present and participating in the child care program; ? The provider meets the family size income standards for free or reduced price meals; ? Seconds may be served but are not reimbursable; and ? If a school age child receives a breakfast, lunch or afterschool snack at school, a provider may not claim the same meal. In accordance with the Uniform Guidance, Compliance Supplement, Part 6 ? Internal Control, the 2 CFR section 200.303 requires that non-federal entities receiving federal awards establish and maintain internal control over the federal awards that provides reasonable assurance that the non-federal entity is managing the federal awards in compliance with federal statutes, regulations, and the terms and conditions of the federal awards. EFFECT Program requirements were not complied with. Additionally, meal reimbursements were clerically inaccurate and the providers and sponsor were incorrectly reimbursed. CAUSE Although the internal controls were adequately designed, there were deficiencies in the execution of the controls. All errors occurred on paper menus, which have a higher risk of errors. RECOMMENDATION AND BENEFIT Menus should be reviewed to ensure all meals with the required components are claimed, and provider meal count sheets should be reviewed for clerical accuracy and completion, prior to the preparation of the reimbursement claim. Additionally, income affidavits should be compared to the meals claimed for a provider?s own children, to ensure that only eligible children are claimed. These reviews should be documented. This will help ensure that program requirements are complied with and only eligible meals served to eligible participants are claimed for reimbursement. VIEWS OF RESPONSIBLE OFFICIALS See Corrective Action Plan.

Corrective Action Plan

B J ENTERPRISES, INC. CORRECTIVE ACTION PLAN SEPTEMBER 30, 2022 REFERENCE: 2022-101 REPEAT FINDING REFERENCE: 2021-001 CFDA NUMBER: 10.558 ? CHILD AND ADULT CARE FOOD PROGRAM U.S. DEPARTMENT OF AGRICULTURE - FOOD AND NUTRITION - 2022 PASSED THROUGH ARIZONA STATE DEPARTMENT OF EDUCATION GRANT NUMBER 6AZ300003 CLIENT RESPONSE AND CORRECTIVE ACTION PLAN We concur with the condition. 1. Name of the contact person responsible for corrective action: Katie O'Neill, Director 2. Corrective action planned: a. For 2 of 40 providers files tested, menus were clerically inaccurate and did not support the meals claimed. The Area Coordinators will be retrained to double check their meal counting on their menus at least once before they submit their meal counts and one time after they submit their meal counts. See BJ Enterprises Procedures for Reading Menus, Section D, #6. b. For 1 of 40 provider files tested, meals were claimed for the provider's own child, when the provider was not eligible for free/reduced price meals. The menu reader must use the most current "Claiming Own" report while they are menu reading. The income applications have to be approved by the Assistant Director or Director prior to the menus being read. The menu reader will use this list, as well as the Master List when reading the menus. The Area Coordinators will be retrained to ensure that the provider who is claiming their own children qualify to do so. See BJ Enterprises Procedures for Reading Menus, Section C, #5. c. For 2 of 40 provider files tested meals were claimed when the provider's children were the only children present. This occurred when the day care children were disallowed. The Area Coordinators will be re-trained to disallow the day care providers own children when meals are disallowed for all of the day care children. See BJ Enterprises Procedures for Reading Menus, Section C, #5. d. For 1 of 40 provider files tested, meals were claimed outside of the current claim month. The Area Coordinators will be re-trained to disallow meals on the front end or the back end of the month. See BJ Enterprises Procedures for Reading Menus, Section B, #2. e. For 1 of 40 provider files tested, meals were claimed when the child was not indicated as being present for the meal. The times in and out were not on the day that was claimed. The Area Coordinators will be re-trained to disallow meals when the time in and outs are not written on the menu. See 8 J Enterprises Procedures for Reading Menus, Section C, #4. f. For 1 of 40 provider files tested, meals were claimed when no menu components were listed on the menu. The Area Coordinators will be re-trained to disallow meals when thy have no components listed on the menu. See BJ Enterprises Procedures for Reading Menus, Section B, #3. All of the menu mistakes were on paper menus. We are encouraging everyone to start claiming on computerized menus (KidKare) because there are less or no mistakes on those menus. 3. Anticipated completion date: June 30, 2023

Categories

Procurement, Suspension & Debarment Cash Management Eligibility Matching / Level of Effort / Earmarking Internal Control / Segregation of Duties

Other Findings in this Audit

  • 634883 2022-101
    Significant Deficiency Repeat

Programs in Audit

ALN Program Name Expenditures
10.558 Child and Adult Care Food Program $2.97M