Finding 61325 (2022-001)

Significant Deficiency
Requirement
BE
Questioned Costs
$1
Year
2022
Accepted
2023-02-08
Audit: 56706
Organization: Project Amistad (TX)
Auditor: Sbng PC

AI Summary

  • Core Issue: Project Amistad failed to properly screen homeowners from renters for the Emergency Rental Assistance Program, leading to ineligible clients receiving funds.
  • Impacted Requirements: The eligibility criteria for the ERA program were not fully implemented, resulting in an exception rate of 1.02% and identified unallowable expenses totaling $876,464.
  • Recommended Follow-Up: Refund the known questioned costs of $1,386.92, conduct thorough contract reviews for future awards, and implement a dual review process for client intake to ensure eligibility compliance.

Finding Text

Criteria: Project Amistad is a sub-recipient of the U.S. Department of Treasury?s Emergency Rental Assistance Program (?ERA?). The ERA program is established by the 2021 Consolidations Appropriations Act, and defines eligible households that may receive financial assistance under the program. To be considered an eligible household, the beneficiaries must be obligated to pay rent on a residential dwelling. Condition: During the initial design of the ERA program?s eligibility screening process, Project Amistad did not distinguish between homeowners and renters as one of the criteria. Project Amistad initiated corrective action that included a full review of all clients that received ERA assistance up to January 2022 and an identification of all clients that are homeowners. In performing this corrective action, Amistad reviewed property tax records for all clients that received assistance, and identified all those property owners that were ineligible to receive ERA assistance as established by the Federal statute. As a result, Amistad identified a total of $876,464 in unallowable expenses and this amount was refunded to the pass-through entity on August 31, 2022. During our review of eligibility for individuals receiving ERA assistance, we noted that in 1 out of 98 instances tested, (exception #1) the supporting client file indicated the individual selected for testing was a homeowner, and therefore disqualified from receiving ERA assistance. Such individual client was not included in Amistad?s list of ineligible clients reported to the pass-through entity. In two other separate instances tested, (exceptions #2 and #3) we noted that management originally identified the clients selected for review as homeowners, but further rounds of assistance for the same clients were not included in Amistad?s list of ineligible clients that was reported to the pass-through entity. Cause: Amistad received initial rounds of ERA funds before the final executed award contract was received from the pass-through entity. Therefore, the design of the ERA program?s eligibility screening was not fully implemented until January 2022 when management initiated corrective action to identify ineligible clients. The result of the audit procedures revealed an exception rate of 1 out 98 (1.02%) of cases in which management?s review process did not identify information in the client?s file that should have led management to conclude those clients were homeowners. Further review by management confirmed that the first exception noted (exception #1) was clearly a homeowner that had not previously been identified and was excluded from management?s corrective action, thus considered a non-compliance with a total impact of $1,386.92. Upon further review of exceptions #2 and #3, management was able to provide evidence that such clients were not in fact homeowners and thus incorrectly classified as ineligible expenses for a portion of the total ERA assistance provided. Questioned Costs: Likely questioned costs are projected to be as much as $20,647.51. From these costs there are known non-compliance costs of $1,386.92, which represent 0.76% of the sample value, and a remaining projected amount of $19,260.59 (the sample represents 7% of the entire population). Effect: The corrective action initiated by management is likely to have not identified ineligible homeowners in approximately 1.02% of the total client cases. The estimated likely questioned costs to be contained within the population of ERA expenditures incurred during the year ended August 31, 2022 is $20,647.51. Recommendations: Management has previously implemented a corrective action, which consisted of reviewing all client files as of January 2022, identifying ineligible clients, reporting such ineligible clients to the pass-through entity, and reimbursing $876,464 prior to August 31, 2022. In addition to the corrective action plan already implemented by management, we recommend that the known questioned costs of $1,386.92 be refunded to the pass-through entity. While the circumstances that led to the issuance of the ERA award are unusual, we recommend that for future awards, a thorough contract review be performed for each grant award, and that program design procedures are evaluated by a committee of members of management, to include as a minimum the program director in charge of the program and the Chief Operating Officer. We also recommend that management consider implementing a dual review process of client intake forms for all existing and future government-funded programs that require individual eligibility determination. This process will ensure that all inconsistencies in client intake are corrected timely. Management response: Management agrees with the auditor?s recommendation. See corrective action plan.

Corrective Action Plan

Management's views: When Amistad was notified by the City of El Paso about the error in January of 2022, management immediately started addressing the concern and made various steps to ensure solutions and best practices were being implemented. The auditor has a copy of the timeline and all steps that were taken. Amistad was able to recover $876,464, from all utility companies, the City approved the revisions to the application, and there was no negative impact to the agency. Amistad pledged to assist all customers that were impacted. Proposed corrective action: In regard to the corrective action plan, the process to address the issue started in January of 2022. A detailed timeline and corrective action plan were provided to SBNG. Amistad made several changes immediately such as identify ing and separating homeowners from renters, modified the application, added the Eligibility Verification Checklist and included a section for the Supervisor to review. Based on the feedback from the Audit, Amistad will continue to improve the process of reviewing new grant contracts so we can identify gray areas of compliance from the very beginning. For each new grant, management will make sure experienced members of the staff will evaluate the design of the program's procedures before the program rolls out. Also, for eligibility screening, we will continue to have a dual review of participant files to assist with identifying inconsistencies on the application. The $1,386.92 that was identified as an exception has been identified as ERA II funds. The City of El Paso has approved Amistad to use the $1,386.92, for the utility assistance program to assist renters. Anticipated correction date: As stated earlier, the corrective action plan started in January of 2022. Staff have received multiple trainings and will continue to receive trainings regarding best practices and contracts, along with implementation of programs. The recommendations that the auditor has provided have already been in process and will continue to be addressed through training and quality assurance checks. In regard to the one exception noted, the City of El Paso has approved Amistad to use the $ 1,386.92, for the utility assistance program to assist renters during FY2023. Responsible Official: Andrea Ramirez, Chief Executive Officer.

Categories

Questioned Costs Subrecipient Monitoring Eligibility Allowable Costs / Cost Principles Reporting

Other Findings in this Audit

  • 61326 2022-001
    Significant Deficiency
  • 637767 2022-001
    Significant Deficiency
  • 637768 2022-001
    Significant Deficiency

Programs in Audit

ALN Program Name Expenditures
21.023 Emergency Rental Assistance: Amistad Cares General Assistance (era Part 2) $1.95M
14.231 Emergency Solutions Grant Program- Cv Phase 2- El Camino A Casa $1.66M
93.332 Panwest Tx Navigator Program (chimes) $529,938
21.023 Emergency Rental Assistance: Amistad Cares General Assistance (era Part 1) $298,875
20.513 Section 5310- Mobility of Seniors and Individuals with Disabilities: Operations $226,520
14.218 Community Development Block Grants: Covid 19 Relief: Case Management Services $112,581
93.048 Rio Grande Adrc: No Wrong Door/ Covid-19 Vaccine Access $59,041
93.667 Hhsc Reg 10 $58,301
93.630 Developmental Disabilities Basic Support: Money Basics $49,388
14.218 Community Development Block Grants: Money Maganegemt Program $49,057
20.513 Section 5310- Mobility of Seniors and Individuals with Disabilities: Mobility Manager $40,236
93.791 Rio Grande Adrc: Housing Navigator $35,434
20.513 Section 5310- Mobility of Seniors and Individuals with Disabilities: Capital $27,147
20.505 Section 5304 Federal Planning $24,148
93.071 Rio Grande Adrc: Medicare Improvements for Patients and Providers $16,131
93.791 Rio Grande Adrc: Local Contact Agency $12,939
93.630 Developmental Disabilities- Basic Support: Project Amistad Support Specialist $11,810
93.072 Rio Grande Adrc: Lifespan Respite Care Program (gr) $3,241
93.072 Rio Grande Adrc: Lifespan Respite Care Program $1,027