Finding 61444 (2022-001)

-
Requirement
E
Questioned Costs
-
Year
2022
Accepted
2023-01-10

AI Summary

  • Core Issue: Multiple applications lacked required documentation and procedures, including missing dates, forms, and background checks.
  • Impacted Requirements: Non-compliance with HUD regulations affects tenant eligibility verification and proper waitlist management.
  • Recommended Follow-Up: Implement training for staff on application procedures and conduct regular reviews of tenant files to ensure compliance.

Finding Text

FINDING No. 2022-001: Section 202 Supportive Housing for the Elderly, CFDA 14.157 Finding Resolution Status: Unresolved. Information on Universe Population Size: Sixty-seven tenants. Sample Size Information: Ten tenants. Identification of Repeat Finding and Finding Reference Number: Yes, 2021-001. Criteria: HUD regulations require that the owner/manager must indicate on the application the date and time received; provide the form HUD-92006 (Supplemental Information to Application for Assistance) to applicants to complete, sign and date; upon receipt of an application for tenancy or assistance; sign the lease and lease addendums; perform background/credit checks prior to tenant moving into a unit; and perform income verification through the Enterprise Income Verification (EIV) certification during the recertification process. Statement of Condition: Three applications for tenancy did not have any indication of the date and time received, ten applications did not have the Form HUD-92006 attached, three tenant files did not have certain lease addendums signed by the manager, two tenant files did not have the lease signed by the manager, two tenant files did not have a background check performed prior to move-in, and one tenant file did not have an EIV verification performed during the recertification process. Cause: The manager inadvertently excluded the date and time received on applications, the manager did not provide or maintain the Form HUD-92006 for applications, did not sign and date the lease and lease addendums maintained in the tenant files, did not perform the background check prior to tenants moving in, and entered the incorrect social security number when performing EIV income verification. Effect or Potential Effect: Unable to determine date and time for the receipt of applications for proper wait listing placement and subsequent selection to occupy a unit, not maintaining files in accordance with HUD requirements, and verifying tenant eligibility and cost of assistance and residency may be disallowed. Auditor Non-Compliance Code: R ? Section 8 Program Administration Reporting Views of Responsible Officials: The Project agrees with the finding and the auditor?s recommendations will be adopted. Recommendation: The Project should implement procedures to ensure all applicant and tenant documentation is properly completed and maintained, the manager verifies eligibility by obtaining all required documents for potential tenants and maintains and verifies tenant income through the EIV system in a timely manner. Response Indicator: Agree. Completion Date: 06/30/2023 Response: Individual and group manager training will be conducted in following the proper procedures when taking applications and maintaining the waiting list. A previous manager who is no longer an employee completed many of the files pulled for review. Going forward Compliance will also review random move-in files to determine that proper procedures are being followed.

Corrective Action Plan

Oversight Agency for Audit, Senior Citizens Housing Development Corporation of Los Angeles respectfully submits the following corrective action plan for the year ended June 30, 2022. Name and address of independent public accounting firm: Bellows Associates, P.A., 5401 N University Drive, Suite 201, Coral Springs, Florida 33067 Audit period: July 1, 2021 through June 30, 2022 The findings from the June 30, 2022 schedule of findings and questioned costs are discussed below. The findings are numbered consistently with the numbers assigned in the schedule. SECTION III ? FINDINGS AND QUESTIONED COSTS ? MAJOR FEDERAL AWARD PROGRAMS AUDIT FINDING No. 2022-001: Section 202 Supportive Housing for the Elderly, CFDA 14.157 Recommendation: The Project should implement procedures to ensure all applicant and tenant documentation is properly completed and maintained, the manager verifies eligibility by obtaining all required documents for potential tenants and maintains and verifies tenant income through the EIV system in a timely manner. Action Taken: Individual and group manager training will be conducted in following the proper procedures when taking applications and maintaining the waiting list. A previous manager who is no longer an employee completed many of the files pulled for review. Going forward Compliance will also review random move-in files to determine that proper procedures are being followed. If the Oversight Agency for Audit has questions regarding these plans, please call Christine Harris at 954-835-9200. Sincerely yours, Christine Harris Accounting Manager

Categories

HUD Housing Programs Eligibility Reporting

Other Findings in this Audit

Programs in Audit

ALN Program Name Expenditures
14.157 Section 202 Supportive Housing for the Elderly - Capital Advance $6.51M
14.157 Section 202 Supportive Housing for the Elderly - Project Rental Assistance Contracts $462,711