Title: Audits: Assisting You In Managing Your Federal Program
1Audits Assisting You In Managing Your
Federal Program!
- Peter Vien Suzanne Hatfield
- March 5, 2008
Georgia Department of Auditsand Accounts
2FY 2006 ITQ Audit Results
- ITQ Program Reviewed _at_ 36 Boards
- Findings By Compliance Requirement
- Allowable Costs/Cost Principals
- Cash Management
- Financial Reporting /Completion Report
- Special Provisions/Schoolwide Implementation
3FY 2006 Audit Findings
- What is the common thread in most of the audit
findings? -
- Lack of Internal Controls!
4Objectives of Internal Control
- Financial Reporting
- Is the data reported reliable?
- Operations
- Are the operations of the organization efficient
and effective to meet our objectives? - Compliance
- Are procedures in place to ensure that all
applicable laws and regulations are followed?
5Components of Internal Control
- Internal control consists of five interrelated
components - Control environment sets the tone of an
organization, influencing the control
consciousness of its people. It is the foundation
for all other components of internal control,
providing discipline and structure. - Risk assessment is the identification and
analysis of relevant risks to achievement of
objectives, forming a basis for determining how
the risks should be managed. - Control activities are the policies and
procedures that help ensure that management
directives are carried out.
6Components of Internal Control
- Internal control consists of five interrelated
components - Information and communication systems support the
identification, capture, and exchange of
information in a form and time frame that enable
people to carry out their responsibilities. - Monitoring is a process that assesses the quality
of internal control performance over time.
7Give Me Your Thoughts
- Which are the Five Components of Internal Control
Might Be the Most Critical/Valuable to You? - Risk Assessment?
- Control Environment?
- Control Activities?
- Information/Communication?
- Monitoring?
8Reporting of Deficiencies
- New auditing standards (SAS 112 and Yellow Book)
require us to formalize communication of noted
deficiencies - Three levels of deficiencies
- Deficiency
- Significant Deficiency
- Material Weakness
9Reporting of Deficiencies
- Deficiencies
- Will be reported to you either in
- Verbal form at post-audit conference
- same as management points for discussion in the
past - Management letter (new for FY07)
- Significant Deficiencies and Material Weaknesses
- Will be reported as findings in the audit report
in the same manner as Reportable Conditions and
Material Weaknesses in the past
10Audit Report Key Components
- Schedule of Expenditures of Federal Awards (SEFA)
- Report on compliance applicable to each major
program and on internal control over compliance - Summary schedule of prior year findings and
questioned costs - Schedule of findings and questioned costs
- Schedule of managements responses
11Compliance Requirements Covered in A Single Audit
- OMB Circular A-133 Compliance Supplement
Provides The 14 Compliance Requirements That Are
Covered In a Single Audit - The Compliance Requirements Specific to the ITQ
Program Are Included In The CS Forms the Basis
For Our Review of ITQ
12Compliance Requirements Covered in ITQ Review
- Activities Allowed/ Unallowed and Allowable Costs
Cost Principles - Review these two Compliance requirements
Concurrently - Activities Allowed/Unallowed
- Are activities allowed or Unallowed by
law/regulation/policy, USED Regulation
policies, GDOE Policy - For ITQ Program, Based On Local Assessment
13Compliance Requirements Covered in ITQ Review
- Allowable Costs/ Cost Principles Provisions of
OMB Circular A-87 - Are Costs Necessary/ Reasonable/ Allocable/
Authorized/ Not Prohibited Under State or local
Law - Direct Costs benefits to program directly
related to expenditure - Indirect Costs Joint purpose but benefits not
readily assignable to a specific objective/program
14Compliance Requirements Covered in ITQ Review
- Two Types of Direct Costs
- Personnel Service Costs
- Personnel Working All Time on Program
- Personnel Working Part Time on Program
- Hourly Paid Personnel
- Other Operating Costs
- Travel
- Professional Development
- Consultants
15Compliance Requirements Covered in ITQ Review
- Personnel Service Costs
- Required Support of Salaries and Wages
- Provisions Included in 8h of Attachment B of OMB
Circular A-87 - Personnel engaged in Single Federal Activity
- Semi-Annual Certification
- Signed by Employee or Supervisory Official
16Compliance Requirements Covered in ITQ Review
- Personnel Service Costs
- Personnel Engaged in Federal/Non-Federal Multiple
Activities - Personnel Activity Reports (PARs)
- Account For Employees Total Time
- Signed by Employee Prepared Monthly
- 10 Variance of Activity, Then Quarterly
Adjustments - PARs Serve As Only Means of Certifying/Documenting
Actual Time Performed By Personnel on Federal
Activity
17Compliance Requirements Covered in ITQ Review
- Other-Than Personnel Service Costs
- Consultant Costs
- Professional Development
- Travel
- Equipment
- Procurement Process Applies
- Delivery of Services/Goods Documented
18Compliance Requirements Covered in ITQ Review
- Indirect Costs
- Apply GDOE Approved Indirect Cost Rate (ICR) to
Base To Determine Amount of I/C Costs - Base Includes Direct Charges To ITQ Program
- Cannot Include extraordinary Items in Base
- A Board May Have an Approved Restricted and
Unrestricted ICR - Only Restricted ICR Can Be Applied To the ITQ
Program
19Compliance Requirements Covered in ITQ Review
- Cash Management
- Request ITQ Funds on a Reimbursement Basis From
GDOE - Request Based On Disbursed Amount
- Timely Basis (Monthly)
- Little or No Balance Carried Forward
20Compliance Requirements Covered in ITQ Review
- Period of Availability
- Expenditures are Expended in Proper Period
- Cannot Be Expended Before or After Grant
Award Period
21Compliance Requirements Covered in ITQ Review
- Level of Effort
- Basis For Receiving FY 2007 ITQ Funds
- In FY 2006, Board Expended An Amount of
State/Local Funds For Free Public Education That
Was At Least 90 of the Amount Expended in FY
2005 - Calculated By Either in the Agggregate or by Per
Student
22Compliance Requirements Covered in ITQ Review
- Supplement Vs Supplant
- Cannot Use ITQ Funds To Provide Services That
Are - Required To Be Made Available Under Federal,
State or Local Law - Board Provided In Previous Year W/ Non- Federal
Funds
23Compliance Requirements Covered in ITQ Review
- Transferability
- Movement of Funds Among Four Federal Programs
Including The ITQ Program - Can Move Funds Only to Title I Program
- 50 Limit Except
- 30 Where an LEA is Identified For School
Improvement - No Transferred Funds Where An LEA IS Identified
For Corrective Action
24Compliance Requirements Covered in ITQ Review
- Procurement / Suspension and Debarment
Requirements - Written Policies Followed for Proper Procurement
of Services/Goods - A Bidder cannot Be Involved in the Writing of the
Bids - No geographical boundaries
25Compliance Requirements Covered in ITQ Review
- Procurement / Suspension and Debarment
Requirements - Suspension/Debarment Provisions
- Individual Transactions 100,000 or more
- Nonprocurement Transaction of 25,000 or more
- All subgrantees
26Compliance Requirements Covered in ITQ Review
- Procurement / Suspension and Debarment
Requirements - Suspension/Debarment Provision
- Included in Request for Bid of Goods and Services
- Executed Contract - Includes Suspension/Debarment
Requirement - List of S/D Parties on GSA website
27Compliance Requirements Covered in ITQ Review
- Financial Reporting
- ITQ Funds Reported Accurately To GDOE Via GAORS
System ( Electronic) - Includes Only The Amount of Expenditures Incurred
As of Conclusion of Grant Period - Properly Reflects Transferred ITQ Funds
28Compliance Requirements Covered in ITQ Review
- Special Tests Provisions
- Participation of Private School/Educators
- Conduct Timely Consultation With Private School
Officials - Plan and Provide Equitable Educational Services
to Private School Educators on an Equitable Basis
29Compliance Requirements Covered in ITQ Review
- Special Tests Provisions
- Assessment of Need
- Directed at Professional Development and Hiring
- As Identified by the LEA and School Staff
- Involve Teachers, Including Those Work In Target
Assistance and Schoolwide Programs - NOTE Prioritizes as to How Title II-A Funds
Are To be Expended
30Compliance Requirements Covered in ITQ Review
- Special Tests Provisions
- Schoolwide Program
- Includes 3 Core Elements Dealing W/ Comprehensive
Needs Assessment - Includes Five Basic Components Such as
- Reform Strategies
- Highly Qualified Staff
- Parental Involvement
- Support to Those Students W/ Difficulties
- Transition of Pre School Children To SP
Environment
31Compliance Requirements Covered in ITQ Review
- Special Tests Provisions
- Schoolwide Program
- If the Board Combines Federal Funds, Then It
Should Be Based On Its Assessment and a
Reasonable Amount Provided From Different Federal
Funding Sources - 1,000 of ITQ Funds Combined With the Schools
Title I Allocation Does Not Constitute a
Reasonable Amount From Different Federal Sources.
32Compliance Requirements Covered in ITQ Review
- Special Tests Provisions
- Schoolwide Program
- Follow GDOE Guidelines For
- Developing a Budget From Different Federal
Sources - Creating 400 Fund To Allocate SWP Costs To
Specific Participating Federal Funds - Allocation of Expenses Should Be Performed At
Least Monthly - Cash Management
- Reporting
- Managing Each Federal Progam
33Compliance Requirements Covered in ITQ Review
- Special Tests Provisions
- Schoolwide Program
- If It Is Decided Not To Combine Federal Funds For
A Schoolwide Program, Then Each Individual
Expenditure Charged to The ITQ Program Will Have
to Be Identified With a Specific ITQ Activity!!
34Schoolwide Program
- Schoolwide Findings
- Boards Have Only Combined a Small Amount of ITQ
Funds With Each Schools Title I Allocation - No Consideration Given To Combining Other Funds
From Other Federal Sources - No Relationship Between A Schools Assessment and
Funds Budgeted/Combined
35Pop Quiz
36Pop Quiz
- Which one of the below is the Primary Cause for
Audit Findings? - __ Unfamiliar W/ Federal requirements.
- __ Poor Attendance
- __ Lack Of Supervision
- __ Lack of Internal Controls
- __ Inexperienced (new) In the Position
- Answer Lack of Internal Controls
37Pop Quiz
- True or False Development and monitoring of
internal controls are the responsibility of the
auditors. - FALSE Internal controls are the responsibility
of Management. Only management can effectively
monitor the organizations activities. Auditors
are required to maintain their independence and
cannot be a part of the internal control
structure. Do not wait for the auditors to detect
Non-Compliance.
38POP QUIZ
- Are Internal controls too costly to implement?
- FALSE While you should perform risk
assessments to determine the cost/benefit of
specific controls, it is generally much more
costly to deal with the aftermath of
Non-Compliance Issues and/or Audit Findings
39POP QUIZ
- True or False Only Part Time Personnel are
Required To Document/Certify Their Actual Time
Expended On a Federal program? - FALSE Both Part-Time and Full-Time Personnel
Who Work on a Federal Program are Required To
Certify The Time Each Expends On a Federal
Program?
40POP QUIZ
- True or False At Least Once Every 6 Months All
Personnel Who Work On A Federal Program Have to
Certify Their Actual Time Expended On a Federal
program. - FALSE Full-Time Personnel Certify Their Time
AT Least Once Every 6 Months.. - Part-Time Personnel Certify Through a Personnel
Activity Report (PAR) every Month!
41POP QUIZ
- True or False Combining Only a Little Amount of
Funds From One Federal Source With Title I Funds
will Satisfy Federal Requirements With Regard To
Combining Funds In Support of A Schoolwide
Project. - FALSE A School Should Combine A Fair And
Reasonable Amount of Funds From Different Federal
Sources In Line With That Schools Needs
Assessment.
42POP QUIZ
- True or False Schoolwide Program Expenses
Combined in a 400 Fund Only Need To Be
Allocated Once A Year to the Participating
Federal Programs To Meet Federal Requirements. - FALSE A School Should Allocate Expenses at
Least Once A Month To Properly Manage Each
Federal Program.
43QUESTIONS?