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Illinois Dr. Tony Sanders, State Superintendent of Education
State Board of Dr, Steven ls0ye, Chair of the Board
Education 100 N. First Street » Springfield IL 62777 « fabe.net
June 14, 2023
Sent Via Electronic Mail
Dr. Jeremy Larson
Superintendent
Paris-Union SD 95
509 £. Newton Street
Paris, IL 61944-2421
larson@paris95schools.0
Dear Dr. Larson:
RE: 11-023-095025
The ISBE Federal and State Monitoring (FSM) Department has examined the records related to the programs included in
the enclosed Monitoring Findings Summary Report. The FSM Final Monitoring Report identifies problems and explains
the reasons for the findings.
‘The programs monitored by FSM received a written findings response noted in the Monitoring Findings Preliminary
‘Summary Report. A Closing Conference email was sent on May 25, 2023, to inform Paris-Union SD 95 of any changes to
the findings and Questioned Costs. The district will be provided with instructions to submit a Corrective Action Plan
(CAP) to resolve each finding. Each CAP should include actions that have been or will be taken to resolve each finding,
name and title of primary person responsible for implementation of CAP, and estimated date that implementation will
bbe completed. Please submit the CAP response to our office no later than June 30, 2023.
Paris-Union SD 95 will receive a separate correspondence from the Funding and Disbursements Department with
information about how to return the Questioned Costs, Grantees may request that a plan be formulated to repay
Questioned Costs. Comptroller guidance states that "the terms of each plan will vary with the size and nature of the
debt.” ISBE policy is to require at least quarterly payments that must be made within four years.
‘Questioned Costs for FY 2021 Programs: $ 600,577
Questioned Costs for FY 2022 Programs: $ 989,034
Total Questioned Costs found during review: $1,589,611
The Nutrition Department issued the final report on April 19, 2023. The appeal deadline of May 4, 2023 has passed and
‘the case is officially closed.
Asa result of the review, the food service account was charged for the following:
Unallowable Expenditures: $1,539,769.11
Unallowable Salaries: $ 113,840.00
Total Unallowable Items Charged to Food Service Account: $1,653,609.11
‘The amount of the unallowable expenditures must be returned to the nonprofit food service account. The amount of
the return will cause the nonprofit food service account to exceed the three-month average. Statutes specifies that ISBE
shall ensure compliance with the requirements to limit net cash resources and shall provide for approval of net cashresources in excess of three months’ average expenditure. (See 7 CFR 210.19.) Therefore, Paris-Union SD 95 will be
required to submit to the Nutrition Department a plan to spend down the excess three-month average funds. This plan
is due to r SBE no later than September 30, 2023.
‘The Schoo! Food Authority must ensure that revenues snd expenditures under the nonprofit food service account aré
allowed in accordance with 7 CFR 210.14 and 2 CFR 200 subpart E.
Technical assistance material and/or training opportunities may be available to help the district correct the problems
‘identified in the reviews. The cooperation-of personnel during this review was appreciated.
Sincerely,
Lepr.
Krish Mohip
Deputy Education Officer for Operational Education
IMlinois State Board of Education
cc: Kevin Knoepiel, Paris-Union SD 95 School Board President (via U.S. Mail}June 14, 2023
Agreement No.
Jeremy Larson 11-023-0950-25
Paris-Union SD 95
509 E Newton St
Paris, IL 61944-2421
Dear Dr. Jeremy Larson
The appeal deadline of May 4", 2023 has passed and the report is officially closed,
‘As a result of the review the food service account was charged for the following:
Unallowable expenditures: $1,539,769.11
Unallowable Salaries: $ 113,840.00
Total Unallowable items charged to the food service account: $1,653.609.11
The amount of the above unallowable expenditures must be returned to the non-profit food
service account. The amount of the return will cause the non-profit food service account to
exceed the 3-month average. The agency shall ensure compliance with the requirements to
limit net cash resources and shall provide for approval of net cash resources in excess of three
months’ average expenditure (7 CFR 210.19). Therefore, you will be required to submit to the
nutrition department a plan to spend down the excess 3-month average funds, This plan is due
to ISBE no later than September 30, 2023.
‘The school food authority must ensure that revenues and expenditures under the nonprofit food
service account are allowed in accordance with 7 CFR 210.14 and 2 CFR 200 subpart E.
Technical assistance material and/or training opportunities may be available to assist in
correcting the problems identified in the review. The cooperation of personnel during this review
was appreciated.
Ifyou have any questions regarding your review, please contact Toby Turek at turek@isbe.net.
For all other questions please contact our office at 800/545-7892,
Sincerely,
Ue
Mark R. Haller, SNS
Division Administrator
Nutrition and Weliness Programs
Enclosure
ce: FileIllinois
State Board of
Education
GRANT MONITORING REPORT FISCAL YEAR
2023
Paris-Union SD 95
RCDT #11-023-0950-25
Report Date: May 25, 2023
ILLINoIs STATE BOARD OF EDUCATION
FEDERAL AND STATE MONITORING DEPARTMENT
KRISTOPHER R. PICKFORD - DIRECTORINTRODUCTION
Purpose
The Illinois State Board of Education (ISBE), as mandated by the Illinois School
Code (105 ILCS 5/2-3.32), is charged with monitoring the expenditure of federal
funds it disburses to Local Education Agencies (LEAs). The purpose of each
review is to:
Ensure and enhance accountability of federal grant expenses;
Verify that the LEA spent funds in accordance with approved grant
applications, federal laws, and federal regulations governing each
federal grant;
«Verify that proper internal controls were in place, and
* Provide technical assistance as needed.
Program Descriptions
This Monitoring Report encompasses an evaluation of the accountability of
program revenues, expenditures, fiscal internal controls, and programmatic
compliance for the following programs:
Early Childhood - Block Grant 3705-00, 3705-01 and 3705-PE
The Early Childhood Block Grant (ECBG) supports two major programs:
Preschool for All (PFA) for children from 3 years old to kindergarten
enrollment age and Prevention Initiative (PI) for children birth to age 3
years. The PFA and PI programs are intended for children who have been
determined to be at risk for school failure as indicated by their families’
high levels of poverty, illiteracy, unemployment, limited-English
proficiency, or other need-related indicators.
itle I - Low Income 4300-00
This program helps schools improve teaching and learning to ensure that
students from low-income families meet the state's challenging state
academic standards.
Title 1 - Teacher Quality 4932-00
The Teacher Quality program is designed to reduce class sizes and fund
the recruitment, training, and mentoring of teachers to improve teacher
quality.
Federal - Special Education - IDEA. - Flow-Through 4620-00
These grants provide supplemental funds for special education and related
services to diverse learners/children with disab
1Title IV - 21st Century 4421-A2
This program provides opportunities for communities to establish schools
as Community Learning Centers, providing academic, artistic, and:cultural
enrichment opportunities during non-school hours.
Other Federal Programs 4998-ER and 4998-E2
The Coronavirus Aid, Relief, and Economic Security (CARES) Act created
the Elementary and Secondary School Emergency Relief (ESSER) fund to
provide emergency relief grant funds to prevent, prepare for, and respond
to the coronavirus pandemic,
Program Review — Scope of Monitoring
The monitoring review includes some aspects of programmatic monitoring, such
as gauging the allowability of costs, adhering to budgets, and testing of program
existence. All such testing is performed on a sample basis for the year (or
portion thereof) under review. During this process, we determirie that the
grantee in our selected sample is serving the students outlined in the approved
application and maintaining the required supporting documentation for the
program.
The objective of our fiscal review is to test‘on a sample basis for the grant year
(or portion thereof) under review that the funds are being used in accordance
with the grant-cequirements, We use the Electronic Code of Federal Regulations,
Title 2: Grants and Agreements, Part 200 - Uniform Administrative
Requirements, Cost Principles, and Audit Requirements for Federal Awards (2
CFR 200) as our primary regulatory source for grant rules, We also use
program-specific statutes and rules, the. grant agreement, and other applicable
state and federal statutes, rules, and regulations as appropriate. During this
process, we determine for our selected sample that the expenditures claimed
were allowable, were approved in the budget submitted to Illinois State Board of
Education program staff, were within the grant period, were supported by proper
documentation, and were properly accounted for and recorded in the correct
accounts, Testing also included an examination of internal controls.
Findings
The findings section of this report contains two types of findings resulting from
the testing performed during the monitoring review:
Internal Controls; Policies and Procedures - Insufficiencies noted
during testing of federal and state requirements related to overall entity
wide operations and not attributable to any particular program.Programmatic ~ Insufficiencies noted during the testing of specific
federal and state program requirements.
Plan:
The Code of Federal Regulations (2 CFR 200.511(c)) requires auditees to prepare
a Corrective Action Plan (CAP) in response to each finding contained in this
report. The CAP for each finding must explain the actions that have been or will
be taken to resolve the finding, the name and title of the primary person
responsible for the implementation of corrective action, and an estimated date of
completed implementation. The Federal and State Monitoring Department will
conduct follow-up procedures based on the CAP that is provided. The written
response to the findings may be provided electronically to Megan Maletich at
mmaletic@isbe.net.I, INTERNAL CONTROLS, POLICIES, AND PROCEDURES — FY 2021
Finding No. 1: The grant recipient appeared to circumvent established
internal controls, policies, and procedures for the procurement of goods and
services. It was noted that contracts over $25,000 were not all presented to
the board for approval as required in the board procurement policy. It was
also noted that quotes may not have been obtained or kept on file from
more than one vendor for orders costing over $10,000. One of the tested
contracts over $25,000 had bid opening on June 11, with the contract
signed on June 14 for approval and paid on June 15 for the full amount of
the bid. The invoice had terms of net 30 with no request for a deposit or
payment in full before services were provided. The invoice presented for
payment did not specify the services and/or product to be received or a
timeline for providing services. Only one bid was on file and bid opening
notes were not provided for review. There were also no bid specifications on
file for the project. The bid was not presented to the board for approval per
the board minutes. It appears this happened with multiple contracts over
$25,000.
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must adhere to
established internal controls, policies, and procedures when conducting
procurements for goods and services.
Corrective Action Plan: Required.
ding No. 2: The grant recipient did not maintain property records that
adequately documented entity equipment in accordance with 2 CFR
200.313(d)(1). The inventory listings of capital equipment items purchased
with grant funds were not complete and did not include all of the required
information. Property records must be maintained that include a description
of the property; a serial number or other identification number, the source
of funding for the property (including the Federal Award Identification
Number); who holds title; the acquisition date; cost of the property;
percentage of federal participation in the project costs for the federal award
under which the property was acquired; the location; use and condition of
the property; and any ultimate disposition data, including the date of
disposal and sale price of the property. This is a repeated finding from the
fiscal year 2019 monitoring review.
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must maintain
property records that adequately document entity equipment and contain,
4at a minimum, the elements required under 2 CFR 200.313(d)(1).
Corrective Action Plan: Required.
Finding No. 3: The grant recipient falled to perform a physical inventory
of equipment, including a reconciliation to existing records, at least once
every two years in accordance with 2 CFR 200,313(d)(2). There was no
indication or supporting documentation, to verify that a full physical
inventory of the grant purchased items has been completed.
Questioned Costs: $0
Recommended Corrective Action: At a minimum, the grant recipient
must conduct @ physical inventory of equipment, including @ reconciliation
to existing records, at least once every two years in accordance with 2 CFR
200.313(d)(2),
Corrective Action Plan: Required.
Finding No. 4: All equipment purchases were not approved. The district
purchased two floor scrubbers with purchase. prices of $6,250 and $7,500,
respectively, with ESSER IT grant funds, but did not receive prior approval
through the budget application. The district claimed the expenses as supply
items (object code 400). in accordance with 2 CFR 200,439(b)(1), "Capital
expenditures for general purpose equipment, buildings, and land are
unallowable as direct charges, except with the prior written approval of the
Federal awarding agency or pass-through entity." Per 2 CFR 200.439(b)(2),
"Capital expenditures for special purpose equipment are allowable as direct
costs, provided that items with a unit cost of $5,000 or more have the prior
written approval of the Federal awarding agency or pass-through entity."
Grant recipients must obtain prior approvel from the federal awarding
agency or pass-through entity for equipment items with a capitalization
threshold of $5,000 or more, or in accordance with the grant recipient's:
‘own capitalization threshold if less than $5,000.
Questioned Costs: $13,750
Recommended Corrective Action: The grant recipient must obtain
approval for equipment purchases.
Corrective Action Plan: Required.
II, Earty CHitpHoop BLOCK GRANT 3705-00 - FY 2021The ECBG supports two major programs: PFA for children from 3 years old
to kindergarten enrollment age and PI for children birth to age 3 years. The
PFA and Pl programs are intended for children who have been determined
to be at risk for school failure as indicated by their families’ high fevels of
poverty, illiteracy, unemployment, limited-English proficiency, or other
need-related indicators.
Finding No. 4: The grant recipient did not maintain adequate financial
records in accordance with 2 CFR 200.302(b)(3). "Records that identify
adequately the source and application of funds for grant funded activities.
These records must contain information pertaining to grant awards,
authorizations, obligations, unobligated balences, assets, expenditures,
income and interest and be supported by source documentation," During
the review, it was found that several expenditures were not properly posted
to the financial records and did not support the amounts reported on the.
expenditure reports. This is a repeated finding from-the FY 2019 monitoring
review.
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must maintain
adequate financial records capable of adequately identifying the source and
application of grant funds in accordance with 2 CFR 200.302(b)(3).
Corrective Action Plan: Required.
Finding No, 2: Salaries, wages, and/or benefits paid from grant funds
were not approved and/or accurate. During testing, it was noted that both
wages and benefits for instructional staff under function and object codes
1000-100 and 1000-200 were understated on-the final expenditure report.
The wages and benefits were also not correctly reported in the general
ledger to support the claimed amounts. Understated wages totaling $8,970
and benefits toteling $9,808 were allowed based on actual wages and
benefits paid to the instructiorial staff to offset a portion of overstated
claims in other function and object codes. Salaries and related benefits
totaling $33,897; which were approved for administrator compensation for
overseeing the preschool program activities and related benefits, were
claimed under function and object codés 2300-100 and 2300-200. A stipend
totaling $30,000 was paid to the principal of Mayo Middle School in. July
2020, with no supporting documentation for the purpose of the payment.
Compensation for supervisory personnel (including superintendents of
schools, directors of education, supervisors of instruction in regular
curriculum areas, and principals) falls within the category of expenses that
would be incurred if a school were not participating in a federal-/state-
funded program. This stipend would not be eligible for reimbursement
unless additional administrative personnel are necessary and hiredspecifically for that purpose. The grant-covered classrooms are located in
their own building; however, the principal is not located at that location. Per
review, the extra duties related to the pre-K program were not included in
the principal's contract or approved as extra duty pay that was approved by
the board. In addition, expenditures for salaries and related benefits
totaling $26,483, which were approved in the budget for summer
professional development and PD benefits, were claimed under function and
object codes 2210-100 and 2210-200. Based on the general ledger and
related support, the only expenditure paid under function and object code
2210-100 was a stipend for $10,000 paid to.a staff member as a consultant
‘ona reading program, which does not appear to benefit the ECBG intent,
nor does it appear to be professional development services as approved in
the budget.
Questioned Costs: $41,602
Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all salaries, wages, and/or benefits
paid from grant funds are approved and/or accurate.
Corrective Action Plan: Required.
Finding No. 3: During testing, it was noted that some of the staff who
provided services and were paid with grant funds did not hold the required
certifications. Among those noted include a full-time teacher who only held
a substitute certification and para educator staff who either did not hold a
certification or had not applied. for certification until FY 2023. All staff
serving grant-students must hold the proper certification at the time they
are providing services to be paid with grant funds. The district had certified
that staff held the proper certifications in its grant application.
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must ensure that
all personnel paid from grant funds have the required certification.
Corrective Action Plan: Required.
Finding No. 4: Expenditures paid from the grant were not allowable
and/or did not support the program intent. The district claimed the
budgeted amount of $24,000 under function and object code 1000-400;
however, $20,684 of the.expenditures included in the grant general ledger
and supported with documentation were related to supplies for third grade
classes. In addition, the district claimed the budgeted amount of $20,000
under function and object code 2210-300; however, the only expenditures
Included inthe general ledger and supported with documentation were
related to kindergarten through eighth grade teacher trainings,Expenditures totaling $11,990 and paid to transportation contractor were
Included in the district's grant general ledger and claimed for
reimbursement under function and object code 2550-300; however, district
personnel stated that all expenditures paid to the contractor were included
on the district's transportation claim for reimbursement, which cannot be
claimed twice.
Questioned Costs: $52,674
Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all grant expenditures are allowable
and support the program intent.
Corrective Action Plan: Required.
Finding No. 5: The grant recipient did not submit accurate periodic
expenditure reports. During testing, It was noted that an expenditure report
was submitted as of 9/30/20 for 93% of the total grant allotment, which
was based on the budgeted amounts and not based on actual costs. An
additional expenditure report was submitted as of 3/31/21 for the balance
of the grant allotment per the budget. Per the 2020 Fiscal Policies and
Procedures Handbook, all expenditure reports must be submitted on a
cumulative (i.e., year-to-date), cash basis accounting method ({.e.,
expenses are recognized when they are paid). Amounts claimed on the
expenditure:reports were not supported by source documents due to the
fact that there were no expenditures in some of the function/object codes
that had been budgeted or expenditures had not actually been incurred
when compared to the grant-specific general ledger. The questioned costs
associated with this finding are as noted below:
Funotion/Object
Code Desctiption of Finding (Overstatement)
000/300 Overstated Instruction - Purchased Services (81,130)
000/400 Overstated Instruction - Supplies & Materials (82,788)
2300/3800 Overstated General Admin. - Purchased Services (82,000)
2550/00 Overstated Pupil Transportation - Purchased Services ($3,010)
3000/300___ Overstated Community Services - Purchased Services (96.815)
Net Effect ($15,723)
Questioned Costs: $15,723
Recommended Corrective Action: The grant recipient must submit
accurate periodic expenditure reports.
Corrective Action Plan: Required.III. EARLY CHILDHOOD BLOCK GRANT 3705-01 - FY 2021
The ECBG supports two major programs: PFA for children from 3 years old
to kindergarten enrollment age and PI for children birth to age 3 years. The
PFA and PI progrems are intended for children who have been determined
to be at risk for school fallure as indicated by their families’ high levels of
poverty, illiteracy, unemployment, limited-English proficiency, or other
need-related indicators.
Finding No. 1: The grant recipient did not maintain adequate financial
records in accordance with 2 CFR 200.302(b)(3). "Records that identity
adequately the source and application of funds for grant funded activities.
These records must contain information pertaining to grant awards,
authorizations, obligations, unobligated balances, assets, expenditures,
income and interest and be supported by source documentation." During
the review, it was found that several expenditures were not properly posted
to the financial records and did not support the amounts reported on the
expenditure reports. This is a repeated finding from the FY 2019 monitoring
review.
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must maintain
adequate financial records capable of adequately identifying the source and
application of grant funds.in accordance with 2 CFR 200.302(b)(3).
Corrective Action Plan: Required.
Finding No. 2: Salaries, wages, and/or benefits paid from grant funds
were not approved and/or accurate. It was noted that claimed wages for
the home visit staff were understated by $1,951 and the staff benefits
claimed were overstated by $6,320 on the final expenditure report when
compared to the general ledger. Wages and benefits were allowed based on
the actual wages and benefits paid to the home visit staff. Wages totaling
$4,027 were claimed on the expenditure report under function and object
code 2210-100 for professional development; however, there were ho
wages posted to the general ledger or other supporting documentation to
support the amount claimed,
Questioned Costs: $8,396
Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all salaries, wages, and/or benefits
paid from grant funds are approved and/or accurate.Corrective Action Plan: Required,
Finding No. 3: The grant recipient did not submit accurate periodic
expenditure reports, During testing, it was.noted that an expenditure report
was submitted as of 9/30/20 for 99% of the total grant allotment, which
was based on the budgeted amounts and not based on actual costs. An
additional expenditure report was submitted as of 3/8/21 for the balance of
the grant allotment per the budget. Per the 2020 Fiscal Policies and
Procedures Handbook, all expenditure reports must be submitted on a
cumulative {i.e., year-to-date), cash basis accounting method (i.e.,
expenses are recognized when they are paid). Amounts claimed on the
expenditure reports were not supported by source documents due to the
fact that there were no expenditures in some of the function/object codes
that had been budgeted or expenditures had not actually been incurred
when compared to the grant-specific general ledger. in addition to the
ctalmed amounts that were not supported by the grant-specific general
ledger or subsidiary ledgers, it appears that the district claimed
expenditures that were not related to the grant or not allowable, such as
hotspot data sérvice fees that were not related to the grant and trash
service fees that were not allowable. The questioned costs associated with
this finding are as noted below:
Function/Object
Description of Finding (Overstatement)
arosipa Svea improvement of Ieuan - Purchased (3,668)
23001200 Overstated General Admin, - Purchased Services 2,000)
Overstated Community Services - Purchased Services
000/300 fincluding exp, not related to grant or unallowable) (14,719)
3000400 Overstated Cominumnity Services - Supplies & Materials 6.119)
30001500 __ Overstated Community Services - Cepital Outtay (2761)
Net Effect (28,765)
Questioned Costs: $28,165
Recommended Corrective Action: The grant recipient must submit
accurate periodic expenditure reports.
Corrective Action Plan: Required.
10IV. Earty CHILDHOOD BLOck GANT 3705-PE — FY 2021
The ECBG supports two major programs; PFA for children from 3 years old
to kindergarten enrollment age and PI for children birth to age 3 years. The
PFA and PI programs are intended for children who have been determined
to be at risk for schoo! failure as indicated by their families’ high levels of
poverty, illiteracy, unemployment, limited-English proficiency, or other
need-related indicators,
Finding No. 4: The grant recipient did not maintain adequate financial
records in accordance with 2 CFR 200.302(b)(3). "Records that identify
adequately the source and application of funds for grant funded activities.
These records must contain information pertaining to grant awards,
authorizations, obligations, unobligated balances, assets, expenditures,
income and interest and be supported by source documentation." During
the review, it was found that several expenditures were not properly posted
to the financial records and did not support the amounts reported on the
expenditure reports, This is a repeated finding from the FY 2019 monitoring.
review.
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must maintain
adequate financial records capable of adequately identifying the source and
application of grant funds in accordance with 2 CFR 200,302(b)(3).
Corrective Action Plan: Required.
Finding No. 2: Salaries, wages, and/or benefits paid from grant funds
were not approved and/or accurate. It was noted that claimed wages for
instructional staff under function and object code 1000-100 were
understated and instructional staff benefits claimed under function and
object code 1000-200 were overstated on the final expenditure report when
compared to the general ledger and payroll support. The wages and
benefits were not correctly reported in the general ledger to support the
claimed amount. Wages and benefits were allowed based on actual wages
and benefits paid to the instructional staff. The district overstated allowable
wages under function and object code 2210-100, as the grant general
ledger did not support the amount claimed, Grant funds were approved in
the budget for "summer professional development"; however, the claimed
wages included stipends paid to staff that were paid on 3/30/21, and the
‘email support stated that the pay was related to summer work as directed
by the superintendent and not related to pre-K professional development.
In addition, stipends were paid to the principals of Carolyn Wenz
Elementary School and Mayo Middle School in June 2021 for registration
services pay and civil rights reporting coordinator pay that do not appear to
abe grant related. A stipend and related benefits were paid to the: principal of
Carolyn Wenz Elementary School in July 2020 with no supporting
documentation for the purpose of the payment. Compensation for
supervisory personnel (including superintendents of schools, directors of
education, supervisors of instruction in regular curriculum areas, and
principals) falls within the category of expenses that would be incurred if a
school were not participating in a federal-/state-funded program. This
stipend would not be eligible far reimbursement unless additional
administrative personnel were necessary and hired specifically for that
purpose. The grant-covered classrooms are located in their own building;
however, the principal is not located at that location. Payment of wages to a
principal is not allowable under the grant, unless they are the principal of a
preschool-onily center. The wages and benefits paid for the parent and
family coordinator position were also understated on the expenditure
report, which were adjusted and allovied to help offset a portion of the
overstated claims in other function and object codes. The net questioned
costs associated with the errors total $17,752.
Questioned Costs: $17,752
Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all salaries, wages, and/or benefits
paid from grant funds are approved and/or accurate.
Corrective Action Plan: Required.
Finding No. 3: During testing, it was noted that some of the staff who
provided services.and were paid with grant funds did not hold the required
certifications. Among those noted include a para educator and multiple
substitute staff. All staff serving grant students must hold the proper
certification at the time they are providing services to be paid with grant
funds. The district had certified that staff held the proper certifications in its
grant application.
Questioned Costs: $0
Recommended Corréctive Action: The grant recipient must ensure that
all personnel paid from grant funds have the required certification.
Corrective Action Pian: Required.
Finding No. 4: The grant recipient did not submit accurate periodic
expenditure reports. During testing, it was noted that an expenditure report
was submitted as of 9/30/20 for 94% of the total grant allotment, which
was based on the budgeted amounts and not based on actual costs. An
additional expenditure report was submitted on 5/10/21 for the balance of
12the grant allotment per the budget. Per the 2020 Fiscal Policies and
Procedures Handbook, all expenditure reports must be submitted on a
cumulative (j.e., year-to-date), cash basis accounting method (i.e.,
expenses are recognized when they are paid). Amounts claimed on the
expenditure reports were not supported by source documents due to the
fact that there were no expenditures in some of the function/object codes
that had been budgeted or expenditures had not actually been. Incurred
when compared to the grant-specific general ledger. In addition to the
claimed amounts that were not supported by the grant-specific general
ledger or subsidiary ledgers, it appears that the district claimed
expenditures that were not related to the grant or not allowable, such as
playground equipment that was not located at the pre-K center and
transportation costs, cafeteria purchases, and educational. conference
speakers that were not specific to the pre-K students or program. The
district also claimed expenditures that were budgeted in certain function
and_object codes in the incorrect function and object codes on the
expenditure reports, creating both understatements and overstatements
within various function and object codes. The expenditures that appeared
allowable and supportive of the program intent were accepted and allowed
to offset a portion of the questioned costs in other function and object
codes. The net questioned costs associated with this finding are as noted
below:
Function/Object Understatement
code Desorption of Finding (Overstatement,
1000300 Overstated Instruction = Purchased Services (2.109)
1000/400 Understated Instruction - Supplies & Materials 4,303
zeroing Neste Improvement of Instruction - Supplies & {20000}
2300/30 Overstated General Administration - Purchased Services 6,000)
Overstated Operations & Maint, - Capital Outlay
25401600 (Equipment not located at Pre-K center) 25,000)
Overstated Pupil Transportation - Purchased Services
2980/300 (Not a specific Pre-K route) (18,000)
Overstated Food Service - Suppiies & Materials (Claimed
2560/400 _invoices are related to regular education cafeteria (6,003)
purchases)
Overstated Community Services - Purchased Services
300/800 {Claimed speaker fees for PD offered to all district stat) (6989)
3000/400___Ovorstated Community Services - Supplios & Materials (3,000)
Net Effect (78.778)
Questioned Costs: $78,778
Recommended Corrective Action: The grant recipient must submit
accurate periodic expenditure reports.
13Corrective Action Plan: Required.
V. Trtte I ~ Low Income 4300-00 ~ FY 2021
This program helps schools improve teaching and learning to ensure that
students from low-income families meet the state's challenging state
academic standards.
Finding No. 1: The grant recipient did not maintain adequate financial
records In accordance with 2 CFR 200.302(b)(3). "Records that identify
adequately the source and application of funds for federally-funded
activities. These records must contain information pertaining to Federal
awards, authorizations, obligations, unobligated balances, assets,
‘expenditures, income and interest and be supported by source
documentation." During the review; it was found that several expenditures
were not propeity posted to the financial records and did not support the
amounts reported on the expenditure reports. This is a repeated finding
from the FY 2019 monitoring review.
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must maintain
adequate financial records capable of adequately identifying the source and
application of grant funds in accordance with 2 CFR 200.302(b)(3).
Corrective Action Plan: Required.
Finding No. 2: Salaries, wages, and/or benefits paid fromm grant funds
were not approved and/or accurate. Wages that were not related to the
grant services were posted to the grant general ledger accounts and
claimed on the expenditure reports for reimbursement. Grant funds under
function and object code 2210-100 were approved in the budget for "subs
to assist with professional development"; however, the general ledger
account included stipends paid to staff that were paid on 3/30/21 with the
email support stating that the pay was related to summer work as directed
by the superintendent and not related to sub pay for professional
development. In addition, supporting documentation was not provided to
verify that listed general ledger expenditures were related to substitute pay
or were related to professional development supporting the Title I program.
‘The amount claimed for staff benefits under function and object code 1000-
200 ‘exceeded the actual cost of the benefits on the allowable wages
claimed. The total benefits claimed on the expenditure report were not
supported within the general ledger, and a portion of the claimed benefits
were related to wages that were not allowable.
Questioned Costs: $23,754
14Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all salaries, wages, and/or benefits
paid from grant funds are approved and/or accurate.
Corrective Action Plan: Required.
Finding No. 3: Expenditures paid from the grant were not allowable
and/or did not support the program intent. Expenditures that were not
related to grant services were posted to the grant general ledger accounts
and claimed on the expenditure reports. Some of these items were related
to supplies for the high school, sports, art programs, band and music
programs, and nurse supplies, These supplies are not related to the core
courses of math, language arts, and reading that are the focus of the Title I
grant. Per 2 CFR 200.403, expenditures must be necessary and reasonable
for the performance ’of the grant, be adequately documented, and the cost
must be incurred during the approved budget period. After adjustments and
allowable offsets within budget variance rules, the net questioned costs
associated with this finding total $23,737.
Questioned Costs: $23,737
Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all grant expenditures are allowable
and support the program intent.
Corrective Action Plan: Required,
Finding No. 4: The grant recipient did not submit accurate periodic
expenditure reports. During testing, it was noted that an expenditure report
was submitted as of 9/30/20 for the full amount of the approved budgeted
amount at that time based oh the budgeted amounts and not based on
actual costs. The balance of additional funds allotted were claimed on the
expenditure report as of 3/24/21 per the approved budget amendment and
not based on actual costs incurred an the cash basis, Per the 2020 Fiscal
Policies and Procedures Handbook, all expenditure reports must be
submitted on a cumulative (i.e, year-to-date), cash basis accounting
method (i.e., expenses are recognized when they are paid). Expenditures
should only be claimed after the expenditure has been pai
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must submit
accurate periodic expenditure reports.
Corrective Action Plan: Required.
15VIL TrrLe II - TEACHER Quatity 4932-00 — FY 2021
The Teacher Quality program is designed to reduce class sizes and fund
the recruitment, training, and mentoring of teachers to improve teacher
‘quality.
Finding No. 1: The grant recipient did not maintain adequate financial
records in accordance with 2 CFR 200.302(b)(3). "Records that identify
adequately the source and application of funds for federally-funded
activities. These records must contain information pertaining to Federal
awards, authorizations, obligations, unobligated balances, assets,
expenditures, income and interest and be supported by source
documentation." During the review, it was found that several expenditures
were not properly posted to the financial records and did not support the
amounts reported on the expenditure reports. This is a repeated finding
from the FY 2019 monitoring review.
Questioned Costs: $0
Recommended Corrective Action: ‘The grant recipient must Maintain
adequate financial records capable of adequately identifying the source and
application of grant funds in accordance with 2 CFR 200.302(b)(3).
Corrective Action Plan: Required.
Finding No. 2: Salaries, wages, and/or benefits paid from grant funds.
were not approved and/or accurate. The amount claimed for employee
benefits exceeded the actual cost of the benefits on the claimed wages. The
full amount of the teacher's wages was not paid for with grant funds. Only
the benefits related to the claimed wages may be paid for with the grant
funds. Per the payroll and benefits report, the benefits were overstated on
the expenditure report.
Questioned Costs: $1,149
Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all salaries, wages, and/or benefits
paid from grant funds are approved and/or accurate.
Corrective Action Plan: Required.
Finding No. 3: Expenditures paid from the grant were not allowable
and/or did not support the program intent. Expenditures for district
software subscriptions that were not related to professional development
services, as approved in the grant budget, were posted to the grant general
ledger accounts and claimed on the expenditure reports. Per the district's
grant general ledger and related invoice support, the expenditures claimed
16under function and object code 2210-300 were for school messenger
subscriptions; an eDynamic electives subscription for engineering and
design, biotechnology, and forensic science; and an online interaction
management system that are not related to professional development
within the general education curriculum. Per 2 CFR 200.403, expenditures
must be necessary and reasonable for the performance of the grant, be
adequately documented, and the cost must be incurred during the approved
budget period. The district must submit a budget amendment for approval
prior to claiming expenditures that substantially deviate from the approved
budget.
Questioned Costs: $11,866
Recommended Corrective Action: The grant recipient must develop and
implerrient procedures to ensure that all grant expenditures are allowable
and support the program intent.
‘Corrective Action Plan: Required.
Finding No. 4: The grant recipient did not submit accurate periodic
expenditure reports. During testing, it was noted that an expenditure report
was submitted as of 9/30/20 for the full amount of the approved budgeted
amount at that time based on the budgeted amounts and not based on
actual costs. The balance of additional funds allotted were claimed on the
expenditure report as-of 3/24/21 per the approved budget amendment and
not based on actual costs incurred on a cash basis. Per the 2020 Fiscal
Policies and Procedures Handbook, all expenditure reports must be
submitted on a cumulative (i,e., year-to-date), cash basis accounting
method (i.e., expenses are recognized when they are paid). Expenditures
should only be claimed after the expenditure has been paid.
Questioned Costs: $0
Recommended Corrective Action: ‘The grant recipient must submit
accurate periodic expenditure reports.
Corrective Action Plan: Required.
VII. FEDERAL — SPECIAL EpucaTION — IDEA — FLOW-THROUGH 4620-00 — FY
2021
These grants provide supplemental funds for special education and related
services to diverse learners/children with disabilities.
Finding No. 1: The grant recipient did not maintain adequate financial
records in accordance with.2 CFR 200,302(b)(3). "Records that identify
17adequately the source ahd application of funds for federally-funded
activities. These records must contain information pertaining to Federal
awards, authorizations, obligations, unobligated balances, assets,
expenditures, income and interest and be supported by source
documentation." During the review, it was found that several expenditures
were not properly posted to the financial records and did not support the
amounts reported on the expenditure reports.
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must maintain
adequate financial records capable of adequately identifying the source and
application of grant funds in accordance with 2 CFR 200.302(b)(3).
Corrective Action Plan: Required.
Finding No, 2: Salaries, wages, and/or benefits paid from grant funds
were not approved and/or accurate. The wages for adaptive physical
education were not added to the grant budget until $/25/21. Wages had not
been included in the budget prior to 3/25/21. Grantees that submit a state
or federal budget arnendment between the project begin and end dates are
not allowed to begin an activity and obligate or expend funds prior to the
date of receipt at ISBE, provided the scope.or intent of the approved project
has not changed. If the scope or intent of a project significantly changes
through an amendment, ISBE programmatic approval should be obtained
prior to the obligation of funds for the new activities provided in the
amendment, Some of the payments that were provided to support the
amount claimed for adaptive PE were stipends paid to staff prior to 5/25/21
and other payrrients were paid to administrative office staff and employees
with other job responsibilities; however, the district could not provide
proper time and effort documents to support the basis of the payments or
timing of services provided,
Questioned.Costs: $65,000
Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all salaries, wages, and/or benefits
paid from grant funds are approved and/or accurate.
Corrective Action Plan: Required.
Finding No. 3: Expenditures paid from the grant were not allowable
and/or did not support the program intent. The purchase of budgeted
Chromebooks was also paid for with ESSER I grant funds. These
Chromebooks were purchased for all district students, not specifically for
the special education program students. As a result, the LEA requested
reimbursement for the same invoice under two different grants. The
18expenditure was accepted under the ESSER I grant and Is unallowable
under the 4620- IDEA grant.
Questioned Costs: $211,250
Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that alt grant expenditures are allowable
and support the program intent.
Corrective Action Plan: Required,
Finding No, 4: The grant recipient did not submit accurate periodic
expenditure. reports. During testing, it was noted that-an expenditure report
was submitted as of 10/15/20 for the full amount of the approved budgeted
amount at that time based on the budgeted amounts and not based on
actual costs. The balance of additional flinds allotted were claimed on the
expenditure report as of 3/31/21 per the approved budget amendment and
not based on actual costs incurred on the cash basis. A budget amendment
was then submitted on 5/25/21 to budget funds in new function and activity
codes, An additional expenditure report was needed to move funds ta the
new function and activity codes from the previously claimed function and
activity codes, which were already reimbursed. Per the 2020 Fiscal Policies.
and Procedures Handbook, all expenditure reports must be submitted on a
cumulative (i.e., year-to-date), cash basis accounting method (i.e.,
expenses are recognized when they are paid). Expenditures should only be
claimed after the expenditure has been paid,
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must submit
accurate periodic expenditure reports.
Corrective Action Plan: Required.
VITI. OTHER FEDERAL PROGRAMS 4998-ER ~ FY 2020
The CARES Act created the ESSER fund to provide emergency relief grant
funds to prevent, prepare for, and respond to the coronavirus pandemic.
Finding No. 1: The grant recipient did not meintain adequate financial
records in accordance with 2 CFR 200,302(b)(3). Expenditures were not
recorded in separate general ledger accounts to account for the use of the
grant funds. Expenditures were included with the general district
expenditures. Per 2 CFR 200.302(b)(3), the LEA must have "records that
identify adequately the source and application of funds for federally-funded
activities. These records must contain information pertaining to Federal
awards, authorizations, financial obligations, unobligated balances, assets,
19expenditures, income and Interest and be supported by source
documentation.”
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must maintain
adequate financial records capable of adequately identifying the source and
application of grant funds in accordance with 2 CFR 200,302(b)(3).
Corrective Action Plan: Required.
Finding No. 2: The grant recipient did not submit accurate periodic
expenditure reports. All federal expenditure reports must be submitted on a
cumulative (i.e., year-to-date), cash basis.accounting method (i.e.,
expenses are recognized when they are paid). The full amount of the grant
allotment was reported on the first expenditure report submitted for
reimbursement as of 5/31/20 (submitted on 5/21/20) and was based on the
amounts budgeted by function and object codes. The full amount of the
grant was reimbursed on 5/29/20. A budget amendment was submitted on
2/16/21, moving funds to different function and activity codes. A new
expenditure report was submitted to agree with the amendment as of
3/15/21. The invoices provided to support the use of funds were not paid as
of 5/31/20, resulting in grant funds being received in advance of incurring
the costs. Expenditures that were budgeted and reported as purchased
services were mainly for supplies, and items budgeted as capital outlay
items were actually supplies and purchased services items. It was noted in
the approved budget that no supply items would cost over $500 each;
however, water fountains costing $1,087 each were purchased with grant
funds. These items were purchased before the amended budget and
expenditure report, The expenditures claimed as of the final expenditure
report date appear to be allowable and reasonable expenditures to support
the program intent; therefore, no questioned costs will be assessed,
Expenditures claimed for reimbursement with grant funds should be
properly reflected in the budget and expenditure report within the correct
function and object codes.
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must submit
accurate periodic expenditure reports.
Corrective Action Plan: Required.
IX. OTHER FEDERAL PROGRAMS 4998-E2 — FY 2021
20The CARES Act created the ESSER fund to provide emergency relief grant
funds to prevent; prepare for, and respond to the coronavirus pandemic.
Finding No. 1: The grant recipient did not maintain adequate financial
records in accordance with 2 CFR 200.302(b)(3). "Records that identity
adequately the source and application of funds for federally-funded
activities. These records must contain information pertaining to Federal
awards, authorizations, obligations, unobligated balances, assets,
expenditures, income and interest and be supported by source
documentation.” During the review, it was found that several expenditures
were not properly posted to the financial records and did not support the
amounts reported on the expenditure reports.
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must maintain
adequate financial records capable of adequately identifying the source and
application of grant funds in accordance with 2 CFR 200.302(b)(3).
Corrective Action Plan: Required.
Finding No. 2: Expenditures paid.from the grant were not allowable
and/or did not support the program intent. It was noted that several multi-
year software subscriptions were purchased. The cost of one of these
subscriptions services was not calculated correctly for the grant period and
was overstated as a prorated portion of the five-year subscription that
extends beyond the grant period was not correctly subtracted from the total
cost. The subscription fee may only be reimbursed for the grant period of
3/13/20 - 9/30/23. Per 2 CFR 200.403(h), "Cost must be incurred during
the approved budget period,”
Questioned Costs: $6,981
Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all grant expenditures are allowable
and Support the program intent.
Corrective Action Plan: Required.
Finding No. 3: The grant recipient did not submit accurate periodic
expenditure reports, During testing, it was noted that an expenditure report
was submitted as of 10/31/21 for the full amount of the grant allotment
based on the budgeted amount and not based on actual costs. The
expenditure report was submitted prior to expenditures being paid and was
reimbursed on 11/3/21. An additional expenditure report was submitted as
of 12/31/21 to move funds to new function and activity codes from the
previously claimed function and activity codes per the amendment that was
21submitted 5/12/22. Per the 2020 Fiscal Policies and Procedures Handbook,
ali federal expenditure reports must be submitted on a cumulative (i.e.,
year-to-date), cash basis accounting method (i.e., expenses are recognized
when they are paid). Expenditures should only be claimed after the
expenditure has been paid.
Questioned Costs: $0
Recommended Corrective Action: The grant recipient. must submit
accurate periodic expenditure reports.
Corrective Action Plan: Required.
X. EARLY CHILDHOOD BLOCK GRANT 3705-00 — FY 2022
The ECBG supports two major programs: PFA) for children from 3 years old
to kindergarten enrollment age and PI for children birth to age 3 years. The
PFA and PI programs are intended for children who have been determined
to be at risk for school failure as indicated by their families" high levels of
poverty, illiteracy, unemployment, limited-English proficiency, or other
need-related indicators.
Finding No. 1: The grant recipient did not maintain adequate financial
records in accordance with 2 CFR 200.302(b)(3). "Records that identify
adequately the source and application of funds for grant funded activities.
These records must contain information pertaining to grant awards,
authorizations, obligations, unobligated balances, assets, expenditures,
income and interest and be supported by-source documentation." During
the review, it was found that several expenditures were not properly posted
to the financial records and did not support the amounts reported on the
expenditure reports. This is a repeated finding from the FY 2019 and FY
2021 monitoring reviews.
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must maintain
adequate financial records capable of adequately identifying the source and
application of grant funds in accordance with 2 CFR 200,302(b)(3).
Corrective.Action Plan: Required.
Finding No. 2: Salaries, wages, and/or benefits paid from grant funds
were not approved and/or accurate. During testing, it was noted that both
wages and benefits claimed for instructional staff were overstated on the
final expenditure report. The wages and benefits were also not correctly
reported in the general ledger to support the claimed amounts. Wages and
22benefits were allowed based on the actual wages and benefits paid to the
instructional staff that provided services to the Preschool for Alll grant based
on the Employee Earnings, Tax, Deductions, and Benefits Report provided
by the district. This is a repeated finding from the FY 2021 monitoring
review.
Questioned Costs: $73,972
Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all salaries, wages, and/or benefits
paid from grant funds are approved and/or accurate,
Corrective Action Plan: Required.
Finding No. 3: During testing, it was noted that some of the staff who
provided services and were paid with grant funds did not hold the required
certifications. Among those noted Include a full-time teacher who only held
a substitute certification and para educator staff who either did not hold a
certification or had not applied for certification until FY 2023. all staff
serving grant students must hold the proper certification at the time they
are providing services to be paid with grant funds. The district had certified
that staff held the proper certifications in its grant application. This is a
repeated finding from the FY 2021 monitoring review.
Questioned Costs: $0
Recommended Corrective Action: ‘The grant recipient must ensure that
all personnel paid from grant funds have the required certification.
Corrective Action Plan: Required,
Finding No.4: Expenditures paid from the grant were net allowable
and/or did not support the program Intent. Expenditures for purchased
services and supplies that were posted to the general ledger and claimed on
the expenditure report were not related to the grant intent. Expenditures
noted included professional development services for staff who are not
working with pre-K students, STEM grant consultation fees, school
messenger software and custom website design services for the entire
district, and transportation services that were not supported, Expenditures
must be related to'the classrooms, students, and staff served by the grant,
and must be supported by source documents. Per 2 CFR 200.403,
expenditures must be necessary and reasonable for the performance of the
grant, be adequately documented, and the costs must be incurred during
the approved budget period.
Questioned Costs: $30,822
23Recommended Corrective Action: ‘The grant recipient must develop and
implement procedures to ensure that all grant expenditures are allowable
and support the program intent.
Corrective Action Plan: Required.
XI. EARLY CHILDHOOD BLock Grant 3705-01 — FY 2022
The ECBG supports two major programs: PFA for children from 3 years old
to kindergarten enrollment age and PI for children birth to age 3 years, The
PFA and PI programs are intended for children who have been determined
to be at risk for school fatlure as indicated by their families’ high levels of
poverty, illiteracy, unemployment, limited-English proficiency, or other
need-related Indicators.
Finding No. 1: The grant recipient did not maintain adequate financial
records in accordance with 2 CFR 200.302(b)(3). “Records that identify
adequately the source and application of funds for grant funded activities.
These records must contain information pertaining to grant awards,
authorizations, obligations, unobligated balances, assets, expenditures,
income.and interest and be supported by source documentation." During
the review, it was found that several expenditures were not properly posted
to the financial records and did not support the amounts reported on the
expenditure reports. This is a repeated finding from the FY 2019 and FY
2021 monitoring reviews.
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must maintain
adequate financial records capable of adequately identifying the source and
application of grant funds in accordance with 2 CFR: 200.302(b)(3).
Corrective Action Plan: Required.
Finding No. 2: Salaries, wages, and/or benefits paid from grant funds
were not approved and/or accurate. During testing, it was noted that both
wages and benefits claimed for the home visit staff were understated on the
final expenditure report. Wages and benefits were allowed based on actual
wages and benefits paid to the home visit staff, and the additional
expenditures allowed over the original claimed amount are allowed to help
offset a portion of the questioned costs in other function and object budget
cells. This is a repeated finding from the FY 2021 monitoring review.
Questioned Costs: $(5,064)
24Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all salaries, wages, and/or benefits
paid from grant funds are approved and/or accurate.
Corrective Action Plan: Required.
Finding No. 3: Expenditures paid from the grant were not allowable
and/or did not support the program intent. Expenditures for purchased
services that were posted to the general ledger and claimed on the
expenditure report were not related to the grant intent. Expenditures noted
included subscription fees for district time and attendance software, district
software implementation fees for the time and attendance software,
districtwide copier lease, districtwide hotspot service fees, and services
related to other grant programs, Expenditures must be related to the
families and staff served by the grant, Per 2 CFR 200.403, expenditures
must be necessary and reasonable for the performance of the grant, be
adequately documented, and the cost must be incurred during the approved
budget period.
Questioned Costs: $33,905
Recommended Corrective Action: The grant recipient must develop and
Implément procedures to ensure that all grant expenditures are allowable
and support the program intent,
Corrective Action Plan: Required.
XII. EARLY CHILDHOOD BLOCK GRANT 3705-PE — FY 2022
The ECBG supports two major programs: PFA for children from 3 years old
to kindergarten enrollment age and PI for children birth to age 3 years. The
PEA and PI programs are intended for children who have been determined
to be at risk for school failure as indicated by their families" high levels of
poverty, illiteracy, unemployment, limited-English proficiency, or other
need-related indicators.
Finding No. 4: The grant recipient did not maintain adequate financial
records in accordance with 2 CFR 200.302(b)(3). "Records that identify
adequately the source and application of funds for grant funded activities,
These records must contain Information pertaining to grant awards,
authorizations, obligations, unobligated balances, assets, expenditures,
income and interest and be supported by source documentation.” During
the review, it was found that several expenditures were not properly, posted
to the financial records and did not support the amounts reported on the
expenditure reports, This is a repeated finding from the FY 2019 and FY
252021 monitoring reviews.
Questioned Costs; $0
Recommended Corrective Action: The grant recipient must maintain
adequate financial records capable of adequately identifying the source and
application of grant funds in accordance with 2 CFR 200.302(b)(3).
Corrective Action Plan: Required.
Finding No. 2: Salaries, wages, and/or benefits paid from grant funds
were not approved and/or accurate. During testing, it was noted that wages
for instructional staff were understated, and instructional staff benefits were
overstated on the final expenditure report. The wages and benefits were not
correctly reported in the grant general ledger to support the claimed
amounts. Wages and benefits were allowed based on actual wages and
benefits paid to the instructional staff, A stipend was paid to the principal of
Mayo Middle School in October 2021 with no supporting documentation for
the purpose of the payment. Compensation for stipervisory personnel
(including superintendents of schools, directors of education, supervisors of
Instruction in regular curriculum areas, and principals) falls within the
category of expenses that would be incurred if a school were not
participating in a federal-/state-funded program. This stipend would not be
eligible for reimbursement unless additional administrative personnel are
necessary and hired specifically for that purpose. Payment of wages to a.
principal is not allowable under the-grant, unless they are the principal of a
preschool-only center. Wages and benefits were Claimed for summer
professional development staff; however, the only expenditures included In
the grant general ledger were for the time period of July 2021 through June
2022 for a portion of the regular school year salary for the instructional
coach that was not included in the budget during the current grant period.
The benefits paid for the parent and family coordinator position were also
understated on the expenditure report, The additional supported wages and
benefits will be accepted to offset a portion of the claimed wages and
benefits that were riot supported. This is a repeated finding from the FY
2021 review.
Questioned Costs: $(13,257)
Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all salaries, wages, and/or benefits
paid from grant funds are approved and/or accurate.
Corrective Action Plan: Required.
Finding No. 3: During testing, it was noted that some of the staff who
provided services and were paid with grant funds did not hold the required
26certifications. Among those noted Include a para educator who did not
obtain certification until 8/23/22, which was after the grant year was over,
and Various substitute staff. All staff serving grant students must hold the
proper certification.at the time they are providing services to be paid with
grant funds. The district had certified that staff held the proper certifications
in its grant application.
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must ensure that
all personnel paid from grant funds have the required certification,
Corrective Action Plan: Required.
Finding No. 4: Expenditures paid from the grant were not allowable
and/or did not support the program intent. Expenditures for purchased
services, supplies, and capital outlay that were posted to the general ledger
and claimed on the expenditure report were not related to the grant intent.
Expenditures noted include transactions posted to the general ledger for
districtwide professional development services, @ large number of items
purchased from Amazon by district staff other than grant staff at the end of
the grant year in June 2022, playground equipment that was not located at
the grant served school location, and multi-yeer softwere subscriptions.
Only $1,500 of $17,500 for these purchases is attributable to the grant
during the grant period, Per 2 CFR 200.403, expenditures must be
necessary and reasonable for the performance of the grant, be adequately
documented, and the cost must be incurred during the approved budget:
period.
Questioned Costs: $174,314
Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all grant expenditures are allowable
and support the program intent.
Corrective Action Plan: Required.
ing No. 5: The grant recipient did not purchase supplies and materials
in a timely fashion in accordance with the approved budget and the grant's
project implementation. Classroom supplies were nat ordered until the end
of the school year in May 2022. The current grant year students received
limited to no benefit from these items during the grant year.
Questioned Costs: $0
27Recommended Corrective Action: The grant recipient must develop
policies and procedures to ensure that all supplies and materials are
purchased In a timely fashion to maximize the benefit to the grant program
in support of the program intent.
Corrective Action Plan: Required.
XIII. = Tire I - Low Income 4300-00 ~ FY 2022
This program helps schools improve teaching and learning to ensure that
students from low-income families meet the state's challenging state
academic standards.
Finding No. 4: The grant recipient did not maintain adequate financial
records in accordance with 2 CFR 200.302(b)(3). "Records that identify
adequately the source and application of funds for federally-funded
activities. These records must contain information pertaining to Federal
awards, authorizations, obligations, unobligated balances, assets,
expenditures, income and interest and be supported by source
documentation.” During the review, it was found that several expenditures
were not properly posted to'the financial records and did not support the
amounts reported on the expenditure reports. This is a repeated finding
from the. FY 2019 and FY 2021 monitoring reviews.
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must maintain
adequate financial records capable of adequately identifying the source and
application of grant funds in accordance with 2 CFR 200.302(b)(3).
Corrective Action Plan: Required.
ding No. 2: Expenditures paid from the grant were not allowable
and/or did not support the program intent, Expenditures for purchased
services and supplies that were posted to the general ledger and claimed on
the expenditure report were not related to the grant intent. Expenditures
noted include grant consulting fees that were not approved in the budget;
service agreements for custom research queue contracts, a portion of which
was outside the grant period; an online education conference offered to
other districts; duplicate payment of an invoice; building maintenance
supplies; future year software license fee; and district office software
licenses. Most of the supplies and purchased services are not related to the
core courses of math, reading, and language arts that are the focus of the
Title I grant or were for services that were not between the grant start and
end dates. Per 2 CFR 200.403, expenditures must be necessary and
reasonable for the performance of the grant, be adequately documented,
and the cost must be incurred during the approved budget period.
28Questioned Costs: $203,397
Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all grant expenditures are allowable
and support the program intent.
Corrective Action Plan: Required.
XIV. Tite II - Teacher QuALITY 4932-00 ~ FY 2022
‘The Teacher Quality program is designed to reduce class sizes and fund
the recruitment, training, and mentoring of teachers to improve teacher
quality.
Finding #1: The grant recipient did not maintain adequate financial
records in accordance with 2 CFR 200.302(b)(3). "Records that identify
adequately the source and application of funds for federally-funded
activities, These records must contain Information pertaining to Federal
awards, authorizations, obligations, unobligated balances, assets,
expenditures, income and interest and be supported by source
documentation." During the review, it was found that several expenditures
were not properly posted to the financial records and did not support the
amounts reported on the expenditure reports. This is a repeated finding
from the FY 2019 and FY 2021 monitoring reviews.
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must maintain
adequate financial records capable of adequately identifying the source and
application of grant funds in accordance with 2 CFR.200.302(b)(3).
Corrective Action Plan: Required.
Finding No. 2: Expenditures paid from the grant were not allowable
and/or did not support the program intent. Expenditures that were not
related to grant services were posted to the grant general ledger accounts
and claimed on the expenditure reports. This included transactions for the
district human resources software subscription, online parent workshops,
and the fee for a movie production. These transactions are not related to
the approved professional development services as approved in the grant
budget. Per 2 CFR 200.403, expenditures must be necessary and
reasonable for the performance of the grant, be adequately documented,
29and the costs must be incurred during the approved budget period.
Questioned Costs: $4,452
Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all grant expenditures are allowable
and support the program intent.
Corrective Action Plan: Required.
XV. TiTLe IV - 2157 Century 4421-A1i- FY 2022
This program provides opportunities for communities to establish schools as
Community Learning Centers, providing academic, artistic, and cultural
enrichment opportunities during non-school hours.
Finding No. 1: The grant.recipient did not maintain adequate financial
records in accordance with 2 CFR 200.302(b)(3). "Records that identify
adequately the source and application of funds for federally-funded
activities. These records must contain information pertaining to Federal
awards, authorizations, obligations, unobligated balances, assets,
expenditures, Income and interest and be supported by source
documentation." During the review, it was found that several expenditures
were not properly posted to the financial records and did nat support the
amounts reported on the expenditure reports,
Questioned Costs: $0.
Recommended Corrective Action: The grant recipient must maintain
adequate financial records capable of adequately identifying the source and
application of grant funds in accordance with 2 CFR 200.302(b)(3).
Corrective Action Plan: Required.
Finding No. 2:. Salaries, wages, and/or benefits paid from grant funds
were not approved and/or accurate. It was noted that payments made to
staff for future services were posted to the grant expenditure accounts and
claimed for reimbursement. All wages claimed must be for services provided
as of the date paid. Per the time and effort documents for these future
services, many of the services were not related to the grant program intent.
‘Stipends paid to staff for services related to other grants were posted to the
21st Century grant general ledger account and claimed. The full-time salary
for one district staff member, who provided a variety of district services,
was also included in the general ledger postings. The district was unable to
provide time and effort documentation to support that the services provided
were related to 21st Century grant services. The wages, stipends, salaries,
30and related benefits for the future services and other services not related to
the grant are not allowable.
‘Questioned Costs: $345,368
Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all salaries, wages, and/or benefits
paid from grant funds are approved and/or accurate.
Corrective Action Plan: Required.
Finding No. 3: Expenditures paid from the grant were not allowable
and/or did not support the program intent. Expenditures for supplies that
were not related to the grant or were not approved in the grant budget
were posted to the general ledger and presented to support the amounts
claimed. These expenditures included items for the district's regular
education classrooms, software, eighth grade trip, band, clothing, food, and
district sports. A reimbursement for evaluation services was requested on
the expenditure report, but no payments for this service were provided. Per
2 CFR 200.403, expenditures must be necessary and reasonable for the
performance of the grant, be adequately documented, and the costs must
be incurred during the approved budget period.
Questioned Costs: $59,645
Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all grant expenditures are allowable
and support the program intent.
Corrective Action Plan: Required.
Finding No. 4: The grant recipient did not submit accurate periodic
expenditure reports. During testing, it was noted that an expenditure report
was Submitted as of 4/26/22 for-the full amount of the approved budgeted
amount and:not based on actual costs. Per the 2020 Fiscal Policies and
Procedures Handbook, all expenditure reports must be submitted on.a
cumulative ((.e., year-to-date), cash basis accounting method (i.e.,
expenses are recognized when they are paid), The expenditure report was
not submitted on the.cash basis for reimbursement and was not supported
by the transactions posted to the general ledger.
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must submit
accurate periodic expenditure reports.
Corrective Action Plan: Required.
31XVI. FEDERAL — SPECIAL EDUCATION — IDEA — FLOW-THROUGH 4620-00 — FY
2021 & FY 2022
These grants provide supplemental funds for special education and related
services to diverse learners/children with disabilities.
Finding No. 4: The grant recipient did not maintain adequate financial
records in accordance with 2 CFR 200.302(b)(3). "Records that identify
adequately the source and application of funds for federally-funded
activities. These records must contain information pertaining to Federal
awards, authorizations, obligations, unobligated balances, assets,
expenditures, income anid interest and be supported by source
documentation.” During the review, it was found that several expenditures
were not properly posted to the financial records and did not support the
amounts reported on the expenditure reports. This is a repeated finding
from FY 2021 monitoring review.
Questioned Costs: $0
Recommended Corrective Action: The grant recipient must maintain
adequate financial records capable of adequately identifying the source and
application of grant funds in accordance with 2 CFR 200.302(b)(3).
Corrective Action Plan: Required.
Finding No. 2: Salaries, wages, and/or benefits paid from grant funds
were not approved and/or accurate. The wages for adaptive PE and
paraprofessional staff services were not added to the grant budget until
11/30/21. Wages had not been included in the budget prior to 11/30/21.
Grantees that submit a state or federal budget amendment between the
project begin and end dates are not allowed. to begin an activity and
obligate. or expend funds prior to'the date of receipt at ISBE, provided the.
scope or intent of the approved project has not changed. if the scope or
intent of a project significantly changes through an amendment, ISBE
programmatic approval should be obtained prior to the obligation of funds
for the new activities provided in the amendment. The wages that were paid
and posted to the general ledger for a special education teacher prior to
11/30/21 are not allowable. The general ledger also included stipends that
were paid to staff, including a principal, per an email directive for payment
with no other time and effort documents to support the services provided.
These stipends are not allowable without proper supporting documentation
of services provided that are in addition to the salaried services that should
already be provided to students. This is a repeated finding from the FY 2021
monitoring review.
32Questioned Costs: $30,095
Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all salaries, wages, and/or benefits
paid from grant funds are approved and/or accurate.
Corrective Action Plan: Required.
Finding No. 3: Expenditures paid from the grant were not allowable
and/or did not support the program intent. Transactions for the purchase of
software subscriptions, including @ five-year subscription, and supplies for
the general student population were posted to the grant general ledger
account and included in the claimed amounts. These iterns were either nat
allowable expenditures or not for special education program services. Per 2
CFR 200.403, expenditures must be necessary and reasonable for the
performance of the grant, be adequately documented, and the costs must
be incurred during the approved budget period.
Questioned Costs: $51,385
Recommended Corrective Action: The grant recipient must develop and
implement procedures to ensure that all grant expenditures are allowable
and support the program intent.
Corrective Action Plan: Required,
33