Plain-language explanations of Single Audit compliance obligations under 2 CFR 200 — subrecipient monitoring, management decision deadlines, and the full compliance calendar.
What each compliance requirement letter on a Single Audit finding means — every finding on this site links here for its category, letter by letter.
What a pass-through entity must do for every subrecipient it funds: the 14 required subaward data elements, risk assessment, ongoing monitoring, and verifying the subrecipient's audit actually happened.
The six-month clock that starts the moment the FAC accepts an audit report — and why almost nobody is actually tracking it.
Every deadline in one place: audit due date, FAC submission, the management-decision clock, and record retention — each tied to its CFR section.
Looking at more than one organization? The portfolio view shows findings and management-decision deadlines across a pasted list of EINs at once — no login required.
These guides explain regulatory obligations under 2 CFR 200 (the OMB Uniform Guidance). They are independent explanations, not legal advice and not an official publication of OMB, GSA, or any federal agency — verify anything that matters against the current text at eCFR.gov.
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