Council of Spanish Speaking Organizations, Inc.

EIN: 237155203

UEI: DM2UJKJMJ1M3

Showing data from August 24, 2026 — the Federal Audit Clearinghouse is under high demand right now, so this couldn't be refreshed. This is the most recent data on record, not necessarily today's.

Council of Spanish Speaking Organizations, Inc.10 audit years3 findings1 repeat
10
Audit Years
3
Total Findings
1
Repeat Findings

FY 2025-06-30

Management decision deadline — for entities that funded this organization

The FAC accepted this audit on May 21, 2026. Under 2 CFR 200.521(d), a pass-through entity that provided federal funds to this organization for this audit period must issue a management decision on these findings by November 21, 2026 (87 days from today).

What is a management decision? →
2025-001
Eligibility
MATERIAL WEAKNESSREPEAT

Federal Agency: U.S. Department of Health and Human Services Federal Program Name: Foster Care Title IV-E Assistance Listing Number: 93.658 Pass-Through Agency: City of Philadelphia Department of Human Services Contract Number(s): 21-20075, 23-20289 and 23-20800 Award Period: July 1, 2024 through June 30, 2025 Type of Finding: • Material Weakness in Internal Control over Eligibility Compliance Criteria: 3 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of eligibility and reporting. Concilio’s Community Umbrella Agency Number 3 should have procedures and controls in place to ensure that all client files contained the required documentation to comply with the eligibility and reporting requirements under Uniform Guidance. Condition and Context: In our eligibility test, we requested a sample of 60 foster care children who were managed by Community Umbrella Agency 3 during the fiscal year ended June 30, 2025. As part of our testing, we reviewed each child’s case file in order to determine whether required documentation was included in the file as per the requirements of both the City of Philadelphia, Department of Human Services and the Commonwealth of Pennsylvania, Department of Human Services. Such forms are essential and help to ensure that participants are eligible for, receiving, and reporting the progress of those services provided. The results from this review indicate that documentation was either missing, appeared to have gaps of time between submissions or were not prepared timely. This included the: (a) 43 CUA Safety Assessments, (b) 38 CUA Safety Plans, (c) 15 CUA PA Model Risk Assessments, (d) 8 CUA Documented Client Visits (Structure Case Notes), (e) 21 FAST Family Advocacy Forms, (f) 21 Life Skills Assessment/ Biopsychosocial Evaluation/ IEP or Ages & Stages Questionnaire (ASQ), (g) 15 School Aged Report Cards, (h) 23 CUA Authorization to Release Information, (i) 12 CUA Immunizations, (j) 22 DHS Court Order Sheets, (k) 11 Child’s Photo, (l) 9 Initial CUA Single Case Plan, (m) 11 6-Month Updates to CUA Single Case Plan, (n) 2 Initial CUA Case Service Conference Summary Report, and (o) 2 Six Month Ongoing CUA Services Conference Summary Report. Furthermore, each child's file needed to contain specific documents from the DHS, which had to be supplied by the department or shown evidence of request by the CUA. Missing documents consisted of: (a) 23 DHS Service Authorization Forms, (b) 25 DHS CUA Provider Referral Forms, and (c) 20 DHS CUA In-Home Services Referral Forms. The total number of exceptions throughout totaled 321. Questioned Costs: No Cause: Based on our observations and discussions with management, Concilio encountered logistical challenges while starting-up and onboarding this new program while needing to scale quickly in order to meet the needs of its program consumers. These challenges attributed to the lack of documentation and file management throughout the fiscal year ended June 30, 2025. Effect: Both the lack of proper documentation and the timeliness of the completion of this documentation could lead to children either receiving inappropriate services or missing the required service described in the child’s individualized service plan. Additionally, this could lead to issues of noncompliance and/or additional unwanted liabilities in the welfare of a child had been comprised. Repeat Finding: This is a repeat finding. Recommendation: We recommend that management continue to develop policies and procedures in order to properly include all pertinent documentation within each client file as required by the City of Philadelphia, Department of Human Services. In addition, we recommend that program leadership and/or the quality control department performs periodic audits of the client files to ensure all required documentation is included. Views of responsible officials and planned corrective actions: Please refer to Concilio’s Corrective Action Plan.

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Full finding narrative

Federal Agency: U.S. Department of Health and Human Services Federal Program Name: Foster Care Title IV-E Assistance Listing Number: 93.658 Pass-Through Agency: City of Philadelphia Department of Human Services Contract Number(s): 21-20075, 23-20289 and 23-20800 Award Period: July 1, 2024 through June 30, 2025 Type of Finding: • Material Weakness in Internal Control over Eligibility Compliance Criteria: 3 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of eligibility and reporting. Concilio’s Community Umbrella Agency Number 3 should have procedures and controls in place to ensure that all client files contained the required documentation to comply with the eligibility and reporting requirements under Uniform Guidance. Condition and Context: In our eligibility test, we requested a sample of 60 foster care children who were managed by Community Umbrella Agency 3 during the fiscal year ended June 30, 2025. As part of our testing, we reviewed each child’s case file in order to determine whether required documentation was included in the file as per the requirements of both the City of Philadelphia, Department of Human Services and the Commonwealth of Pennsylvania, Department of Human Services. Such forms are essential and help to ensure that participants are eligible for, receiving, and reporting the progress of those services provided. The results from this review indicate that documentation was either missing, appeared to have gaps of time between submissions or were not prepared timely. This included the: (a) 43 CUA Safety Assessments, (b) 38 CUA Safety Plans, (c) 15 CUA PA Model Risk Assessments, (d) 8 CUA Documented Client Visits (Structure Case Notes), (e) 21 FAST Family Advocacy Forms, (f) 21 Life Skills Assessment/ Biopsychosocial Evaluation/ IEP or Ages & Stages Questionnaire (ASQ), (g) 15 School Aged Report Cards, (h) 23 CUA Authorization to Release Information, (i) 12 CUA Immunizations, (j) 22 DHS Court Order Sheets, (k) 11 Child’s Photo, (l) 9 Initial CUA Single Case Plan, (m) 11 6-Month Updates to CUA Single Case Plan, (n) 2 Initial CUA Case Service Conference Summary Report, and (o) 2 Six Month Ongoing CUA Services Conference Summary Report. Furthermore, each child's file needed to contain specific documents from the DHS, which had to be supplied by the department or shown evidence of request by the CUA. Missing documents consisted of: (a) 23 DHS Service Authorization Forms, (b) 25 DHS CUA Provider Referral Forms, and (c) 20 DHS CUA In-Home Services Referral Forms. The total number of exceptions throughout totaled 321. Questioned Costs: No Cause: Based on our observations and discussions with management, Concilio encountered logistical challenges while starting-up and onboarding this new program while needing to scale quickly in order to meet the needs of its program consumers. These challenges attributed to the lack of documentation and file management throughout the fiscal year ended June 30, 2025. Effect: Both the lack of proper documentation and the timeliness of the completion of this documentation could lead to children either receiving inappropriate services or missing the required service described in the child’s individualized service plan. Additionally, this could lead to issues of noncompliance and/or additional unwanted liabilities in the welfare of a child had been comprised. Repeat Finding: This is a repeat finding. Recommendation: We recommend that management continue to develop policies and procedures in order to properly include all pertinent documentation within each client file as required by the City of Philadelphia, Department of Human Services. In addition, we recommend that program leadership and/or the quality control department performs periodic audits of the client files to ensure all required documentation is included. Views of responsible officials and planned corrective actions: Please refer to Concilio’s Corrective Action Plan.

Corrective Action Plan

Material Weakness in Internal Control over Compliance Condition: During our eligibility assessment, we examined 60 files from Community Umbrella Agency 3 (CUA) foster care children to ensure they contained required documents by the City of Philadelphia and Pennsylvania's Department of Human Services (DHS). Our review found missing documents, time gaps between submissions, or untimely paperwork, including the following: (a) 43 CUA Safety Assessments, (b) 38 CUA Safety Plans, (c) 15 CUA PA Model Risk Assessments, (d) 8 CUA Documented Client Visits (Structure Case Notes), (e) 21 FAST Family Advocacy Forms, (f) 21 Life Skills Assessment/ Biopsychosocial Evaluation/ IEP or Ages & Stages Questionnaire (ASQ), (g) 15 School Aged Report Cards, (h) 23 CUA Authorization to Release Information, (i) 12 CUA Immunizations, (j) 22 DHS Court Order Sheets, (k) 11 Child’s Photo, (l) 9 Initial CUA Single Case Plan, (m) 11 6-Month Updates to CUA Single Case Plan, (n) 2 Initial CUA Case Service Conference Summary Report, and (o) 2 Six Month Ongoing CUA Services Conference Summary Report. Furthermore, each child's file needed to contain specific documents from the DHS, which had to be supplied by the department or shown evidence of request by the CUA. Missing documents consisted of: (a) 23 DHS Service Authorization Forms, (b) 25 DHS CUA Provider Referral Forms, and (c) 20 DHS CUA In-Home Services Referral Forms. Recommendation: We recommend that management continue to develop policies and procedures in order to properly include all pertinent documentation within each client file as required by the City of Philadelphia, Department of Human Services. In addition, we recommend that program leadership and/or quality control department performs periodic audits of the client files to ensure all required documentation is included. Explanation of Disagreement with Audit Finding There is no disagreement with the audit finding. Action taken in response to finding: 1. Hiring of Chief Compliance Officer to oversee Concilio Quality Assurance and Compliance process 2. Enhancement of the Quality Assurance Department to strengthen oversight, monitoring activities, and internal review processes across programmatic and administrative functions. 3. Implementation of monthly reviews of client files and supporting documentation to ensure accuracy, completeness, and compliance with contractual and funding requirements. 4. Provision of enhanced staff training focused on the review of audit findings, identification of control deficiencies, and timely implementation of corrective actions. Name of the contact person responsible for corrective action: Asif Mehmood, Chief Financial Officer asif.mehmood@elconcilio.net (215) 627-3100 Planned completion date for corrective action plan: June 30, 2026

Prior Finding References

2024-002

About Eligibility →
2025-002
Cost Allowability
MATERIAL WEAKNESSQUESTIONED COSTS

Federal Agency: U.S. Department of Health and Human Services Federal Program Name: Foster Care Title IV-E Assistance Listing Number: 93.658 Pass-Through Agency: City of Philadelphia Department of Human Services Contract Number(s): 21-20075, 23-20289 and 23-20800 Award Period: July 1, 2024 through June 30, 2025 Type of Finding: • Material Weakness in Internal Control over Compliance and Compliance - Allowable Costs Criteria: Per the Uniform Guidance, costs charged to federal awards must be allowable, reasonable, necessary and allocable to the program, as well as costs incurred for goods or services that directly benefit the award. Condition and Context: In our testing of allowable costs, we noted that the entity charged $111,669 of IT related expenses to the major program for services that were never performed by the vendor, and for which the entity never received benefit from. Concilio was reimbursed by the funder for these expenses. Questioned Costs: $111,669 Cause: Concilio did not have adequate internal controls in place to ensure that services were rendered and substantiated prior to payment and billing to the major program. Effect: This deficiency resulted in noncompliance with federal allowable costs requirements. It also indicates a reasonable possibility that material noncompliance with federal requirements may not be prevented or detected and corrected on a timely basis. Repeat Finding: This is not a repeat finding. Recommendation: We recommend that management strengthen internal controls over vendor payments and grant billings to ensure that only costs for services actually rendered and properly supported are charged to federal awards. Views of responsible officials and planned corrective actions: Please refer to Concilio’s Corrective Action Plan.

Show full finding ▾
Full finding narrative

Federal Agency: U.S. Department of Health and Human Services Federal Program Name: Foster Care Title IV-E Assistance Listing Number: 93.658 Pass-Through Agency: City of Philadelphia Department of Human Services Contract Number(s): 21-20075, 23-20289 and 23-20800 Award Period: July 1, 2024 through June 30, 2025 Type of Finding: • Material Weakness in Internal Control over Compliance and Compliance - Allowable Costs Criteria: Per the Uniform Guidance, costs charged to federal awards must be allowable, reasonable, necessary and allocable to the program, as well as costs incurred for goods or services that directly benefit the award. Condition and Context: In our testing of allowable costs, we noted that the entity charged $111,669 of IT related expenses to the major program for services that were never performed by the vendor, and for which the entity never received benefit from. Concilio was reimbursed by the funder for these expenses. Questioned Costs: $111,669 Cause: Concilio did not have adequate internal controls in place to ensure that services were rendered and substantiated prior to payment and billing to the major program. Effect: This deficiency resulted in noncompliance with federal allowable costs requirements. It also indicates a reasonable possibility that material noncompliance with federal requirements may not be prevented or detected and corrected on a timely basis. Repeat Finding: This is not a repeat finding. Recommendation: We recommend that management strengthen internal controls over vendor payments and grant billings to ensure that only costs for services actually rendered and properly supported are charged to federal awards. Views of responsible officials and planned corrective actions: Please refer to Concilio’s Corrective Action Plan.

Corrective Action Plan

Material Weakness in Internal Control over Compliance and Compliance - Allowable Costs Condition: During our testing of allowable costs, we identified IT-related expenses totaling $111,669 that were charged to the major program for services that were not performed by the vendor and for which the entity did not receive any benefit. These costs were subsequently reimbursed to Concilio by the funder. Recommendation: We recommend that management strengthen internal controls over vendor payments and grant billings to ensure that only costs for services actually rendered and properly supported are charged to federal awards. Explanation of Disagreement with Audit Finding: There is no disagreement with the audit finding. Action taken in response to finding: Management has initiated corrective actions to strengthen internal controls over vendor payments, procurement, and grant billing processes. Upon discovery of the issue, management reviewed the affected transactions and ensured reimbursement of the questioned costs to the funding agency. Procedures have been enhanced to require appropriate documentation and supervisory approval confirming that services are properly rendered prior to payment and charging of costs against awards. In addition, management has strengthened vendor oversight and contract monitoring processes, including improved verification of invoices against contractual deliverables and supporting documentation. The Compliance functions have been enhanced to include periodic reviews of program expenditures, and additional staff training will be provided on allowable cost requirements, compliance standards, and documentation expectations to prevent recurrence of similar issues. Name of the contact person responsible for corrective action: Asif Mehmood, Chief Financial Officer asif.mehmood@elconcilio.net (215)627-3100 Planned completion date for the corrective action plan: June 30, 2026

About Allowable Costs / Cost Principles →

FY 2024-06-30

FAC accepted this audit on June 3, 2025 — management decision was due December 3, 2025.

2024-002
Eligibility
MATERIAL WEAKNESS

Federal Agency: U.S. Department of Health and Human Services Federal Program Name: Foster Care Title IV-E Assistance Listing Number: 93.658 Pass-Through Agency: City of Philadelphia Department of Human Services Contract Number(s): 21-20075, 23-20289 and 23-20800 Award Period: July 1, 2023 through June 30, 2024 Type of Finding: - Material Weakness in Internal Control over Eligibility Compliance - Other Matters Criteria: 3 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of eligibility and reporting. Concilio’s Community Umbrella Agency Number 3, should have procedures and controls in place to ensure that all client files contained the required documentation to comply with the eligibility and reporting requirements under Uniform Guidance. Condition and Context: In our eligibility test, we requested a sample of 60 foster care children who were managed by Community Umbrella Agency 3 during the fiscal year ended June 30, 2024. As part of our testing, we reviewed each child’s case file in order to determine whether required documentation was included in the file as per the requirements of both the City of Philadelphia, Department of Human Services and the Commonwealth of Pennsylvania, Department of Human Services. Such forms are essential and help to ensure that participants are eligible for, receiving, and reporting the progress of those services provided. The results from this review indicate that documentation was either missing, appeared to have gaps of time between submissions or were not prepared timely. This included the: (a) 30 CUA In-Home Services Referral were either not provide by City of Philadelphia, DHS or followed-up by the CUA, (b) 29 CUA Safety Assessment Worksheets, (c) 30 CUA Safety Plans, (d) 7 CUA - PA Model - Risk Assessment, (e) 3 CUA - Documented Client Visits (Structure Case Notes), (f) 7 FAST - Family Advocacy Forms, (g) 17 Life Skills Assessment/ Biopsychosocial Evaluation/ IEP or Ages & Stages Questionnaire (ASQ), (h) 11 CUA - School Report Cards, (k) 6 CUA - Authorization to Release Information (medical, dental, school), (i) 9 CUA- Immunizations, (j) 3 DHS Court Sheet and Court Orders, (k) 14 Photo on file, (l) 10 Initial CUA Single Case Plan. (m) 6 CUA - Required to be Updates Every Month Single Case Plan (Revised CUA Single Case Plan), (n) 17 Initial CUA Service Conference, and (o)16 Ongoing CUA Services Conference Summary Report. Furthermore, each child's file needed to contain specific documents from the DHS, which had to be supplied by the department or shown evidence of request by the CUA. Missing documents consisted of: (a) 34 DHS Service Authorization Forms, (b) 21 DHS CUA Provider Referral Forms, and (c) 30 DHS CUA In-Home Services Referral Forms. The total number of exceptions throughout totaled 270. Questioned Costs: No Cause: Based on our observations and discussions with management, Concilio encountered logistical challenges while starting-up and onboarding this new program while needing to scale quickly in order to meet the needs of its program consumers. These challenges attributed to the lack of documentation and file management throughout the fiscal year ended June 30, 2024. Effect: Both the lack of proper documentation and the timeliness of the completion of this documentation could lead to children either receiving inappropriate services or missing the required service described in the child’s individualized service plan. Additionally, this could lead to issues of noncompliance and/or additional unwanted liabilities in the welfare of a child had been comprised. Recommendation: We recommend that management continue to develop policies and procedures in order to properly include all pertinent documentation within each client file as required by the City of Philadelphia, Department of Human Services. In addition, we recommend that program leadership and/or the quality control department performs periodic audits of the client files to ensure all required documentation is included. Views of responsible officials and planned corrective actions: Please refer to Concilio’s Corrective Action Plan.

Show full finding ▾
Full finding narrative

Federal Agency: U.S. Department of Health and Human Services Federal Program Name: Foster Care Title IV-E Assistance Listing Number: 93.658 Pass-Through Agency: City of Philadelphia Department of Human Services Contract Number(s): 21-20075, 23-20289 and 23-20800 Award Period: July 1, 2023 through June 30, 2024 Type of Finding: - Material Weakness in Internal Control over Eligibility Compliance - Other Matters Criteria: 3 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of eligibility and reporting. Concilio’s Community Umbrella Agency Number 3, should have procedures and controls in place to ensure that all client files contained the required documentation to comply with the eligibility and reporting requirements under Uniform Guidance. Condition and Context: In our eligibility test, we requested a sample of 60 foster care children who were managed by Community Umbrella Agency 3 during the fiscal year ended June 30, 2024. As part of our testing, we reviewed each child’s case file in order to determine whether required documentation was included in the file as per the requirements of both the City of Philadelphia, Department of Human Services and the Commonwealth of Pennsylvania, Department of Human Services. Such forms are essential and help to ensure that participants are eligible for, receiving, and reporting the progress of those services provided. The results from this review indicate that documentation was either missing, appeared to have gaps of time between submissions or were not prepared timely. This included the: (a) 30 CUA In-Home Services Referral were either not provide by City of Philadelphia, DHS or followed-up by the CUA, (b) 29 CUA Safety Assessment Worksheets, (c) 30 CUA Safety Plans, (d) 7 CUA - PA Model - Risk Assessment, (e) 3 CUA - Documented Client Visits (Structure Case Notes), (f) 7 FAST - Family Advocacy Forms, (g) 17 Life Skills Assessment/ Biopsychosocial Evaluation/ IEP or Ages & Stages Questionnaire (ASQ), (h) 11 CUA - School Report Cards, (k) 6 CUA - Authorization to Release Information (medical, dental, school), (i) 9 CUA- Immunizations, (j) 3 DHS Court Sheet and Court Orders, (k) 14 Photo on file, (l) 10 Initial CUA Single Case Plan. (m) 6 CUA - Required to be Updates Every Month Single Case Plan (Revised CUA Single Case Plan), (n) 17 Initial CUA Service Conference, and (o)16 Ongoing CUA Services Conference Summary Report. Furthermore, each child's file needed to contain specific documents from the DHS, which had to be supplied by the department or shown evidence of request by the CUA. Missing documents consisted of: (a) 34 DHS Service Authorization Forms, (b) 21 DHS CUA Provider Referral Forms, and (c) 30 DHS CUA In-Home Services Referral Forms. The total number of exceptions throughout totaled 270. Questioned Costs: No Cause: Based on our observations and discussions with management, Concilio encountered logistical challenges while starting-up and onboarding this new program while needing to scale quickly in order to meet the needs of its program consumers. These challenges attributed to the lack of documentation and file management throughout the fiscal year ended June 30, 2024. Effect: Both the lack of proper documentation and the timeliness of the completion of this documentation could lead to children either receiving inappropriate services or missing the required service described in the child’s individualized service plan. Additionally, this could lead to issues of noncompliance and/or additional unwanted liabilities in the welfare of a child had been comprised. Recommendation: We recommend that management continue to develop policies and procedures in order to properly include all pertinent documentation within each client file as required by the City of Philadelphia, Department of Human Services. In addition, we recommend that program leadership and/or the quality control department performs periodic audits of the client files to ensure all required documentation is included. Views of responsible officials and planned corrective actions: Please refer to Concilio’s Corrective Action Plan.

Corrective Action Plan

2024-002 • Material Weakness in Internal Control over Compliance Condition: During our eligibility assessment, we examined 40 files from Community Umbrella Agency 3 (CUA) foster care children to ensure they contained required documents by the City of Philadelphia and Pennsylvania's Department of Human Services (DHS). Our review found missing documents, time gaps between submissions, or untimely paperwork, including the following: (a) 29 CUA Safety Assessments, (b) 30 CUA Safety Plans, (c) 7 CUA PA Model Risk Assessments, (d) 3 CUA Documented Client Visits (Structure Case Notes), (e) FAST Family Advocacy Forms, (f) 17 Life Skills Assessment/ Biopsychosocial Evaluation/ IEP or Ages & Stages Questionnaire (ASQ), (g) 11 School Aged Report Cards, (h) 6 CUA Authorization to Release Information, (i) 9 CUA Immunizations, (j) 3 DHS Court Order Sheets, (k) 14 Child’s Photo, (l) 10 Initial CUA Single Case Plan, (m) 7 Monthly Updates to CUA Single Case Plan, (n) 17 Initial CUA Case Service Conference Summary Report, and (o) 16 Six Month Ongoing CUA Services Conference Summary Report. Furthermore, each child's file needed to contain specific documents from the DHS, which had to be supplied by the department or shown evidence of request by the CUA. Missing documents consisted of: (a) 34 DHS Service Authorization Forms, (b) 21 DHS CUA Provider Referral Forms, and (c) 30 DHS CUA In-Home Services Referral Forms. Recommendation: We recommend that management continue to develop policies and procedures in order to properly include all pertinent documentation within each client file as required by the City of Philadelphia, Department of Human Services. In addition, we recommend that program leadership and/or quality control department performs periodic audits of the client files to ensure all required documentation is included. Explanation of Disagreement with Audit Finding There is no disagreement with the audit finding. FINDINGS – FEDERAL AWARD PROGRAM AUDITS (CONTINUED) Action taken in response to finding: 1. Hiring of Chief Compliance Officer to oversee Concilio Quality Assurance and Compliance process 2. Staffing of Quality Assurance department 3. Monthly review of client files for accuracy and completeness 4. Additional training of staff to review audit findings and implement corrective action Name of the contact person responsible for corrective action: Albert Essilfie, Chief Financial Officer albert.essilfie@elconcilio.net (215) 627-3100 Planned completion date for corrective action plan: June 30, 2025

About Eligibility →

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