EIN: 300108263
UEI: JQHRHBJ32BA8
Audited by: GELMAN, ROSENBERG & FREEDMAN
Oversight agency: 98 [U.S. Agency for International Development]
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Data as of August 28, 2026
Management decision deadline — for entities that funded this organization
The FAC accepted this audit on September 15, 2024. 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 March 15, 2025 (534 days ago).
What is a management decision? →During the first three quarters of the year under audit, the Foundation did not perform and/or adequately document the screening process for payments made with Federal funds. Our audit procedures consisted of substantive testwork over a sample of expenditures paid during the year that were selected based on a representative sample of the population. Context: Payments were made during the first three quarters of the year by the Foundation without performing and/or adequately documenting the screening process. Effect: Failure to screen potential vendors, suppliers, employees, fellows or other non-contracted Federal transactions against the suspended and debarred list increases the possibility that U.S. Government funds may inadvertently be provided to individuals or organizations deemed to be excluded parties by the U.S. Government. Cause: The Foundation did not have adequate policies and procedures in place during the first three quarters of the year to perform and document the screening process. Questioned Costs: Undetermined. Repeat Finding: Finding 2022-001. Recommendation: This was first brought to management's attention during the fiscal year 2022 audit, which occurred during fiscal year 2023. At that time, we recommended management of the Foundation strengthen the policy surrounding the screening process for all contracted and noncontracted transactions including, but not limited to, with vendors, suppliers, employees, and fellows. Furthermore, we recommended that management communicate these policies and procedures to employees of the organization, and it should stress the importance of documenting compliance with the “Suspension and Debarment” provisions. Finally, we recommended the screening of potential vendors and suppliers should be completed (and documented) prior to entering into the transactions or making payments. We noted management took steps by the end of fiscal year 2023 to address these recommendations and remediate the finding.
Show full finding ▾Hide full finding ▴Finding 2023-001 Suspension and Debarment Federal Program: ALN 98.U01 Criteria: Recipients of U.S. Government funds must adhere to specific requirements on screening all potential vendors, suppliers and sub-contractors/grantees to ensure the organization is not conducting business with excluded parties (as defined by the U.S. Government); the screening must be documented in writing. Condition: During the first three quarters of the year under audit, the Foundation did not perform and/or adequately document the screening process for payments made with Federal funds. Our audit procedures consisted of substantive testwork over a sample of expenditures paid during the year that were selected based on a representative sample of the population. Context: Payments were made during the first three quarters of the year by the Foundation without performing and/or adequately documenting the screening process. Effect: Failure to screen potential vendors, suppliers, employees, fellows or other non-contracted Federal transactions against the suspended and debarred list increases the possibility that U.S. Government funds may inadvertently be provided to individuals or organizations deemed to be excluded parties by the U.S. Government. Cause: The Foundation did not have adequate policies and procedures in place during the first three quarters of the year to perform and document the screening process. Questioned Costs: Undetermined. Repeat Finding: Finding 2022-001. Recommendation: This was first brought to management's attention during the fiscal year 2022 audit, which occurred during fiscal year 2023. At that time, we recommended management of the Foundation strengthen the policy surrounding the screening process for all contracted and noncontracted transactions including, but not limited to, with vendors, suppliers, employees, and fellows. Furthermore, we recommended that management communicate these policies and procedures to employees of the organization, and it should stress the importance of documenting compliance with the “Suspension and Debarment” provisions. Finally, we recommended the screening of potential vendors and suppliers should be completed (and documented) prior to entering into the transactions or making payments. We noted management took steps by the end of fiscal year 2023 to address these recommendations and remediate the finding.
Views of Responsible Officials: The 2022 Uniform Guidance audit revealed in September 2023 that we failed to have an adequate policies and procedures in place in 2022 and for the first three quarters of 2023. We developed a plan below and immediately acted on it and corrected the issue for the remaining period in 2023. 1. Review of all procurement documentation for payments made with Federal funding and confirm compliance with Federal procurement laws and regulations, as well as GlobalGiving’ s internal procurement policies and procedures.2. Review, align and communicate procurement policies across GlobalGiving entities and ensure adequate staff appraisal of such policies so that procurement is managed with adherence to protocols required for Federal funds, as well as corporate entities. Anticipated Completion Date: Completed Responsible Official: Rachel Smith, VP of Global Community Programs and Partnership
2022-001
The financial reports for the first two quarters of the year were not submitted within the required timeframe. Context: The Foundation failed to submit two quarterly Federal financial reports to the Federal Agency in a timely manner. Effect: The Foundation is not in full compliance with the terms of its grant agreement. Cause: The Foundation did not have appropriate policies and procedures in place to ensure that all required financial reports were prepared and submitted on time. Questioned Costs: None noted. Repeat Finding: Finding 2022-002 Recommendation: This was first brought to management's attention during the fiscal year 2022 audit, which occurred during fiscal year 2023. At that time, we recommended management of the Foundation improve its procedures surrounding the preparation and submission of required financial reports. We noted management took steps by the end of fiscal year 2023 to address these recommendations and remediate the finding.
Show full finding ▾Hide full finding ▴Finding 2023-002 Federal Financial Reports Federal Program: ALN 98.U01 Criteria: The program requires Federal financial reports be submitted by the Foundation 30 days after the end of each quarter. Condition: The financial reports for the first two quarters of the year were not submitted within the required timeframe. Context: The Foundation failed to submit two quarterly Federal financial reports to the Federal Agency in a timely manner. Effect: The Foundation is not in full compliance with the terms of its grant agreement. Cause: The Foundation did not have appropriate policies and procedures in place to ensure that all required financial reports were prepared and submitted on time. Questioned Costs: None noted. Repeat Finding: Finding 2022-002 Recommendation: This was first brought to management's attention during the fiscal year 2022 audit, which occurred during fiscal year 2023. At that time, we recommended management of the Foundation improve its procedures surrounding the preparation and submission of required financial reports. We noted management took steps by the end of fiscal year 2023 to address these recommendations and remediate the finding.
Views of Responsible Officials: The 2022 Uniform Guidance audit revealed in September 2023 that we failed to submit Federal financial reports to the Federal Agency in a timely manner. We developed a plan below and immediately acted on it and corrected the issue for the remaining period in 2023. Ensure quarterly reports are submitted in a timely manner. This includes but is not limited to developing a cross functional internal process that enables a timely submission of the quarterly reports. Anticipated Completion Date: Completed Responsible Official: Rachel Smith, VP of Global Community Programs and Partnership
2022-002
FAC accepted this audit on September 27, 2023 — management decision was due March 27, 2024.
During the year under audit, the Foundation did not perform and/or adequately document the screening process for payments made with Federal funds. Our audit procedures consisted of substantive testwork over a sample of expenditures paid during the year that were selected based on a representative sample of the population. Context: Payments were made throughout the year by the Foundation without performing and/or adequately documenting the screening process. Effect: Failure to screen potential vendors, suppliers, employees, fellows or other non-contracted Federal transactions against the suspended and debarred list increases the possibility that U.S. Government funds may inadvertently be provided to individuals or organizations deemed to be excluded parties by the U.S. Government. Cause: The Foundation did not have adequate polices and procedures in place throughout the year to perform and document the screening process. Questioned Costs: Undetermined. Repeat Finding: This is not a repeat finding. Recommendation: We recommend management of the Foundation strengthen the policy surrounding the screening process for all contracted and non-contracted transactions including, but not limited to, with vendors, suppliers, employees, and fellows. Furthermore, we recommend that management communicate these policies and procedures to employees of the organization, and it should stress the importance of documenting compliance with the ?Suspension and Debarment? provisions. Finally, the screening of potential vendors and suppliers should be completed (and documented) prior to entering into the transactions or making payments.
Show full finding ▾Hide full finding ▴Finding 2022-001 Suspension and Debarment Federal Program: ALN 98.U01 Criteria: Recipients of U.S. Government funds must adhere to specific requirements on screening all potential vendors, suppliers and sub-contractors/grantees to ensure the organization is not conducting business with excluded parties (as defined by the U.S. Government); the screening must be documented in writing. Condition: During the year under audit, the Foundation did not perform and/or adequately document the screening process for payments made with Federal funds. Our audit procedures consisted of substantive testwork over a sample of expenditures paid during the year that were selected based on a representative sample of the population. Context: Payments were made throughout the year by the Foundation without performing and/or adequately documenting the screening process. Effect: Failure to screen potential vendors, suppliers, employees, fellows or other non-contracted Federal transactions against the suspended and debarred list increases the possibility that U.S. Government funds may inadvertently be provided to individuals or organizations deemed to be excluded parties by the U.S. Government. Cause: The Foundation did not have adequate polices and procedures in place throughout the year to perform and document the screening process. Questioned Costs: Undetermined. Repeat Finding: This is not a repeat finding. Recommendation: We recommend management of the Foundation strengthen the policy surrounding the screening process for all contracted and non-contracted transactions including, but not limited to, with vendors, suppliers, employees, and fellows. Furthermore, we recommend that management communicate these policies and procedures to employees of the organization, and it should stress the importance of documenting compliance with the ?Suspension and Debarment? provisions. Finally, the screening of potential vendors and suppliers should be completed (and documented) prior to entering into the transactions or making payments.
Views of Responsible Officials: 1. Review of all procurement documentation for payments made with federal funding and confirm compliance with federal procurement laws and regulations, as well as the GlobalGiving internal procurement policies and procedures. 2. Review, align and communicate procurement policies across GlobalGiving entities and ensure adequate staff appraisal of such policies so that procurement is managed with adherence to protocols required for Federal funds as well as corporate entities. Anticipated Completion Date: Immediately and by November 30, 2023 Responsible Official: Rachel Smith, VP of Global Community Programs and Partnerships
The financial reports for the first three quarters of the year were not submitted within the required timeframe. Context: The Foundation failed to submit three quarterly Federal financial reports to the Federal Agency in a timely manner. Effect: The Foundation is not in full compliance with the terms of its grant agreement. Cause: The Foundation did not have appropriate policies and procedures in place to ensure that all required financial reports were prepared and submitted on time. Questioned Costs: None noted. Repeat Finding: This is not a repeat finding. Recommendation: We recommend management of the Foundation improve its procedures surrounding the preparation and submission of required financial reports.
Show full finding ▾Hide full finding ▴Finding 2022-002 Federal Financial Reports Federal Program: ALN 98.U01 Criteria: The program requires Federal financial reports be submitted by the Foundation 30 days after the end of each quarter. Condition: The financial reports for the first three quarters of the year were not submitted within the required timeframe. Context: The Foundation failed to submit three quarterly Federal financial reports to the Federal Agency in a timely manner. Effect: The Foundation is not in full compliance with the terms of its grant agreement. Cause: The Foundation did not have appropriate policies and procedures in place to ensure that all required financial reports were prepared and submitted on time. Questioned Costs: None noted. Repeat Finding: This is not a repeat finding. Recommendation: We recommend management of the Foundation improve its procedures surrounding the preparation and submission of required financial reports.
Views of Responsible Officials: Ensure quarterly reports are submitted in a timely manner. This includes but is not limited to developing a cross functional internal process that enables a timely submission of the quarterly reports. Anticipated Completion Date: Immediately (2022 Q4 Quarterly Report was submitted in a timely manner.) Responsible Official: Rachel Smith, VP of Global Community Programs and Partnerships
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