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OHANA HOMES, INC.Non-Profit

EIN: 300361765

UEI: MG1GG976J9S1

Audited by: HANDWERGER CARDEGNA FUNKHOUSER AND LURMAN, P.A.

Oversight agency: 14 [Department of Housing and Urban Development]

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Data as of August 31, 2026

OHANA HOMES, INC.1 audit years1 findings
1
Audit Years
1
Total Findings
0
Repeat Findings
$752.8K
Federal Awards Expended (FY 2022)

FY 2022-06-30

MATERIAL NONCOMPLIANCE DISCLOSED$752,827 federal awards expended

Management decision deadline — for entities that funded this organization

The FAC accepted this audit on October 16, 2022. 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 April 16, 2023 (1234 days ago).

What is a management decision? →
2022-001
Special Tests & Provisions
MATERIAL WEAKNESSMODIFIED OPINIONQUESTIONED COSTS

Residual receipts balance is over the calculated compliance amount. S3800-032 Cause: The prior year surplus cash amount was deposited into the residual receipts account. However, approval was not requested to pay back excess residual receipts. S3800-033 Effect: Residual receipts balance is over the compliance amount. S3800-035 Auditor Non-Compliance Code: Z S3800-040 Questioned Costs: $15,733 S3800-045 Reporting View of Responsible Officials: The Organization agrees with the finding. The auditor's recommendations are in the process of being implemented. S3800-050 Context: Review of the residual receipt activity showed that the client had deposited surplus cash money into the account; however approval was not sought to pay back excess residual receipts. S3800-080 Recommendation: Training of staff should be performed to bring the staff up to date with the implementation of all residual receipts compliance requirements. S3800-090 Auditor's Summary of the Auditee's Comments on the Findings and Recommendations: The Organization did not obtain approval to pay back the excess residual receipt amount. This led to the residual receipt account being greater than its compliance amount. S3800-130 Response Indicator: Agree S3800-140 Completion Date: September 30, 2022 S3800-150 Response: The Organization will request HUD approval to pay back excess residual receipts.

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Full finding narrative

S3800-010 Finding Reference Number: 2022-001 S3800-011 Title and CFDA Number of Federal Program:Supportive Housing for Persons with Disabilities - 14.181 S3800-015 Type of Finding: Federal Award Finding S3800-016 Finding Resolution Status: In Process S3800-020 Criteria: Residual receipts balance at year end should be equal to the number of units multiplied by $250. After the overage is calculated, the Organization is to request approval for the withdrawal from HUD. After approval, this overage is to be withdrawn and used to pay the excess in residual receipts. S3800-030 Statement of Condition: Residual receipts balance is over the calculated compliance amount. S3800-032 Cause: The prior year surplus cash amount was deposited into the residual receipts account. However, approval was not requested to pay back excess residual receipts. S3800-033 Effect: Residual receipts balance is over the compliance amount. S3800-035 Auditor Non-Compliance Code: Z S3800-040 Questioned Costs: $15,733 S3800-045 Reporting View of Responsible Officials: The Organization agrees with the finding. The auditor's recommendations are in the process of being implemented. S3800-050 Context: Review of the residual receipt activity showed that the client had deposited surplus cash money into the account; however approval was not sought to pay back excess residual receipts. S3800-080 Recommendation: Training of staff should be performed to bring the staff up to date with the implementation of all residual receipts compliance requirements. S3800-090 Auditor's Summary of the Auditee's Comments on the Findings and Recommendations: The Organization did not obtain approval to pay back the excess residual receipt amount. This led to the residual receipt account being greater than its compliance amount. S3800-130 Response Indicator: Agree S3800-140 Completion Date: September 30, 2022 S3800-150 Response: The Organization will request HUD approval to pay back excess residual receipts.

Corrective Action Plan

Recommendation: Training of staff should be performed to bring the staff up to date with the implementation of all residual receipts compliance requirements. Action Taken: The Organization will request approval from HUD to pay back the excess residual receipt balance.

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Data source: This information comes from the Federal Audit Clearinghouse, the official repository of Single Audit data. All data is public domain. Verify this organization's audit history at fac.gov.

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