← Back to home

NATIONAL CHURCH OF RESIDENCES OF BOLIVAR, TN D/B/A PECAN GROVENon-Profit

EIN: 341535116

UEI: J367SCZJNND6

Audited by: PLANTE & MORAN, PLLC

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

View federal awards & risk assessment →

Data as of August 31, 2026

NATIONAL CHURCH OF RESIDENCES OF BOLIVAR, TN D/B/A PECAN GROVE10 audit years2 findings1 repeat
10
Audit Years
2
Total Findings
1
Repeat Findings
$1.7M
Federal Awards Expended (FY 2025)

FY 2025-07-31

LOW-RISK AUDITEE$1,687,869 federal awards expended

Management decision deadline — for entities that funded this organization

The FAC accepted this audit on December 15, 2025. 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 June 15, 2026 (78 days ago).

What is a management decision? →
2025-001
Subrecipient Monitoring
REPEAT OF 2024-001OTHER MATTERS

Finding Type: Immaterial noncompliance with major program requirements Title and Assistance Listing Number of Federal Program - 14.155 Mortgage Insurance for the Purchase or Refinancing of Existing Multifamily Housing Projects (Section 207/223(f)) Finding Resolution Status - Resolved Information on Universe and Population Size - The Corporation had one move-out during the fiscal year. Sample Size Information - A sample size of two move-outs was tested for the year ended July 31, 2025. Identification of Repeat Finding and Finding Reference Number - n/a Criteria - HUD requires the Corporation to refund the security deposit to tenants within 30 days of the move out. Statement of Condition - The Corporation provided a refund of the security deposit to a tenant 57 days after their move out date. Cause - The Corporation failed to monitor the deposit refund requirements for the security deposits as specified by the Regulatory Agreement. Effect or Potential Effect - The tenant did not receive their security deposit refund until 57 days after their move out date. Auditor Noncompliance Code - M - Security Deposits Recommendation - All security deposit refunds should be made within 30 days of the tenant move-out. Auditor's Summary of the Auditee's Comments on the Findings and Recommendations - Management acknowledged the error that occurred during the year end July 31, 2025 and has taken measures to change their process of issuing refunds to reduce the likelihood of late refunds. Response Indicator - Agree Completion Date - August 15, 2025 Response - The security deposit was refunded August 15, 2025, and management is currently reviewing internal controls over security deposit refunds to ensure all deposits are refunded timely.

Show full finding ▾
Full finding narrative

Finding Type: Immaterial noncompliance with major program requirements Title and Assistance Listing Number of Federal Program - 14.155 Mortgage Insurance for the Purchase or Refinancing of Existing Multifamily Housing Projects (Section 207/223(f)) Finding Resolution Status - Resolved Information on Universe and Population Size - The Corporation had one move-out during the fiscal year. Sample Size Information - A sample size of two move-outs was tested for the year ended July 31, 2025. Identification of Repeat Finding and Finding Reference Number - n/a Criteria - HUD requires the Corporation to refund the security deposit to tenants within 30 days of the move out. Statement of Condition - The Corporation provided a refund of the security deposit to a tenant 57 days after their move out date. Cause - The Corporation failed to monitor the deposit refund requirements for the security deposits as specified by the Regulatory Agreement. Effect or Potential Effect - The tenant did not receive their security deposit refund until 57 days after their move out date. Auditor Noncompliance Code - M - Security Deposits Recommendation - All security deposit refunds should be made within 30 days of the tenant move-out. Auditor's Summary of the Auditee's Comments on the Findings and Recommendations - Management acknowledged the error that occurred during the year end July 31, 2025 and has taken measures to change their process of issuing refunds to reduce the likelihood of late refunds. Response Indicator - Agree Completion Date - August 15, 2025 Response - The security deposit was refunded August 15, 2025, and management is currently reviewing internal controls over security deposit refunds to ensure all deposits are refunded timely.

Corrective Action Plan

Condition: The Corporation failed to refund a security deposit to a tenant within 30 days of their move out date. Planned Corrective Action: The security deposit has been refunded and management is currently reviewing internal controls over security deposit refunds to ensure all deposits are returned timely. Contact person responsible for corrective action: Sean Alexander, Vice President – Housing Accounting Completion Date: August 15, 2025

Prior Finding References

2024-001

About Subrecipient Monitoring →

FY 2024-07-31

LOW-RISK AUDITEE$1,708,826 federal awards expended

FAC accepted this audit on October 31, 2024 — management decision was due May 1, 2025.

2024-001
Subrecipient Monitoring
OTHER MATTERS

Finding Type Immaterial noncompliance with major program requirements Title and Assistance Listing Number of Federal Program 14.155 Mortgage Insurance for the Purchase or Refinancing of Existing Multifamily Housing Projects (Section 207/223(f)) Finding Resolution Status Resolved Information on Universe and Population Size The Corporation had 8 move outs during the fiscal year. Sample Size Information A sample size of 2 move outs were tested for the year ended July 31, 2024. Identification of Repeat Finding and Finding Reference Number N/A not a repeat finding. Criteria HUD requires the Corporation to refund the security deposit to tenants within 30 days of the move out. Statement of Condition The Corporation failed to refund the security deposit to a tenant within 30 days of their move out date. Cause The Corporation failed to monitor the deposit refund requirements for the security deposits as specified by the regulatory agreement. Effect or Potential Effect The tenant did not receive their security deposit refund until 40 days after their move out. Auditor Noncompliance Code M Security Deposits Recommendation All security deposit refunds should be made within 30 days of the tenant move out. Auditor's Summary of the Auditee's Comments on the Findings and Recommendations Management acknowledged the errors that occurred during the year ended July 31, 2024 and has taken measures to change their process of issuing refunds to reduce the likelihood of late refunds. Response Indicator Agree Completion Date April 9, 2024 Response The security deposit has been refunded and management is currently reviewing internal controls over security deposit refunds to ensure all deposits are refunded timely.

Show full finding ▾
Full finding narrative

Finding Type Immaterial noncompliance with major program requirements Title and Assistance Listing Number of Federal Program 14.155 Mortgage Insurance for the Purchase or Refinancing of Existing Multifamily Housing Projects (Section 207/223(f)) Finding Resolution Status Resolved Information on Universe and Population Size The Corporation had 8 move outs during the fiscal year. Sample Size Information A sample size of 2 move outs were tested for the year ended July 31, 2024. Identification of Repeat Finding and Finding Reference Number N/A not a repeat finding. Criteria HUD requires the Corporation to refund the security deposit to tenants within 30 days of the move out. Statement of Condition The Corporation failed to refund the security deposit to a tenant within 30 days of their move out date. Cause The Corporation failed to monitor the deposit refund requirements for the security deposits as specified by the regulatory agreement. Effect or Potential Effect The tenant did not receive their security deposit refund until 40 days after their move out. Auditor Noncompliance Code M Security Deposits Recommendation All security deposit refunds should be made within 30 days of the tenant move out. Auditor's Summary of the Auditee's Comments on the Findings and Recommendations Management acknowledged the errors that occurred during the year ended July 31, 2024 and has taken measures to change their process of issuing refunds to reduce the likelihood of late refunds. Response Indicator Agree Completion Date April 9, 2024 Response The security deposit has been refunded and management is currently reviewing internal controls over security deposit refunds to ensure all deposits are refunded timely.

Corrective Action Plan

The security deposit has been refunded and management is currently reviewing internal controls over security deposit refunds to ensure all deposits are returned timely.

About Subrecipient Monitoring →

FY 2023-07-31

LOW-RISK AUDITEE$1,745,584 federal awards expendedNo findings recorded this year

FAC accepted this audit on March 27, 2024 — management decision was due September 27, 2024.

FY 2022-07-31

LOW-RISK AUDITEE$1,781,629 federal awards expendedNo findings recorded this year

FAC accepted this audit on December 18, 2022 — management decision was due June 18, 2023.

FY 2021-07-31

LOW-RISK AUDITEE$1,822,421 federal awards expendedNo findings recorded this year

FAC accepted this audit on October 11, 2021 — management decision was due April 11, 2022.

FY 2020-07-31

LOW-RISK AUDITEE$1,830,561 federal awards expendedNo findings recorded this year

FAC accepted this audit on September 27, 2020 — management decision was due March 27, 2021.

FY 2019-07-31

LOW-RISK AUDITEE$1,850,725 federal awards expendedNo findings recorded this year

FAC accepted this audit on October 2, 2019 — management decision was due April 2, 2020.

FY 2018-07-31

LOW-RISK AUDITEE$1,873,046 federal awards expendedNo findings recorded this year

FAC accepted this audit on November 4, 2018 — management decision was due May 4, 2019.

FY 2017-07-31

LOW-RISK AUDITEE$1,898,111 federal awards expendedNo findings recorded this year

FAC accepted this audit on November 1, 2017 — management decision was due May 1, 2018.

FY 2016-07-31

LOW-RISK AUDITEE$1,888,013 federal awards expendedNo findings recorded this year

FAC accepted this audit on October 23, 2016 — management decision was due April 23, 2017.

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.

Browse other Single Audit organizations in Ohio

Are you this organization?

Track your findings and corrective action plans across audit cycles.

Start tracking findings →

Do you fund this organization?

Monitor subrecipient audit findings and filing records.

Start monitoring →

Product

Resources

Legal

Single Audit Intelligence is an independent tool powered by Federal Audit Clearinghouse data. Not affiliated with GSA, OMB, or any federal agency.

© 2026 Single Audit Intelligence. All data is public domain.