EIN: 520845718
UEI: JKQNV2J91NC5
Audited by: GELMAN, ROSENBERG & FREEDMAN
Oversight agency: 19 [Department of State]
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Data as of September 2, 2026
Management decision deadline — for entities that funded this organization
The FAC accepted this audit on July 30, 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 January 30, 2027 (148 days from today).
What is a management decision? →ACYPL has not updated its procurement policy to align with the revised procurement guidelines in the Uniform Guidance. In addition, during our audit testing we noted 6 covered transactions in our sample (contract was in excess of $25,000). For two of the vendors, we noted that ACYPL did not maintain evidence of SAM exclusion verification either at contract inception or annually thereafter. However, such verifications were performed after the fact during the audit and it was noted that the two vendors were not suspended, debarred or otherwise excluded from participation in Federal programs. Cause: The procurement policy needs to be updated for the procurement standards in the revised Uniform Guidance and the policy also needs to specify when SAM verification should be performed. Effect or Potential Effect: ACYPL may enter into contracts with vendors that do not follow the current procurement standards in the revised Uniform Guidance and ACYPL may have covered transactions with suspended or debarred entities, resulting in an increased risk of noncompliance with Federal requirements. Questioned Costs: None Context: The procurement policy needs to be updated and two of six vendors in our testing sample lacked evidence that a SAM exclusion check was performed by ACYPL. Identification as a Repeat Finding, if Applicable: No. Recommendation: We recommend that management update the procurement policy to follow the procurement guidelines in the revised Uniform Guidance. The revised procurement policy should also establish and document formal procedures requiring SAM verification prior to entering into all covered transactions and annually thereafter. Evidence of the SAM verification should be maintained in vendor files.
Show full finding ▾Hide full finding ▴Finding 2025-001 - Procurement, Suspension and Debarment Controls over Compliance - Significant Deficiency Federal Agency: U.S. Department of State Federal Program: Professional and Cultural Exchange Programs Assistance Listing Number: 19.415 Pass-through Entity: American Councils for International Education Award Identification Number and Year: S-ECAGD-24-CA-0528 Criteria or Specific Requirement: The procurement standards included in the Uniform Guidance were revised effective on October 1, 2024, and the revisions were applicable to ACYPL's Federal financial assistance for the year ended December 31, 2025. In addition, Federal regulations prohibit non-Federal entities from entering into covered transactions with parties that are suspended or debarred from participating in Federal programs. The auditee is required to verify that vendors, contractors, and subrecipients subject to suspension and debarment requirements are excluded from participation in federally funded programs by checking SAM.gov, obtaining certifications, or including suspension and debarment clauses in agreements, as applicable. Such verifications are required to occur at contract inception and annually thereafter for vendors and contractors with awards in excess of $25,000 and for all subrecipients regardless of the award amount. Condition: ACYPL has not updated its procurement policy to align with the revised procurement guidelines in the Uniform Guidance. In addition, during our audit testing we noted 6 covered transactions in our sample (contract was in excess of $25,000). For two of the vendors, we noted that ACYPL did not maintain evidence of SAM exclusion verification either at contract inception or annually thereafter. However, such verifications were performed after the fact during the audit and it was noted that the two vendors were not suspended, debarred or otherwise excluded from participation in Federal programs. Cause: The procurement policy needs to be updated for the procurement standards in the revised Uniform Guidance and the policy also needs to specify when SAM verification should be performed. Effect or Potential Effect: ACYPL may enter into contracts with vendors that do not follow the current procurement standards in the revised Uniform Guidance and ACYPL may have covered transactions with suspended or debarred entities, resulting in an increased risk of noncompliance with Federal requirements. Questioned Costs: None Context: The procurement policy needs to be updated and two of six vendors in our testing sample lacked evidence that a SAM exclusion check was performed by ACYPL. Identification as a Repeat Finding, if Applicable: No. Recommendation: We recommend that management update the procurement policy to follow the procurement guidelines in the revised Uniform Guidance. The revised procurement policy should also establish and document formal procedures requiring SAM verification prior to entering into all covered transactions and annually thereafter. Evidence of the SAM verification should be maintained in vendor files.
Views of Responsible Officials: ACYPL concurs with the finding and is in the process of updating its Procurement Policy to reflect the current guidelines. The Procurement Policy will be reviewed and approved by the Board of Trustees at their July 27, 2026 meeting and implemented immediately.
FAC accepted this audit on August 6, 2025 — management decision was due February 6, 2026.
FAC accepted this audit on June 17, 2024 — management decision was due December 17, 2024.
FAC accepted this audit on July 13, 2023 — management decision was due January 13, 2024.
FAC accepted this audit on August 15, 2021 — management decision was due February 15, 2022.
FAC accepted this audit on August 19, 2020 — management decision was due February 19, 2021.
FAC accepted this audit on June 19, 2019 — management decision was due December 19, 2019.
FAC accepted this audit on July 2, 2018 — management decision was due January 2, 2019.
FAC accepted this audit on June 21, 2017 — management decision was due December 21, 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.
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