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Tennessee Performing Arts Center Management CorporationNon-Profit

EIN: 581320590

UEI: RHFDWLR4TNM8

Audited by: KraftCPAs PLLC

Oversight agency: 21 [Department of the Treasury]

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Data as of September 2, 2026

Tennessee Performing Arts Center Management Corporation3 audit years2 findings
3
Audit Years
2
Total Findings
0
Repeat Findings
$829.7K
Federal Awards Expended (FY 2023)

FY 2023-06-30

$829,700 federal awards expended

Management decision deadline — for entities that funded this organization

The FAC accepted this audit on January 9, 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 July 9, 2024 (786 days ago).

What is a management decision? →
2023-001
Cost Allowability
SIGNIFICANT DEFICIENCYQUESTIONED COSTSOTHER MATTERS

Federal Program Information Funding Agency: U.S. Department of Treasury Federal ALN: 21.027 COVID-19 Coronavirus State and Local Fiscal Recovery Funds Pass Through Agency: Tennessee Arts Commission Criteria The Uniform Guidance contains cost principles which establish guidelines for allowable charges to federal grants. According to section 2 CFR 200.425, only audit services required by, and performed in accordance with, the Single Audit Act are allowed to be charged to federal grants. Condition Out of a sample of 25 charges to the grant that were tested, 1 of the charges was unallowed. The charge was determined to be unallowed as it was for the 2022 audit, the majority of which was not required by the Single Audit Act. Cause The Organization has only in recent years began to receive federal funding and therefore did not have a clear understanding of the cost principles contained in the Uniform Guidance. Effect Improper charges, in addition to those identified above, could be submitted to grantors for reimbursement. Questioned Costs $35,125   Auditor’s Recommendation TPAC should ensure that charges to federal grants are allowable in accordance with cost principles contained in Uniform Guidance. Additional training should be obtained to gain a further understanding of these requirements. Management Response Management agrees with finding. TPAC Grants contacted the pass-through agency to offer a solution, to replace the unallowable expense with an allowable expense. The Organization will also have TPAC Grants as well as TPAC Finance take training on Uniform Guidance to gain a better understanding NEW Dof these requirements in the future.

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Full finding narrative

Federal Program Information Funding Agency: U.S. Department of Treasury Federal ALN: 21.027 COVID-19 Coronavirus State and Local Fiscal Recovery Funds Pass Through Agency: Tennessee Arts Commission Criteria The Uniform Guidance contains cost principles which establish guidelines for allowable charges to federal grants. According to section 2 CFR 200.425, only audit services required by, and performed in accordance with, the Single Audit Act are allowed to be charged to federal grants. Condition Out of a sample of 25 charges to the grant that were tested, 1 of the charges was unallowed. The charge was determined to be unallowed as it was for the 2022 audit, the majority of which was not required by the Single Audit Act. Cause The Organization has only in recent years began to receive federal funding and therefore did not have a clear understanding of the cost principles contained in the Uniform Guidance. Effect Improper charges, in addition to those identified above, could be submitted to grantors for reimbursement. Questioned Costs $35,125   Auditor’s Recommendation TPAC should ensure that charges to federal grants are allowable in accordance with cost principles contained in Uniform Guidance. Additional training should be obtained to gain a further understanding of these requirements. Management Response Management agrees with finding. TPAC Grants contacted the pass-through agency to offer a solution, to replace the unallowable expense with an allowable expense. The Organization will also have TPAC Grants as well as TPAC Finance take training on Uniform Guidance to gain a better understanding NEW Dof these requirements in the future.

Corrective Action Plan

U.S. Department of Treasury The Tennessee Performing Arts Center Management Corporation respectfully submits the following corrective action plan for the year ended June 30, 2023. Name & address of independent public accounting firm: Kraft CPAs 555 Great Circle Road Nashville, TN 37228 Audit period: July 1, 2022 - June 30, 2023 The findings from the June 30, 2023 schedule of findings and questioned costs are discussed below. The findings are numbered consistently with the numbers assigned in the schedule. FINDINGS - FEDERAL AWARD PROGRAMS AUDITS 2023-001 Allowable Costs 21.027 COVID-19 Coronavirus State and Local Fiscal Recovery Funds Pass Through Agency: Tennessee Arts Commission Recommendation: The Organization should ensure that charges to federal grants are allowable in accordance with cost principles contained in Uniform Guidance. Additional training should be considered to gain a further understanding of these requirements. Action Taken: TPAC Grants contacted the pass-through agency to offer a solution, to replace the unallowable expense with an allowable expense. TPAC will also have TPAC Grants as well as TPAC Finance take training on Uniform Guidance to gain a better understanding of these requirements in the future. If the U.S. Department of Treasury has questions regarding this plan, please call Julie Gillen at 615-782-4033.

About Allowable Costs / Cost Principles →

FY 2022-06-30

$5,488,374 federal awards expended

FAC accepted this audit on January 12, 2023 — management decision was due July 12, 2023.

2022-001
Procurement & Suspension/Debarment
MATERIAL WEAKNESS

Federal Program Information Funding Agency: U.S. Department of Treasury Federal ALN: 21.027 COVID-19 Coronavirus State and Local Fiscal Recovery Funds Pass Through Agency: Tennessee Arts Commission Criteria As required by the Uniform Guidance, non-federal entities are prohibited from contracting with parties that are suspended or debarred. The Uniform Guidance also requires the entities to follow documented procurement procedures that are in compliance with the procurement standards in the federal guidelines. Condition During the period under audit, there was no policy in place for procurement procedures, and the policy to determine whether vendors are suspended or debarred was not being followed. Context Per our review of vendors over the applicable threshold, there was no documentation of having been reviewed for procurement, suspension or debarment. During the audit process, management performed procedures on each vendor used for the program and none were suspended or debarred. Cause The Organization had not received federal funding previously and therefore did not have a procurement policy in place until after the award was received from the granting agency. In addition, suspension and debarment procedures were in place, however, there was a change of staff responsibilities and the new staff had not been made aware of their responsibility regarding the procedures for suspension and debarment. Effect Purchases may occur that do not meet the procurement standards, and payments to vendors that had been suspended or debarred could be made and not detected. Auditor's Recommendations The Organization should ensure that the procurement policy subsequently established meets the procurement standards outlined in the Uniform Guidance, and should be followed for all purchases meeting the established thresholds. In addition, the Organization should verify new and existing vendors are not suspended or debarred prior to entering into transactions with vendors. Management Response Procurement: TPAC did not require a Procurement policy in the past; however, in April 2022 when TPAC was notified we would receive the TAC Recovery Grant, a Procurement policy was put in place. Post-audit, we will revisit the policy with senior leadership to ensure compliance. Suspension & Debarment: Once we were made aware that the previous Director of Grants was not verifying suspension & debarment on SAM.gov, a written TPAC Suspension & Debarment Policy was drafted and reviewed with TPAC?s current Vice President of Leadership Giving (Development senior leadership). That VP and TPAC's CFO then verified that all vendors with expenses included in FY 22 TAC Recovery Grant were not suspended or debarred. The Vice President of Leadership Giving will ensure that her staff will comply with the policy moving forward.

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Full finding narrative

Federal Program Information Funding Agency: U.S. Department of Treasury Federal ALN: 21.027 COVID-19 Coronavirus State and Local Fiscal Recovery Funds Pass Through Agency: Tennessee Arts Commission Criteria As required by the Uniform Guidance, non-federal entities are prohibited from contracting with parties that are suspended or debarred. The Uniform Guidance also requires the entities to follow documented procurement procedures that are in compliance with the procurement standards in the federal guidelines. Condition During the period under audit, there was no policy in place for procurement procedures, and the policy to determine whether vendors are suspended or debarred was not being followed. Context Per our review of vendors over the applicable threshold, there was no documentation of having been reviewed for procurement, suspension or debarment. During the audit process, management performed procedures on each vendor used for the program and none were suspended or debarred. Cause The Organization had not received federal funding previously and therefore did not have a procurement policy in place until after the award was received from the granting agency. In addition, suspension and debarment procedures were in place, however, there was a change of staff responsibilities and the new staff had not been made aware of their responsibility regarding the procedures for suspension and debarment. Effect Purchases may occur that do not meet the procurement standards, and payments to vendors that had been suspended or debarred could be made and not detected. Auditor's Recommendations The Organization should ensure that the procurement policy subsequently established meets the procurement standards outlined in the Uniform Guidance, and should be followed for all purchases meeting the established thresholds. In addition, the Organization should verify new and existing vendors are not suspended or debarred prior to entering into transactions with vendors. Management Response Procurement: TPAC did not require a Procurement policy in the past; however, in April 2022 when TPAC was notified we would receive the TAC Recovery Grant, a Procurement policy was put in place. Post-audit, we will revisit the policy with senior leadership to ensure compliance. Suspension & Debarment: Once we were made aware that the previous Director of Grants was not verifying suspension & debarment on SAM.gov, a written TPAC Suspension & Debarment Policy was drafted and reviewed with TPAC?s current Vice President of Leadership Giving (Development senior leadership). That VP and TPAC's CFO then verified that all vendors with expenses included in FY 22 TAC Recovery Grant were not suspended or debarred. The Vice President of Leadership Giving will ensure that her staff will comply with the policy moving forward.

Corrective Action Plan

CORRECTIVE ACTION PLAN December 20, 2022 U.S Department of Treasury The Tennessee Performing Arts Center Management Corporation respectfully submits the following corrective action plan for the year ended June 30, 2022. Name & address of independent public accounting firm: Kraft CPAs 555 Great Circle Road Nashville, TN 37228 Audit period: July 1, 2021- June 30, 2022 The findings from the December 19th, 2022 schedule of findings and questioned costs are discussed below. The findings are numbered consistently with the numbers assigned in the schedule. FINDINGS - FEDERAL AWARD PROGRAMS AUDITS 2022-001 Procurement, Suspension and Debarment 21.027 COVID-19 Coronavirus State and Local Fiscal Recovery Funds Pass Through Agency: Tennessee Arts Commission Recommendation: The Organization should ensure that the procurement policy subsequently established meets the procurement standards outlined in the Uniform Guidance, and should be followed for all purchases meeting the established thresholds. In addition, the Organization should verify new and existing vendors are not suspended or debarred prior to entering into transactions with vendors. Action Taken: Procurement - TPAC did not require a Procurement policy in the past; however, in April 2022 when TPAC was notified we would receive the TAC Recovery Grant, a Procurement policy was put in place. Post-audit, we will revisit the policy with senior leadership to ensure compliance. Suspension & Debarment - Once we were made aware that the previous Director of Grants was not verifying suspension & debarment on SAM.gov, a written TPAC Suspension & Debarment Policy was drafted and reviewed with TPAC's current Vice President of Leadership Giving (Development senior leadership). That VP and TPAC's CFO then verified that all vendors with expenses included in FY22 TAC Recovery Grant were not suspended or debarred. The Vice President of Leadership Giving will ensure that her staff will comply with the policy moving forward. If the U.S. Department of Treasury has questions regarding this plan, please call Julie Gillen at 615-782-4033.

About Procurement and Suspension and Debarment →

FY 2021-06-30

$6,516,297 federal awards expendedNo findings recorded this year

FAC accepted this audit on September 27, 2022 — management decision was due March 27, 2023.

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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