EIN: 636005367
UEI: DZDHC5KEM4D7
Audited by: Warren Averett LLC
Oversight agency: 21 [Department of the Treasury]
View federal awards & risk assessment →
Data as of September 2, 2026
Management decision deadline — for entities that funded this organization
The FAC accepted this audit on April 14, 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 October 14, 2026 (41 days from today).
What is a management decision? →FAC accepted this audit on April 4, 2025 — management decision was due October 4, 2025.
We examined the two semiannual Programmatic Performance reports and the semiannual SF425 financial report required to be submitted during the City’s fiscal year. Two of these were not filed within 30 days of specified reporting period as required. Cause: The reports not submitted timely were due July 30. The City’s controls around reporting focus on fiscal and calendar year end. The calendar-year semiannual reporting period is not in the City’s normal reporting schedule and therefore was not addressed through the controls in place. Both reports were filed within 16 days of the due date. Effect: The City did not timely fulfill all the related reporting requirements. Repeat Finding: Yes. Questioned Costs: None reported. Recommendation: We recommend the City strengthen its policies and procedures surrounding grant reporting to include (at inception of each award) documentation of a schedule of reporting requirements, review, and approvals to ensure compliance and documentation of that compliance is retained to support applicable requirements. Views of Responsible Officials: Management agrees with the finding. See Corrective Action Plan included at the end of the report.
Show full finding ▾Hide full finding ▴Reporting (Significant Deficiency and Noncompliance) Information on the federal program: U.S. Department of the Homeland Security, Assistance listing # 97.044 Assistance to Firefighters Criteria: CFR 200.329c requires that reports submitted quarterly or semiannually must be filed no later than 30 calendar days after the reporting period. Condition: We examined the two semiannual Programmatic Performance reports and the semiannual SF425 financial report required to be submitted during the City’s fiscal year. Two of these were not filed within 30 days of specified reporting period as required. Cause: The reports not submitted timely were due July 30. The City’s controls around reporting focus on fiscal and calendar year end. The calendar-year semiannual reporting period is not in the City’s normal reporting schedule and therefore was not addressed through the controls in place. Both reports were filed within 16 days of the due date. Effect: The City did not timely fulfill all the related reporting requirements. Repeat Finding: Yes. Questioned Costs: None reported. Recommendation: We recommend the City strengthen its policies and procedures surrounding grant reporting to include (at inception of each award) documentation of a schedule of reporting requirements, review, and approvals to ensure compliance and documentation of that compliance is retained to support applicable requirements. Views of Responsible Officials: Management agrees with the finding. See Corrective Action Plan included at the end of the report.
The City concurs with the finding and will strengthen the policies and procedures in relation to grant reporting from award of grant to final report. It will be the policy of the City to assign an employee within the department receiving the grant to track, monitor, and file all required reports in a timely manner. This employee will also be required to forward copies of any grant awards, requirements, communications, and reports to the Finance Department in a timely manner. This will be implemented in May of 2025.
2023-001
FAC accepted this audit on April 22, 2024 — management decision was due October 22, 2024.
We examined the annual Project and Expenditure report required. It was not filed within 30 days of specified year end as required. Cause: There had been no fund expenditures prior to December of 2022. Annual reporting requirements for ARPA funds is at March 30 year end. The City’s controls around reporting focus on fiscal quarter end and fiscal and calendar year end. This reporting period is not in the City’s normal reporting schedule and therefore was not addressed through the controls in place. Effect: The City did not timely fulfill the related reporting requirements. Questioned Costs: None reported. Recommendation: We recommend the City strengthen its policies and procedures surrounding grant reporting to include (at inception of each award) documentation of a schedule of reporting requirements, review, and approvals to ensure documentation is retained to support compliance requirements. Views of Responsible Officials: Management agrees with the finding. See Corrective Action Plan included at the end of the report.
Show full finding ▾Hide full finding ▴Information on the federal program: U.S. Department of the Treasury, Assistance listing # 21.027 COVID-19 Coronavirus State and Local Fiscal Recovery Funds Criteria: 2 CFR 200.328-300 establish requirements for designing and monitoring internal controls over reporting requirements of a non-federal entity. Controls should be implemented to ensure accurate and complete reporting compliance. The Coronavirus State and Local Fiscal Recovery Funds: Overview of the Final Rule establishes the specific requirements for ARPA fund reporting. Condition: We examined the annual Project and Expenditure report required. It was not filed within 30 days of specified year end as required. Cause: There had been no fund expenditures prior to December of 2022. Annual reporting requirements for ARPA funds is at March 30 year end. The City’s controls around reporting focus on fiscal quarter end and fiscal and calendar year end. This reporting period is not in the City’s normal reporting schedule and therefore was not addressed through the controls in place. Effect: The City did not timely fulfill the related reporting requirements. Questioned Costs: None reported. Recommendation: We recommend the City strengthen its policies and procedures surrounding grant reporting to include (at inception of each award) documentation of a schedule of reporting requirements, review, and approvals to ensure documentation is retained to support compliance requirements. Views of Responsible Officials: Management agrees with the finding. See Corrective Action Plan included at the end of the report.
Finding 2023-001 The City concurs with the finding and will strengthen the policies and procedures in relation to grant reporting from award of grant to final report. It will be the policy of the City to assign an employee within the department receiving the grant to track, monitor, and file all required reports in a timely manner. This employee will also be required to forward copies of any grant awards, requirements, communications, and reports to the Finance Department in a timely manner. This will be implemented in April of 2024.
FAC accepted this audit on April 13, 2021 — management decision was due October 13, 2021.
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 Alabama →
Track your findings and corrective action plans across audit cycles.
Start tracking findings →Monitor subrecipient audit findings and filing records.
Start monitoring →© 2026 Single Audit Intelligence. All data is public domain.