EIN: 800950267
UEI: X7S9XFLS1ST5
Data as of August 24, 2026
Management decision deadline — for entities that funded this organization
The FAC accepted this audit on September 19, 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 March 19, 2026 (159 days ago).
What is a management decision? →Reporting – Late submission of the Single Audit Reporting Package and Data Collection Form to the Federal Audit Clearinghouse (FAC) Federal Agency Program Title Assistance Listing Number Award Number Award Period All awards reported on the schedule of expenditures of federal awards Identification as a Repeat Finding: Elements of this finding are a repeat of Finding 2023-002 Finding: The Organization did not file its annual 2023 Single Audit and Data Collection form timely. The Organization did not file its HUD REAC Annual Financial Statement timely. Criteria: The Single Audit Reporting Package and Data Collection Form shall be submitted to the Federal Audit Clearinghouse 30 days after receipt of the auditor’s report, or 9 months after the end of the fiscal year, whichever comes first. The HUD REAC AFS is due by September 30. Condition and context: Submission of the Single Audit Reporting Package and Data Collection Form to the FAC was not completed within the timeframe required by the Uniform Guidance. The HUD REAC Annual Financial Statement was not completed or submitted by September 30, 2024 as required. We note that the Single Audit Reporting Package and Data Collection Form were submitted on December 12, 2024. The HUD REAC AFS was submitted on December 12, 2024. Cause: The Organization changed to a new property management company during 2023. The transition did not go smoothly and the new management agent has had problems transitioning the accounting from the prior management agent which hindered the completion and filing reports in timely manner. Subsequent to year end, the Organization has changed to a new property management company during 2025 and anticipates future filings to be prepared and submitted timely. Sample size and population: Sampling was not applicable to this finding. Effect: Noncompliance with the Uniform Guidance and HUD could impact future funding from Federal sources. Recommendation: Changes to the property management company happens infrequently. Therefore, it would be unusual for a similar matter to reoccur; however, it is considered a best practice to maintain a schedule of regulatory and compliance deadlines to ensure related tasks are completed in advance of deadlines. Question Costs: None Views of Management and Corrective Action Plan: Management’s response is reported in the “Corrective Action Plan” Contact Person: Jerry Groesz
Show full finding ▾Hide full finding ▴Reporting – Late submission of the Single Audit Reporting Package and Data Collection Form to the Federal Audit Clearinghouse (FAC) Federal Agency Program Title Assistance Listing Number Award Number Award Period All awards reported on the schedule of expenditures of federal awards Identification as a Repeat Finding: Elements of this finding are a repeat of Finding 2023-002 Finding: The Organization did not file its annual 2023 Single Audit and Data Collection form timely. The Organization did not file its HUD REAC Annual Financial Statement timely. Criteria: The Single Audit Reporting Package and Data Collection Form shall be submitted to the Federal Audit Clearinghouse 30 days after receipt of the auditor’s report, or 9 months after the end of the fiscal year, whichever comes first. The HUD REAC AFS is due by September 30. Condition and context: Submission of the Single Audit Reporting Package and Data Collection Form to the FAC was not completed within the timeframe required by the Uniform Guidance. The HUD REAC Annual Financial Statement was not completed or submitted by September 30, 2024 as required. We note that the Single Audit Reporting Package and Data Collection Form were submitted on December 12, 2024. The HUD REAC AFS was submitted on December 12, 2024. Cause: The Organization changed to a new property management company during 2023. The transition did not go smoothly and the new management agent has had problems transitioning the accounting from the prior management agent which hindered the completion and filing reports in timely manner. Subsequent to year end, the Organization has changed to a new property management company during 2025 and anticipates future filings to be prepared and submitted timely. Sample size and population: Sampling was not applicable to this finding. Effect: Noncompliance with the Uniform Guidance and HUD could impact future funding from Federal sources. Recommendation: Changes to the property management company happens infrequently. Therefore, it would be unusual for a similar matter to reoccur; however, it is considered a best practice to maintain a schedule of regulatory and compliance deadlines to ensure related tasks are completed in advance of deadlines. Question Costs: None Views of Management and Corrective Action Plan: Management’s response is reported in the “Corrective Action Plan” Contact Person: Jerry Groesz
Late submission of the Single Audit Reporting Package and Data Collection Form to the Federal Audit Clearinghouse (FAC) We agree with this finding. The annual financial statement audit for the year ending December 31, 2023 was not completed and submitted to the Federal Audit Clearinghouse by the statutory due date of September 30, 2024 and the HUD REAC AFS was not submitted by September 30, 2024 as required. The prior property manager for 2024 was terminated effective March 31, 2025 and has been replaced by a new property management company. The new property management agent is familiar with HUD and federal reporting requirements and will submit future reports in a timely manner.
2023-002
Unauthorized Change in Management Agent and Unauthorized Distribution Federal Agency Program Title Assistance Listing Number Award Number Award Period All awards reported on the schedule of expenditures of federal awards Identification as a Repeat Finding: Elements of this finding are a repeat of Finding 2023-003 Finding: The Organization’s management agent in 2024 is not approved by HUD. Management fees paid to unauthorized management agents are considered unauthorized distributions of project funds. Criteria: HUD requires that a management agent assumes management responsibility only after HUD approval. Condition and context: During 2023, the Organization hired and transitioned the operational management to a management agent which is not approved by HUD. Subsequent to year end, the Organization has changed to a new property management company during 2025 which is approved by HUD. Cause: During 2023, the Organization hired and transitioned the operational management to a management agent which is not approved by HUD. The management agent charged the Organization $132,087 for management fees for the year ended December 31, 2024 of which $57,800 was unpaid and outstanding as of December 31, 2024. Sample size and population: Sampling was not applicable to this finding. Effect: Noncompliance with the HUD requirements could reduce access to future funding from Federal sources. Recommendation: The Organization should immediately consider the need to change management agents to one that is HUD approved. Subsequent to year end, we have been informed that the Organization has changed to a new HUD approved property management company during 2025 which should resolve this matter in future years. Question Costs: $132,087 of management fees charged during the year ended December 31, 2024 Views of Management and Corrective Action Plan: Management’s response is reported in the “Corrective Action Plan” Contact Person: Jerry Groesz
Show full finding ▾Hide full finding ▴Unauthorized Change in Management Agent and Unauthorized Distribution Federal Agency Program Title Assistance Listing Number Award Number Award Period All awards reported on the schedule of expenditures of federal awards Identification as a Repeat Finding: Elements of this finding are a repeat of Finding 2023-003 Finding: The Organization’s management agent in 2024 is not approved by HUD. Management fees paid to unauthorized management agents are considered unauthorized distributions of project funds. Criteria: HUD requires that a management agent assumes management responsibility only after HUD approval. Condition and context: During 2023, the Organization hired and transitioned the operational management to a management agent which is not approved by HUD. Subsequent to year end, the Organization has changed to a new property management company during 2025 which is approved by HUD. Cause: During 2023, the Organization hired and transitioned the operational management to a management agent which is not approved by HUD. The management agent charged the Organization $132,087 for management fees for the year ended December 31, 2024 of which $57,800 was unpaid and outstanding as of December 31, 2024. Sample size and population: Sampling was not applicable to this finding. Effect: Noncompliance with the HUD requirements could reduce access to future funding from Federal sources. Recommendation: The Organization should immediately consider the need to change management agents to one that is HUD approved. Subsequent to year end, we have been informed that the Organization has changed to a new HUD approved property management company during 2025 which should resolve this matter in future years. Question Costs: $132,087 of management fees charged during the year ended December 31, 2024 Views of Management and Corrective Action Plan: Management’s response is reported in the “Corrective Action Plan” Contact Person: Jerry Groesz
Unauthorized Change in Management Agent and Unauthorized Distribution We agree with this finding. During 2023, the Organization hired and transitioned the operational management to a management agent which is not approved by HUD. Subsequent to year end, the Organization has changed to a new property management company during 2025 which is approved by HUD.
2023-003
FAC accepted this audit on December 12, 2024 — management decision was due June 12, 2025.
Reporting – Late submission of the Single Audit Reporting Package and Data Collection Form to the Federal Audit Clearinghouse (FAC) Federal Agency Program Title Assistance Listing Number Award Number Award Period All awards reported on the schedule of expenditures of federal awards Identification as a Repeat Finding: N/A Finding: The Organization did not file its annual 2023 Single Audit and Data Collection form timely. The Organization did not file its HUD REAC Annual Financial Statement timely. Criteria: The Single Audit Reporting Package and Data Collection Form shall be submitted to the Federal Audit Clearinghouse 30 days after receipt of the auditor’s report, or 9 months after the end of the fiscal year, whichever comes first. The HUD REAC AFS is due by September 30. Condition and context: Submission of the Single Audit Reporting Package and Data Collection Form to the FAC was not completed within the timeframe required by the Uniform Guidance. The HUD REAC Annual Financial Statement was not completed or submitted by September 30 as required. We note that the Single Audit Reporting Package, Data Collection Form and HUD REAC AFS are expected to be submitted during December 2024 for the fiscal year ended December 31, 2023. Cause: The Organization changed to a new property management company during 2023. The transition did not go smoothly and the new management agent has had problems transitioning the accounting from the prior management agent which has hindered the completion and filing reports in timely manner. Sample size and population: Sampling was not applicable to this finding. Effect: Noncompliance with the Uniform Guidance and HUD could impact future funding from Federal sources. Recommendation: Changes to the property management company happens infrequently. Therefore, it would be unusual for a similar matter to reoccur; however, it is considered a best practice to maintain a schedule of regulatory and compliance deadlines to ensure related tasks are completed in advance of deadlines. Also, see recommendation in Finding 2023-001. Question Costs: None Views of Management and Corrective Action Plan: Management’s response is reported in the “Corrective Action Plan” Contact Person: Mauro Hernandez
Show full finding ▾Hide full finding ▴Reporting – Late submission of the Single Audit Reporting Package and Data Collection Form to the Federal Audit Clearinghouse (FAC) Federal Agency Program Title Assistance Listing Number Award Number Award Period All awards reported on the schedule of expenditures of federal awards Identification as a Repeat Finding: N/A Finding: The Organization did not file its annual 2023 Single Audit and Data Collection form timely. The Organization did not file its HUD REAC Annual Financial Statement timely. Criteria: The Single Audit Reporting Package and Data Collection Form shall be submitted to the Federal Audit Clearinghouse 30 days after receipt of the auditor’s report, or 9 months after the end of the fiscal year, whichever comes first. The HUD REAC AFS is due by September 30. Condition and context: Submission of the Single Audit Reporting Package and Data Collection Form to the FAC was not completed within the timeframe required by the Uniform Guidance. The HUD REAC Annual Financial Statement was not completed or submitted by September 30 as required. We note that the Single Audit Reporting Package, Data Collection Form and HUD REAC AFS are expected to be submitted during December 2024 for the fiscal year ended December 31, 2023. Cause: The Organization changed to a new property management company during 2023. The transition did not go smoothly and the new management agent has had problems transitioning the accounting from the prior management agent which has hindered the completion and filing reports in timely manner. Sample size and population: Sampling was not applicable to this finding. Effect: Noncompliance with the Uniform Guidance and HUD could impact future funding from Federal sources. Recommendation: Changes to the property management company happens infrequently. Therefore, it would be unusual for a similar matter to reoccur; however, it is considered a best practice to maintain a schedule of regulatory and compliance deadlines to ensure related tasks are completed in advance of deadlines. Also, see recommendation in Finding 2023-001. Question Costs: None Views of Management and Corrective Action Plan: Management’s response is reported in the “Corrective Action Plan” Contact Person: Mauro Hernandez
Finding: The Organization did not file its annual 2023 Single Audit and Data Collection form timely. The Organization did not file its HUD REAC Annual Financial Statement timely. Views of Management and Corrective Action Plan: The updated onboarding procedures listed in Finding II Corrective Action are designed to prevent delays in submitting required audit reporting. Key improvements include: 1. Timely Reporting Compliance: o Enhanced onboarding processes eliminate the factors that previously led to late audit submissions. 2. Accurate Financials: o Financial statements submitted to auditors will be complete and accurate, minimizing the need for corrections. 3. Proactive Issue Resolution: o By addressing reporting requirements early in the onboarding process, the likelihood of errors and delays is significantly reduced. These updates ensure that future audit reporting deadlines are consistently met, avoiding the challenges faced in the current year.
Unauthorized Change in Management Agent and Unauthorized Distribution Federal Agency Program Title Assistance Listing Number Award Number Award Period All awards reported on the schedule of expenditures of federal awards Identification as a Repeat Finding: N/A Finding: The Organization’s management agent is not approved by HUD. Management fees paid to unauthorized management agents are considered unauthorized distributions of project funds. Criteria: HUD requires that a management agent assumes management responsibility only after HUD approval. Condition and context: During 2023, the Organization hired and transitioned the operational management to a management agent which is not approved by HUD. Cause: During 2023, the Organization hired and transitioned the operational management to a management agent which is not approved by HUD. The management agent charged the Organization $55,269 for management fees for the year ended December 31, 2023. Sample size and population: Sampling was not applicable to this finding. Effect: Noncompliance with the HUD requirements could reduce access to future funding from Federal sources. Recommendation: The Organization should immediately require the management agent to complete the HUD approval process, and if necessary, consider the need to change management agents to one that is HUD approved. Question Costs: $55,269 of management fees incurred during 2023 Views of Management and Corrective Action Plan: Management’s response is reported in the “Corrective Action Plan” Contact Person: Mauro Hernandez
Show full finding ▾Hide full finding ▴Unauthorized Change in Management Agent and Unauthorized Distribution Federal Agency Program Title Assistance Listing Number Award Number Award Period All awards reported on the schedule of expenditures of federal awards Identification as a Repeat Finding: N/A Finding: The Organization’s management agent is not approved by HUD. Management fees paid to unauthorized management agents are considered unauthorized distributions of project funds. Criteria: HUD requires that a management agent assumes management responsibility only after HUD approval. Condition and context: During 2023, the Organization hired and transitioned the operational management to a management agent which is not approved by HUD. Cause: During 2023, the Organization hired and transitioned the operational management to a management agent which is not approved by HUD. The management agent charged the Organization $55,269 for management fees for the year ended December 31, 2023. Sample size and population: Sampling was not applicable to this finding. Effect: Noncompliance with the HUD requirements could reduce access to future funding from Federal sources. Recommendation: The Organization should immediately require the management agent to complete the HUD approval process, and if necessary, consider the need to change management agents to one that is HUD approved. Question Costs: $55,269 of management fees incurred during 2023 Views of Management and Corrective Action Plan: Management’s response is reported in the “Corrective Action Plan” Contact Person: Mauro Hernandez
The Organization’s management agent is not approved by HUD. Management fees paid to unauthorized management agents are considered unauthorized distributions of project funds. Views of Management and Corrective Action Plan: The Organization has chosen to change management agents to one that will be approved by HUD. Contact Person: Mauro Hernandez
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