THE CHAMBER FOUNDATIONNon-Profit

EIN: 815479845

UEI: HZNFLAMGU3J7

Audited by: BRADY MARTZ & ASSOCIATES PC

Oversight agency: 11 [Department of Commerce]

Data as of August 27, 2026

THE CHAMBER FOUNDATION3 audit years5 findings2 repeat
3
Audit Years
5
Total Findings
2
Repeat Findings

FY 2024-12-31

$759,549 federal awards expended

Management decision deadline — for entities that funded this organization

The FAC accepted this audit on August 7, 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 February 7, 2026 (202 days ago).

What is a management decision? →
2024-001
Subrecipient Monitoring
MATERIAL WEAKNESSREPEAT

For the four-month period from September 1, 2024 through December 31, 2024, we discussed the policies and procedures in effect for the Chamber Foundation employees to adequately monitor the subrecipients under the Economic Adjustment Assistance Grant. Although the policies and procedures in effect during the four-month period from September 1, 2024 through December 31, 2024 were appropriately designed, they were not completed throughout the year. Cause: There was a general misunderstanding on the process of completing subrecipient monitoring controls throughout the year. Effect: Noncompliance will not be prevented, or detected and corrected in a timely manner. Questioned costs: None Recommendation: The subrecipient monitoring policies and procedures should be updated to include specific milestones and broken down into specific tasks that are to be achieved throughout the year. Redundancies and cross-training could be included to reduce the risk that lapses in monitoring occur due to staff turnover or extended absences. In addition, training for all staff upon employment and periodically throughout the year over EDA policies and procedures would allow for better clarity and understanding. Views of Responsible Officials: Management recognizes the deficiency and plans to implement the auditor’s recommendations. Indication of Repeat finding: This is a repeat finding of August 31, 2024 - 002 from the prior year.

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Full finding narrative

Subrecipient Monitoring – Material Weakness Federal Program: AL 11.307 – Economic Adjustment Assistance Criteria: A good system of internal controls allows for the compliance with Uniform Guidance to monitor funds that are passed through to subrecipients and the continued stewardship of those federal dollars. Condition: For the four-month period from September 1, 2024 through December 31, 2024, we discussed the policies and procedures in effect for the Chamber Foundation employees to adequately monitor the subrecipients under the Economic Adjustment Assistance Grant. Although the policies and procedures in effect during the four-month period from September 1, 2024 through December 31, 2024 were appropriately designed, they were not completed throughout the year. Cause: There was a general misunderstanding on the process of completing subrecipient monitoring controls throughout the year. Effect: Noncompliance will not be prevented, or detected and corrected in a timely manner. Questioned costs: None Recommendation: The subrecipient monitoring policies and procedures should be updated to include specific milestones and broken down into specific tasks that are to be achieved throughout the year. Redundancies and cross-training could be included to reduce the risk that lapses in monitoring occur due to staff turnover or extended absences. In addition, training for all staff upon employment and periodically throughout the year over EDA policies and procedures would allow for better clarity and understanding. Views of Responsible Officials: Management recognizes the deficiency and plans to implement the auditor’s recommendations. Indication of Repeat finding: This is a repeat finding of August 31, 2024 - 002 from the prior year.

Corrective Action Plan

2024-001: Subrecipient Monitoring Controls Person responsible for corrective action: Nicole Meland, Vice President of Finance and Operations Responsible official’s response: Management is in agreement with this finding. Corrective action planned: The Chamber Foundation has a comprehensive monitoring plan to monitor all grant supported activities in accordance with program rules relative to EDA program including rules established by the program, those established by EDA, and by 2 CFR Part 200. Planned implementation date of corrective action: Ongoing

Prior Finding References

2024-002

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2024-002
Subrecipient Monitoring
REPEATOTHER MATTERS

For the four-month period from September 1, 2024 through December 31, 2024, we reviewed the Foundation’s subrecipient internal controls, requesting supporting documentation for monitoring activities included, and interviewed key members of management when documentation was not available. Performance of several of the policies noted as required under Unform Guidance for subrecipient monitoring and per the Foundation’s internal controls could not be substantiated or were determined to not have occurred during the year under audit. Cause: Due to internal control deficiency noted in 2024-001, the subrecipient monitoring requirement was not in compliance during the year. Context: Of the federal expenditures under the program noted, $91,125 are passed through to subrecipients. The following are specific items noted that were not in compliance with the criteria listed above: - We requested copies of the correspondence with subrecipients requesting copies of the financial statement audits performed in compliance with 2 CFR 200. Follow up discussion with the Chamber Foundation staff confirmed that this requirement was not completed during the year under audit. Subsequently, of the four subrecipient audit reports required to be requested, zero were requested. - We requested copies of all subawards awarded to subrecipients. Of the four subawards awarded to pass-through entities, one was missing the following required information under (2 CFR Section 200.331(a)): o Subrecipient’s unique entity identifier. Effect: Increased risk of potential noncompliance with subrecipient monitoring requirements under Uniform Guidance. Questioned costs: None Recommendation: The Foundation should request yearly audit reports as determined by 2 CFR 200. Additionally, the entity should include all required information as determined in CFR Section 200.331(a) in all subawards. Views of Responsible Officials: Management recognizes the deficiency and plans to implement the auditor’s recommendations. Indication of Repeat Finding: This is a repeat finding of August 31, 2024 - 003 from the prior year.

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Full finding narrative

Federal Program: AL 11.307 – Economic Adjustment Assistance Criteria: Uniform Guidance requires, for any funds passed through to a subrecipient, that the pass-through entity (The Chamber Foundation) must perform certain activities to ensure that the subrecipient uses funds within provisions of the grant award and Uniform Guidance (2 CFR sections 200.331 (d) through (f)). This includes review of independent audits of subrecipients and response to deficiencies detected through audits (2 CFR section 200.331(f)). It also includes requiring all subawards granted to subrecipients have specific identifications with the award to ensure the subaward is clearly identifiable (2 CFR Section 200.331(a)). Condition: For the four-month period from September 1, 2024 through December 31, 2024, we reviewed the Foundation’s subrecipient internal controls, requesting supporting documentation for monitoring activities included, and interviewed key members of management when documentation was not available. Performance of several of the policies noted as required under Unform Guidance for subrecipient monitoring and per the Foundation’s internal controls could not be substantiated or were determined to not have occurred during the year under audit. Cause: Due to internal control deficiency noted in 2024-001, the subrecipient monitoring requirement was not in compliance during the year. Context: Of the federal expenditures under the program noted, $91,125 are passed through to subrecipients. The following are specific items noted that were not in compliance with the criteria listed above: - We requested copies of the correspondence with subrecipients requesting copies of the financial statement audits performed in compliance with 2 CFR 200. Follow up discussion with the Chamber Foundation staff confirmed that this requirement was not completed during the year under audit. Subsequently, of the four subrecipient audit reports required to be requested, zero were requested. - We requested copies of all subawards awarded to subrecipients. Of the four subawards awarded to pass-through entities, one was missing the following required information under (2 CFR Section 200.331(a)): o Subrecipient’s unique entity identifier. Effect: Increased risk of potential noncompliance with subrecipient monitoring requirements under Uniform Guidance. Questioned costs: None Recommendation: The Foundation should request yearly audit reports as determined by 2 CFR 200. Additionally, the entity should include all required information as determined in CFR Section 200.331(a) in all subawards. Views of Responsible Officials: Management recognizes the deficiency and plans to implement the auditor’s recommendations. Indication of Repeat Finding: This is a repeat finding of August 31, 2024 - 003 from the prior year.

Corrective Action Plan

Person responsible for corrective action: Nicole Meland, Vice President of Finance and Operations Responsible official’s response: Management is in agreement with this finding. Corrective action planned: The Chamber Foundation has subsequently requested all audit reports from all subrecipients. Additionally, the Chamber Foundation has changed subaward formatting to ensure that all required information is included within the award. Planned implementation date of corrective action: Ongoing

Prior Finding References

2024-003

About Subrecipient Monitoring →

FY 2024-08-31

$2,044,579 federal awards expended

FAC accepted this audit on May 28, 2025 — management decision was due November 28, 2025.

2024-001
Reporting
SIGNIFICANT DEFICIENCY

The Foundation’s August 31, 2023 audited financial statements were not filed with the Federal Audit Clearinghouse within nine months of the Foundation’s year end. Cause: Changes in Schedule of Expenditures of Federal Awards during the audit. Questioned Costs: None Effect or Potential Effect: The Foundation is not in compliance with Uniform Guidance requirements. Recommendation: We recommend the Foundation ensure records are reconciled and available for audit within a timely manner of year end. Views of Responsible Officials: Management recognizes the deficiency and plans to implement the auditor’s recommendations. Indication of Repeat Finding: This is a new finding in the current year.

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Full finding narrative

Federal Program: All federal programs Criteria: The Uniform Guidance requires all entities that expend in excess of $750,000 of federal expenditures to file audited financial statements within 9 months of year-end. Condition: The Foundation’s August 31, 2023 audited financial statements were not filed with the Federal Audit Clearinghouse within nine months of the Foundation’s year end. Cause: Changes in Schedule of Expenditures of Federal Awards during the audit. Questioned Costs: None Effect or Potential Effect: The Foundation is not in compliance with Uniform Guidance requirements. Recommendation: We recommend the Foundation ensure records are reconciled and available for audit within a timely manner of year end. Views of Responsible Officials: Management recognizes the deficiency and plans to implement the auditor’s recommendations. Indication of Repeat Finding: This is a new finding in the current year.

Corrective Action Plan

2024-001 - Reporting Person responsible for corrective action: Nicole Meland, Vice President of Finance and Operations Responsible official’s response: Management is in agreement with this finding. Corrective action planned: The Chamber Foundation will ensure records are reconciled and available for audit within a timely manner of year end. Planned implementation date of corrective action: May 27, 2025

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2024-002
Subrecipient Monitoring
MATERIAL WEAKNESS

For the year ended August 31, 2024, we discussed the policies and procedures in effect for the Chamber Foundation employees to adequately monitor the subrecipients under the Economic Adjustment Assistance Grant. Although the policies and procedures in effect during the year ended August 31, 2024 were appropriately designed, they were not completed throughout the year. Cause: There was a general misunderstanding on the process of completing subrecipient monitoring controls throughout the year. Effect: Noncompliance will not be prevented, or detected and corrected in a timely manner. Questioned costs: None Repeat finding: This is not a repeat finding. Recommendation: The subrecipient monitoring policies and procedures should be updated to include specific milestones and broken down into specific tasks that are to be achieved throughout the year. Redundancies and cross-training could be included to reduce the risk that lapses in monitoring occur due to staff turnover or extended absences. In addition, training for all staff upon employment and periodically throughout the year over EDA policies and procedures would allow for better clarity and understanding. Views of Responsible Officials: Management recognizes the deficiency and plans to implement the auditor’s recommendations.

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Full finding narrative

Federal Program: AL 11.307 – Economic Adjustment Assistance Criteria: A good system of internal controls allows for the compliance with Uniform Guidance to monitor funds that are passed through to subrecipients and the continued stewardship of those federal dollars. Condition: For the year ended August 31, 2024, we discussed the policies and procedures in effect for the Chamber Foundation employees to adequately monitor the subrecipients under the Economic Adjustment Assistance Grant. Although the policies and procedures in effect during the year ended August 31, 2024 were appropriately designed, they were not completed throughout the year. Cause: There was a general misunderstanding on the process of completing subrecipient monitoring controls throughout the year. Effect: Noncompliance will not be prevented, or detected and corrected in a timely manner. Questioned costs: None Repeat finding: This is not a repeat finding. Recommendation: The subrecipient monitoring policies and procedures should be updated to include specific milestones and broken down into specific tasks that are to be achieved throughout the year. Redundancies and cross-training could be included to reduce the risk that lapses in monitoring occur due to staff turnover or extended absences. In addition, training for all staff upon employment and periodically throughout the year over EDA policies and procedures would allow for better clarity and understanding. Views of Responsible Officials: Management recognizes the deficiency and plans to implement the auditor’s recommendations.

Corrective Action Plan

2024-002 – Subrecipient Monitoring Controls Person responsible for corrective action: Nicole Meland, Vice President of Finance and Operations Responsible official’s response: Management is in agreement with this finding. Corrective action planned: The Chamber Foundation has a comprehensive monitoring plan to monitor all grant supported activities in accordance with program rules relative to EDA program including rules established by the program, those established by EDA, and by 2 CFR Part 200. Planned implementation date of corrective action: Ongoing

About Subrecipient Monitoring →
2024-003
Subrecipient Monitoring
OTHER MATTERS

For the year ended August 31, 2024, we reviewed the Foundation’s subrecipient internal controls, requesting supporting documentation for monitoring activities included, and interviewed key members of management when documentation was not available. Performance of several of the policies noted as required under Unform Guidance for subrecipient monitoring and per the Foundation’s internal controls could not be substantiated or were determined to not have occurred during the year under audit. Cause: Due to internal control deficiency noted in 2024-002, the subrecipient monitoring requirement was not in compliance during the year. Context: Of the federal expenditures under the program noted, $341,811 are passed through to subrecipients. The following are specific items noted that were not in compliance with the criteria listed above: - We requested copies of the correspondence with subrecipients requesting copies of the financial statement audits performed in compliance with 2 CFR 200. Follow up discussion with the Chamber Foundation staff confirmed that this requirement was not completed during the year under audit. Subsequently, of the four subrecipient audit reports required to be requested, zero were requested. - We requested copies of all subawards awarded to subrecipients. Of the four subawards awarded to pass-through entities, one was missing the following required information under (2 CFR Section 200.331(a)): o Subrecipient’s unique entity identifier. Effect: Increased risk of potential noncompliance with subrecipient monitoring requirements under Uniform Guidance. Questioned costs: None Indication of Repeat Finding: This is not a repeat finding. Recommendation: The Foundation should request yearly audit reports as determined by 2 CFR 2002. Additionally, the entity should include all required information as determined in CFR Section 200.331(a) in all subawards. Views of Responsible Officials: Management recognizes the deficiency and plans to implement the auditor’s recommendations.

Show full finding ▾
Full finding narrative

Federal Program: AL 11.307 – Economic Adjustment Assistance Criteria: Uniform Guidance requires, for any funds passed through to a subrecipient, that the pass-through entity (The Chamber Foundation) must perform certain activities to ensure that the subrecipient uses funds within provisions of the grant award and Uniform Guidance (2 CFR sections 200.331 (d) through (f)). This includes review of independent audits of subrecipients and response to deficiencies detected through audits (2 CFR section 200.331(f)). It also includes requiring all subawards granted to subrecipients have specific identifications with the award to ensure the subaward is clearly identifiable (2 CFR Section 200.331(a)). Condition: For the year ended August 31, 2024, we reviewed the Foundation’s subrecipient internal controls, requesting supporting documentation for monitoring activities included, and interviewed key members of management when documentation was not available. Performance of several of the policies noted as required under Unform Guidance for subrecipient monitoring and per the Foundation’s internal controls could not be substantiated or were determined to not have occurred during the year under audit. Cause: Due to internal control deficiency noted in 2024-002, the subrecipient monitoring requirement was not in compliance during the year. Context: Of the federal expenditures under the program noted, $341,811 are passed through to subrecipients. The following are specific items noted that were not in compliance with the criteria listed above: - We requested copies of the correspondence with subrecipients requesting copies of the financial statement audits performed in compliance with 2 CFR 200. Follow up discussion with the Chamber Foundation staff confirmed that this requirement was not completed during the year under audit. Subsequently, of the four subrecipient audit reports required to be requested, zero were requested. - We requested copies of all subawards awarded to subrecipients. Of the four subawards awarded to pass-through entities, one was missing the following required information under (2 CFR Section 200.331(a)): o Subrecipient’s unique entity identifier. Effect: Increased risk of potential noncompliance with subrecipient monitoring requirements under Uniform Guidance. Questioned costs: None Indication of Repeat Finding: This is not a repeat finding. Recommendation: The Foundation should request yearly audit reports as determined by 2 CFR 2002. Additionally, the entity should include all required information as determined in CFR Section 200.331(a) in all subawards. Views of Responsible Officials: Management recognizes the deficiency and plans to implement the auditor’s recommendations.

Corrective Action Plan

2024-003 – Subrecipient Monitoring Compliance Person responsible for corrective action: Nicole Meland, Vice President of Finance and Operations Responsible official’s response: Management is in agreement with this finding. Corrective action planned: The Chamber Foundation has subsequently requested all audit reports from all subrecipients. Additionally, the Chamber Foundation has changed subaward formatting to ensure that all required information is included within the award. Planned implementation date of corrective action: May 27, 2025

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