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Senior Resource Development Agency Pueblo, Inc.Non-Profit

EIN: 840593609

UEI: LJGAYLBNL6M4

Audit also covers 2 related EINs: 841199894, 841332647 · unlinked EINs have no separate FAC filing

Audited by: Artesian CPA, LLC

Oversight agency: 20 [Department of Transportation]

View federal awards & risk assessment →

Data as of September 7, 2026

Senior Resource Development Agency Pueblo, Inc.8 audit years2 findings
8
Audit Years
2
Total Findings
0
Repeat Findings
$1.6M
Federal Awards Expended (FY 2023)

FY 2023-12-31

$1,559,638 federal awards expended

Management decision deadline — for entities that funded this organization

The FAC accepted this audit on February 11, 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 August 11, 2026 (35 days ago).

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2023-002
Period of Performance
MATERIAL WEAKNESS

Procurement, Suspension, and Debarment Formula Grants for Rural Areas Criteria: A recipient of federal awards is required to ensure that contractors are checked against the debarment list and ensure there are controls in place over procurement per 2 CFR section 180.220. Condition and Context: The Organization did not check contractors against the debarment list. The Organization does have a formally documented process in place to ensure all procurement requirements were completed accurately and timely. Cause: The Organization was not aware that they needed to check vendors against the debarment list. Effect or Potential Effect: Without checking vendors against the debarment list, the Organization is unable to ensure that federal regulations were complied with. Recommendation: We recommend the Organization update their policies and procedures manual to ensure that they test contractors to the debarment list when expenses reach federal limits and that proof of the search is retained. Identification of Repeat Audit Finding: No Responsible Official’s Response: Management agrees with the recommendation to establish and follow a documented internal control process over the review of procurement. Staff will work with management to ensure that contractors with expenses over federal limits will be tested against the debarment list and support such. Additionally, staff members working in areas concerning this process will be trained to ensure process adherence.

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Full finding narrative

Procurement, Suspension, and Debarment Formula Grants for Rural Areas Criteria: A recipient of federal awards is required to ensure that contractors are checked against the debarment list and ensure there are controls in place over procurement per 2 CFR section 180.220. Condition and Context: The Organization did not check contractors against the debarment list. The Organization does have a formally documented process in place to ensure all procurement requirements were completed accurately and timely. Cause: The Organization was not aware that they needed to check vendors against the debarment list. Effect or Potential Effect: Without checking vendors against the debarment list, the Organization is unable to ensure that federal regulations were complied with. Recommendation: We recommend the Organization update their policies and procedures manual to ensure that they test contractors to the debarment list when expenses reach federal limits and that proof of the search is retained. Identification of Repeat Audit Finding: No Responsible Official’s Response: Management agrees with the recommendation to establish and follow a documented internal control process over the review of procurement. Staff will work with management to ensure that contractors with expenses over federal limits will be tested against the debarment list and support such. Additionally, staff members working in areas concerning this process will be trained to ensure process adherence.

Corrective Action Plan

Responsible Official’s Response: Management agrees with the recommendation to establish and follow a documented internal control process over the review of procurement. Staff will work with management to ensure that contractors with expenses over federal limits will be tested against the debarment list and support such. Additionally, staff members working in areas concerning this process will be trained to ensure process adherence.

About Period of Performance →
2023-003
Period of Performance
MATERIAL WEAKNESS

Procurement, Suspension and Debarment Formula Grants for Rural Areas Criteria: The Organization is required to have documented procurement policies and procedures which comply with the compliance requirements: UG §200.318 general procurement standards, UG §200.319 competition, and UG §200.320 methods of procurement to be followed. Condition and Context: The Organization has a formally documented purchasing and procurement policy. However, the Organization does not keep formal records demonstrating its adherence to the procurement policy for contractors. Cause: The Organization was not aware that it needed to retain proof of the contractors going through the procurement process. Effect or Potential Effect: Without sufficient documentation, the Organization may have selected a vendor outside the parameters of the procurement policy. If not documented, the Organization may not detect errors in the procurement process. Recommendation: We recommend the Organization update their policies and procedures manual to ensure that prior to a vendor being selected, there must be a formally documented file for each vendor noting how the vendor qualifies to work for the Organization and that the policies and procedures manual was adhered to. Identification of Repeat Audit Finding: No Responsible Official’s Response: Management agrees with the recommendation to establish and follow a documented internal control process over the review of the procurement process. Staff will work with management to ensure that all contractors going through the bidding process will be evaluated using the policies and procedures manual. Additionally, staff members working in areas concerning this process will be trained to ensure process adherence.

Show full finding ▾
Full finding narrative

Procurement, Suspension and Debarment Formula Grants for Rural Areas Criteria: The Organization is required to have documented procurement policies and procedures which comply with the compliance requirements: UG §200.318 general procurement standards, UG §200.319 competition, and UG §200.320 methods of procurement to be followed. Condition and Context: The Organization has a formally documented purchasing and procurement policy. However, the Organization does not keep formal records demonstrating its adherence to the procurement policy for contractors. Cause: The Organization was not aware that it needed to retain proof of the contractors going through the procurement process. Effect or Potential Effect: Without sufficient documentation, the Organization may have selected a vendor outside the parameters of the procurement policy. If not documented, the Organization may not detect errors in the procurement process. Recommendation: We recommend the Organization update their policies and procedures manual to ensure that prior to a vendor being selected, there must be a formally documented file for each vendor noting how the vendor qualifies to work for the Organization and that the policies and procedures manual was adhered to. Identification of Repeat Audit Finding: No Responsible Official’s Response: Management agrees with the recommendation to establish and follow a documented internal control process over the review of the procurement process. Staff will work with management to ensure that all contractors going through the bidding process will be evaluated using the policies and procedures manual. Additionally, staff members working in areas concerning this process will be trained to ensure process adherence.

Corrective Action Plan

Responsible Official’s Response: Management agrees with the recommendation to establish and follow a documented internal control process over the review of procurement. Staff will work with management to ensure that contractors with expenses over federal limits will be tested against the debarment list and support such. Additionally, staff members working in areas concerning this process will be trained to ensure process adherence.

About Period of Performance →

FY 2022-12-31

$2,143,168 federal awards expendedNo findings recorded this year

FAC accepted this audit on September 27, 2023 — management decision was due March 27, 2024.

FY 2021-12-31

$2,325,573 federal awards expendedNo findings recorded this year

FAC accepted this audit on June 15, 2022 — management decision was due December 15, 2022.

FY 2020-12-31

$2,094,486 federal awards expendedNo findings recorded this year

FAC accepted this audit on April 7, 2021 — management decision was due October 7, 2021.

FY 2019-12-31

$1,984,122 federal awards expendedNo findings recorded this year

FAC accepted this audit on December 14, 2020 — management decision was due June 14, 2021.

FY 2018-12-31

$1,673,945 federal awards expendedNo findings recorded this year

FAC accepted this audit on March 29, 2019 — management decision was due September 29, 2019.

FY 2017-12-31

LOW-RISK AUDITEE$1,227,776 federal awards expendedNo findings recorded this year

FAC accepted this audit on April 29, 2018 — management decision was due October 29, 2018.

FY 2016-12-31

LOW-RISK AUDITEE$1,509,949 federal awards expendedNo findings recorded this year

FAC accepted this audit on October 3, 2017 — management decision was due April 3, 2018.

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