Mid-State Child Care and Nutrition

EIN: 860657092

UEI: FKYPDB78SYC4

Data as of August 21, 2026

Mid-State Child Care and Nutrition9 audit years3 findings2 repeat
9
Audit Years
3
Total Findings
2
Repeat Findings

FY 2024-09-30

Management decision deadline — for entities that funded this organization

The FAC accepted this audit on May 14, 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 November 14, 2025 (281 days ago).

What is a management decision? →
2024-001
Activities Allowed or Unallowed
REPEAT

Meal and snack counts reported on Sponsor’s reimbursement claim did not always agree with all supporting documentation. Cause: The condition was caused by clerical error as the majority of reports from providers are handwritten in nature. Effect: Meal and snack count errors were not caught during the review process. Federal and State of Arizona requirements were not always met. Context: For 8 out of 21 providers' meal count summaries reviewed, the number of meals and snacks reported on the meal count summaries did not agree to the supporting documentation. For November 2023, Breakfast counts were overstated by 1, AM Snack was overstated by 1, Lunch was understated by 80, PM Snack was understated by 27, Supper was understated by 23, and Late Snack was understated by 3. The total error for November 2023 resulted in an underpayment of $346.68. For April 2024, Breakfast counts were overstated by 1, Lunch was understated by 8, PM Snack was overstated by 1, and Supper was overstated by 7. The total error for April 2024 resulted in an overpayment of $0.14. The net errors resulted in an underpayment of $346.54. The sample size was statistically valid. Recommendation: The Organization should follow Federal and State requirements to ensure the CACFP operates properly .To ensure guidelines are met, the Organization should review provider meal counts and Meals Served Report totals for accuracy.

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Full finding narrative

Criteria: According to the CACFP Child Care Home Compliance Manual, Section 5.2 the Sponsor should review the meal counts reported on the monthly meal count summaries to ensure that meal counts are accurate. Condition: Meal and snack counts reported on Sponsor’s reimbursement claim did not always agree with all supporting documentation. Cause: The condition was caused by clerical error as the majority of reports from providers are handwritten in nature. Effect: Meal and snack count errors were not caught during the review process. Federal and State of Arizona requirements were not always met. Context: For 8 out of 21 providers' meal count summaries reviewed, the number of meals and snacks reported on the meal count summaries did not agree to the supporting documentation. For November 2023, Breakfast counts were overstated by 1, AM Snack was overstated by 1, Lunch was understated by 80, PM Snack was understated by 27, Supper was understated by 23, and Late Snack was understated by 3. The total error for November 2023 resulted in an underpayment of $346.68. For April 2024, Breakfast counts were overstated by 1, Lunch was understated by 8, PM Snack was overstated by 1, and Supper was overstated by 7. The total error for April 2024 resulted in an overpayment of $0.14. The net errors resulted in an underpayment of $346.54. The sample size was statistically valid. Recommendation: The Organization should follow Federal and State requirements to ensure the CACFP operates properly .To ensure guidelines are met, the Organization should review provider meal counts and Meals Served Report totals for accuracy.

Corrective Action Plan

Corrective Action Planned will include technical assistance which staff on review of the menu/meal counts, creditable meal components for accuracy, dates received and children in attendance and ratios. Director and Co-Director will carefully review the provider's menus to ensure that menus are mathematically accurate. We will contact our providers via newsletter, website, annual training and correspondence of ongoing changes and reminders for compliance of credible mealtimes and reimbursement.

Prior Finding References

2023-101

About Activities Allowed or Unallowed →

FY 2023-09-30

FAC accepted this audit on June 6, 2024 — management decision was due December 6, 2024.

2023-101
Activities Allowed or Unallowed / Reporting
REPEAT

MID-STATE CHILD CARE & NUTRITION SCHEDULE OF FINDINGS AND QUESTIONED COSTS SECTION 3 – FINDINGS AND QUESTIONED COSTS FOR FEDERAL AWARDS SEPTEMBER 30, 2023 REFERENCE: 2023-101 REPEAT FINDING REFERENCE: 2022-001 CFDA NUMBER: 10.558 – CHILD AND ADULT CARE FOOD PROGRAM U.S. DEPARTMENT OF AGRICULTURE - FOOD AND NUTRITION - 2023 PASSED THROUGH ARIZONA STATE DEPARTMENT OF EDUCATION GRANT NUMBER 6AZ300003 QUESTIONED COSTS N/A CONDITION The following errors were noted during testing of FDCH Site Claims, the Sponsor’s Meal Served Report and 11 Day Care Home provider files for the months of March 2023 and September 2023: 1. For 4 of 11 provider files tested, menus were clerically inaccurate and did not support the meals claimed. This error occurred in March 2023 and September 2023. 2. For 1 of 11 provider files tested, more than 2 meals and 1 snack were claimed. This error occurred in March 2023. 3. For 2 of 11 provider files tested, meals were claimed when the child was not indicated as being present for the meal. This error occurred in March 2023. 4. For 1 of 11 provider files tested, meals were claimed when credible menu components were missing. This error occurred in September 2023. These errors resulted in the following revised meal counts: These variances resulted in an under payment (known questioned costs) of $5. However, after projecting the various types of errors over six meal categories for the entire year, likely questioned costs totaled $573. CRITERIA In accordance with the Arizona Department of Education, Day Care Home Compliance Manual, Revised June 2019, Chapter 10, Meal Requirements, Section 10.7 Other Meal Requirements, in order to claim a meal, the provider must abide by the following criteria: • The provider must serve a fully reimbursable meal that meets the meal pattern requirements and are supported by complete and up to date attendance, meal count, and menu records; • The child must be present and participate in the meal service; • All meal components must be served together; • The meal must be fully consumed on the premises in a congregate setting. Meals sent home with a child due to the parent picking up the child during meal service cannot be claimed; • Meal must be served during approved meal service time; • The provider can be reimbursed for a maximum of two meals and one snack or two snacks and one meal per child, per day; • Only children who are enrolled can be claimed and the number of children cannot exceed the allowable ratio; • Payment may be made for meals served to provider’s own child(ren) or foster children only when:  Their child(ren) are enrolled and participating in the child care program during the time of the meal service;  At least one enrolled, non-resident child is present and participating in the child care program;  The provider meets the family size income standards for free or reduced price meals; • Seconds may be served but are not reimbursable; and • If a school age child receives a breakfast, lunch or afterschool snack at school, a provider may not claim the same meal. In accordance with the Uniform Guidance, Compliance Supplement, Part 6 – Internal Control, the 2 CFR section 200.303 requires that non-federal entities receiving federal awards establish and maintain internal control over the federal awards that provides reasonable assurance that the non-federal entity is managing the federal awards in compliance with federal statutes, regulations, and the terms and conditions of the federal awards. EFFECT Program requirements were not complied with. Additionally, meal reimbursements were clerically inaccurate and the providers and sponsor were incorrectly reimbursed. CAUSE Although the internal controls were adequately designed, there were deficiencies in the execution of the controls. All errors occurred on paper menus, which have a higher risk of errors. RECOMMENDATION AND BENEFIT Menus should be reviewed to ensure all meals with the required components are claimed, and provider meal count sheets should be reviewed for clerical accuracy and completion, prior to the preparation of the reimbursement claim. These reviews should be documented. This will help ensure that program requirements are complied with and only eligible meals served to eligible participants are claimed for reimbursement. VIEWS OF RESPONSIBLE OFFICIALS See Corrective Action Plan.

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Full finding narrative

MID-STATE CHILD CARE & NUTRITION SCHEDULE OF FINDINGS AND QUESTIONED COSTS SECTION 3 – FINDINGS AND QUESTIONED COSTS FOR FEDERAL AWARDS SEPTEMBER 30, 2023 REFERENCE: 2023-101 REPEAT FINDING REFERENCE: 2022-001 CFDA NUMBER: 10.558 – CHILD AND ADULT CARE FOOD PROGRAM U.S. DEPARTMENT OF AGRICULTURE - FOOD AND NUTRITION - 2023 PASSED THROUGH ARIZONA STATE DEPARTMENT OF EDUCATION GRANT NUMBER 6AZ300003 QUESTIONED COSTS N/A CONDITION The following errors were noted during testing of FDCH Site Claims, the Sponsor’s Meal Served Report and 11 Day Care Home provider files for the months of March 2023 and September 2023: 1. For 4 of 11 provider files tested, menus were clerically inaccurate and did not support the meals claimed. This error occurred in March 2023 and September 2023. 2. For 1 of 11 provider files tested, more than 2 meals and 1 snack were claimed. This error occurred in March 2023. 3. For 2 of 11 provider files tested, meals were claimed when the child was not indicated as being present for the meal. This error occurred in March 2023. 4. For 1 of 11 provider files tested, meals were claimed when credible menu components were missing. This error occurred in September 2023. These errors resulted in the following revised meal counts: These variances resulted in an under payment (known questioned costs) of $5. However, after projecting the various types of errors over six meal categories for the entire year, likely questioned costs totaled $573. CRITERIA In accordance with the Arizona Department of Education, Day Care Home Compliance Manual, Revised June 2019, Chapter 10, Meal Requirements, Section 10.7 Other Meal Requirements, in order to claim a meal, the provider must abide by the following criteria: • The provider must serve a fully reimbursable meal that meets the meal pattern requirements and are supported by complete and up to date attendance, meal count, and menu records; • The child must be present and participate in the meal service; • All meal components must be served together; • The meal must be fully consumed on the premises in a congregate setting. Meals sent home with a child due to the parent picking up the child during meal service cannot be claimed; • Meal must be served during approved meal service time; • The provider can be reimbursed for a maximum of two meals and one snack or two snacks and one meal per child, per day; • Only children who are enrolled can be claimed and the number of children cannot exceed the allowable ratio; • Payment may be made for meals served to provider’s own child(ren) or foster children only when:  Their child(ren) are enrolled and participating in the child care program during the time of the meal service;  At least one enrolled, non-resident child is present and participating in the child care program;  The provider meets the family size income standards for free or reduced price meals; • Seconds may be served but are not reimbursable; and • If a school age child receives a breakfast, lunch or afterschool snack at school, a provider may not claim the same meal. In accordance with the Uniform Guidance, Compliance Supplement, Part 6 – Internal Control, the 2 CFR section 200.303 requires that non-federal entities receiving federal awards establish and maintain internal control over the federal awards that provides reasonable assurance that the non-federal entity is managing the federal awards in compliance with federal statutes, regulations, and the terms and conditions of the federal awards. EFFECT Program requirements were not complied with. Additionally, meal reimbursements were clerically inaccurate and the providers and sponsor were incorrectly reimbursed. CAUSE Although the internal controls were adequately designed, there were deficiencies in the execution of the controls. All errors occurred on paper menus, which have a higher risk of errors. RECOMMENDATION AND BENEFIT Menus should be reviewed to ensure all meals with the required components are claimed, and provider meal count sheets should be reviewed for clerical accuracy and completion, prior to the preparation of the reimbursement claim. These reviews should be documented. This will help ensure that program requirements are complied with and only eligible meals served to eligible participants are claimed for reimbursement. VIEWS OF RESPONSIBLE OFFICIALS See Corrective Action Plan.

Corrective Action Plan

CORRECTIVE ACTION PLAN SEPTEMBER 30, 2023 REFERENCE: 2023-101 REPEAT FINDING REFERENCE: 2022-001 CFDA NUMBER: 10.558 – CHILD AND ADULT CARE FOOD PROGRAM U.S. DEPARTMENT OF AGRICULTURE - FOOD AND NUTRITION - 2023 PASSED THROUGH ARIZONA STATE DEPARTMENT OF EDUCATION GRANT NUMBER 6AZ300003 CLIENT RESPONSE AND CORRECTIVE ACTION PLAN We concur with the condition. 1. Name of the contact person responsible for corrective action: Deanna Barrowdale, Director 2. Corrective action planned: Corrective action planned will include technical assistance with staff on review of the menu/meal counts, creditable meal components for accuracy, dates received, and children in attendance and ratios. Director and Co-Director will carefully review the provider menus to ensure that menus are mathematically accurate. We will contact our providers via newsletter, website, annual training and correspondence of ongoing changes and reminders for compliance of credible mealtimes and reimbursement. 3. Anticipated completion date: FY 2024

Prior Finding References

2022-001

About Activities Allowed or Unallowed, Reporting →

FY 2022-09-30

FAC accepted this audit on June 24, 2023 — management decision was due December 24, 2023.

2022-001
Reporting

Finding Number: 2022-001 Repeat Finding: No Program Name: Child and Adult Care Food Program (CACFP) Assistance Listing Number: 10.558 Federal Agency: U.S. Department of Agriculture Federal Award No.: 7AZ300AZ3 Pass-Through Agency: Arizona Department of Education Questioned Costs: N/A Type of Finding: Noncompliance, Significant Deficiency Compliance Requirement: Meal Counts and Provider Documentation CRITERIA According to the CACFP Child Care Home Compliance Manual, Section 5.2 the Sponsor should review the meal counts reported on the monthly meal count summaries to ensure that meal counts are accurate. The Sponsor should also ensure that administrative expenses reported agree to the supporting documentation. CONDITION Meal/snack counts and monthly administrative labor costs reported on the sponsor?s reimbursement claim did not always agree with all supporting documentation. CAUSE The condition was caused by clerical error as the majority of reports from providers are handwritten in nature. EFFECT Meal/snack counts and administrative expense errors were not caught during the review process. Federal and State of Arizona requirements were not always met. CONTEXT For four of 25 providers' meal count summaries reviewed, the number of meals and snacks reported on the meal count summaries did not agree to the supporting documentation. Afternoon snacks were under reported by 2, or ($1.65). Lunch was over reported by 20, or $58.80. Supper was over reported by 3, or $8.82. In addition, administrative labor costs reported on the September 2022 Sponsor claim did not agree to the supporting documentation by $50. The sample was statistically valid. RECOMMENDATION The Organization should follow federal and the State of Arizona requirements to ensure the amounts reported for meals/snacks and administrative costs are correct. To ensure guidelines are met, the Sponsor should review provider meal counts and Meals Served Report totals for accuracy. VIEWS OF RESPONSIBLE OFFICIALS See Corrective Action Plan.

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Full finding narrative

Finding Number: 2022-001 Repeat Finding: No Program Name: Child and Adult Care Food Program (CACFP) Assistance Listing Number: 10.558 Federal Agency: U.S. Department of Agriculture Federal Award No.: 7AZ300AZ3 Pass-Through Agency: Arizona Department of Education Questioned Costs: N/A Type of Finding: Noncompliance, Significant Deficiency Compliance Requirement: Meal Counts and Provider Documentation CRITERIA According to the CACFP Child Care Home Compliance Manual, Section 5.2 the Sponsor should review the meal counts reported on the monthly meal count summaries to ensure that meal counts are accurate. The Sponsor should also ensure that administrative expenses reported agree to the supporting documentation. CONDITION Meal/snack counts and monthly administrative labor costs reported on the sponsor?s reimbursement claim did not always agree with all supporting documentation. CAUSE The condition was caused by clerical error as the majority of reports from providers are handwritten in nature. EFFECT Meal/snack counts and administrative expense errors were not caught during the review process. Federal and State of Arizona requirements were not always met. CONTEXT For four of 25 providers' meal count summaries reviewed, the number of meals and snacks reported on the meal count summaries did not agree to the supporting documentation. Afternoon snacks were under reported by 2, or ($1.65). Lunch was over reported by 20, or $58.80. Supper was over reported by 3, or $8.82. In addition, administrative labor costs reported on the September 2022 Sponsor claim did not agree to the supporting documentation by $50. The sample was statistically valid. RECOMMENDATION The Organization should follow federal and the State of Arizona requirements to ensure the amounts reported for meals/snacks and administrative costs are correct. To ensure guidelines are met, the Sponsor should review provider meal counts and Meals Served Report totals for accuracy. VIEWS OF RESPONSIBLE OFFICIALS See Corrective Action Plan.

Corrective Action Plan

Findings and Questioned Costs Related to Federal Awards Finding Number: 2022-001 Program Name: Child and Adult Care Food Program (CACFP) Assistance Listing Number: 10.558 Anticipated Completion Date: July 1, 2023 Planned Corrective Action: We concur with the condition. Mid-State Child Care will conduct technical assistance with staff on reviewing the menus/meal counts for accuracy, dates received, and children in attendance, ratios, creditable meal components and eligibility regarding certification prior to the preparation of the reimbursement claim. The menu reader/co-director will initially review provider menus for mathematical accuracy prior to submitted to the Program Director to double check the total calculated by menu reader/co-director. The Program Director is responsible for final review and approval prior to preparation of the reimbursement claim. The initial and final reviews of the menus will be completed and documented monthly to ensure that all program requirements are complied with. The provider menu review documentation will be kept on file in the file cabinet of the menu reader/co-director office. When preparing revised monthly claims, a copy of the original admin claim will be attached to insure the monthly administrative labor costs are reported correctly. Mid-State Child Care & Nutrition has implemented this corrective action effective fiscal year 2023.

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