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Arizona Small Business AssociationNon-Profit

EIN: 942383015

UEI: JHAYV1NJ5AR4

Audited by: CBIZ CPAs, P.C.

Oversight agency: 21 [Department of the Treasury]

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Data as of August 31, 2026

Arizona Small Business Association2 audit years2 findings1 repeat
2
Audit Years
2
Total Findings
1
Repeat Findings
$820.7K
Federal Awards Expended (FY 2024)

FY 2024-12-31

$820,728 federal awards expended

Management decision deadline — for entities that funded this organization

The FAC accepted this audit on September 25, 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 25, 2026 (160 days ago).

What is a management decision? →
2024-001
Procurement & Suspension/Debarment
SIGNIFICANT DEFICIENCYREPEAT OF 2023-003OTHER MATTERS

The Association did not retain documentation regarding the procurement procedures over one of the vendors tested. Questioned Costs: N/A Context: In a population of 172 program costs, we conducted a non-statistical sample of 18 transactions. In our sample of 18 transactions, one procurement was above the micro-purchase but below the small purchase threshold for which there was no documentation retained regarding quotes or rates obtained from other vendors. Per review of all program costs, the untested costs either fell below the micro-purchase threshold or were explicitly named in the approved budget. Additionally, the Association has a written procurement policy that aligns with the requirements of 2 CFR § 200.318. As such this is deemed to be a significant deficiency in internal controls over compliance. Cause: The Association did not follow its procurement policy when purchasing goods and services under the federal award. Effect: Undocumented procurement decisions could violate the requirements of 2 CFR § 200.318. Repeat Finding: Repeat finding – prior year 2023-003 Recommendation: We recommend implementing stronger controls to ensure adherence to the policies that conform to 2 CFR § 200.318. Views of Responsible Officials and Planned Corrective Actions: Management of the Association concurs with the finding. See Corrective Action Plan.

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Full finding narrative

Item: 2024-001 Assistance Listing Number: 21.027 Program: COVID-19 – Coronavirus State and Local Fiscal Federal Recovery Funds Federal Agency: U.S. Department of the Treasury Pass-Through Agencies: State of Arizona, Office of the Governor Pass-Through Grantor Identifying Number: Unknown Award Year: March 1, 2022 to September 30, 2024 Compliance Requirement: Procurement, suspension and debarment Criteria or Specific Requirement: In accordance with 2 CFR § 200.318 – Procurement Standards, the Association is required to maintain records to sufficiently detail the history of each procurement transaction, including the rationale for the procurement method, contract type selection, contractor selection or rejection, and the basis for the contract price. Condition: The Association did not retain documentation regarding the procurement procedures over one of the vendors tested. Questioned Costs: N/A Context: In a population of 172 program costs, we conducted a non-statistical sample of 18 transactions. In our sample of 18 transactions, one procurement was above the micro-purchase but below the small purchase threshold for which there was no documentation retained regarding quotes or rates obtained from other vendors. Per review of all program costs, the untested costs either fell below the micro-purchase threshold or were explicitly named in the approved budget. Additionally, the Association has a written procurement policy that aligns with the requirements of 2 CFR § 200.318. As such this is deemed to be a significant deficiency in internal controls over compliance. Cause: The Association did not follow its procurement policy when purchasing goods and services under the federal award. Effect: Undocumented procurement decisions could violate the requirements of 2 CFR § 200.318. Repeat Finding: Repeat finding – prior year 2023-003 Recommendation: We recommend implementing stronger controls to ensure adherence to the policies that conform to 2 CFR § 200.318. Views of Responsible Officials and Planned Corrective Actions: Management of the Association concurs with the finding. See Corrective Action Plan.

Corrective Action Plan

Item: 2024-001 Assistance Listing Number: 21.027 Program: COVID-19 – Coronavirus State and Local Fiscal Recovery Funds Federal Agency: U.S. Department of the Treasury Pass-Through Agency: State of Arizona, Office of the Governor Compliance Requirement: Procurement, suspension and debarment Criteria or Specific Requirement: In accordance with 2 CFR § 200.318 – Procurement Standards, the Association is required to maintain records to sufficiently detail the history of each procurement transaction, including the rationale for the procurement method, contract type selection, contractor selection or rejection, and the basis for the contract price. Condition: The Association did not retain documentation regarding the procurement procedures performed over one of the vendors tested. Name of Contact Person: Debbie Hann, Interim CEO Phone Number: (602) 306-4000 Anticipated Completion Date: February 2026 Views of Responsible Officials and Corrective Actions: Management agrees with the finding. To address the auditor’s recommendation, ASBA will update its policies and procedures to ensure compliance with 2 CFR § 200.318. This will include implementing a formal procurement process with clear guidelines for competitive bidding, documentation, and approvals. Management will also establish a system to monitor procurement activities regularly, ensuring ongoing adherence to the updated policies and regulations.

Prior Finding References

2023-003

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FY 2023-12-31

$1,829,824 federal awards expended

FAC accepted this audit on February 27, 2025 — management decision was due August 27, 2025.

2023-003
Procurement & Suspension/Debarment
SIGNIFICANT DEFICIENCYOTHER MATTERS

The Association did not retain documentation regarding the procurement procedures performed over one of the vendors tested. Questioned Costs:N/AContext:In a population of 129 program costs, we conducted a non-statistical sample of 13 transactions. In our sample of 13 transactions, one procurement was above the micro-purchase but below the small purchase threshold for which there was no documentation retained regarding quotes or rates obtained from other vendors. Per review of all program costs, the untested costs either fell below the micro-purchase threshold or were explicitly named in the approved budget. Additionally, the Association has a written procurement policy that aligns with the requirements of 2 CFR § 200.318. As such this is deemed to be a significant deficiency in internal controls over compliance.Cause:The Association did not follow its procurement policy when purchasing goods and services under the federal award.Effect:Undocumented procurement decisions could violate the requirements of 2 CFR § 200.318.Repeat Finding:Not a repeat finding.Recommendation:We recommend implementing stronger controls to ensure adherence to the policies that conform to 2 CFR § 200.318.Views of Responsible Officials and Planned Corrective Actions:Management of the Association concurs with the finding. See Corrective Action Plan.

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Full finding narrative

Assistance Listing Number:21.027Program:COVID-19 – Coronavirus State and Local Fiscal Recovery FundsFederal Agency:U.S. Department of the TreasuryPass-Through Agencies:Arizona State Office of the Governor; Maricopa CountyPass-Through Grantor Identifying Number:UnknownAward Year:March 1, 2022 to September 30, 2024Compliance Requirement:Procurement, suspension and debarmentCriteria or Specific Requirement:In accordance with 2 CFR § 200.318 – Procurement Standards, the Association is required to maintain records to sufficiently detail the history of each procurement transaction, including the rationale for the procurement method, contract type selection, contractor selection or rejection, and the basis for the contract price.Condition:The Association did not retain documentation regarding the procurement procedures performed over one of the vendors tested. Questioned Costs:N/AContext:In a population of 129 program costs, we conducted a non-statistical sample of 13 transactions. In our sample of 13 transactions, one procurement was above the micro-purchase but below the small purchase threshold for which there was no documentation retained regarding quotes or rates obtained from other vendors. Per review of all program costs, the untested costs either fell below the micro-purchase threshold or were explicitly named in the approved budget. Additionally, the Association has a written procurement policy that aligns with the requirements of 2 CFR § 200.318. As such this is deemed to be a significant deficiency in internal controls over compliance.Cause:The Association did not follow its procurement policy when purchasing goods and services under the federal award.Effect:Undocumented procurement decisions could violate the requirements of 2 CFR § 200.318.Repeat Finding:Not a repeat finding.Recommendation:We recommend implementing stronger controls to ensure adherence to the policies that conform to 2 CFR § 200.318.Views of Responsible Officials and Planned Corrective Actions:Management of the Association concurs with the finding. See Corrective Action Plan.

Corrective Action Plan

2023-003 Assistance Listing Number:21.027Program:COVID-19 – Coronavirus State and Local Fiscal Recovery FundsFederal Agency:U.S. Department of TreasuryPass-Through Agency:Arizona State Office of the Governor; Maricopa CountyCompliance Requirement:Procurement, suspension and debarmentCriteria or Specific Requirement:In accordance with 2 CFR § 200.318 – Procurement Standards, the Association is required to maintain records to sufficiently detail the history of each procurement transaction, including the rationale for the procurement method, contract type selection, contractor selection or rejection, and the basis for the contract price.Condition:The Association did not retain documentation regarding the procurement procedures performed over one of the vendors tested. Name of Contact Person:Debbie Hann, Interim CEOPhone Number:(602) 306-4000Anticipated Completion Date:February 2025 Views of Responsible Officials and Corrective Actions:Management agrees with the finding. To address the auditor’s recommendation, ASBA will update its policies and procedures to ensure compliance with 2 CFR § 200.318. This will include implementing a formal procurement process with clear guidelines for competitive bidding, documentation, and approvals. Management will also establish a system to monitor procurement activities regularly, ensuring ongoing adherence to the updated policies and regulations.

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