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10.20.21

Heads Up, Restaurants: Federal Relief Could Trigger a Single Audit
James Pellino

Since the outbreak of COVID-19, the restaurant industry has been one of the hardest hit by the pandemic’s impacts, leading to spikes in business closures, continued capacity limitations, and unprecedented loss in both jobs and sales. However, many establishments were able to keep their doors open and continue to serve customers throughout the course of the pandemic with the help of federal aid issued through the CARES Act programs, Restaurant Revitalization Fund and other relief programs. As a result, restaurants may be subject to the Single Audit this year.

Related Read: $28.6 Billion Federal Restaurant Relief

Before approaching your Single Audit, consider the following to ensure that you are in compliance with your federal relief program:

  1. Confirm Whether You Are Subject to the Single Audit
    The Single Audit is a financial statement and compliance audit designed to ensure that businesses are in compliance with their federal award program, according to the Office of Management and Budget’s (OMB) Uniform Guidance. Any restaurant that spends at least $750,000 in federal funds in a fiscal year is required to undergo a Single Audit. Programs that could trigger a review include the Coronavirus Relief Fund (CRF), Restaurant Revitalization Fund and others.

    Related Read: Economic Injury Disaster Loans: Another Option on the Financial Relief Menu
     
    However, federal award programs have varying requirements. You should be sure to check the guidance outlined in your financial package and speak with a professional to determine if you are subject to the Single Audit.

  2. Understand What Is Required of the Audit
    The Single Audit is divided into two parts: The financial statement audit and the compliance audit. The financial statement audit is performed in accordance with both generally accepted accounting standards (GAAS) and government auditing standards (GAS) to report on internal controls and compliance with laws and agreements. The compliance audit assesses whether a restaurant is adhering to the terms of its federal awards.

    “Major programs” identified by the OMB’s Uniform Guidance are determined by an independent auditor and are subject to the compliance audit.

  3. Perform an Internal Assessment Ahead of Your Official Audit
    Before contacting a third-party auditor, you should assess your operations and documentation to ensure that you are in compliance with the requirements of your federal program. Conduct a gap analysis to identify areas where your internal controls do not align with the federal requirements, so that you can make appropriate adjustments before year-end. The auditor will not only examine the execution of your internal controls, but also their design and implementation to assess whether they perform as they are intended.

    Collect all relevant documentation that provides evidence of the proper use of your financial relief and, ultimately, the completion of the Single Audit. If you are unsure which documents will best support your compliance, review the guidelines of your federal awards package.

    Lastly, if you have passed funds along to other organizations, be sure that any subrecipient relationships you have in relation to your federal awards also adhere to the federal program requirements. This is particularly relevant for any restaurants that have shared federal funding with partnering companies. Restaurants that share financial relief with another establishment are subject to the risks of the “subrecipient” restaurant if they are found non-compliant.

  4. Stay Up to Date on Deadline Extensions
    Since COVID-19’s outbreak, there have been a number of extensions for reporting the Single Audit. In the latest update issued in March 2021, organizations that had not yet filed and have fiscal years through June 30, 2021, now have six more months to file after their initial due date.

Examples of Extensions by Fiscal Year:*

Date of Fiscal Year-End

Original Due Date**

Extended Due Date**

March 31, 2021

January 3, 2022

June 30, 2022

April 30, 2021

January 31, 2022

August 1, 2022

May 31, 2021

February 28, 2022

August 31, 2022

June 30, 2021

March 31, 2022

September 30, 2022

*The Office of Management and Budget has not clarified the guidance and the effect on entities who may be late on their filing and the effect on the determination of low-risk auditee for the next year’s audit.

**Per the Uniform Guidance, if the due date falls on a Saturday, Sunday or Federal holiday, the reporting package is due the next business day. Dates in these columns have been adjusted accordingly.

The Single Audit can be complex, especially for first-time applicants, but there are a number of other factors that can assist your restaurant in ensuring a successful review. Whether or not your establishment is subject to the Single Audit, it is imperative that you maintain adequate documentation of your expenses against federal relief and comply with all of your programs’ requirements, as a federal agency may still request to examine your books and records and supporting documentation for federal expenditures.

For more information, contact Jim Pellino at [email protected] or 312.670.7444. Visit ORBA.com to learn more about our Restaurant Group.

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