washington state auditor management letter to the city of monroe

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  • 7/29/2019 Washington state auditor management letter to the city of Monroe

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    January 22, 2013

    Mayor and City CouncilCity of MonroeMonroe, Washington

    Management Letter

    This letter includes a summary of specific matters that we identified in planning and performingour accountability audit of the City of Monroe from January 1, 2011 through December 31, 2011.We believe our recommendations will assist you in improving the Citys internal controls in theseareas.

    We will review the status of these matters during our next audit. We have already discussedour comments with and made suggestions for improvements to District officials and personnel.If you have any further questions, please contact me at (425) 257-2137.

    We would also like to take this opportunity to extend our appreciation to your staff for thecooperation and assistance given during the course of the audit.

    Sincerely,

    Casey Dwyer, Audit Manager

    Attachment

    Washington State AuditorTroy Kelley

    Insurance Building, P.O. Box 40021 Olympia, Washington 98504-0021 (360) 902-0370 TDD Relay (800) 833-6388

    FAX (360) 753-0646 http://www.sao.wa.gov

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    Management LetterCity of Monroe

    January 1, 2011 through December 31, 2011

    Financial statement preparation

    During our fiscal year 2010 audit of the City, we identified deficiencies in the internal controlsover the preparation of the Citys financial statements. During the current audit, we noted thesedeficiencies continued.

    In 2011, accounting staff were responsible for preparing the financial statements, notes, andSchedule of Liabilities for the first time. Although the Finance Director is responsible for a finalreview of the financial statements, we noted this review was not effective in detecting errors inthe presentation of the financial statements.

    As a result, the original financial statements, notes and Schedule of Long-term Liabilities theCity provided for audit, contained errors or were missing information. Specifically:

    The City made changes to its financial statements based on Budgeting, Accounting andReporting System (BARS) Manual requirements to combine all previously reportedmanagerial funds into its General Fund. During the process of combining these funds,the City did not remove transfers between funds, resulting in a $725,702 overstatementof both revenues and expenditures.

    In our review of bank activity compared to revenues and expenditures reported on thefinancial statements, we found expenditures likely were understated by $703,490.

    The Schedule of Long-term Liabilities did not include a title and did not reportcompensated absences of $1,774,430.

    Fund 450, Revenue Bond Reserve, activity was not combined with other water, sewer,and storm drainage financial activities for reporting purposes, as required by the BARSManual.

    Revised financial statements presented for audit included a typo that resulted in a$24,975 overstatement of resources in the Parks Construction In Progress Fund.

    We found multiple instances in which the notes to the financial statements did notreconcile with known activity and account balances reported in the statements.Additionally, the City did not include a required note disclosure stating how it determinedfunds were reserved or unreserved.

    We recommend the City improve internal controls over financial statement preparation toinclude a thorough review of the financial statements, notes and supporting schedules to ensurethey are accurate, complete, and presented in accordance with the BARS Manual.

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    Allocation of shared costs

    Cities incur costs for central services, such as administration, human resources, payroll andpurchasing that are shared among funds that benefit from the service provided by the generalfund. Cities may adopt a fair and equitable method of distributing these shared costs amongfunds. However, State law prohibits resources restricted for certain uses, such as utilities, from

    benefitting other funds without receiving value (RCW 43.09.210).

    In our prior statewide cost allocation performance audit, we reviewed the Citys cost allocationplan. The City revised its 2011 cost allocation plan based on the performance auditsrecommendations. We reviewed the Citys cost allocation plan for 2011 and found most hadbeen revised to incorporate best practices. However, we found:

    In 2011, the City charged the water, sewer, storm, and solid waste utility funds $997,446for internal service costs from three funds (Fund 510 Information Technology, Fund520 Equipment and Vehicle, and Fund 530 Facilities). The Citys method ofallocating internal services costs was based on budgeted amounts and was notreconciled to actual costs at year-end. We estimate the utility funds were overcharged

    by $41,974 based on equipment, vehicle and facility actual costs.

    We were unable to determine the exact overcharge to utility funds for costs associatedwith information technology costs, because the City was unable to locate its allocationplan.

    When costs charged to utility funds exceed the benefit the fund received, utility customers maypay higher utility rates than necessary.

    We recommend the City: Ensure shared services costs distributed to each fund represent the amount of service

    or benefit each fund receives. Retain documentation to support actual charges to each fund and how it calculated

    them. Repay the utility funds for amounts overcharged.