Reports
State and Local Educational Agencies’ Use of Digital Wallet-Related Technologies and Services
FAA Has Improved Its Oversight of COVID-19 Relief Funds Despite Implementation Inconsistencies
Tennessee Department of Education’s Administration and Oversight of Emergency Assistance to Nonpublic Schools Grant Funds
Yukon-Koyukuk School District’s Use of Elementary and Secondary School Emergency Relief Funds (Alaska)
Linn-Mar Community School District’s Use of Elementary and Secondary School Emergency Grant Funds (Iowa)
Lower Kuskokwim School District’s Use of Elementary and Secondary School Emergency Relief Funds (Alaska)
Southeast Polk Community School District’s Use of Elementary and Secondary School Emergency Relief Grant Funds (Iowa)
Matanuska-Susitna Borough School District’s Use of Elementary and Secondary School Emergency Relief Funds (Alaska)
Des Moines Independent Community School District’s Use of Elementary and Secondary School Emergency Relief Grant Funds
Florida Department of Education’s Administration and Oversight of Emergency Assistance to Nonpublic Schools Grant Funds
Anchorage School District’s Use of Elementary and Secondary School Emergency Relief Grant Funds (Alaska)
Federal Student Aid’s Performance Measures and Indicators for Returning Borrowers to Repayment
Burlington Community School District’s Use of Elementary and Secondary School Emergency Relief Grant Funds (Iowa)
Wisconsin’s Administration and Oversight of the Emergency Assistance to Non-Public Schools Grant Funds
Determine whether the Wisconsin Department of Public Instruction designed and implemented (1) application processes that adequately assessed nonpublic schools' eligibility for EANS-funded services or assistance and complied with other applicable requirements and (2) oversight processes to ensure that EANS-funded services or assistance were used for allowable purposes.
FTA’s Oversight of Its Region 9 Recipients Is Insufficient To Confirm Compliance With CARES Act Funding Requirements
Illinois’ Oversight of Local Educational Agency ARP ESSER Plans and Spending
FAA Did Not Fully Follow Its Processes When Awarding and Administering CARES Act-Funded Airport Development Grants and Contracts
U.S. Department of Education’s Higher Education Emergency Relief Fund Audit Resolution Activities
Kentucky’s Oversight of Local Educational Agency ARP ESSER Plans and Spending
Washington’s Oversight of Local Educational Agency ARP ESSER Plans and Spending
DOT Has Effectively Managed the Aviation Manufacturing Jobs Protection Program and Should Capture Lessons Learned From Its Oversight Efforts
Federal Student Aid’s Use of Pandemic Assistance Student Aid Administration Funds
Federal Student Aid’s Processes for Waiving Return of Title IV Requirements, Cancelling Borrowers’ Obligation to Repay Direct Loans, and Excluding Pell Grants from Federal Pell Lifetime Usage
University of Cincinnati’s Use of Higher Education Emergency Relief Fund Student Aid and Institutional Grants
DOT's Tracking of Aviation Imports and Potential Impacts of Disruptions
FTA Can Enhance Its Controls To Mitigate COVID-19 Relief Funding Risks
The Department’s Use of Pandemic Assistance Program Administration Funds
Allocation of ESSER I Funds at Selected Local Educational Agencies
Michigan’s Administration of the Governor’s Emergency Education Relief Fund
FAA Quickly Awarded CARES Act Funds but Can Enhance Its Oversight Approach To Promote Effective Stewardship
Oklahoma’s Administration of the Governor’s Emergency Education Relief Fund Grant
Duplicate Higher Education Emergency Relief Fund Grant Awards
The Office of Postsecondary Education’s Oversight of Higher Education Emergency Relief Fund Grants
Missouri’s Administration of the Governor’s Emergency Education Relief Fund Grant
The Department’s Implementation of CARES Act Flexibilities to TEACH Grant Service Obligations
Review of State Plans for Use of Governor’s Emergency Education Relief Funds
FTA Does Not Effectively Assess Security Controls or Remediate Cybersecurity Weaknesses To Ensure the Proper Safeguards Are in Place To Protect Its Financial Management Systems
Remington College’s Use of Higher Education Emergency Relief Fund Student Aid and Institutional Grants
Lincoln College of Technology’s Use of Higher Education Emergency Relief Fund Student Aid and Institutional Grants
Inconsistent Grantee and Subgrantee Reporting of Education Stabilization Fund Subprograms in the Federal Audit Clearinghouse
Fraud Reporting Requirements for Federal Program Participants and Auditors
Federal Student Aid’s Suspension of Involuntary Collection in Response to the Coronavirus Pandemic
Risk of Closed Institutions of Higher Education Receiving Higher Education Emergency Relief Fund Grants
Higher Education Emergency Relief Fund Reporting Requirements
Audit of FAA's Award and Oversight of CARES Act Funds
The Coronavirus Aid, Relief, and Economic Security (CARES) Act designated $10 billion to the Federal Aviation Administration (FAA) to support continuing operations at U.S. airports following the sharp decline in passenger traffic and other airport business due to the COVID-19 public health emergency. By the end of fiscal year 2020, FAA had obligated approximately $9.4 billion in formula grants to airports for such purposes as capital expenditures, operating expenses (including payroll and utilities), and debt payments. We are initiating this audit because the act also provided $5 million to OIG for conducting oversight of DOT projects and activities supported by CARES Act funds. Our objective is to assess whether FAA’s policies and procedures for awarding and overseeing CARES Act grants are sufficient to protect taxpayer interests.