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<br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br />INDEPENDENT AUDITOR’S REPORT ON COMPLIANCE <br />FOR EACH MAJOR PROGRAM AND ON INTERNAL CONTROL OVER <br />COMPLIANCE REQUIRED BY THE UNIFORM GUIDANCE <br /> <br /> <br />Honorable Mayor and City Council <br />City of Little Canada, Minnesota <br /> <br />Report on Compliance for Each Major Federal Program <br /> <br />Opinion on Each Major Federal Program <br />We have audited the City of Little Canada, Minnesota compliance with the types of compliance requirements described in <br />the OMB Compliance Supplement that could have a direct and material effect on each of the City’s major federal <br />programs for the year ended December 31, 2023. The City’s major federal programs are identified in the summary of <br />auditor’s results section of the accompanying Schedule of Findings, Responses and Questioned Costs. <br /> <br />In our opinion, the City complied, in all material respects, with the types of compliance requirements referred to above that <br />could have a direct and material effect on each of its major federal programs for the year ended December 31, 2023. <br /> <br />Basis for Opinion on Each Major Federal Program <br /> <br />We conducted our audit of compliance in accordance with auditing standards generally accepted in the United States of <br />America; the standards applicable to financial audits contained in Government Auditing Standards, issued by the <br />Comptroller General of the United States; and the audit requirements of Title 2 U.S. Code of Federal Regulations Part 200, <br />Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Guidance). <br />Our responsibilities under those standards and the Uniform Guidance are further described in the Auditor’s <br />Responsibilities for the Audit of Compliance section of our report. <br /> <br />We are required to be independent of the City and to meet our other ethical responsibilities, in accordance with relevant <br />ethical requirements relating to our audit. We believe that the audit evidence we have obtained is sufficient and <br />appropriate to provide a basis for our opinion on compliance for each major federal program. Our audit does not provide a <br />legal determination of the City ’s compliance with the compliance requirements referred to above. <br /> <br />Responsibilities of Management for Compliance <br /> <br />Management is responsible for compliance with the requirements referred to above and for the design, implementation, <br />and maintenance of effective internal control over compliance with the requirements of laws, statutes, regulations, rules, <br />and provisions of contracts or grant agreements applicable to City’s federal programs. <br /> <br />Auditor’s Responsibilities for the Audit of Compliance <br /> <br />Our objectives are to obtain reasonable assurance about whether material noncompliance with the compliance <br />requirements referred to above occurred, whether due to fraud or error, and express an opinion on the City ’s compliance <br />based on our audit. Reasonable assurance is a high level of assurance but is not absolute assurance and therefore is not <br />a guarantee that an audit conducted in accordance with generally accepted auditing standards, Government Auditing <br />Standards, and the Uniform Guidance will always detect material noncompliance when it exists. The risk of not detecting <br />material noncompliance resulting from fraud is higher than for that resulting from error, as fraud may involve collusion, <br />forgery, intentional omissions, misrepresentations, or the override of internal control. Noncompliance with the compliance <br />requirements referred to above is considered material if there is a substantial likelihood that, individually or in the <br />aggregate, it would influence the judgment made by a reasonable user of the report on compliance about the City’s <br />compliance with the requirements of each major federal program as a whole. <br />7 <br />DRAFT