During our control testwork over corrective action follow-up, we noted 2 deficiencies in a sample of 16 lender assessments performed by the Office of Credit Risk Management (OCRM):
• OCRM did not timely review or follow up on the corrective action responses from a lender
with an RBR assessment of Less than Acceptable with Corrective Actions.
• OCRM did not maintain sufficient documentation of correspondence between SBA and the
lender since the issuance of the RBR report dated 9/27/2013, where the lender received an
assessment of Acceptable with Corrective Actions.