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FINANCIAL REPORTING AND INTERNAL CONTROL MATTERS

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Title: FINANCIAL REPORTING AND INTERNAL CONTROL MATTERS


1
FINANCIAL REPORTING AND INTERNAL CONTROL MATTERS
  • Diane Wasser
  • Amper, Politziner Mattia, LLP
  • Robert A. Lavenberg
  • BDO Seidman, LLP

2
Session Contents
  • FASB 157
  • Limited Scope Audits
  • Risk Assessment Standards Year 2
  • SAS 70

3
Valuation of Investments and FASB 157
  • Each plan will be impacted by FASB 157 for the
    2008 plan year end, primarily in footnote
    disclosures.
  • FASB 157
  • Establishes a consistent definition of fair value
    and consistent method of determination under GAAP
  • Establishes a framework for measuring fair value
    under GAAP
  • Clarifies the definition of fair value within
    that framework
  • Expands disclosures on fair value measurements

4
Valuation of Investments and FASB 157
  • Fair Value definition
  • The price received to sell an asset or transfer
    a liability in an orderly transaction between
    market participants at the measurement date.
  • The FASB discusses valuation techniques and
    inputs to those valuation techniques and includes
    a hierarchy for measurement at fair value.
  • The hierarchy is based on observable and
    unobservable inputs to valuation and the levels
    in the hierarchy are determined by where and how
    the pricing of investments is derived.
  • Level 1, 2 and 3 will be a discussion point with
    service providers and ultimately auditors.

5
Valuation of Investments and FASB 157
  • Market participants are
  • Independent (not related parties)
  • Knowledgeable (due diligence)
  • Able to transact for the asset or liability
  • Willing to transact for the asset or liability
    (not forced)

6
Valuation of Investments and FASB 157
  • Measurement assumes an orderly transaction in the
    principal market
  • Principal market is the market in which the
    entity would sell the asset or transfer the
    liability with the greatest volume and level of
    activity OR
  • In the absence of a principal market the most
    advantageous market for the asset or liability

7
Valuation of Investments and FASB 157
  • Valuation techniques
  • Market approach prices and other relevant
    information from market transactions involving
    identical or comparable assets
  • Matrix pricing to value debt securities
  • Income approach valuation techniques to convert
    future amounts to a single present amount
  • Cost approach based o the amount that currently
    would be required to replace the service capacity
    of an asset

8
Valuation of Investments and FASB 157
  • Inputs refer broadly to the assumptions market
    participants would use in pricing the asset or
    liability
  • Observable inputs - reflect the assumptions
    market participants would use based on
    independent market sources (published stock
    prices, amortized cost methods, price matrix)
  • Unobservable inputs reflect the reporting
    entitys own assumptions market participants
    would use in pricing the asset or liability based
    on the best information available

9
Valuation of Investments and FASB 157
  • Level 1 inputs
  • Quoted market prices (unadjusted) for identical
    assets or liabilities in active markets
  • Most reliable source of fair value
  • Input examples
  • Prices derived from NYSE, NASDAQ, Chicago Board
    of Trade, Pink Sheets

10
Valuation of Investments and FASB 157
  • Level 2 Inputs
  • Observable inputs for
  • Similar assets or liabilities in active markets
  • Identical or similar assets in inactive markets
  • Inputs other than quoted prices that are directly
    observable
  • Inputs derived from observable market data by
    correlation or other means
  • Examples Matrix pricing, market corroborated
    pricing, yield curves and indices
  • Significant adjustments may indicate Level 3

11
Valuation of Investments and FASB 157
  • Level 3 Inputs
  • Unobservable inputs
  • Reporting entitys own assumptions about the
    assumptions market participants would use
  • Other entity specific inputs (historical or
    projected financial information) that are not
    derived from market data
  • Unobservable inputs are developed based on the
    best information available in the circumstances
  • Examples Investment manager pricing for
    private placements, private equities, hedge
    funds, etc.

12
Valuation of Investments and FASB 157
  • Disclosures
  • Fair value measurements at the reporting date for
    each major category of assets or liabilities
  • Level within the fair value hierarchy where each
    investment category falls
  • Valuation techniques used to measure fair value
    and a discussion of changes in valuation
    techniques
  • Readdress existing investment valuation language
    in summary of significant accounting principles
    footnote
  • Level 3 expanded disclosures to reconcile
    beginning and ending balances

13
FASB 157 Implementation
  • Fair Value Measurements
  • Present a table of the fair value hierarchy for
    the balances of the assets and liabilities of the
    Plan measured at fair value as of December 31,
    2008.
  • Present a table of the changes in assets and
    liabilities measured at fair value using Level 3
    inputs for the year ending December 31, 2008
  • Realized Gains (Losses)
  • Unrealized gains (losses) relating to instruments
    still held at December 31, 2008
  • Purchases, sales, issuances and settlements (net)

14
FASB 157 Implementation
  • Full Scope
  • Obtain an understanding of the plans process for
    determining fair values, as well as whether the
    fair value measurements and disclosures are in
    accordance with GAAP.
  • Consider to procedures and controls put in place
    by the plan sponsor and service provider to
    identify hard to value investments, validate the
    reliability of pricing, monitor the
    collectability of accrued income and modify
    reporting and disclosures in plan financial
    statements.

15
FASB 157 Implementation
  • Full scope procedures requiring price testing
  • Test of year-end market values
  • Test of purchases and sales
  • Test of unrealized gains and losses
  • Test of realized gains and losses

16
FASB 157 Implementation
  • Primary Vendors
  • Interactive Data
  • Standard Poor's
  • GEMMA Consulting
  • GMI
  • IBOXX
  • ISMA
  • Markit
  • Research Sources
  • Bloomberg
  • Reuters

17
FASB 157 Implementation
  • Limited Scope
  • Trustee or Custodian certifies the COMPLETENESS
    AND ACCURACY of the plans investment assets and
    investment activity as contained in the
    institutions ORDINARY BOOKS AND RECORDS, which
    MAY OR MAY NOT BE FAIR VALUE IN ACCORDANCE WITH
    GAAP.
  • Information certified may be BEST AVAILABLE and
    may not be as of the plans year end

18
FASB 157 Implementation
  • Whose job is it?
  • Custodians provide the data
  • Clients review the data and conclude
  • Auditors validate and opine

19
Valuation of Investments and FASB 157
  • While management may look to a valuation service
    provider for the mechanics of the valuation,
    management should have sufficient information to
    evaluate and independently challenge the
    valuation. Therefore, it is important that plan
    management is familiar with the plan assets in
    which a plan invests and the methods and
    significant assumptions used to value them,
    especially for investments in securities or other
    assets for which readily determinable fair market
    values do not exist.
  • They can outsource mechanics but can NEVER
    outsource responsibility.

20
Valuation of Investments and FASB 157
  • A plan auditor may provide advice, research
    materials and recommendations to assist in making
    decisions about the accuracy of investment
    valuations and the adequacy of the related
    disclosures, and in establishing internal
    controls surrounding plan managements investment
    valuations and can also help with the financial
    statement preparation.
  • Independence.

21
Caution
  • Although presented together, limited scope audits
    and SAS 70 reports are two independent topics
  • Having a SAS 70 report does NOT constitute or
    provide the certification necessary to perform a
    limited scope audit

22
Session Objective Limited Scope
  • We will discuss the basics but it gets
    complicated - quickly!
  • Just what is the limited scope (L/S) audit
    exemption?
  • What is the legislative perspective behind its
    application and how has it evolved?
  • When can a plan sponsor legitimately invoke the
    usage of the exemption?
  • What practical audit steps can be employed under
    a limited scope audit engagement?

23
Definition
  • Summary of ERISA Reg. 2520.103
  • Where an audit is required, the financial
    statements accompanying the Form 5500 must be
    GAAP-compliant
  • Provides for an exclusion from the audit of
    investments (valuation and existence) and
    plan-level investment activity, if qualifying
    institution holding the assets certifies to the
    accuracy and completeness of the information
  • Qualifying Institutions
  • Bank or similar institution (e.g., a trust
    company) or insurance carrier
  • regulated and supervised and subject to periodic
    examination by a State or Federal agency
  • Could be asset trustee or custodian (does NOT
    need to be the trustee)

24
Definition
  • Summary of ERISA Reg. 2520.103
  • Provides sample certification language to be used
    by the certifying institution
  • The XYZ Bank (Insurance Carrier) hereby certifies
    that the foregoing statement furnished pursuant
    to 29 CFR 2520.103-5(c) is complete and accurate.
  • Indicates that certification extends to
    ordinary business records of the certifying
    institution
  • The certification must be signed by a person
    authorized to represent the insurance carrier or
    bank

25
Definition
  • The certification applies only to investments
  • All other areas of plan activity including
    eligibility, contributions, distributions and
    expenses must be subjected to full audit
    procedures
  • No audit procedures are performed on investments
    and related activity covered by the
    certification (including no review of internal
    control over investments or analytical review of
    income)

26
Limited Scope - Auditors Responsibility -
Investments
  • Compare the certified information to the form and
    content of the financial statements and footnote
    disclosures
  • Determine that the financial statements and
    disclosures are in compliance with GAAP and DOL
    requirements
  • Test income allocation to participants
  • Make sure 5 of net asset disclosure is made

27
Limited Scope - Auditors Responsibility -
Investments
  • Make sure to include the certification footnote
    in the financial statements and references to the
    information that is certified
  • If something unusual comes to your attention -
    investigate (e.g., cost fair value for hard to
    value assets, fair value has not changed for
    several years, or asset is not included in
    certified statements)
  • If any material discrepancies are noted, the plan
    administrator should investigate and consider
  • Requesting trustee/custodian to correct and
    either recertify or amend the certification
  • If information is excluded, the plan
    administrator is responsible for proper valuation
    and reporting
  • Engage the auditor to perform a full-scope audit
    and/or full scope procedures, as appropriate

28
Why the Limited Scope Audit Made Sense in 1974
  • What was the DOL looking for?
  • Recall the pre-ERISA environment do you know
    where your plan assets are?
  • ERISA designed to ensure that the assets exist
    that plan values are accurate
  • Certifying institutions played a prominent, if
    not exclusive, role in the New World order
  • ERISA required plan assets to be held in a trust
    or insurance contract
  • Holding assets in a trustees vault (versus the
    plan administrators file cabinet) provided
    vastly more comfort over the existence assertion
  • Trustee/custodians provided a valuation
    independent of the plan sponsors
  • Fair Value of plan assets were more commonly part
    of trustee or custodian's ordinary business
    records
  • Plan investments had readily determinable market
    values
  • Plan Trust Structures were less complex

29
Common Types of Plan Investments - 1974
30
So, what changed? That was then. This is now.
  • Investments - Explosion of new investment
    vehicles found their way into the employee
    benefit world

31
So, what changed? That was then. This is now.
  • Shadow Accounting - Emergence of specialized
    service providers resulting in more assets held
    outside the trust (Derivatives, Currency Hedging,
    etc.)
  • Heightened awareness of custodians
  • What are they really certifying to?
  • Does an independent market value always equate
    to fair value?

32
Custodial Asset Pricing Processes Certifications
  • FAS 157 - Fair Value Measurements - shines a
    floodlight on custodial pricing processes
  • Requires deeper dive into custodial pricing
    vendors their methodologies, to facilitate
    bucketing of assets into Level 1, 2, 3
  • Best available, versus Fair Value

33
Changing Audit Climate
  • Sarbanes-Oxley Act of 2002
  • AICPA Employee Benefit Plan Audit Quality Center
    (EBAQC)
  • Plan audits no longer considered low risk audits
  • More focused disciplined approach to EB audits
  • Audit Guides/Risk Alerts discuss HTVAs and LPs
    specifically
  • AICPA Practice Aid on Auditing Alternative
    Investments (July 06)
  • Reiterates managements responsibility for
    valuation oversight
  • Questions the premise of plan sponsors sole
    reliance on the custodians prices
  • Audit Standards (SAS 112/114)
  • Formalized required communication to management
  • Provides another reason to ensure that the audit
    is top-notch and that the Ts are crossed
    and the Is are dotted

34
Relevancy of the Limited Scope Audit in Todays
Environment
  • The environment has changed, but the regulations
    have not
  • Is the extinction of the limited scope audit
    imminent?
  • When is the limited scope audit applicable?
  • Investment types and valuations are key drivers
    to determining audit level
  • Marketable securities with readily determinable
    values
  • Highly regulated Common or Collective Trusts
    (CCTs)/Pooled Separate Accounts (PSAs)
    invested in marketable securities
  • Eligibility of certifying institution
  • Clear designation of the entity that is holding
    the plan assets
  • No 11-K filing is required

35
To Limit, or Not to Limit. That is the question!
  • Who owns the decision to invoke the L/S audit
    exemption?
  • The Plan Sponsor!
  • Requires a Paradigm Shift on the part of the plan
    sponsor
  • Do they view the L/S exemption as an automatic
    entitlement, or as a privilege?
  • Are they aware of what their certifying entity is
    actually certifying to?
  • Are they prepared to engage their auditors in a
    discussion about the appropriate level of audit
    work, in advance of the audit?
  • Do they have a formal pricing policy and
    valuation oversight monitoring and signoff
    process, or are they relying exclusively on the
    custodial statements?

36
Investments Full Scope AuditsWhat is different
from a Limited Scope?
  • Confirm directly with holder of assets (more than
    one custodian may hold assets)
  • Test of year-end market values
  • Test of interest
  • Test of dividends
  • Test of purchases and sales
  • Test of unrealized gains and losses
  • Test of realized gains and losses

37
What the Plan Sponsor Needs to Consider Before
Invoking the Limited Scope Audit Exemption
  • AICPA has added branches to the Limited Scope
    Audit Decision Tree in the EB Audit Guide
  • What percentage of plan assets are invested in
    holdings that do not have readily determinable
    market values?
  • Can the plan sponsor rely exclusively on the
    certification for the fair value, or does their
    valuation committee rely on other investment
    analysis to supplement the custody values before
    signing off on the fair value for any Hard To
    Value Assets (HTVA)? If the latter is the
    case, the less chance of relying on the limited
    scope exemption.

38
Practical Audit Steps in a Limited Scope
Engagement
  • Determine eligibility of certifying entity in
    accordance with ERISA Reg 2520.103-5
  • Gain comfort with variations of the wording of
    the certification - examples of acceptable and
    non-acceptable wording
  • to the best of my knowledge and belief
  • Narrow down the investment versus non-investment
    transaction activity that falls within the L/S
    exemption
  • Determine the relevancy of the SAS 70 and assess
    the service provider and related user controls
    under a L/S engagement
  • Gain comfort with the certification of plan
    balances when the assets of multiple plans are
    commingled and held within a master trust

39
Practical Audit Steps in a Limited Scope
Engagement
  • How can you tell from the investment statement
    whether the certified values for LPs are current
    values or lagged values?
  • What do you do when you become aware that the
    values are lagged? Is amending and recertifying
    the year-end statement to reflect the updated
    values an acceptable alternative?
  • When can you carve out assets that require a
    full-scope audit, without changing the scope of
    your engagement, and how does that impact your
    opinion letter?
  • Will insurance carriers and banks be certifying
    to fair value in accordance with FAS 157?

40
Participant Allocation Testing
  • Required in limited scope as allocation not
    certified
  • Consider using investment returns for month or
    quarter
  • Some firms testing allocations of interest and
    dividends
  • Cannot completely rely on a SAS 70 Service
    Organization report even a Type II
  • A SAS 70 report is NOT a Certification and is not
    related to the limited scope exemption

41
Certification of Participant Loans
  • Does the certification truly cover loans?
  • Substance over form considerations
  • Often times not covered by certification for
    unbundled plans (record keeper and custodian are
    separate entities)
  • Who keeps the records (e.g., amortization
    schedule, note, etc)?
  • When loans arent properly certified
  • Do not indicate in report that all investments
    are covered (only certain ones)
  • Certification footnote should be clear that loans
    are not certified
  • Even if properly certified, loan compliance
    testing is still required

42
Limited Scope Master Trusts
  • Master trust certification doesn't allow you to
    do a limited scope audit of the plan
  • Certification must be at plan level if doing a
    limited scope audit
  • The appendix to the AICPA guide defines a master
    trust as, "a trust for which a regulated
    financial institution serves as trustee or
    custodian... and in which assets of more than one
    plan sponsored by a single employer or by a group
    of employers under common control are held."

43
Limited Scope Certifications - Agents
  • Agents Certifying for Trustee/Custodian
  • The plan administrator should determine whether
    the party providing the certification (the agent)
    is in fact authorized to represent the insurance
    carrier, bank or similar institution holding the
    assets of the plan.
  • The plan administrator should take steps to
    ensure they understand the nature and scope of
    the certification the agent has provided before
    concluding that the certified information may be
    used to satisfy the limited scope exemption

44
Agent Certifications Scope Language
  • any auditing procedures with respect to the
    information described in Note X, which was
    certified by ABC, Inc., the record keeper of the
    Plan as agent for XYZ Bank, the trustee of the
    Plan,
  • The plan administrator has obtained a
    certification from the agent on behalf of the
    trustee

45
Agent Certifications Opinion Language
  • other than that derived from the information
    certified by the agent on behalf of the trustee,
    have been audited
  • Best practice plan administrator should obtain
    and review the agency agreement

46
Getting Plan Sponsors on Board
  • Pre-Engagement Meeting Discussions extend
    invitations to Investment Committee contacts
  • Sharing Copies of Relevant Materials
  • DOLs Internal Controls over Financial Records of
    the Plan
  • AICPA Audit Guides
  • AICPA Practice Aid on Auditing Alternative
    Investments
  • AICPA EBPAQC Webcasts
  • These slides

47
Risk Assessment Standards Year 2
  • ASB issued the standards to improve the quality
    and effectiveness of audits by focusing on audit
    risk
  • Auditors need to have a more in depth
    understanding of our clients, their environment,
    including internal control in order to be able to
    identify and assess the risk of material
    misstatement
  • Designing and performing audit procedures in
    response to those risks at the financial
    statement level and at the relevant assertion
    level for account balances and transactions
    classes
  • Improved linkage between the assessed risks,
    audit procedures and conclusions

48
Risk Assessment Standards Summary SAS 104 111
Year 2
  • Pre-Engagement Activities-Acceptance of the
    client, independence, Management integrity, etc,
    engagement letter.
  • Planning the audit
  • Gain an understanding of the plan and its
    environment
  • ERISA and DOL regulations, new accounting
    pronouncements, changes in economic environment,
    plan type and provisions, tone at the top, plan
    oversight, measurement and review of plans
    performance, actuarial reports, controls at plan
    and controls at outside service providers (SAS
    70s)
  • Perform preliminary Analytical procedures
  • Current year to prior year, actuarial
    assumptions, investment returns, etc
  • Discussion among engagement team
  • Identify fraud risk factors
  • nature of plan investments, plan operations,
    party in interest
  • Determine materiality at F/S level

49
Risk Assessment Standards -Summary
  • Assess risk of material misstatement at the
    overall financial statement level and complete
    overall audit strategy and overall responses at
    the financial statement level
  • Assess risk of material misstatement in relation
    to relevant assertions for major transaction
    classes (participant account activity), account
    balances (investments, receivables, payables) and
    disclosures
  • Identify major audit areas audit areas with
    material transaction classes, account balances,
    disclosures
  • Areas with potential significant risk could be
    investments without readily determinable market
    value, new investments, SAS 70 errors,
    operational defects or non routine transactions,
    etc.
  • Areas where substantive procedures alone are not
    sufficient

50
Risk Assessment Standards -Summary
  • Develop a detailed audit plan for the nature,
    timing and extent of further audit procedures
    which include tests of controls, substantive
    procedures (tests of details and analytical
    procedures) and evaluate disclosures
  • Evaluate results of audit procedures to determine
    if they are sufficient and document linkage of
    procedures with the assessed risks at the
    relevant assertion level

51
Caution
  • Although presented together, limited scope audits
    and SAS 70 reports are two independent topics
  • Having a SAS 70 report does NOT constitute or
    provide the certification necessary to perform a
    limited scope audit

52
SAS 70s - Session Objectives
  • For this part of the session we will discuss the
    basics of SAS 70 reports including
  • History and purpose of SAS 70 reports
  • Difference between types of SAS 70 reports
  • Sections of SAS 70 reports
  • Basics of how to read and evaluate SAS 70 reports

53
History and Purpose of SAS 70s
  • Auditors are required to gain an understanding of
    internal controls to plan the audit
  • New Risk Assessment Standards, specifically SAS
    109, which superseded SAS 55, now require
    auditors to evaluate the design and
    implementation of controls at a client
  • Plan sponsors generally outsource a significant
    portion of the plans operations to third party
    providers (e.g., record keepers, custodians) and
    controls covering these operations also need to
    be considered
  • SAS 70 reports tend to be the most efficient way
    to meet these requirements
  • Daily valuation of plans highlighted the need for
    more use of SAS 70 reports in the Employee
    Benefit Plan (EBP) industry
  • Auditors must consider both the service
    organizations AND plan sponsor controls

54
History and Purpose of SAS 70s
  • SAS 70 reports address both the evaluation of
    design and implementation of controls
  • Evaluation of Design
  • Service auditors who prepare SAS 70 reports
    evaluate the design of the controls by the
    service organization and will report on any noted
    design deficiencies in the independent service
    auditors report.
  • Controls need to be designed to support the
    control objective (e.g., contributions are
    recorded to the plan and participants accounts
    on an accurate and timely basis)
  • EBP Auditor should consider user organization
    (i.e. Plan sponsor) controls as well as service
    provider controls (e.g., contribution and payroll
    information remitted to service organization are
    accurate)

55
History and Purpose of SAS 70s
  • Implementation of Controls
  • Service auditor will design their tests of
    controls, depending on type of SAS 70 report to
    be issued, to determine implementation and
    operating effectiveness of controls at the
    service organization
  • Testing includes inquiry, observations,
    inspection and re-performance
  • Note The type of testing performed by the
    service auditor makes a difference!!
  • Auditors must consider the effect of exceptions
    or qualifications noted in the SAS 70 report
    related to either design deficiencies or
    operating effectiveness as part of auditors
    overall risk assessment
  • Remember SAS 70 reports are only one part of
    the risk assessment process associated with
    controls. Plan sponsor user controls must be
    addressed as well.

56
Differences Types of SAS 70s
  • Two Types of SAS 70 Reports
  • Type I SAS 70 Report
  • Service auditor will evaluate design of controls
    and confirm implementation of controls as of a
    point in time (e.g., as of December 31, 200X)
  • Addresses risk assessment requirements to a point
  • Does not include testing of operating
    effectiveness over a period of time (e.g., Period
    ended December 31, 200X)
  • Type II SAS 70 Report
  • Same as a Type I report but includes testing of
    operating effectiveness over a period of time
  • Much more useful report for the auditors risk
    assessment procedures and could potentially be
    used to reduce substantial audit procedures

57
Differences Types of SAS 70s
  • In the EBP industry, there are several
    organizations that may provide a SAS 70 report
    that the auditor might utilize depending on scope
    and type of audit
  • Trust Company or Custodian
  • Record keeper
  • Combined Trust/Custodian and Record keeper
  • Payroll/Human Resource Company
  • Actuary
  • Investment Advisors and Transfer Agents
  • Critical to obtain the correct SAS 70 report
    (i.e. some organizations have multiple SAS 70
    reports) relevant to each specific plan

58
Sections of SAS 70 Reports
  • Independent Service Auditors Report
  • Reports on auditors opinion about design of
    controls and their implementation.
  • Type II SAS 70 report will also report on the
    operating effectiveness of controls
  • Report will define what exactly is covered in SAS
    70 report (e.g., transactions performed related
    to defined contribution plans)
  • Report will define period covered (generally six
    months or longer)
  • May include carve-outs (e.g., participant
    statements printed by another entity). Note
    might require additional procedures, including
    additional SAS 70 reports if carve-outs are
    significant and relevant)

59
Sections of SAS 70 Reports
  • Company Overview
  • Includes general discussion of company structure
    and operations and entity level controls (e.g.,
    human resource practices, segregation of duties,
    ethics policies)
  • Generally includes a discussion of computerized
    information systems
  • Auditor should review and consider as part of
    risk assessment process of entity level controls
  • May also include other valuable information so
    should not be ignored

60
Sections of SAS 70 Reports
  • Control Objectives
  • Developed to address user auditors (i.e. Plan
    auditor) expected financial statement assertions
  • Are the responsibility of the service
    organization to determine and are based on
    anticipated user organizations needs (e.g., EBP
    auditor will need sections such as contributions
    and distribution processing)
  • Should include IT general controls, such as
    physical and logical access, change management,
    back-up, etc.
  • These are important and must be addressed
  • Generally read as follows Controls provide
    reasonable assurance that distributions are
    properly approved, calculated accurately, and
    recorded to participant and plan accounts on a
    timely basis

61
Sections of SAS 70 Reports
  • Description of Controls
  • Generally in narrative form to describe process
    overall and highlight individual controls and
    procedures that support the control objective
  • Example Distribution processing most likely will
    include controls to
  • Ensure proper approvals (e.g., review of
    distribution request form or electronic approvals
    in paperless format)
  • Review proper calculation of distributions
    vesting, taxes
  • Ensure proper recording to participant account
  • Ensure proper communication to entity (trustee or
    custodian) remitting payment to participant or
    their beneficiary

62
Sections of SAS 70 Reports
  • Description of Controls (Continued)
  • User controls are an important consideration in
    understanding total control structure
  • Vesting might be calculated or reviewed by plan
    sponsor in addition to or in lieu of service
    organizations review
  • Approval of distributions by plan sponsor,
    especially in paperless environment, might be
    based on providing termination dates of
    participants (usually detailed in service
    agreement between plan sponsor and service
    organization)

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Sections of SAS 70 Reports
  • Tests of Operating Effectiveness
  • Included in Type II SAS 70 reports
  • Usually in form of matrix in SAS 70 report,
    sometimes in a narrative format
  • Outlines which controls service auditor tested
    and what tests were applied to determine
    operating effectiveness of those controls.

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Sections of SAS 70 Reports
  • Tests of Operating Effectiveness (Continued)
  • Tests can include
  • Inquiries to personnel responsible for performing
    controls
  • Observations of personnel actually performing
    controls
  • Inspection of documentation that provides
    evidence of performance of controls (e.g.,
    completed checklist, signature of individual who
    reviewed form for approvals)
  • Re-performance of controls (e.g., test
    transactions run through the recordkeeping system
    to review proper postings)

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Sections of SAS 70 Reports
  • Test Results
  • If no exceptions, generally reads No relevant
    exceptions noted or Control objective operating
    effectively
  • If exceptions are found, the finding will be
    detailed as to how many exceptions within the
    sample size were noted, and nature of exceptions
  • Sometimes other findings may be noted (e.g., No
    activity noted for year or that control was in
    place for portion of period covered by SAS 70
    report)
  • Note Exceptions noted may not always result in a
    qualification of opinion
  • May also include management responses to
    exception findings these responses are not
    audited by the service auditor but may include
    relevant information and should be reviewed

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Sections of SAS 70 Reports
  • Additional information provided by service
    organization
  • Generally not audited by service auditor and is
    so referenced in Independent Service Auditors
    report
  • Includes items such as disaster recovery
    procedures
  • May include items related to subsequent events
    such as a merger of entities or
    termination/change in services
  • Is a part of the SAS 70 report and should be
    reviewed to ensure no relevant information that
    may effect auditors evaluation is missed

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Basics of How to Read and Evaluate SAS 70 Reports
  • A basic road map for auditors in how to
    effectively and properly review SAS 70 reports
  • Can be a difficult process as SAS 70 reports are
    not consistent among service providers nor is
    format consistent in how they are prepared by
    service auditor.
  • Start with Independent Service Auditors Report
    and Company Overview as these sections contain a
    lot of valuable information and can confirm
    correct SAS 70 report has been obtained. Note
    any qualifications and determine effect
    generally specific areas such as enrollments may
    only affect one control objective. IT related
    qualifications may affect more than one area
    depending on nature and extent of qualification.
  • Auditors should keep in mind additional
    procedures may apply for missing key control
    objectives and should have prepared a list of
    expected areas to be covered in the SAS 70 report
    according to risk assessment procedures tailored
    to a particular client and engagement.

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Basics of How to Read and Evaluate SAS 70 Reports
  • Control Objectives
  • What is there and what is missing? Auditors of
    EBP plans generally look for the same control
    objectives including
  • Note For missing key control objectives or if no
    SAS 70 report is available, procedures to
    determine controls in place, the evaluation of
    their design and implementation must still be
    adequately addressed by the auditor!!

69
Basics of How to Read and Evaluate SAS 70 Reports
  • Description of Controls
  • Auditors should generally read through the detail
    of the procedures related to a specific control
    objective to understand overall process and
    identify controls in place
  • Warning Controls included in this description
    may not always be included in testing so be aware
    that this may affect reliance

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Basics of How to Read and Evaluate SAS 70 Reports
  • Tests of Operating Effectiveness
  • Auditors need to determine which controls were
    tested as included in the description of controls
    usually listed with testing procedures
    performed
  • Auditors have to consider level of testing
    performed for reliance purposes inquiries alone
    will not be sufficient evidence for confirming
    implementation and observations may not be
    considered sufficient for reliance on controls
    for purposes of reducing control risk below
    maximum to reduce substantive audit procedures

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Basics of How to Read and Evaluate SAS 70 Reports
  • Exceptions
  • Auditors have to evaluate each exception,
    including nature of exception, extent of
    exception and any mitigating controls in place
    related to that exception.
  • Nature of exception
  • Error in processing transaction?
  • Missing evidence? (e.g., cannot locate checklist)
  • Also consider is the exception relevant to your
    specific client situation

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Basics of How to Read and Evaluate SAS 70 Reports
  • Exceptions (Continued)
  • Extent of Exception
  • Isolated error?
  • Exception one of many included under control
    objective?
  • Did exception lead to qualification of
    Independent Service Auditors report?
  • Special consideration IT general controls
    exceptions and qualifications could affect more
    than one area and may be a significant problem in
    reliance and use of SAS 70 report

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Basics of How to Read and Evaluate SAS 70 Reports
  • Exceptions (Continued)
  • Mitigating controls in place related to exception
  • Are there other controls in place at service
    provider to mitigate risk of error?
  • Other levels of review such as quality control
    reviews
  • Different access levels that may prevent issues
    (physical vs. logical access on systems)
  • Does the plan sponsor actually perform that
    control? (e.g., calculate vesting)
  • Are there mitigating controls in place at the
    plan sponsor? (e.g., review and approve
    calculation of vesting)
  • Note evaluation will be different among
    engagements depending on controls in place and
    who does what

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Basics of How to Read and Evaluate SAS 70 Reports
  • Evaluation of SAS 70 report and conclusions
    reached by Plan auditors should be documented
    clearly and adequately in audit workpapers as
    required by SAS 103.
  • Documentation can include
  • Copy of relevant SAS 70 reports obtained and
    evaluated
  • Checklist or Form used to evaluate SAS 70 report
  • Memo or checklist/form used above to document
    conclusions reached regarding each area as to
    reliance on SAS 70, and the extent of that
    reliance (e.g., reliance related only to design
    and implementation or further reliance to reduce
    control risk and substantive audit procedures)
  • Note Reliance may vary from area to area (e.g.,
    reliance placed to reduce substantive audit
    procedures in contributions, but not in
    distributions)

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