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Standards of Fieldwork PIE

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A sufficient understanding of internal control is to be ... Acceptance & continuance of engagements. Avoid association with management lacking integrity ... – PowerPoint PPT presentation

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Title: Standards of Fieldwork PIE


1
Standards of Fieldwork (PIE)
  • Planning Supervision
  • The work is to be adequately planned and
    assistants, if any, are to be properly
    supervised.
  • Internal control
  • A sufficient understanding of internal control is
    to be obtained to plan the audit and to determine
    the nature, timing, and extent of tests to be
    performed.
  • Evidential matter
  • Sufficient competent evidential matter is to be
    obtained through inspection, observation,
    inquiries, and confirmations to afford a
    reasonable basis for the opinion regarding the
    F/S under audit.

2
Statements on Quality Control Standards (See Ch
4)
  • Issued by the Auditing Standards Board
  • A CPA firm is required to have a system of
    quality control for its accounting and auditing
    practice (audit, attest, compilation review)
  • System of quality control -- a process to
    provide the firm with reasonable assurance that
    its personnel comply with applicable professional
    standards and the firms standards
  • Inherent limitations (similar to any I/C system)
  • Nature scope will vary with the circumstances

3
System of Quality Control -- Consists of 5
Elements (P. 119)
  • Independence, integrity, objectivity (Rule
    101)
  • Personnel management -- includes initial hiring,
    assignment to engagements, professional
    development ( CPE), and promotion decisions
  • Acceptance continuance of engagements
  • Avoid association with management lacking
    integrity
  • Take on an engagement only if competent in the
    area
  • Consider risks associated with the professional
    service
  • Engagement performance
  • Monitoring

4
Required Communications Between Successor
Predecessor Auditors
  • Successor has responsibility to initiate the
    communication with the predecessor
  • Both parties must obtain the clients permission
    to have that discussion
  • Successor may accept the engagement pending the
    outcome of that communication
  • What if the client says NO to either party?

5
Nature of That Communication
  • Required to inquire about the following
  • Any facts bearing on managements integrity
  • Any significant disagreements over accounting or
    auditing matters
  • Any communications that predecessor had with the
    Audit Committee about sensitive matters (fraud,
    illegal acts, or internal control issues)
  • Predecessors understanding for the reason(s)
    that client changed auditors

6
Nature of That Communication (Continued)
  • May also choose to inquire about other matters
    (e.g., any problem areas encountered)
  • May request access to predecessors audit working
    papers
  • Usually permitted as a professional courtesy
  • Predecessor may have valid reasons to refuse
    (e.g., pending litigation)
  • Q What if successor believes the F/S audited by
    predecessor require revision? A Try to arrange
    a 3-way meeting and beware of an uncooperative
    client!

7
Risk-based Audit Approaches
  • Examples Business Measurement Process (BMP)
    of KPMG and Business Process Analysis (BPA) for
    EY
  • These focus on clients business processes and
    the risks (strategic and otherwise) that
    ultimately impact the F/S under audit
  • Such approaches are extensions of our traditional
    emphasis on analytical procedures (i.e., focus
    our attention where risk of misstatement is
    highest)

8
The Use of Analytical ProceduresBy E. Blocher
G. Patterson
  • See the definition of analytical procedures
  • May include financial and/or non-financial data
  • Key is developing ones expectation
  • 3 Approaches for developing the expectation
  • Trend analysis comparison with prior year(s)
  • Ratio analysis comparison of ratios over time
    or relative to industry benchmarks
  • Model-based methods comparison of clients
    balance with mathematical models prediction
    (e.g., regression)
  • Investigate significant differences

9
Lagging v. Leading Indicators of Economic
Results
  • Whats the issue?
  • Tools to help management ( auditors)
  • Client strategy templates links clients
    strategies to their business processes
  • Balanced scorecards measures performance on
    multiple dimensions (includes some
    non-financial!)
  • Reflects data used by senior management
  • Dashboard view of managing the business
  • Includes leading indicators of future financial
    results

10
Balanced Scorecards Fog Lights for the Road
Ahead
  • Considers performance indicators of interest to a
    variety of stakeholders (includes financial
    non-financial metrics)
  • Shareholders
  • Customers
  • Employees
  • Community

11
SEC Chairman Arthur Levitt Remarks to the Panel
on Audit Effectiveness of the Public Oversight
Board (October 7, 1999)
  • In an era that calls for greater risk
    management, the industry has migrated to what
    they call the risk-based model. It sounds
    right on target. Because of the challenges of
    executing these new standards well, I wonder if
    the public interest is being better served. We
    cannot permit thorough audits to be sacrificed
    for re-engineered approaches that are marginally
    more efficient, but significantly less effective.

12
Comment by Bob Elliott Regarding Audit Quality
  • Research by COSO (a consortium of accountancy
    bodies including the AICPA) on fraudulent
    financial reporting has been published, and from
    its data on SEC disciplinary actions I derived an
    audit failure rate of .0001 for the firms
    auditing a large majority of public companies, a
    rate consistent with a high level of audit
    quality. The estimate covers the 11 years from
    1987 through 1997, a period running well into the
    current SEC chairman's tenure. (I defined an
    audit failure as an auditor's being named in an
    SEC accounting and auditing enforcement release
    for apparent involvement or a substandard
    audit.)
  • From Chairs Corner in April 2000 The CPA
    letter

13
SEC Chairman Arthur Levitt Remarks to the Panel
on Audit Effectiveness of the Public Oversight
Board (October 7, 1999)
  • As I look at some of the audit failures today,
    I cant help but wonder if the staff in the
    trenches of the profession have the training and
    supervision they need to ensure that audits are
    being done right. I wonder if the younger people
    in the profession those who have decided not to
    become Internet entrepreneurs are receiving the
    necessary guidance and lessons in value judgments
    from their older more experienced colleagues.
  • Questioning compliance with 1st Standard of
    FW?!

14
Communicate With Audit Committee Before,
During, After Fieldwork
  • General matters gt client v. CPAs respective
    responsibilities accounting policies and
    estimates/judgments by mgt.
  • Difficulties encountered during the audit
  • Disagreements over acctg/auditing matters
  • Significant adjustments proposed by CPAs
  • Instances where management requested second
    opinion from other CPAs

15
Are Engagement Letters Required?
  • Technically speaking, no.
  • However, we are required to establish an
    understanding with clients
  • As to the parties respective responsibilities
    (see required communications with audit
    committees for public clients)
  • A written engagement letter would certainly
    demonstrate such an understanding!
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