ACCT3109 Quiz 1 Notes PDF

Summary

This document is an overview of external auditing and the importance of quality assurance in financial statement auditing. It discusses the need for independent assurance, potential biases, remoteness issues, and the complexities in financial statement audits.

Full Transcript

**Chapter 1 Quality Auditing: Why It Matters** +-----------------------+-----------------------+-----------------------+ | **1-1 An Overview of | | | | External Auditing** | | | +=======================+=====...

**Chapter 1 Quality Auditing: Why It Matters** +-----------------------+-----------------------+-----------------------+ | **1-1 An Overview of | | | | External Auditing** | | | +=======================+=======================+=======================+ | **External Auditing** | | | +-----------------------+-----------------------+-----------------------+ | Overview | External auditors | | | | performing a | | | | financial statement | | | | audit provide | | | | **independent | | | | assurance** on: | | | | | | | | - ***[Reliability | | | | of the financial | | | | statements | | | | ]*** | | | | | | | | - ***[Internal | | | | control | | | | effectiveness | | | | ]*** | | | | | | | | ***Integrated | | | | audit***: Provided | | | | when an external | | | | auditor is engaged to | | | | perform an audit of | | | | the **[effectiveness | | | | of internal | | | | control]* | | | | * | | | | over financial | | | | reporting that is | | | | integrated with an | | | | **[audit of financial | | | | statements]{.underlin | | | | e}** | | +-----------------------+-----------------------+-----------------------+ | Decision Makers' Need | - Decision makers | | | for Reliable | need information | | | Information and the | that is | | | Role of a Financial | transparent and | | | Statement Audit | unbiased | | | | | | | | - Exhibit | | | | 1.1identifies | | | | potential | | | | financial | | | | statement users | | | | and the decisions | | | | they make based | | | | on financial and | | | | internal control | | | | information | | | | | | | | A screenshot of a | | | | computer screen | | | | Description | | | | automatically | | | | generated | | +-----------------------+-----------------------+-----------------------+ | **Need for | | | | Independent Assurance | | | | \[[PRCC]\ | | | | ]** | | | +-----------------------+-----------------------+-----------------------+ | ***Potential bias*** | Management has | | | | **incentives** to | | | | bias financial | | | | information to convey | | | | a better impression | | | | of financial data | | | | than real | | | | circumstances might | | | | merit | | | | | | | | - E.g. overstate | | | | income to earn | | | | more bonuses | | | | (management's | | | | compensation tied | | | | to profitability | | | | or stock price | | +-----------------------+-----------------------+-----------------------+ | ***Remoteness*** | Organization and | | | | users of its | | | | financial information | | | | are **distant** from | | | | each other in terms | | | | of either geographic | | | | distance or the | | | | extent of information | | | | available to the both | | | | parties | | | | | | | | - E.g. users cannot | | | | interview | | | | management, tour | | | | a company's | | | | plant, or review | | | | its financial | | | | records | | | | firsthand; can | | | | only rely on | | | | financial | | | | statements | | +-----------------------+-----------------------+-----------------------+ | ***Complexity*** | Difficulty in | | | | determining a proper | | | | presentation of | | | | **complex | | | | transactions, | | | | information**, and | | | | processing systems | | +-----------------------+-----------------------+-----------------------+ | ***Consequences*** | With unreliable | | | | information, | | | | investors lose a | | | | significant source of | | | | information needed to | | | | make important | | | | decisions | | | | | | | | - E.g. May invest | | | | in a fraud | | | | company; may lose | | | | significant | | | | amounts of money | | +-----------------------+-----------------------+-----------------------+ | **Financial Statement | | | | Audit** | | | +-----------------------+-----------------------+-----------------------+ | What is Financial | A systematic process | | | Statement Audit? | of **objectively | | | | [obtaining and | | | | evaluating]{.underlin | | | | e} | | | | evidence** regarding | | | | assertions about | | | | economic actions and | | | | events to | | | | **[ascertain]{.underl | | | | ine} | | | | the degree of | | | | correspondence | | | | between those | | | | assertions and | | | | established | | | | criteria**; and | | | | **[communicating]{.un | | | | derline} | | | | the results to | | | | interested users** | | +-----------------------+-----------------------+-----------------------+ | Overall objective of | - Obtain | | | an audit | **[reasonable | | | | assurance]{.under | | | | line}** | | | | about whether the | | | | financial | | | | statements are | | | | **[free from | | | | material | | | | misstatements]{.u | | | | nderline}** | | | | | | | | - Report on the | | | | financial | | | | statements based | | | | on the auditor's | | | | findings | | | | | | | | - To accomplish | | | | these objectives, | | | | the auditor: | | | | | | | | - Complies with | | | | relevant | | | | **ethical and | | | | professional | | | | conduct** | | | | requirements | | | | | | | | - Conducts the | | | | audit **in | | | | accordance | | | | with | | | | professional | | | | auditing | | | | standards** | | | | | | | | - Exercises | | | | professional | | | | judgment, | | | | **professiona | | | | l | | | | scepticism**, | | | | and critical | | | | thinking | | | | | | | | - Obtains | | | | **sufficient | | | | appropriate | | | | evidence**, | | | | via a | | | | structured | | | | process, on | | | | which to base | | | | the auditor's | | | | opinion | | | | | | | | ![A diagram of | | | | financial statements | | | | Description | | | | automatically | | | | generated](media/imag | | | | e2.png) | | | | | | | | *Parties involved in | | | | preparing and | | | | auditing financial | | | | statements* | | | | | | | | - **Management** | | | | | | | | | | | | | | | | - Preparing and | | | | presenting | | | | financial | | | | statements in | | | | accordance with | | | | the applicable | | | | financial | | | | reporting | | | | framework; | | | | | | | | - Designing, | | | | implementing, and | | | | maintaining | | | | internal control | | | | over financial | | | | reporting | | | | | | | | - Providing the | | | | auditors with | | | | information | | | | relevant to the | | | | financial | | | | statements and | | | | internal controls | | | | | | | | | | | | | | | | - **Internal Audit | | | | Function** | | | | | | | | - Provides | | | | management | | | | and the audit | | | | committee | | | | with | | | | assurance on | | | | internal | | | | controls and | | | | reports | | | | | | | | - **Audit | | | | Committee** | | | | | | | | - A | | | | subcommittee | | | | of the board | | | | of directors | | | | | | | | - Oversees both | | | | management | | | | and internal | | | | auditors | | | | | | | | - **External | | | | Auditor** | | | | | | | | - Obtain | | | | reasonable | | | | assurance | | | | about whether | | | | management's | | | | statements | | | | are | | | | materially | | | | accurate and | | | | to provide a | | | | publicly | | | | available | | | | report | | | | | | | | - Conducts | | | | procedures | | | | and make | | | | judgments in | | | | accordance | | | | with | | | | professional | | | | standards | | +-----------------------+-----------------------+-----------------------+ | **External Auditing** | | | +-----------------------+-----------------------+-----------------------+ | Providers of External | - Sole-practitioner | | | Auditing Services | firms | | | | | | | | - Local and | | | | regional firms | | | | | | | | - Large | | | | multinational | | | | professional | | | | services firms | | | | such as the Big 4 | | | | (KPMG, Deloitte | | | | Touche Tohmatsu, | | | | PricewaterhouseCo | | | | opers, | | | | EY) | | +-----------------------+-----------------------+-----------------------+ | Skills and Knowledge | - Communication | | | | skills; Critical | | | | thinking skills; | | | | CPA license | | | | | | | | - Decision-making | | | | skills; | | | | Leadership | | | | skills; General | | | | professionalism | | | | | | | | - Technical | | | | knowledge; | | | | Teamwork skills | | +-----------------------+-----------------------+-----------------------+ | **1-2 Achieving Audit | | | | Quality** | | | +-----------------------+-----------------------+-----------------------+ | **Five Primary | | | | Drivers of Audit | | | | Quality | | | | \[[CSERF] | | | | \]** | | | +-----------------------+-----------------------+-----------------------+ | Achieving Audit | - Performed in | | | Quality | accordance with | | | | **generally | | | | accepted auditing | | | | standards | | | | (GAAS)** | | | | | | | | - GAAS provides | | | | **[reasonable | | | | assurance]{.under | | | | line}** | | | | about the audited | | | | financial | | | | statements and | | | | related | | | | disclosures: | | | | | | | | a. ***Presented | | | | [in | | | | accordance | | | | with | | | | GAAP]{.underl | | | | ine}*** | | | | | | | | b. ***Are [not | | | | materially | | | | misstated]{.u | | | | nderline} | | | | whether due | | | | to errors or | | | | fraud*** | | | | | | | | - Audit firm | | | | culture | | | | | | | | - Skills and | | | | personal | | | | qualities of | | | | audit partners | | | | and | | | | | | | | - Effectiveness of | | | | audit process | | | | | | | | - Reliability and | | | | usefulness of | | | | financial | | | | statements | | | | | | | | - Factors outside | | | | of the control of | | | | external auditors | | | | | | | | A diagram of a | | | | quality control | | | | Description | | | | automatically | | | | generated | | +-----------------------+-----------------------+-----------------------+ | ***1. Audit Firm | Audit firm leaders | | | [Culture] | influence culture | | | *** | | | | | - Value and reward | | | | audit quality | | | | | | | | - Emphasizing that | | | | **"**doing the | | | | right thing**"** | | | | is appropriate | | | | from a public | | | | interest | | | | perspective | | | | | | | | - Provide | | | | [appropriate time | | | | and | | | | resources]{.under | | | | line} | | | | to address | | | | difficult issues | | | | that may arise | | | | | | | | - Ensure | | | | [**monetary** | | | | considerations | | | | **do not** | | | | adversely | | | | affect]{.underlin | | | | e} | | | | audit quality | | | | | | | | - Seek | | | | [guidance]{.under | | | | line} | | | | as needed | | | | | | | | - Provide **quality | | | | systems** in | | | | place for making | | | | client acceptance | | | | and continuation | | | | decisions | | | | | | | | - Foster | | | | [evaluation and | | | | compensation]{.un | | | | derline} | | | | practices that | | | | promote personal | | | | characteristics | | | | important to | | | | quality auditing | | | | | | | | - **[Monitor]{.unde | | | | rline}** | | | | audit quality and | | | | appropriate | | | | consequences are | | | | taken when audit | | | | quality is found | | | | to be lacking | | +-----------------------+-----------------------+-----------------------+ | ***2. [Skills and | Skills and Qualities | | | personal | of the Engagement | | | qualities]{.underline | Team -- Auditors | | | } | positively contribute | | | of audit partners and | to audit quality when | | | staff*** | they: | | | | | | | | - **Understand the | | | | client's | | | | business** | | | | | | | | - Adhere to | | | | **auditing and | | | | ethical | | | | standards** | | | | | | | | - Exhibit | | | | **professional | | | | skepticism** | | | | | | | | - Address issues | | | | identified during | | | | the audit | | | | | | | | - Ensure | | | | **appropriate | | | | levels of | | | | [experience and | | | | supervision]{.und | | | | erline}** | | | | for staff | | | | performing audit | | | | work | | | | | | | | - Ensure | | | | **mentoring and | | | | on-the-job | | | | training | | | | opportunities** | | | | for staff | | | | performing audit | | | | work | | | | | | | | - Participate in | | | | training | | +-----------------------+-----------------------+-----------------------+ | ***3. | The audit process | | | [Effectiveness]{.unde | contributes in a | | | rline} | positive way to audit | | | of the audit | quality when: | | | process*** | | | | | - The **[audit | | | | methodology]{.und | | | | erline} | | | | is well | | | | structured** | | | | | | | | - Quality | | | | **technical | | | | support** is | | | | available when | | | | auditors | | | | encounter | | | | unfamiliar | | | | situations | | | | requiring | | | | assistance or | | | | guidance | | | | | | | | - **Ethical | | | | standards** are | | | | communicated and | | | | achieved, thereby | | | | aiding auditors' | | | | integrity, | | | | objectivity, and | | | | independence | | | | | | | | - Auditors' | | | | **evidence | | | | collection** is | | | | not constrained | | | | by financial | | | | pressures | | +-----------------------+-----------------------+-----------------------+ | ***4. [Reliability | Audit reporting | | | and | contributes | | | usefulness]{.underlin | positively to audit | | | e} | quality when: | | | of audit reporting*** | | | | | - Audit reports are | | | | written in a way | | | | that **[clearly | | | | and | | | | unambiguously]{.u | | | | nderline}** | | | | conveys the | | | | auditor's opinion | | | | on the financial | | | | statements and | | | | **[addresses the | | | | needs of users of | | | | financial | | | | statements]{.unde | | | | rline}** | | | | | | | | - Auditors | | | | appropriately | | | | conclude as to | | | | the [truth and | | | | fairness]{.underl | | | | ine} | | | | of the financial | | | | statements | | | | | | | | c. E.g. in the | | | | US, | | | | concluding | | | | that the | | | | financial | | | | statements | | | | are fairly | | | | presented in | | | | accordance | | | | with GAAP | | | | | | | | - The auditor | | | | communicated with | | | | the audit | | | | committee about | | | | | | | | d. ***[Audit | | | | scope]{.under | | | | line}*** | | | | (what the | | | | auditor is | | | | engaged to | | | | accomplish) | | | | | | | | e. ***[Threats]{ | | | |.underline} | | | | to auditor | | | | objectivity** | | | | * | | | | | | | | f. ***Important | | | | risks | | | | identified | | | | and | | | | judgments*** | | | | that were | | | | made in | | | | reaching the | | | | audit opinion | | | | | | | | g. ***Qualitativ | | | | e | | | | aspects*** of | | | | the client's | | | | accounting | | | | and reporting | | | | and possible | | | | ways of | | | | improving | | | | financial | | | | reporting | | +-----------------------+-----------------------+-----------------------+ | ***5. Factors | - Some factors | | | [outside the | affecting audit | | | control] | quality are | | | of auditors that | outside of the | | | affect audit | direct control of | | | quality*** | the external | | | | auditor, such as | | | | **client | | | | corporate | | | | governance**, and | | | | the **regulatory | | | | environment** | | | | | | | | - Good corporate | | | | governance | | | | includes [audit | | | | committees that | | | | are robust in | | | | dealing with | | | | issues]{.underlin | | | | e} | | | | and a greater | | | | emphasis by the | | | | client on getting | | | | things right as | | | | opposed to | | | | getting done by a | | | | particular date | | +-----------------------+-----------------------+-----------------------+ | **1-3 Professional | | | | Conduct Requirements | | | | that help auditors | | | | achieve Audit | | | | Quality** | | | +-----------------------+-----------------------+-----------------------+ | **AICPA** | | | +-----------------------+-----------------------+-----------------------+ | Introduction | - Codes of | | | | professional | | | | conduct and | | | | related guidance | | | | on professional | | | | responsibilities | | | | | | | | - Organizations | | | | provide such | | | | guidance for US | | | | auditors include: | | | | | | | | - **AICPA -- | | | | American | | | | Institute of | | | | Certified Public | | | | Accountants** | | | | | | | | - Develop standards | | | | for audits of | | | | nonpublic | | | | companies | | | | | | | | - Peer review | | | | program in which | | | | registered firms | | | | are subject to | | | | periodic peer | | | | review of their | | | | nonpublic audits | | | | | | | | - **SEC -- | | | | Securities and | | | | Exchange | | | | Commission** | | | | | | | | - Oversight | | | | responsibilities | | | | for the PCAOB and | | | | for all public | | | | companies that | | | | are traded on US | | | | stock exchange | | | | | | | | - **PCAOB -- Public | | | | Company | | | | Accounting | | | | Oversight | | | | Board\*\*\*** | | | | | | | | - Private nonprofit | | | | organization that | | | | oversees auditor | | | | of public | | | | companies | | | | | | | | - 4 primary | | | | responsibilities: | | | | (1) | | | | **registering | | | | audit firms** | | | | that audit public | | | | companies; (2) | | | | periodically | | | | **inspecting** | | | | registered | | | | audited | | | | firms; (3) | | | | **establishing | | | | auditing and | | | | related | | | | standards** for | | | | registered audit | | | | firm; (4) | | | | investigating and | | | | **disciplining** | | | | registered audit | | | | firms for | | | | violations of | | | | relevant laws of | | | | professional | | | | standards | | +-----------------------+-----------------------+-----------------------+ | AICPA Requirements: | Introduction | - AICPA has a code | | Code of Professional | | of professional | | Conduct | | conduct to aid | | | | auditors in | | | | conducting a | | | | quality audit | | | | | | | | - The Code applies | | | | to professional | | | | services | | | | performed by | | | | AICPA members | | | | | | | | - Compliance with | | | | the Code | | | | | | | | h. Depends | | | | primarily on | | | | the voluntary | | | | cooperation | | | | of AICPA | | | | members | | | | | | | | i. Depends | | | | secondarily | | | | on public | | | | opinion, | | | | reinforcement | | | | by peers, and | | | | ultimately, | | | | on | | | | disciplinary | | | | proceedings | +-----------------------+-----------------------+-----------------------+ | | Principles | ***AICPA's Code of | | | | Professional | | | \[IPO, RDS\] | Conduct*** consists | | | | of a set of | | | | principles of | | | | professional conduct | | | | -- topics include: | | | | | | | | - **Responsibilitie | | | | s**: | | | | in carrying out | | | | their | | | | responsibilities | | | | as professional, | | | | members should | | | | exercise | | | | sensitive | | | | professional and | | | | moral judgments | | | | in all their | | | | activities | | | | | | | | - **Public | | | | Interest**: | | | | members should | | | | accept the | | | | obligation to act | | | | in a way that | | | | will serve the | | | | public interest, | | | | honor the public | | | | trust, and | | | | demonstrate | | | | commitment to | | | | professionalism | | | | | | | | - **Integrity**: to | | | | maintain and | | | | broaden public | | | | confidence, | | | | members should | | | | perform all | | | | professional | | | | responsibilities | | | | with the highest | | | | sense of | | | | integrity | | | | | | | | - **Objectivity and | | | | Independence**: a | | | | member should | | | | maintain | | | | objectivity and | | | | be free of | | | | conflicts in | | | | discharging | | | | professional | | | | responsibilities. | | | | A member in | | | | public practice | | | | should be | | | | independent both | | | | in fact and in | | | | appearance when | | | | providing | | | | auditing and | | | | other attestation | | | | services. A | | | | member not in | | | | public practice | | | | does not need to | | | | maintain | | | | independence | | | | | | | | - **Due Care**: a | | | | member should | | | | observe the | | | | profession's | | | | technical and | | | | ethical | | | | standards, strive | | | | continually to | | | | improve | | | | competence and | | | | the quality of | | | | services, and | | | | discharge | | | | professional | | | | responsibility to | | | | the best of the | | | | member's ability | | | | | | | | - **Scope and | | | | Nature of | | | | Services**: a | | | | member in public | | | | practice should | | | | observe the | | | | principles of the | | | | Code in | | | | determining the | | | | scope and nature | | | | of services to be | | | | provided | +-----------------------+-----------------------+-----------------------+ | | Conceptual Framework | - AICPA's Code of | | | | Professional | | | \[2S, 2A, FUM\] | Conduct includes | | | | a conceptual | | | | framework for | | | | members in public | | | | practice | | | | | | | | - This framework | | | | incorporates a | | | | "threats and | | | | safeguards" | | | | approach to help | | | | auditors analyze | | | | relationships and | | | | circumstances | | | | that the Code | | | | does not | | | | specifically | | | | address | +-----------------------+-----------------------+-----------------------+ | | | *Conceptual Framework | | | | Threats* | | | | | | | | Threats are | | | | circumstances that | | | | could result in an | | | | auditor lacking | | | | independence in fact | | | | or in appearance -- | | | | which includes: | | | | | | | | i. [**Self-review | | | | threat**: | | | | ] | | | | | | | | occurs when the | | | | audit firm [also | | | | **provides | | | | non-audit work** | | | | for client e.g. | | | | *preparing source | | | | documents*]{.unde | | | | rline} | | | | used to generate | | | | the client's | | | | financial | | | | statements. It | | | | may appear that | | | | the auditor is | | | | [reviewing his or | | | | her own | | | | work] | | | | | | | | ii. [**Advocacy | | | | threat**:]{.under | | | | line} | | | | | | | | occurs when the | | | | auditor acts to | | | | **promote the | | | | client's | | | | interests** [e.g. | | | | *representing the | | | | client in tax | | | | court*]{.underlin | | | | e}*.* | | | | It may appear | | | | that the auditor | | | | [cares more about | | | | the | | | | client]{.underlin | | | | e} | | | | than external | | | | users of the | | | | financial | | | | statements | | | | | | | | iii. [**Adverse | | | | interest | | | | threat**:]{.under | | | | line} | | | | | | | | occurs when the | | | | **auditor and the | | | | client are in | | | | opposition to one | | | | another**, e.g. | | | | when *[either | | | | party has | | | | initiated | | | | litigation | | | | against the | | | | other.]{.underlin | | | | e}* | | | | It may appear | | | | that the auditor | | | | may [care more | | | | about the audit | | | | firm and its | | | | interests]{.under | | | | line} | | | | rather than those | | | | of the company or | | | | external users of | | | | the financial | | | | statements. | | | | | | | | iv. [**Familiarity | | | | threat**:]{.under | | | | line} | | | | | | | | occurs when **the | | | | auditor has some | | | | longstanding | | | | relationship with | | | | an important | | | | person associated | | | | with the client** | | | | | | | | \- e.g. the | | | | *[audit partner's | | | | close relative/ | | | | personal friend | | | | is employed in a | | | | key | | | | position]{.underl | | | | ine}* | | | | at the client | | | | | | | | \- e.g. a member | | | | of the audit team | | | | was *[recently a | | | | director/ | | | | officer]{.underli | | | | ne}* | | | | at the client | | | | | | | | The auditor may | | | | [act in a way | | | | that favors the | | | | client or | | | | individual | | | | employed at the | | | | client]{.underlin | | | | e} | | | | rather than | | | | external users of | | | | financial | | | | statements | | | | | | | | v. [**Undue | | | | influence | | | | threat**:]{.under | | | | line} | | | | | | | | occurs when | | | | **client | | | | management | | | | attempts to | | | | coerce or provide | | | | excessive | | | | influence over | | | | the auditor** | | | | | | | | \- e.g. top | | | | management | | | | *[threatens to | | | | replace the | | | | auditor]{.underli | | | | ne}* | | | | or the audit firm | | | | because of a | | | | disagreement over | | | | an accounting | | | | issue | | | | | | | | \- e.g. top | | | | management | | | | *[pressures the | | | | auditor to reduce | | | | the amount of | | | | work they | | | | do]* | | | | on the audit in | | | | order to achieve | | | | lower audit fees | | | | | | | | \- e.g. an | | | | employee of the | | | | client gives the | | | | auditor *[a gift | | | | that is clearly | | | | significant or | | | | economically | | | | important]{.under | | | | line}* | | | | to the auditor | | | | | | | | The auditor may | | | | [act in a way | | | | that favors the | | | | client or | | | | individual | | | | employed at the | | | | client]{.underlin | | | | e} | | | | rather than | | | | external users of | | | | the financial | | | | statements | | | | | | | | vi. [**Self-interest | | | | threat**:]{.under | | | | line} | | | | | | | | | | | | | | | | vii. [**Management | | | | participation | | | | threat**:]{.under | | | | line} | | | | | | | | occurs when the | | | | **auditor takes | | | | on the role of | | | | management** or | | | | completes | | | | functions that | | | | management should | | | | reasonably | | | | complete e.g. | | | | *[establishing | | | | internal controls | | | | or hiring/firing | | | | client | | | | employees]{.under | | | | line}*. | | | | The auditor is | | | | acting as | | | | management, and | | | | so would in | | | | essence be | | | | [reviewing his or | | | | her own | | | | work] | | | |. | +-----------------------+-----------------------+-----------------------+ | | | *Conceptual Framework | | | | **Safeguards*** | | | | | | | | - Safeguards are | | | | actions or other | | | | measures that may | | | | eliminate a | | | | threat or reduce | | | | a threat to an | | | | acceptable level | | | | | | | | - Safeguards | | | | include: | | | | | | | | - \(1) safeguards | | | | created by the | | | | profession, | | | | legislation or | | | | regulation; | | | | | | | | j. Nonaudit work | | | | not allowed | | | | | | | | k. Professional | | | | standards and | | | | disciplinary | | | | punishments | | | | | | | | l. External | | | | review of | | | | audit firms' | | | | quality | | | | control | | | | systems | | | | | | | | m. Legislation | | | | concerning | | | | independence | | | | requirements | | | | | | | | - \(2) safeguards | | | | implemented by th | | | | e | | | | audit client; | | | | | | | | n. Client | | | | personnel | | | | with | | | | expertise to | | | | adequately | | | | complete | | | | necessary | | | | management | | | | and | | | | accounting | | | | tasks without | | | | the | | | | involvement | | | | or advise of | | | | the auditor | | | | | | | | o. Policies and | | | | procedures to | | | | ensure | | | | appropriate | | | | relationships | | | | with audit | | | | firm | | | | | | | | - \(3) safeguards | | | | implemented by th | | | | e | | | | audit firm | | | | | | | | p. Audit firm | | | | leadership | | | | that stresses | | | | the important | | | | of | | | | independence | | | | | | | | q. Audit firm | | | | quality | | | | control | | | | policies and | | | | procedures | | | | | | | | r. Rotation of | | | | senior | | | | engagement | | | | personnel | | | | | | | | s. Disciplinary | | | | mechanisms to | | | | promote | | | | compliance | +-----------------------+-----------------------+-----------------------+ | AICPA: Independence | The Independence Rule | | | Rule | requires that a | | | | member in public | | | | practice be | | | | independent in the | | | | performance of | | | | professional services | | | | as required by | | | | standards promulgated | | | | by bodies designated | | | | by the AICPA | | | | | | | | - Covered Member | | | | | | | | - Financial | | | | Interests | | | | | | | | - Employment of | | | | Family Members | | | | | | | | - Loans | | | | | | | | - Performing other | | | | Non-audit | | | | Services | | | | | | | | - Network Firms | | +-----------------------+-----------------------+-----------------------+ | SEC and PCAOB | Other Guidance on | | | | Professional | | | | Responsibilities | | | | | | | | - The SEC and PCAOB | | | | have independence | | | | requirements that | | | | apply only to | | | | auditor of | | | | **public | | | | companies** | | | | | | | | - These two | | | | organizations | | | | have | | | | **[complementary] | | | | ** | | | | independence | | | | requirements | | +-----------------------+-----------------------+-----------------------+ | SEC's Commitment to | The independence | | | Independence | requirement serves | | | | two related, but | | | | distinct, public | | | | policy goals: | | | | | | | | viii. Foster | | | | high-quality | | | | audits by | | | | **minimizing** | | | | the possibility | | | | that are | | | | **external | | | | factors** will | | | | influence an | | | | auditor's | | | | judgments | | | | | | | | ix. **Promote | | | | investor | | | | confidence** in | | | | the financial | | | | statements of | | | | public companies | | +-----------------------+-----------------------+-----------------------+ | **Additional | | | | Requirement** | | | +-----------------------+-----------------------+-----------------------+ | Impairment of Auditor | Auditor independence | | | Independence | is impaired when | | | | auditor has a | | | | relationship that: | | | | | | | | - Creates a mutual | | | | or conflicting | | | | interest between | | | | the accountant | | | | and the audit | | | | client | | | | ([self-interest/ | | | | familiarity | | | | threat]{.underlin | | | | e}) | | | | | | | | - Places the | | | | accountant in the | | | | position of | | | | auditing his or | | | | her own work | | | | ([self-reviewed | | | | threat]{.underlin | | | | e}) | | | | | | | | - Results in the | | | | accountant acting | | | | as management or | | | | an employee of | | | | the audit client | | | | ([management | | | | threat]{.underlin | | | | e}) | | | | | |

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