Auditing A Practical Approach, 2nd Edition + iStudy 2 Card By Moroney, Campbell, Hamilton
Solutions manual to accompany Auditing: a practical approach 2e
Chapter 1 – Introduction and overview of audit and assurance 1.11 What does ‘assurance’ mean in the financial reporting context? Who are the three parties relevant to an assurance engagement? An assurance engagement (or service) is defined as ‘an engagement in which an assurance practitioner expresses a conclusion designed to enhance the degree of confidence of the intended users other than the responsible party about the outcome of the evaluation or measurement of a subject matter against criteria’ (Framework for Assurance Engagements, para. 8; International Framework for Assurance Engagements, para. 7). In the financial reporting context ‘assurance’ relates to the audit or review of an entity’s financial report. An audit provides reasonable assurance about the true and fair nature of the financial reports, and a review provides limited assurance. The audit contains a positive expression of opinion (e.g. ‘in our opinion the financial reports are in accordance with (the Act) including giving a true and fair view…), while the review contains a negative expression of opinion (e.g., ‘we have not become aware of any matter that makes us believe that…the financial reports are not in accordance with (the Act)... including giving a true and fair view..’). An auditor may also perform agreed upon procedures for a client, but these do not provide any assurance. The client determines the nature, timing and extent of procedures and no opinion is provided to a third-party user. The assurance practitioner is an auditor working in public practice providing assurance on financial reports of publicly listed companies, or other entities. Intended users are the people for whom the assurance provider prepares their report (e.g. the shareholders). The responsible party is the person or organisation (e.g. a company) responsible for the preparation of the subject matter (e.g. the financial reports). 1.12 What qualities must an ‘assurer’ have in order for you to feel that their statement has high credibility? An assurer must have the knowledge and expertise to assess the truth and fairness of the information being presented by the preparers. Auditors of financial reports need to be trained accountants with detailed knowledge about the complex technical accounting and disclosure issues required to assess the choices made by the financial report preparers. When undertaking an audit, the auditor should use professional scepticism, professional judgement and due care. Auditors should be independent of the client. Independent auditors have no incentives to aid the entity in presenting their results in the best possible light. They are concerned with ensuring that the information contained in the financial report is reliable and free from any significant (material) misstatements (error or fraud). A user needs to believe that the auditor is acting independently. This means that not only should auditors be independent (i.e. not have any undue personal or financial incentive to protect the client), auditors should avoid doing anything that would cause a reasonable person to doubt their independence.
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1.13 Why do audit firms offer consulting services to their audit clients? Why don’t they just do audits and let consulting firms provide the consulting services? The arguments in favour of audit firms providing other services to their audit clients relate to the benefits to be derived by all parties. The audit firm has very detailed knowledge about the client and can use that knowledge to recommend actions or products that would suit the client’s needs. In some cases, the auditor could identify a potential problem that the client had not identified. To the extent that the audit firm uses its knowledge to provide better advice than could be provided by an external consultant, the client will benefit. Shareholders of the client and other interested parties will benefit from improvements to the client’s business. Finally, the auditors will benefit from additional revenue which can be used to subsidise the audit firm’s investments in knowledge and systems, and streamline the audit. The main disadvantages of audit firms providing services to their audit clients relate to potential adverse effects on the auditor’s independence. The auditor could be unwilling to provide services which would reduce their audit fees or cause the client to seek another auditor. The auditor could be unwilling to criticise something to the client which was provided by their consulting division. The auditor could be ‘blind’ to potential adverse impacts on the client’s accounting systems from products and services provided by their consulting division. Even if the consulting provided unquestionable benefits to the client, the relationship between the audit firm and the client could become ‘too cosy’, and discourage the client from considering other auditors. Finally, the auditor could be reluctant to qualify the audit report for fear of losing lucrative fees from consulting services. If this occurs, the audit is less valuable because the auditor is less independent.
1.14 An assurance engagement involves evaluation or measurement of subject matter against criteria. What criteria are used in a financial report audit? An auditor evaluates the contents of a financial report against the standards and laws that apply to that type of financial report. Listed public companies must abide by the Corporations Act, the Australian Accounting Standards (AASB) and the listing rules of the ASX. Certain companies must also abide by additional specific legislation, depending on their industry or legal status. In addition, if a company is listed in another country, foreign exchange listing rules and laws could apply to the financial report. Auditing standards control the way an audit is conducted, they are not the criteria against which the financial report is evaluated.
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1.15 Who would request a performance audit? Why? A performance audit is an assessment of the economy, efficiency and effectiveness of an organisation’s operations. It can be conducted internally (by internal audit) or externally (by an audit firm) and across the entire organisation or for part of an organisation. Management may request a performance audit of its own company (or part thereof) in order to assess the economy, efficiency and effectiveness of the organisation. Ideally, the audit would identify issues that need to be addressed in order to increase the performance of the division or company. For example, the audit could examine a logistics department. It would assess the cost of running the department, the number of deliveries per input (such as labour hours, vehicle hours, etc.), and indicators of delivery on time to the correct address. A performance audit could be conducted on a government department or agency as part of the process of accountability to the public. Stakeholders of government entities are usually seen to be more interested in economy, efficiency and effectiveness than in profit, or surplus. Performance auditing can expose poor practices, or even corruption, in an organisation. Performance auditing can provide information on the implementation of government policies. Regular performance auditing of government entities can help build trust between the government and the citizens.
1.16 Are internal auditors independent? Which internal auditor would be more independent: an internal auditor that reports to the chief financial officer (CFO) of the company, or an internal auditor that reports to the audit committee? Internal auditors are employees of the company, and therefore cannot be completely independent of the company. However, it is possible to increase the independence of the internal audit department through means such as funding, terms of reference, and reporting lines. A well-funded internal audit department can investigate more issues and spend more time on each investigation, potentially increasing the chance of discovering fraud and other problems. An internal audit department with a small budget is likely to have fewer staff and less qualified staff (because they will be lower paid), and will have to make compromises on the issues to be investigated. An internal audit department with wide terms of reference has the freedom to pursue the issues which the audit staff believe are most important or create the most risk for the organisation. A department with narrow terms of reference could be limited to investigating only certain matters, or must seek the approval of higher levels of management before commencing any investigation. If the internal audit department reports to the CFO it is possible that the CFO will prevent some issues from reaching other members of the management team, or the board of directors. Often, the problems will be within the CFO’s department, creating a conflict of interest for the CFO when deciding whether to report the issue more widely. An internal audit department that reports directly to the audit committee is outside the normal lines of management and reporting. The audit committee is part of the board of directors. Therefore, reporting to the audit committee increases the chance that the highest level of the organisation is aware of the problems and will approve the investigation. The audit committee also deals with the external auditor. If the internal auditor reports directly to the audit committee it can communicate the
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issues to the external auditor and ask them to consider them, where relevant, as part of the financial report audit. Not all companies have an audit committee. Where the audit committee does not exist, the internal auditor could report directly to the full board of directors. 1.17 What is an ‘emphasis of matter’ paragraph? When do you think an auditor would use it? As defined in ASA 706 (ASA 706 (5)): Emphasis of Matter paragraph means a paragraph included in the auditor’s report that refers to a matter appropriately presented or disclosed in the financial report that, in the auditor’s judgement, is of such importance that it is fundamental to users’ understanding of the financial report. The emphasis of matter paragraph is included in the audit report immediately after the opinion paragraph. An emphasis of matter paragraph draws the attention of the reader to an issue that the auditor believes has been adequately and accurately explained in a note to the financial report. The purpose of the paragraph is to ensure that the reader pays appropriate attention to the issue when reading the financial report. The audit report remains unqualified and the user of the financial report can still rely on the information contained in the financial report (ASA 706; ISA 706). The emphasis of matter paragraph is not used when the entity has not disclosed the issue in its report. The auditor can use an ‘other matter’ paragraph to introduce another matter that the auditor believes should be disclosed. The usual circumstance which would warrant an Emphasis of Matter paragraph in the auditor’s report is the existence of a significant uncertainty, the resolution of which may materially affect the financial report. From ASA 706: A1. Examples of circumstances where the auditor may consider it necessary to include an Emphasis of Matter paragraph are: - An uncertainty relating to the future outcome of exceptional litigation or regulatory action. - Early application (where permitted) of a new accounting standard (for example, a new Australian Accounting Standard) that has a pervasive effect on the financial report in advance of its effective date. - A major catastrophe that has had, or continues to have, a significant effect on the entity’s financial position. ASA 706 stresses that the inclusion of an Emphasis of Matter paragraph in the auditor’s report does not affect the auditor’s opinion. An emphasis of matter can be included in an unqualified auditor’s report or a qualified auditor’s report (see example in ASA 706).
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1.18 Compare the financial report users and their needs for a large listed public company with those of a sporting club (for example, a football club). The users of the financial report issued by a large listed public company include shareholders, customers, suppliers, employees, lenders, competitors, and government agencies. They need information which will help them evaluate the future financial performance of the company (including profitability, liquidity and solvency), whether the company has overseas operations and the nature of their activities in those countries (to evaluate exposure to foreign exchange risk, risk to the company of a change in economic conditions in those countries, and whether it is apparently supporting countries with dictators), likely lack of compliance with various laws and regulations, whether the company (and its industry) need government support. Investors are concerned with the value of their investment, employees with their job security, customers with whether the company is likely to remain in business long enough to honour warranties, suppliers with whether they will be paid, lenders with the risk to their loans, competitors with the health of their rivals, and government agencies will be interested in taxes, tariffs, industry support, and economic growth. Users of a sporting club’s financial report are likely to be interested in the financial condition and performance of the club (its solvency) and whether it is investing in physical facilities, player payments etc. They might be interested in whether the sporting club supports local businesses and community groups. Although sports clubs are often companies limited by guarantee and have members, the members are usually unable to trade their interest in the club. Therefore, users of a sporting club’s financial report are not concerned about profitability for its own sake, but whether it helps the club pay its players and expand its facilities. Creditors and lenders will be interested in the likelihood that they will be repaid. Government will be interested with sporting and community concerns.
1.19 What standards or guidelines are relevant to the assurance of corporate social responsibility disclosures? In addition to the auditing standards (ASA), the AUASB issues Standards on Assurance Engagements (ASAE). The IAASB provides an equivalent set of ISAE. ASAE 3000 (ISAE 3000) establishes requirements and provides explanatory guidance for undertaking and reporting on assurance engagements other than audits or reviews of historical financial information covered by Australian Auditing Standards or Standards on Review Engagements. For example, assurance engagements regarding: • • •
Environmental, social and sustainability reports; Information systems, internal control, and corporate governance processes; and Compliance with grant conditions, contracts and regulations.
In addition, the IAASB has issued ISAE 3410 (ASAE 3410) on the Assurance of Greenhouse Gas Emissions. The IAASB believes that with the increasing attention given to the link between GHGs and climate change, many entities are quantifying their GHG emissions for internal management purposes, and an increasing number are also preparing a GHG statement:
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• • •
As part of a regulatory disclosure regime; As part of an emissions trading scheme; or To inform investors and others on a voluntary basis. Voluntary disclosures may be, for example, published as a standalone document; included as part of a broader sustainability report or in an entity's annual report; or made to support inclusion in a "carbon register."
The IAASB states that the focus is on an entity's GHG statement, it does not include requirements or guidance on assuring emissions offsets. The ISAE will also be of assistance to financial statement auditors when considering the carrying value of emission trading rights in a financial statement audit. (See http://www.ifac.org/IAASB/ProjectHistory.php?ProjID=0081 for further information) The AccountAbility organisation also provides guidance for sustainability assurance. AccountAbility issues AA1000AS (2008), which is an assurance standard for management, performance and reporting on sustainability issues by evaluating the adherence of an organisation to the AccountAbility Principles. (See http://www.accountability21.net/ for further information). The International Organization for Standardization (ISO) issues quality control standards in several areas. The 14000 series addresses various aspects of environmental management. These include the requirements and guidelines for environmental management systems (EMS). They also address specific environmental aspects, including labelling, performance evaluation, life cycle analysis, communication and auditing. ISO 19011:2002 provides guidance on the principles of auditing, managing audit programmes, conducting quality management system audits and environmental management system audits, as well as guidance on the competence of quality and environmental management system auditors. It is applicable to all organizations needing to conduct internal or external audits of quality and/or environmental management systems or to manage an audit programme. The application of ISO 19011 to other types of audits is possible in principle provided that special consideration is paid to identifying the competence needed by the audit team members in such cases. (See http://www.iso.org for further information).
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1.20 Explain the system of reviewing the quality of audits done by registered company auditors. The two main bodies that regulate auditors are ASIC and the CALDB. ASIC registers auditors, processes annual statements from registered auditors, enforces independence requirements and provides a whistle blowing facility for the reporting of contraventions of the Corporations Act. ASIC conducts an audit inspection program to report on audit quality and make recommendations for continued improvement. ASIC visits a selection of firms annually to gain an understanding of their policies and procedures in relation to their independence, audit quality, methodologies and training programs. The Companies Auditors and Liquidators Disciplinary Board (CALDB) responds to an application by ASIC that an auditor has breached the Corporations Act or the ASIC Act. The CALDB will be involved when it is believed an auditor has not carried out their duties properly, is not a fit and proper person, is subject to disqualification or should not remain registered for some other reason. In response, the CALDB may cancel or suspend the individual’s registration, give the individual a warning or ask them to make an undertaking to improve their conduct. White (2008) describes ASIC’s audit inspection program. The inspection process concentrates on an audit firm’s compliance with auditing standards, and their independence and quality control systems. The process includes: - reviewing and undertaking limited testing of the firm’s independence and quality control systems - interviewing the leaders of the audit firm, human resources personnel and selected partners and staff - examining the firm’s audit methodology for compliance with auditing standards - reviewing the conduct of aspects of selected audit and review engagements. The program finishes with an exit meeting and ASIC sends the audit firm a confidential report of their findings. ASIC publishes a public report summarising all their findings. (White, L. ‘Audit Inspections: What is the role of ASIC’s audit inspection team’, Charter (May 2008), volume 79, No. 4: 66.) (See asic.gov.au for further information)
1.21 What is the relationship between the FRC and the AUASB? The FRC oversees the process for setting auditing standards. The AUASB sets the auditing standards and reports to the FRC. The FRC appoints the members of the AUASB. The ASIC Act prevents the FRC from becoming involved in technical issues around the standard-setting process, which are handled by the AUASB.
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1.22 Explain the ‘audit expectation gap’. Why do you think auditors do not give users what they want? The audit expectation gap occurs when there is a difference between the expectations of assurance providers and the users of the financial reports. If a gap exists, it means that the users’ beliefs do not align with what the auditor’s performance in the audit. . A gap usually occurs when the users of financial reports want more than the auditor provides. The users could be unrealistic in their views. Some examples of unrealistic expectations are: • the auditor provides complete assurance • the auditor guarantees the future viability of the entity • an unmodified audit opinion means that the accounts are completely accurate • if any fraud exists, the auditor would definitely find it • the auditor has checked every transaction. In reality, the auditor: • provides reasonable assurance only, • does not guarantee the future viability of the entity, • provides an unmodified opinion when the auditor believes there are not material misstatements in the financial report • does not guarantee that no fraud exists, although the auditor will take reasonable steps to try to uncover any fraud, • tests only a sample of transactions. Auditors do not give users what they want because the users’ expectations are unreasonable. However, users’ expectations could be reasonable, but beyond what current standards require. This suggests that audit standards could be improved and strengthened in order to meet user expectations in the future. In addition, it is possible that some auditors do not give users what they require because the auditors are not following the standards. In these cases, the auditors are potentially liable to be sued or face prosecution.
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PROFESSIONAL APPLICATION QUESTIONS 1.23 Audit reports Required: (a) Explain the relevance of the paragraphs ‘Directors’ responsibility for the financial report’ and ‘Auditor’s responsibility’ in the audit report to the audit expectation gap. These paragraphs highlight to readers that the directors of the company and the auditors have separate and distinct responsibilities. The directors are responsible for maintaining the accounting systems and preparing the reports, and the auditors are responsible for conducting an audit of these reports by evaluating their contents against the criteria of the accounting standards and relevant legislation. The auditor’s responsibilities do not include preparing the reports and the auditor must use judgement when choosing procedures and evaluating the evidence. (b) Find the lines in the audit report that express the auditor’s opinion – is it an unqualified or modified audit opinion? The paragraph is headed ‘Auditor’s opinion’. It states that in the auditor’s opinion the reports are consistent with the relevant legislation including giving a true and fair view of the financial position and performance of the company. This means that the opinion is unqualified and unmodified. (c) Find the lines in the review report that express the auditor’s conclusion – is it an audit opinion? Is it a positive or negative statement? The auditor expresses a conclusion, not an opinion, in the review report. It is not an opinion because they did not conduct an audit. The statement is a negative one – ‘we have not become aware… is not in accordance’. (d) Make a list of the other differences between the audit report and the review report. Other differences include: Interim report refers to AASB 134 on interim reporting, reference to IFRS in audit relates to adoption of those standards in the annual report. Audit report refers to audit of remuneration (the company does not make these disclosures in half-yearly report) Close reading of the description of the work done by the auditor will reveal that the procedures used for the interim report review are less comprehensive than those done for the full year audit (also see reference to ASRE 2410 in interim review). This is the main difference between the reports and why the audit report contains an opinion and the review report expresses a conclusion.
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1.24 Non-assurance services Required Obtain a copy of the NAB’s 2011 annual report and find the disclosures on page 153. How much was Ernst & Young paid for the non-assurance, or other, services? Extract from NAB’s 2011 Annual report, p 153: NAB shows separately the amount paid for audit fees, the amount paid for auditrelated fees, and the other fees. The audit-related fees are for work which is reasonably related to the audit, but not the audit fee itself. The category ‘other fees’ is for any consulting type work done by the auditor. The note to the disclosure explains that the auditor could be required by a regulation or law to attest to the accuracy of the information. The total amount of $16,205,000 paid to Ernst & Young Australia by the group in 2011 was divided into audit fees and other fees. The total audit fees for the Group in 2011to Ernst & Young Australia were $11,508,000 The amount of non-audit service fees which relate to a regulatory requirement for attestation by the auditor was $3,522,000. The non-audit service fee that was not due to a regulatory requirement was $234,000. The other fees paid by the group were $941,000. NAB also paid $6,414,000 in fees to overseas practices of Ernst & Young. Of this amount $6,245,000 was audit fees and the rest were audit related fees.
1.25 Types of assurance engagements What is a financial report review? Why would a review be appropriate for a set of half-yearly financial reports? A review provides limited assurance. The auditor does adequate work to report whether or not anything came to their attention, which would lead them to conclude that the information being assured is not true and fair. To be able to comment on the appropriateness of a review for half-yearly reports, the differences between an audit and a review (and annual and half-yearly reports) should be identified. Assurance: reasonable vs. limited Opinion: positive vs. negative Procedures: nature, timing and extent – review procedures are a subset of those performed for an audit Reports: annual reports vs. half-year – AASB 134 requires a limited set of disclosures for half-yearly (interim) reporting, and ASRE 2410 requires a limited level of work for a review of interim reports. Conclusion: Half-yearly reporting is more limited than annual reporting and thus a lower level of assurance is appropriate.
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1.26 Corporate sustainability reporting assurance Required: (a) Who wrote the report? Ernst & Young (b) What level of assurance is provided? Ernst & Young identify in the first main paragraph of the report that they have carried out a ‘limited assurance engagement in order to state whether anything has come to our attention that causes us to believe that the subject matter detailed below and as presented in the NAB 2012 Annual Review and Dig Deeper papers, has not been reported and presented fairly, in all material respects, in accordance with the criteria below.’ Ernst & Young explain at the end of the first page (Assurance Practitioner’s Responsibility) that have not sought to gather all the evidence that would be required if they were providing a reasonable level of assurance. This statement is designed to warn the reader that there is a lower level of assurance provided than for a financial statement audit, and that the auditor has not done as much, or the type of, work as would be done for a higher level of assurance (such as that provided in a financial statement audit). Ernst & Young explain the specific type of testing that was not done, e.g. testing controls. They go on to explain the type of work they did do in the section ‘Work performed’. Note the wording of their conclusion, including the use of the words ‘nothing’ and ‘not’: LIMITED ASSURANCE CONCLUSION Based on our limited assurance procedures, nothing has come to our attention that causes us to believe that the Subject Matter has not been reported and presented fairly, in all material respects, in accordance with the criteria above.
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1.27 Big 4 vs. non-Big 4 Assurance providers Required: (a) Find the websites for (a) a Big 4 audit firm and (b) a mid-tier audit firm. Compare them on: (i)the range of services provided; (ii) geographic coverage (i.e., where their offices are located); (iii) staff numbers and special skills offered; (iv) industries in which they claim specialization; (v) publications and other materials provided to their clients or the general public; (vi) marketing message. The solution will depend on the accounting firm chosen and the date of the analysis. However, the answers should show for the Big 4: greater geographic coverage, larger numbers of staff and broader range of skills offered, greater claims to specialisation and industry coverage, more publications available (particularly from the international offices), more consistent and sophisticated marketing.
1.28 Corporate Sustainability Reporting Assurance Standards • • 2 3 5 Providers of corporate sustainability assurance reports often state that the work was performed in accordance with a methodology based on AA1000AS. a) What is AA1000AS? • AA1000AS (2008) is published by the AccountAbility organisation, and provides guidance for sustainability assurance. AA1000AS (2008) is an assurance standard for management, performance and reporting on sustainability issues by evaluating the adherence of an organisation to the AccountAbility Principles. • (See http://www.accountability21.net/ for further information). (b) Compare the AA1000 principles of completeness, materiality and responsiveness with the financial report qualitative criteria of relevance, reliability, comparability, understandability, and truth and fairness. Which set of characteristics would be more difficult for an entity to comply with? The AA1000 Assurance Standard is based on assessment of reports against three Assurance Principles: Materiality: does the sustainability report provide an account covering all the areas of performance that stakeholders need to judge the organisation's sustainability performance? Completeness: is the information complete and accurate enough to assess and understand the organisation's performance in all these areas? Responsiveness: has the organisation responded coherently and consistently to stakeholders' concerns and interests? From the text discussion of financial reporting: Relevance: Information will be relevant if it has an impact on the decisions made by users regarding the performance of the entity. Reliability: Information will be reliable when it is free from material misstatements (errors or fraud).
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Comparability: Users need to be able to trace an entity’s performance to identify any trends that may influence their perception of how well the entity is doing. Users also need to be able to benchmark the performance of the entity against other similar organisations to assess its relative performance. Understandability: Users need to understand the information presented in order to make appropriate decisions. Truth and fairness: Truth and fairness’ or ‘presented fairly’ refers to the consistent and faithful application of accounting standards when preparing the financial report. Conclusions: • AA1000AS does not require the information provided to be that information likely to be needed by users to make their decision, although it does require the information to be complete enough for the user to assess and understand the organisation’s performance in these areas, and material, which is defined as covering all the areas of performance that stakeholders need to judge the organisation's sustainability performance. •
AA1000AS does not require the information to be reliable, but it does require enough accuracy for users to assess and understand the organisation’s performance in these areas.
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AA1000AS does not require the information to be comparable across years and organisations, but does require the organisation to respond consistently to stakeholders’ concerns.
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AA1000AS does not require the information to be understandable, but does require the organisation to respond coherently to stakeholders’ concerns.
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AA1000AS does not require the report to be true and fair, but in financial reporting this is often interpreted as consistent application of the financial accounting standards. There are few standards in sustainability reporting and those that do exist are not mandatory.
1.29 Big-4 vs. non-Big-4 Assurance providers In times of economic recession would you expect the demand for audits to increase or decrease? Would you expect clients to shift from large (Big 4) auditors to mid-tier auditors or from mid-tier auditors to Big 4 auditors? Financial report audits are mandatory for most companies, so overall demand is largely fixed or determined by economic conditions affecting the number of companies. However, for organisations that are not required by legislation to have an audit, there are two opposing pressures in times of economic recession. First, costcutting would result in fewer audits. Second, organisations with less credible financial reports will face most difficulty in borrowing during a credit squeeze. This suggests that demand for auditing will increase in difficult times, because an audit will increase the credibility of the reports and thus increase access to external finance. Also, shifting from a mid-tier auditor to a Big 4 auditor would increase both costs and financial reporting credibility for a company. Therefore, it can be argued that firms with greater need to reduce costs will shift ‘down’ from Big 4 auditors to mid-tier
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auditors, but firms with greater need for credibility (and financial advice) will shift ‘up’ from mid-tier auditors to Big 4 auditors. 1.30 Expectations gap Discuss the expectations gap that could exist for the audit of Securimax. Consider the existence of any special interests of the users of Securimax’s financial reports. The expectations gap is the difference between the expectations of financial report users and the auditor’s performance. Special users for Securimax could include: • Government agencies, including Department of Foreign Affairs and Trade, who would be interested in the purchases by foreign governments and individuals of this type of security vehicle. • Competing companies and/or governments who would be interested in sensitive information about the construction of the vehicles and the identity of the purchasers. • Wollongong local government and NSW State Government, who would be interested in the financial viability of the business and its impact on local employment and economic activity. • Suppliers of technological equipment – it is possible that the Terrain Master uses specialised components. These suppliers would be interested in the financial viability of the business and the likelihood of its timely payment for goods purchased on credit. Such equipment could be made to specialised order with limited alternative customers. The suppliers would have large investments to support eh manufacture of these specialised components. • Other potential customers • Usual relationships would exist with lenders, shareholders, employees. Discussion: Consider how well Securimax’s financial reports would provide the information that these users would require, given the highly sensitive and confidential nature of the manufacturing process. Management is responsible for preparing the reports, but the users may look to the auditors to make sure that the required information is provided. Also consider how well the audit process would be able to meet the users’ needs for this information.
1.31 Being an auditor Required: (a) Write a letter to Kim explaining the concept of reasonable assurance, and how reasonable assurance is determined. Explain why an auditor cannot offer absolute assurance. There is a gap between Kim’s expectations and the level of auditor performance. An audit provides reasonable assurance, not absolute assurance. The audit enhances the reliability and credibility of the information included in a financial report but is not a guarantee that the financial report is free from error or fraud, or that the company will not fail. Partly, this is because of the nature of financial reporting. It requires
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judgements about accounting estimates and the choice and application of various accounting methods. There is usually not one ‘right’ answer for a company’s profit. The auditor cannot guarantee the profit reported by the company is ‘right’, only provide assurance about the appropriateness of the accounting method selection and application and the accounting estimates. Another reason the assurance is not absolute is the nature of the audit process. Auditors cannot review every transaction and account balance, therefore they use sampling (which could mean that representative items are not selected for testing). Some transactions and balances are difficult to gather reliable evidence about, clients can conceal evidence, and auditors have a limited time frame in which to complete the audit. (b) Explain in the letter to Kim the concept of ‘professional scepticism’ and how it is not the same as assuming that managers are always trying to deceive auditors. Professional scepticism is required of an auditor. It is an attitude that requires the auditor to remain independent of the client and its staff. The auditor has a questioning mind and thoroughly investigates all evidence presented by their client. This does not mean that they regard the client as a liar, but that they need to do more than simply take the client’s word about anything. Usually, there will be confirming evidence which supports the client’s statements (e.g. copies of contracts, minutes of meetings, etc.). Evidence gathered from independent third parties is generally regarded as more reliable than that gathered from the client. Managers will not always try to deceive auditors, but auditors must take the responsibility of gathering evidence to verifying managers’ statements. The auditor needs to be alert to the fact that some managers will try to deceive auditors sometimes.
1.32 Company auditor registration Required: Visit the ASIC website and locate the guidance for meeting the regulatory requirements for company auditor registration. Summarise those requirements and explain what is required for registration for anyone with a completed accounting degree. ASIC, Regulatory Guide 180, Auditor Registration (September 2012), available at: http://www.asic.gov.au/asic/pdflib.nsf/LookupByFileName/rg180-published-28September-2012.pdf/$file/rg180-published-28-September-2012.pdf
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The ASIC document explains how each of the qualifications, skills and personal attributes will be assessed. For example, the competency standards that are approved are explained on page 31:
Further (and most recent) information about these standards can be found on the websites of the professional bodies.
1.33 ASIC and CALDB Required: Write a report to Riley explaining (i) ASIC’s audit inspection program and (ii) the Companies Auditors and Liquidators Disciplinary Board and how it operates. Refer to review question 1.20 for a discussion of review of audit quality ASIC and its role in referring auditors to the CALDB. Useful articles describing the ASIC inspection program and the role of the CALDB are: White, L. ‘Audit inspections’, Charter, (May 2008), Volume 79, No. 4, p. 66. Newman, S. ‘Uncovering the mysteries’, Charter, (February 2008), Volume 79, No. 1, pp. 62-63. Newman (2008) reports that ASIC has found evidence that the Big 4 auditors have higher audit quality than mid-tier audit firms. However, ASIC has found significant weaknesses in audit documentation during its inspection program at both Big 4 and mid-tier audit firms. ASIC will use its regulatory powers to refer an auditor to the CALDB for disciplinary action, where appropriate.
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1.34 Demand for assurance Required: Using the theories outlined in this chapter on the demand for audit, explain some reasons why these clients took this action. The three theories discussed in the chapter are agency theory, the information hypothesis and the insurance hypothesis. Agency theory suggests that there are incentives to hire an auditor to assess the truth and fairness of the information contained in the financial report. The auditor reports to the members on the truth and fairness of the financial report prepared by the manager. The good quality managers are willing to have the audit of their reports because it allows them to distinguish themselves from poor quality managers (auditing is a bonding activity). Shareholders are willing to pay the audit fee (i.e. the audit fee is paid by the company, reducing the profit available to distribute to the shareholders) to monitor the managers (who are their agents). Good quality auditors are more highly valued for this bonding and monitoring function than poor quality auditors. Andersen’s lowered their quality through their involvement with Enron, leading some companies to prefer another auditor. It has been suggested that companies taking early action to dismiss Enron could have protected their share price by retaining their financial reporting credibility. Ultimately, all Andersen’s clients had to find another auditor. The information hypothesis suggests that financial report users value higher quality information. Higher quality auditors are associated with higher quality financial reports. Therefore, when Andersen’s quality was called into question by their association with Enron, their client companies that valued higher quality auditors switched to another auditor. The insurance hypothesis suggests that investors insure against their losses from company failure by purchasing an audit. When Andersen’s credibility was damaged by the Enron affair, there was doubt about their ability to survive and provide the insurance for such losses. The insurance factor is ‘impounded’ into share prices, so when the insurance cover is lost the share price should fall. This means that companies that were more sensitive to the loss of the insurance cover were more likely to dismiss Andersens early. 1.35
Performance and compliance audits
(a) Discuss the relevant criteria against which the Auditor-General will check TCCL’s compliance with the terms of the funding agreement. TCCL must comply with the Department’s ‘Guidelines for procurement of medical equipment’ when purchasing the accelerator. We are not provided with this document, but it is likely to contain rules about approved suppliers, the tendering/purchasing process (including the type of supplier/equipment documentation required), and so on. The auditor will gather evidence about TCCL’s purchases of the linear accelerators and assess whether the guidelines were followed. If the guidelines are specified with a great deal of detail, the audit will focus on ensuring that these guidelines were
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followed as specified. If the guidelines are expressed loosely (e.g. ‘the firm should obtain a number of quotes’), the auditor will need to use more judgement to assess compliance than if the guidelines are expressed precisely (e.g. ‘the firm will obtain 3 quotes’). The auditor will have to decide if the number of quotes obtained in those circumstances is sufficient to satisfy the loosely expressed guidelines. Are two quotes sufficient? If three quotes are required, the auditor could decide that two quotes are not sufficient, unless there are extenuating circumstances (e.g. there are only two possible suppliers worldwide).
(b) Identify two criteria the Auditor-General can use to examine how well hospitals manage waste. The performance audit examines economy, efficiency and effectiveness. The Auditor General would consider criteria across all three dimensions. Some possibilities include: Economy – cost of disposing of waste, cost of employees in waste disposal area, cost of transport of waste, tipping fees etc. – partition into general and clinical waste Efficiency – waste by weight, volume, and/or cost per patient, per department or ward (general and clinical) Effectiveness – Extent of achievement of hospital’s planned improvements; Total reduction in general and clinical waste (volume, cost, method of disposal); effectiveness at sorting general and clinical waste.
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Case Study Cloud 9 1.
What are the main differences between a financial report audit, an environmental audit and an efficiency audit?
All audits provide some level of assurance to a user about the evaluation or measurement of a subject matter against relevant criteria. Financial report audits and environmental audits are conducted by auditors external to the organisation and report to external third party users. Efficiency, or performance, audits are usually conducted by internal auditors on behalf of, and report to, management of the organisation. Financial reports provide a reasonable level of assurance and the audit report contains an opinion by the external auditor about the fair presentation of the financial reports and their compliance with the Corporations Act and Accounting Standards. Environmental audits are usually limited assurance engagements, and the auditor expresses a conclusion rather than opinion. There are no binding auditing standards for efficiency or environmental audits, although there are guidelines such as AA1000AS for environmental audits, and all members of the accounting professional bodies, including internal auditors, are expected to comply with professional ethical standards. Environmental audits could be conducted by consultants who are not auditors. Efficiency audits are concerned with economy and efficiency of operations rather than compliance of an external report with standards.
2.
What is the difference between reasonable assurance and limited assurance?
Reasonable assurance is the highest level of assurance. It means that the auditor has conducted audit procedures and gathered sufficient and appropriate evidence to provide an opinion on the truth and fairness of the financial reports. The auditor states, in an unqualified opinion, that they believe that the reports do provide a true and fair view of the financial position and performance of the client. Limited assurance is a lower level of assurance. The auditor performs a more limited set of audit procedures and gathers less evidence. The auditor provides an opinion stated in the negative form. They state that they have found no evidence which makes them believe that the financial reports do not provide a true and fair view of the financial position and performance of the client. Reasonable assurance is provided in an audit, limited assurance is provided in a review.
3.
Why would Chip ask that Ron have the financial report for McLellan’s shoes audited rather than reviewed?
Chip would ask that Ron have the financial report for McLellan’s shoes audited rather than reviewed because the audit provides a higher level of assurance that the financial reports give a true and fair view of the financial position and performance of the business. The risk that the audit opinion is inappropriate is lower than the risk that a review conclusion is inappropriate. Chip would feel more confident about the information being provided if it is audited rather than reviewed.
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4.
What factors should Ron consider when selecting an accounting firm to complete the McLellan’s Show audit?
Ron would be purchasing a service from an audit firm. Therefore, Ron would consider the benefits being offered by each firm and the price being charged. Auditors generally charge based on the amount of work being done (which would be affected by the size of the business and its complexity) and the difficulty in performing the work. For example, if the auditor was unable to use their normal audit software because it was incompatible with the business’s systems, they might be forced to use more expensive techniques to conduct the audit. The audit firm would evaluate the type of business and the type of accounting records being kept before quoting their price. Ron should consider how well he is likely to be able to work with the auditors, how easy they are to contact and whether he believes they understand his requirements, and how much time they would require at his business. Many clients would like the audit to be conducted as quickly as possible so that it doesn’t interfere too much with their normal operations. Ron might also consider whether he is likely to be given useful advice by the auditors, although as he is trying to sell the business he is unlikely to seek advice on how to improve his systems. Some clients try to ‘purchase’ the right opinion. Auditor’s professional ethics prevent them from being involved in ‘opinion shopping’, which is the practice of clients going to a number of audit firms seeking the opinion which would be most favourable.
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Solutions manual to accompany Auditing: a practical approach 2e
Research Question Required: (a) In your view, what should be contained in an audit report that conveys realistic explanations of the auditor’s role and the assurance provided by the audit report? The question asks for the student’s view. The student should propose a standard audit report format with justification for each section. The factors to be considered include: report length, location of the audit opinion, plain or technical language. If the student regards the current audit report as the most appropriate, justification should still be provided and the student should discuss how the report conveys realistic expectations of the auditor’s role and the level of assurance provided. The students should provide evidence of different possible audit report formats as part of their discussion. (b) Do you believe that auditors are correct in dismissing users’ expectations as ‘unrealistic’? Should auditors be trying to meet these expectations by rethinking their role and changing their approach? The arguments supporting auditors’ current practices and the users’ alternative expectations should be researched and discussed. Are there any arguments to support the auditors’ position that could not be regarded as merely defending existing practices? Are there any arguments to support critics who suggest that auditors should be doing more? Recent changes to the law suggest that regulators are willing to reconsider the auditor’s role (e.g. banning certain non-audit services, requiring an independence declaration, requiring audit partner rotation). If auditors proactively adopt these types of changes, is it possible that more draconian regulatory changes could be avoided?
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Solutions Manual to accompany
Auditing: a practical approach 2nd edition by Jane Hamilton CHAPTER 2 Ethics, legal liability and client acceptance
John Wiley & Sons Australia, Ltd 2013
Solutions manual to accompany Auditing: a practical approach 2 nd edition
Chapter 2 –Ethics, legal liability and client acceptance REVIEW QUESTIONS 2.11
Explain how compliance with each of the five fundamental principles in APES 110 contributes to the ability of the auditor to discharge the duty to act in the public interest.
The fundamental ethical principles that apply to all members of the professional bodies are to act with integrity, objectivity, professional competence and due care, confidentiality and professional behaviour (APES 110, 100.4). The requirement to act in the public interest means that auditors should consider how their actions impact the client and their employer. They must also consider the impact of their actions on others such as the client’s employees, investors, credit providers, and those without direct financial interests in the client such as the broader business and financial community and members of the public. All these people could be reliant on the quality of the auditor’s work, even though they are not party to the contract between the client and the audit firm. The reliability of the financial reports and the audit report is potentially damaged if the auditor does not act with integrity (honesty), objectivity (being independent), with professional competence and due care (executing the work with the required level of skill and attention), confidentiality (discussing the client’s affairs with others inappropriately), and professional behaviour (protecting their reputation and the profession’s reputation). A dishonest auditor could knowingly help publish a materially false, misleading, or reckless financial report. Auditors who compromise their objectivity could be biased or unduly influenced to publish an inappropriate audit opinion. Auditors who do not uphold professional competence and due care principles could give incompetent professional service or fail to act diligently in accordance with the applicable technical standards. Disclosures of the client’s confidential information with proper or specific authority from the client or without a legal duty to disclose could disadvantage the client in the conduct of its affairs. Unprofessional behaviour brings discredit to the profession.
2.12
Which is more important, independence of mind or independence in appearance? Explain.
Both aspects of independence are important. If an auditor has independence of mind the auditor will act independently. Acting independently means that the auditors are free of the clients’ influence and will perform their duties as required by the auditing standards and codes of ethics, even if the clients do not agree. Acting independently is essential for a high quality audit. However, despite how independently the auditors may act, the audit reports will not be credible if the outside parties do not believe that the auditors acted independently. That is, the outside parties do not believe the audit reports have any credibility because they believe that the clients have influenced the auditor. Therefore, the auditor must be seen to be independent by outside parties. That is, the auditor must be independent in appearance for the audit report to be believed.
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If the auditor is seen to be independent but is really not independent, then the audit reports will have credibility, but if later events reveal that the auditor did not act independently, the outside parties could suffer a loss from relying on an inappropriate audit opinion. Therefore, both independence of mind and independence in appearance are required for effective auditing.
2.13
The self-interest, self-review and familiarity threats all arise from an inappropriate closeness between the auditor and the client. Explain how that closeness is likely to manifest in each case and why it is a problem for the value of the audit.
An auditor has a self-interest problem if the outcome of the audit (and/or the success of the company) affects the auditor’s (i.e. the audit firm or the auditor as an individual) financial interests. The closeness in this case is manifested through the auditor’s share ownership in the client, the client producing a very large part of the audit firm’s audit or other services revenue, or the existence of loans or other financial interests between the auditor and the client. It is a problem for the audit’s value because the auditor knows that a qualified audit report could adversely affect the client’s share price, or a tough audit decision (e.g. requiring the client to write down the value of its assets) could encourage the client to seek another auditor. These concerns could prompt the auditor to act inappropriately during the audit. The self-review problem arises when the auditor, as part of the audit, has to test transactions or systems that were recorded or provided by another part of the audit firm or by a previous employee of the audit firm, or the testing is performed by a previous employee of the client. The closeness is manifested by the fact that selfreview means that there is too little separation between the client and the auditor with respect to that part of the audit, that is, the auditor is testing or reviewing itself. It is a problem for the audit because self-review impairs the primary source of value of a financial report audit, that is, the independence of the auditor from the client. The lack of independence could mean that the auditor acts inappropriately during the audit. Familiarity refers to a general closeness between the auditor (including the whole audit team) and the client. The closeness in this case is manifested in a relationship that is more one of friendship than that between independent auditor and client. The auditor could lose their objectivity during the audit and act inappropriately.
2.14
Explain the relationship between the auditor and the shareholders of the audited company. How realistic is it to regard the shareholders as the clients of the auditor?
The audit report is addressed to the shareholders of the audited company. However, there is very little contact between an auditor and the members. One exception is that the auditor is required to attend the company’s Annual General Meeting where there could be some dialogue between the members and the auditor. In addition, the auditor could meet large shareholders, for example those on the board of the directors or who work for the company.
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Shareholders are responsible for the appointment and removal of the auditor, but in practice the selection of the auditor is done by the board who then recommend the appointment to the shareholders for their approval. It would be more realistic to regard the board of directors as the auditor’s client because they are in charge of the company’s governance. The CEO or CFO will be in charge of the client’s financial reporting process and the auditor may have most contact with them and the finance department, but they are not the client to whom the auditor reports.
2.15
Why is it so important that an audit committee not have any executive directors as members?
Executive directors are employees of the company who are also members of the board of directors. Non-executive directors are members of the board who are not employees of the company, but they could be ex-employees and/or major shareholders. Executive directors are generally regarded as being less independent with respect to the audit because they are part of the subject of the audit. That is, the executives, such as the CEO or CFO are in charge of the company’s operations and financial reports and so their work is being audited. The audit committee is a sub-committee of the board of directors and its responsibilities include selection of the company’s auditors and overseeing the contract with the external auditors (and sometimes the internal audit department). The external auditors need to feel confident about bringing issues and difficulties they encounter during the audit to the attention of the audit committee. The auditors need to believe that the audit committee will not attempt to cover up the problems and will not try to persuade the external auditors to drop any major issue. If an executive director is on the audit committee they are regarded as being more likely to try to cover up any problems because such problems would reflect badly in the executive director’s performance as an employee. Not allowing executive directors to be part of the audit committee avoids such potential conflicts of interest.
2.16
Some companies outsource their internal audit function to a public accounting firm. Explain how this would affect the external auditor’s evaluation of the reliability of the internal audit function.
Outsourcing an internal audit function could provide the advantages of potentially better qualified auditors and a better resourced auditing function. It also allows small companies that would not be able to justify the establishment of a fully functioning internal audit department to have an internal audit function. An outsourced internal audit function is also likely to be more independent because they are not employees of the company and will not have the familiarity problems that could arise when one employee of a company is required to audit another employee’s work. Outsourcing has the disadvantage that the internal auditors would have less knowledge about the company and its systems. Such lack of knowledge may mean that employees could find it easier to hide problems from the internal auditors. Outsourced internal auditors are removed from employee social networks and thus may not be alert to problems known by employees. For example, employees may know of another employee’s gambling problems which could tempt them to steal from the company.
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2.17 What are the three conditions that must be proven for an auditor to be found negligent under tort law? Based on a review of the legal cases discussed in the chapter, which conditions appear to be most difficult to prove? A client may bring an action against an auditor under contract or tort law. The contract is between the client and the auditor. Damages under a breach of contract can only be claimed by a party to the contract. Tort law allows any party to bring an action for negligence, provided the following three conditions are established: • a duty of care was owed by the auditor •
there was a breach of the duty of care
• loss was suffered as a consequence of that breach. Therefore, tort law allows another party to bring an action (not just a party to the contract) if it can be shown that there was a duty of care to that party. This means that the client and other parties could potentially bring an action for negligence. The first condition appears to be the most difficult to prove. For example in the HIH Royal Commission Report, it was noted that the auditor could owe a duty of care to the client and its shareholders. The report discusses the problems facing plaintiffs when seeking to establish that the client or shareholders had suffered a loss as a result of the auditor’s negligence. To ascertain a causal relationship between the negligent act and the loss suffered, reasonable foreseeability must be proven. This means that the auditor must have been aware that any negligence on their part could cause a loss to the client or their shareholders. In Esanda (1997) the High Court of Australia ruled that for a third party to be able to establish that an auditor owes them a duty of care, they would need to show the following. • The report was prepared on the basis that it would be communicated to a third party. •
The report was likely to be relied upon by that third party.
•
The third party ran the risk of suffering a loss if the report was negligently prepared. The judgement in the Esanda case provided some relief for auditors as it made it far more difficult for a third party to establish that a duty of care was owed by the auditor. Today, it is advisable that a third party take steps to establish proximity before using an audited report to make a decision. They can request that an auditor provide them with a privity letter, which can be used to prove that a duty of care was owed to them. The plaintiff must also show that the auditor breached its duty of care, for example, by conducting a poor quality audit. Mere non-compliance with auditing standards may not be sufficient to show a breach of the duty of care. Finally, the plaintiff must establish that they suffered loss as a result of the breach of the duty of care. For example, the plaintiff must show that they relied on the audit report to make their investment which subsequently lost value.
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2.18
Explain how an auditor would use auditing standards to avoid legal liability.
For a case brought by a client or another party to succeed against an auditor it must be shown that they breached the terms of the contract and/or were negligent. An auditor will use internal documentation to show that all duties were conducted to a reasonable standard. Failure to follow auditing standards would imply that the work was not conducted to a reasonable standard, but it is still possible that an auditor could be found to be negligent even if the strict letter of the auditing standards was followed. This is because the test is not whether or not the standards were followed, but whether it was reasonable to expect an auditor to act in a particular way. All circumstances must be examined on a case-by-case basis, and there could be conditions which would create a reasonable expectation that the auditor would have performed additional procedures or acted differently in some way. Therefore, compliance with auditing standards is generally regarded as a minimum, not a maximum, requirement to avoid legal liability.
2.19
Why are there procedures governing the client acceptance or continuance decision? Explain why auditors do not accept every client.
Client acceptance and continuance procedures are performed for the purpose of evaluating whether the auditor can service the client and still meet the relevant ethical and legal requirements. This is to protect the client and the auditor as well as those who will rely on the audit report. The client needs to be assured that the auditor has the appropriate skills and capacity to provide the audit at the appropriate level of quality and within the required time frame. The auditor needs to be sure that it can service the client in this way and protect itself from any conflicts of interest that could arise during the engagement. The public and other parties need to be assured that the audit was conducted appropriately and the auditor was able to exercise the required level of independence. An auditor will not accept every client, even if it has capacity, because they would not be able to provide the required level of expertise to service the client’s needs. Refusal to accept a client (or continue with an existing client) does not mean that the client is not auditable or lacks integrity. Another auditor could be better able to service the client because of capacity or expertise issues. However, the auditor’s right to refuse a client means that the more difficult to audit clients find it hard to get an auditor and so have the incentive to either improve their systems and/or integrity, or go out of business. As such, the quality of financial reporting across the economy is likely to be higher.
2.20
What is the purpose of an engagement letter? Are all engagement letters the same?
An engagement letter is the contract between the client and the auditor. It contains clauses that make the responsibilities of each party clear, and can provide a method of handling disputes.
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The purpose of an engagement letter is to set out the terms of the audit engagement, to avoid any misunderstandings between the auditor and their client. The letter will confirm the obligations of the client and the auditor in accordance with the Corporations Act. While the engagement letter can expand upon the requirements that appear in legislation and standards, it cannot limit or contradict those requirements. An engagement letter includes an explanation of the scope of the audit, the timing of the completion of various aspects of the audit, an overview of the client’s responsibility for the preparation of the financial report, the requirement that the auditor have access to all information required, independence considerations and fees. 2.21
What is proportionate liability? Does it offer any protection for auditors?
Proportionate liability is suggested as a method of limiting the size of the auditor’s liability. In some jurisdictions the judge is required to determine the extent of liability of each defendant in a case, depending on what is just and fair and on the facts of the case. The system is an attempt to stop any plaintiffs pursing auditors for 100% of the loss because the auditors have the ‘deepest pockets’. In other words, even if the auditor was responsible for a minor part of the loss, in the past the plaintiffs have sued the auditors for the entire loss, knowing that auditors’ insurance and financial resources provide a better chance for recovering than suing directors or other parties who do not have significant assets. This system is known as ‘joint and several liability’ – one of the defendants can be responsible for all the losses. Now, the judge would consider whether auditors were responsible for 100% of the loss, or some smaller amount, and award damages against the auditor that were related to the size of, or proportionate to, their responsibility.
2.22
Explain the difference between self-interest and self-review threats. Give an example of each.
Self-interest relates to the auditor’s position, or concerns. For example, the auditor is interested in being paid fees for doing an audit. An auditor can also be concerned with the value of any financial investment in a client. If the client fails, the auditor’s investment in the client would likely lose value. The threat arises because the auditor is financial interested in the client doing well (through their fees or investment), but as the auditor they could be required to require the client to write-down asset values, or qualify the audit report. The auditor is conflicted because they have a reason not to be independent and impartial. For further examples see 200.4 of APES 110. Self-review relates to the auditor doing audit work that evaluates judgements made by the auditor themselves, or by another member of the audit team or firm (which is considered to be the same as the auditor themselves). For example, an individual might have worked for the client then left the client to work for the audit firm. If that individual has to audit the work done by them whilst working for the client, there is a self-review threat – the auditor is reviewing themself. A similar problem arises if the auditor has to review work done by another member of their audit firm (even if that person was in the consulting division, not in the audit section). The auditor is conflicted because the auditor does not want to expose a problem in the work done by themself or by another member of their audit firm, but as an auditor must be impartial and state if the work is not acceptable. For further examples see 200.5 of APES 110.
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Solutions manual to accompany Auditing: a practical approach 2 nd edition
PROFESSIONAL APPLICATION QUESTIONS 2.23 Ethical principles Required Discuss the ethical principles that are potentially breached by Charles’s behaviour at the party. The fundamental ethical principles that apply to all members of the professional bodies are to act with integrity, objectivity, professional competence and due care, confidentiality and professional behaviour (APES 110, 100.4). Charles overstates his importance at the audit firm – he states that he is a partner but he is a ‘senior’ (which is less senior than a partner). Breach of integrity Charles tells William that the patriarch (male leader of the family) is having an affair with his personal assistant – this is gossip. Even if it is true, it is not professional behaviour to reveal private matters about a client to another party. Charles also states that he has his ‘doubts’ about this person – this apparently means that Charles believes that the person is dishonest or unethical or incompetent (it is not clear what he means but he is saying something negative). Once again, this is not professional behaviour. Charles tells William that the family has increased its shareholding in another company, with potential benefits to the company. This information appears to have been gained as part of the audit so revealing it to William is a breach of confidentiality. It is not relevant that William works for a bank which lends to the client, Charles does not have the client’s permission to discuss this matter.
2.24 Client acceptance decision Required Explain whether your audit team should continue to tender for the audit work of Holiday Parks Ltd. Accountants are required by APES 110 to be objective, to not allow bias, conflict of interest or undue influence of others to override professional or business judgments. It is possible that tendering for both audit and non-audit services at the same time could provide a threat to the objectivity of the auditor. The audit firm should have safeguards to prevent the tendering process for the non-audit services to impact on the audit team. The audit firm also needs to consider the size of the potential contracts. It is possible that successfully tendering for both audit and non-audit services could affect the importance of the client to the audit firm. That is, the client could provide so much of the accounting firm’s fees that the auditor’s judgment could be affected by any perceived pressure to not upset the client in any way (fear of losing the contracts could make the auditor be ‘softer’). Another aspect to consider is whether the tax consulting work would affect the substance of the audit in any way. A self-review threat can arise when auditors are judging work done by others in their firm. Auditors should not place themselves in a position where there is a risk that they will not appropriate judge the results of a
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previous judgement of a member of the audit firm. Is it likely that the audit work will rely on the tax consulting work in any way? If a threat is identified, the auditor should consider appropriate safeguards (e.g. use an external expert to provide assurance of the taxation work in question). If the audit team judges the above threats to its independence to be significant, the audit team should withdraw from the audit tendering process, or the firm should withdraw from the tax consulting tendering. 2.25 Setting audit fees Required Explain whether CCC Partners should agree to Muir Industries’ request Section 240 of APES 110 discusses fees and the appropriate arrangements for setting fees. Fees should not be set so low that it may be difficult to perform the required services to the appropriate standards. There is a risk that discounting the fee as suggested in the question would result in the fee being too low to cover the cost of the work, and may place pressure on the audit team to cut corners, or not do the appropriate quality and quantity of work. Section 290 also discusses fees. An auditor should not become dependent on the fees from a particular client. It is possible that the combination of audit and consulting fees in this case could make the auditor dependent on the client, and potentially compromising the auditor’s independence because there’re is perceived pressure to keep the client happy with the audit to keep the work and total fees from the client. The fact that the auditor is considering a request to discount the audit fees in order to win the other work suggests that the audit firm could be in danger of being dependent on the client. 2.26 Client continuance Required Should FFF Partners agree to Stephen Software’s request? Explain FFF Partners cannot agree to issue any report without doing the required work. If there is no time to do any further audit work, then the client can give the bank the financial statements and the audit report for the year ended 30 June 2013. It is usual to provide a review, rather than an audit report, for six monthly periods, although audits can also be provided. FFF Partners should assess the client and their ability to service the client in a client continuance decision. ASQC 1 (ISQC1) provides guidance on the procedures to be followed. The auditor must consider client integrity. In addition to the information gleaned from past relationship with the client, FFF Partners would consider whether the client request to issue an audit report without doing the required work in order to secure a loan would affect their decision to continue with this client. The request indicates that the client is willing to expose itself, and the auditor, to risk. It also suggests that the client is under pressure to secure a loan in a short time frame. FFF Partners should consider what else the client might be doing, that it should not be, in order to secure the loan.
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Even though the client is an existing client, the auditor should still consider any threats to compliance with the fundamental principles of professional ethics (APES 110). Is there any reason to believe that the client is being dishonest in its application for the loan? Does the audit firm have the appropriate staff to do the audit and review work? It is possible that a better staffed audit firm could do the work required to meet the bank’s request in a timely way. If FFF Partners does not have the appropriate staff, it should decline the engagement. Finally, FFF Partners should consider if it needs to issue an engagement letter for the new work so that both the client and the auditor understand the terms of the engagement. Normally, a new engagement letter is not required each year. However, if the terms of the engagement have changed significantly, especially with respect to the half-yearly accounts and audit, a new letter might be required.
2.27 Receiving shares through inheritance Required Advise Kerry’s wife of the options available to Kerry to avoid any conflict of interest, and thus avoid being dismissed from the audit firm. APES 110: 290.107 If a member of the Assurance Team, or their Immediate Family member receives, by way of, for example, an inheritance, gift or, as a result of a merger, a Direct Financial Interest or a material Indirect Financial Interest in the Assurance Client, a self-interest threat would be created. The following safeguards should be applied to eliminate the threat or reduce it to an acceptable level: (a) Disposing of the Financial Interest at the earliest practical date; or (b) Removing the member of the Assurance Team from the Assurance Engagement. During the period prior to disposal of the Financial Interest or the removal of the individual from the Assurance Team, consideration should be given to whether additional safeguards are necessary to reduce the threat to an acceptable level. Such safeguards might include: • Discussing the matter with those charged with governance, such as the audit committee; or • Involving an additional professional accountant to review the work done, or otherwise advise as necessary. Prior to the uncle’s death - the shares were not held by Kerry or his wife – the connection through her uncle is too remote for a self-interest threat to have existed prior to his death. After the uncle’s death Kerry’s wife is the owner of the shares, which appears to give her material ownership in the client, creating a potential self-interest threat for Kerry. s 290.107 suggests that the shares should be disposed of, or Kerry removed from the audit. If Kerry stays on the audit the shares should be sold and the additional safeguard of discussing the matter with the client’s audit committee should apply if the disposal of the shares would take some time. Kerry will not get the sack from the audit firm provided he follows the above procedures.
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2.28 Client acceptance decision Required (a) Explain whether any safeguards could be put in place to reduce the threat to an acceptable level. (b) Would it make any difference to your answers if the shares were held by a tax partner in the office, rather than being held directly by DDD?
DDD is the audit firm. It has a financial interest in the company WaterFun that is material to DDD. This is a self-interest threat because DDD is supposed to do the audit without fearing that an unfavourable audit could lead to a reduction in the value of WaterFun’s shares. If DDD has a material interest in WaterFun, it is likely that the audit team could feel under pressure to ‘go easy’ on the audit to protect the value of the investment. APES 110.12 (a) discusses self-interest threats and states that it is the threat that a financial or other interest will inappropriately influence an accountant’s judgment or behaviour. Further, section 200 gives an example of a self-interest threat for an auditor arising when the auditor has a direct financial interest in the audit client. (a) Safeguards for threats to independence are discussed in detail in APES 110, section 290. Section 290.104 prohibits an audit firm from performing an audit where the audit firm has a material financial interest in the client. No safeguards would be able to reduce the threat to an acceptable level and the firm should not accept the engagement, or the financial interest should be disposed of before accepting the engagement:
290.104 If a member of the Audit Team, a member of that individual’s Immediate Family, or a Firm has a Direct Financial Interest or a material Indirect Financial Interest in the Audit Client, the self-interest threat created would be so significant that no safeguards could reduce the threat to an Acceptable Level. Therefore, none of the following shall have a Direct Financial Interest or a material Indirect Financial Interest in the client: a member of the Audit Team; a member of that individual’s Immediate Family; or the Firm.
(b) Section 290 makes a distinction between the audit firm, the members of the audit team, and other members of the audit firm. However, if the tax partner holding the financial interest is in the same office as the audit team, the threat is still so significant that no safeguard would be sufficient, and the firm should not accept the engagement, or the financial interest should be disposed of before accepting the engagement:
290.108 If other partners in the Office in which the Engagement Partner practices in connection with the Audit Engagement, or their Immediate Family members, hold a Direct Financial Interest or a material Indirect Financial Interest in that Audit Client, the self-interest threat created would be so significant that no safeguards could reduce the
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threat to an Acceptable Level. Therefore, neither such partners nor their Immediate Family members shall hold any such Financial Interests in such an Audit Client.
290.110 If other partners and managerial employees who provide non-audit services to the Audit Client, except those whose involvement is minimal, or their Immediate Family members, hold a Direct Financial Interest or a material Indirect Financial Interest in the Audit Client, the self-interest threat created would be so significant that no safeguards could reduce the threat to an Acceptable Level. Accordingly, neither such personnel nor their Immediate Family members shall hold any such Financial Interests in such an Audit Client.
2.29 Auditor liability for misleading accounts Required Discuss the auditor’s liability for losses suffered by (a) Mega Shopping Centres investors, and (b) other parties. The misclassification of liabilities as non-current instead of current potentially means that anyone analysing the financial position of Mega Shopping Centres would be misled. If the liabilities are current, it is likely that they are due to be paid within 12 months, although they could also be renegotiated and the repayment date extended. The reader of the accounts would not be sure if Mega had to repay the debt, and would have doubt about the ability of the company to continue in business. The directors and managers of Mega are likely to say that they relied on information provided to them by the finance department. The reports from the finance department probably did not state that the debts were due to be repaid soon. However, the directors and managers are under an obligation to ask questions about important matters such as large debts. They are also obliged to monitor the financial position of their company. They cannot just rely on others. The auditors are likely to say that they relied on information provided by the managers about the due date for the debt repayments. However, the auditors should gather evidence about the repayment date, not just rely on what the managers tell them. (a) The investors in Mega could bring legal action against the auditors, arguing they suffered financial loss as a result of the misclassification of the debt. The auditors reported that the financial accounts were in accordance with the Corporations Act and accounting standards (which they were not, because the debt was misclassified), and that the accounts were true and fair (which they were not because they gave a misleading picture). It is likely that the auditors are liable to the investors in Mega Shopping Centres because of their loss and the failure of the auditors to following auditing standards, such as those requiring auditors to gather sufficient and appropriate evidence about the liabilities and their disclosures. The auditor could be liable under both contract law (failure to perform the audit they were contracted to do) and tort of negligence. The investors would need to establish that the auditor owed .
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them a duty of care and the duty of care was breached, and that the investors suffered a loss as a result of that negligence. (b) Third parties cannot rely on contract law. Other parties would try to rely on tort law. In addition, to duty of care, breach of the duty and loss, they have to establish that there was reasonable foreseeability. This means that the other parties would have to establish that the auditor was aware, or should have been aware, that any negligence on their part could cause a loss to the third parties. This is more difficult than establishing foreseeability of the loss suffered by investors. Caparo (1990) established the concept of reasonable proximity, where the auditor must be aware of the third party as a group and the decision they intend to make when using the audited report. Third parties would have a better case if they obtain a Privity Letter which can be used to prove that a duty of care was owed to them. Otherwise, there would need to be some special circumstances before the auditor was liable to them in this case.
2.30 Provision of non-audit services to audit clients Required (a) Comment on Elise’s belief that increasing non-audit service fee revenue from her audit client would increase her reputation in the audit firm. (b) Which non-audit services would you advise Elise to avoid trying to sell to Hertenstein Ltd because of their potential ethical issues for the audit firm? (c) Would it make any difference to your answers if Hertenstein Ltd was a proprietary company, not a listed public company? (a) It is possible that increasing the profitability of the audit firm would increase Elise’s reputation within the firm. However, if the growth in revenue creates any conflicts of interest or other ethical problems it could damage Elise’s reputation. See APES 110, s. 290.158 – if the provision of non-assurance services creates a threat to the auditor’s independence, safeguards would need to be applied to eliminate or reduce the threat. (b) See 290.159 of APES 110 for a guide to which services to avoid. This section states that the auditor should avoid acting as an executive of the client company. The auditor should not be involved in transactions, making decisions about the audit firm’s recommendations, management reporting to directors, or acting as manager of the client within the previous two years. s. 290.161 discusses less significant threats, which should only be offered after careful consideration because they could create self-review or self-interest threats. These include having custody of a client’s assets, supervising client employees, and preparing source documents. The section also discusses examples of safeguards, such as making arrangements so that personnel providing such services do not participate in the audit, and gaining additional advice on the impact of such services. (c) Yes. Auditors can provide more non-audit services to a proprietary company than to a listed company.
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290.170 The Firm, or a Network Firm, may provide an Audit Client that is not a Listed Entity with accounting and bookkeeping services, including payroll services, of a routine or mechanical nature, provided any self-review threat created is reduced to an acceptable level. Examples of such services include: • Recording transactions for which the Audit Client has determined or approved the appropriate account classification; • Posting coded transactions to the Audit Client's general ledger; • Preparing Financial Statements based on information in the trial balance; and • Posting the Audit Client approved entries to the trial balance. The section continues by explaining that the significance of any threat created should be evaluated and, if the threat is other than Clearly Insignificant, safeguards should be considered and applied as necessary to reduce the threat to an acceptable level.
2.31 Unpaid audit fees Required Explain the ethical problem in this case. Why is it a problem? What can be done about it? If fees are outstanding the auditor could be perceived to have a conflict of interest because the auditor is more likely to be paid if the client survives and is happy with the auditor. In these cases, the auditor could be perceived as being more interested in the client’s survival than an accurate audit report. The auditor should take steps to have the fees paid before the next audit or remove itself from the audit. See APES 110: 290.208 A self-interest threat may be created if fees due from an Assurance Client remain unpaid for a long time, especially if a significant part is not paid before the issue of the assurance report for the following year. Generally the payment of such fees should be required before the report is issued. The following safeguards may be applicable: • Discussing the level of outstanding fees with the audit committee, or others charged with governance. • Involving an additional professional accountant who did not take part in the Assurance Engagement to provide advice or review the work performed. The Firm should also consider whether the overdue fees might be regarded as being equivalent to a loan to the Client and whether, because of the significance of the overdue fees, it is appropriate for the Firm to be re-appointed.
2.32 Using the work of internal auditors Required Comment on the extent of reliance the external auditor should place on the work of the internal audit department at Theobald Ltd. Explain the likely impact of the internal audit department’s work on the audit plan.
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The internal audit department focuses on efficiency and effectiveness of production (i.e. performance auditing) and compliance with government regulations (compliance auditing). The head of the internal audit department is a CPA and the other members of the department have performance auditing and compliance relevant experience and qualifications. The internal audit department is highly regarded within the business, reports to the board of directors as well as the CEO, and the reports appear to be acted upon. All these factors suggest that the internal audit department is well run and effective. However, they also suggest that it does not concentrate on issues directly relevant to financial reporting and auditing. The external auditors are likely to review the internal audit department’s work, particularly where it is relevant to operational indicators which are reflected in the accounts. They are likely to review the internal auditor’s reports and their evaluations of internal control systems, particularly in production and inventory issues and general management issues. However, most of the internal audit department’s findings on waste regulations and efficiency matters will not be directly relevant to the external auditors’ audit of accounting transactions and balances.
2.33 Legal implications of client acceptance Required (a) Provide guidance to Rebecca about the steps she can take to avoid the threat of litigation if Carolina Company Ltd fails. (b) What should Rebecca consider when making the client continuance decision for Carolina Company Ltd for the next financial year? (a) Steps to take to avoid the threat of litigation (in addition to the client continuation decision issues in part b below) include: ▪ ▪ ▪ ▪ ▪
▪ ▪ ▪
hiring competent staff training staff and updating their knowledge regularly ensuring compliance with ethical regulations ensuring compliance with auditing regulations Implementing policies and procedures that ensure: o appropriate procedures are followed when accepting a new client o appropriate staff are allocated to clients o ethical and independence issues are identified and dealt with on a timely basis o all work is fully documented o adequate and appropriate evidence is gathered before forming an opinion meeting with a client’s audit committee to discuss any significant issues identified as part of the audit following up on any significant weaknesses in the client’s internal control procedures in a previous year’s audit dealing with privity letter requests in accordance with the guidance provided in AGS 1014 Privity Letter Requests.
(b) The client continuation decision is critical. Rebecca should evaluate and document the firm’s ability to service the major client, Carolina Company Ltd, and any other
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major clients for the coming year. APES 320 Quality Control for Firms and ASQC 1 provide guidance on the procedures to be followed when making the client acceptance or continuance decision. The key factors to be evaluated are client integrity and any threats to the auditor’s compliance with the fundamental principles of professional ethics (integrity, objectivity, professional competence and due care, confidentiality and professional behaviour). Although Carolina Company has been a client of the firm for several years, its integrity must still be reevaluated. Rapid growth can create pressures within the client that could compromise its integrity. This is particularly so in the case of Carolina Company because there is already evidence of difficulties in its financial systems. A major problem confronting the audit firm is its ability to comply with the fundamental principles of professional ethics. Rebecca should be particularly concerned with the firm’s ability to be objective given its dependence on the large client’s fees. Although, Carolina Company is only one of the major clients experiencing rapid growth, fee dependence arises when a client’s fees form a significant proportion of the audit firm’s overall revenue. APES 110 provides guidance about safeguards when this proportion reaches 15%. Rebecca should also be concerned about the firm’s ability to use professional competence and due care in audits for rapidly growing clients at a time when the audit firm is growing rapidly and the client is undergoing major changes to its reporting requirements. Does the audit firm have the expertise to audit listed clients? What sort of auditing difficulties are likely to be created by the stretched financial systems at Carolina? The client continuation decision must be properly documented and the engagement letter drafted to reflect the responsibilities of both parties.
2.34 Independence threats and safeguards Required (a) Identify and explain the significant threats to independence for KFP Partners in accepting the audit of Featherbed. (b) Explain any relevant and practical safeguards that KFP could implement to reduce the threats. (a) Personal relationships between a partner of the audit firm and the two directors – familiarity threat. This applies even if the partner is not part of the engagement team because the partner is a senior member of the audit firm. From APES 110 200.7 Examples of circumstances that may create familiarity threats include, but are not limited to: • A member of the Engagement Team having a Close or Immediate Family relationship with a Director or Officer of the Client. • A member of the Engagement Team having a Close or Immediate Family relationship with an employee of the Client who is in a position to exert direct and significant influence over the subject matter of the Engagement.
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• • •
A former Partner of the Firm being a Director or Officer of the Client or an employee in a position to exert direct and significant influence over the subject matter of the Engagement. Accepting gifts or preferential treatment from a Client, unless the value is Clearly Insignificant. Long association of senior personnel with the Assurance Client.
(b) APES 110 suggests that the audit firm should document the policies that relate to this type of threat to independence, the evaluation of the threat and the safeguards to reduce the threats. They should also have policies and procedures to prevent that partner from inappropriately influencing the outcome of the assurance engagement. The firm should not use that partner on the Featherbed engagement, and should not accept the audit if that partner is required on the audit. 200.12 (extract) • For Firms that perform Assurance Engagements, documented Independence policies regarding the identification of threats to Independence, the evaluation of the significance of these threats and the evaluation and application of safeguards to eliminate or reduce the threats, other than those that are clearly insignificant, to an acceptable level. • Documented internal policies and procedures requiring compliance with the fundamental principles. • Policies and procedures to prohibit individuals who are not members of an Engagement Team from inappropriately influencing the outcome of the Engagement.
2.35 Independence threats and safeguards Required (a) Are there any threats to independence for KFP in its audit of Securimax? (b) Can you propose any recommendations to safeguard KFP against the potential independence threats you have identified? Explain. Issues raised in the case: (i) The client’s internal audit department is headed by an ex-partner of KFP. Both APES 110 and the Corporations Act place restrictions on audits where a former audit partner has a senior role within the client. The Corporations Act restriction (CORPORATIONS ACT 2001 - SECT 324CK) is limited to a period of 5 years between leaving the audit firm and the current audit (2 years if the person retired rather than just left the firm s. 324CI). On this basis, there is no contravention of the Act. In addition, the restriction applies to ex-auditors who become an officer of the company. In the case of Securimax, Rydell Creek does not appear to be an officer of the company (e.g. a director or senior manager) – he is the head of the internal audit department. APES 110 does not specify a 5 year time limit, and the person could be an officer or director or an employee in a position to exert direct and significant influence over the subject matter of the engagement. This would certainly include the CFO or CEO, but it is unlikely to include the head of the internal audit department.
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(b) Safeguards: Ensure that Rydell Creek is not regarded as able to exert direct and significant influence over the subject matter of the external audit. Ensure that there wasn’t a significant and personal relationship between Rydell Creek and the other members of the audit team based on their previous association as colleagues (to deal with the general familiarity threat). APES 110: 200.7 Examples of circumstances that may create familiarity threats include, but are not limited to: (extract) • A former Partner of the Firm being a Director or Officer of the Client or an employee in a position to exert direct and significant influence over the subject matter of the Engagement. (ii) Clarke Field has been the partner for 5 years and will remain as review partner when Sally Woodrow is appointed as partner for the audit. APES 110 and the Corporations Act require rotation of senior audit personnel as follows: APES 110: 290.154 Using the same: • Lead Engagement Partner, or • Audit Review Partner (if any), or • Engagement Quality Control Reviewer on an audit over a prolonged period may create a familiarity threat. This threat is particularly relevant in the context of a Financial Statement audit of a Listed Entity and safeguards should be applied in such situations to reduce such threat to an acceptable level. Accordingly in respect of the Financial Statement audit of Listed Entities: (a) The Lead Engagement Partner, the Audit Review Partner (if any) and the Engagement Quality Control Reviewer should be rotated after serving in any of these capacities, or a combination thereof, for a pre-defined period, no longer than five financial years within a seven year period; and, (b) Such an individual rotating after a pre-defined period should not participate in the Audit Engagement until a further period of time, no less than two years, since the end of the financial year following the end of the pre-defined period has elapsed. See also CORPORATIONS ACT 2001 - SECT 324DC : Audit firm's rotation obligation (b) Safeguards: Clarke Field should not participate in the audit for two years. (iii) Appointment of Sally Woodrow to position of partner and as partner in charge of the Securimax audit. Is Sally Woodrow experienced enough to lead the audit? She is being promoted to partner to enable her to take over the audit. If she is not sufficiently experienced and qualified to lead the audit there is a risk that the independence of the audit will be compromised. (b) Safeguards: An independent (i.e. not previously involved with Securimax) senior audit partner should be appointed as review partner to assist Sally Woodrow.
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2.36 Ethics of accepting engagements Required: Explain why Tania should have reservations about accepting the engagement in respect of the linear accelerators. Make appropriate reference to fundamental ethical principles in your answer. The fundamental principles of professional ethics include integrity (being straightforward and honest), objectivity (not allowing personal feelings or prejudices to influence professional judgment), professional competence and due care (maintaining knowledge and skill at an appropriate level), confidentiality (not sharing information that is learned at work), and professional behaviour (upholding the reputation of the profession). The CEO of TCCL has requested the auditor provide an opinion that the linear accelerators are fit for use without charging a fee as a gesture of goodwill, in the context of the future negotiations about the audit tender. There is an implicit invitation to provide a favourable opinion to ensure that the audit tender is awarded to Fellowes and Associates again. If Tania provides the opinion without obtaining appropriate and sufficient evidence she would be compromising her integrity because the favourable opinion would not be honest, and her objectivity because her professional judgement would be influenced by the desire to win the tender again. There does not seem to be any threat to confidentiality, although her professional competence and behaviour on this particular engagement would be compromised because she would not be exercising her skill at an appropriate level (and she may not be qualified to provide the opinion on the accelerators) and her actions could damage the profession’s reputation. Accepting an engagement without appropriate remuneration is also likely to create a conflict of interest. Fees should reflect the work involved and be set at a level that ensures that adequate staffing are assigned to the engagement and sufficient work done to complete the engagement.
2.37 Independence issues in accepting engagements (a) Using your knowledge of APES 110, identify and explain the potential type of threat to Fellowes and Associates’ independence in situations (1) and (2) above. (b) What action should Fellowes and Associates take to eliminate the potential threats to independence in situations (1) and (2) above? What safeguards should be instituted to reduce the risk of similar independence threats occurring in the future? One of the accountants intended to be part of the 2014 audit team owns shares in HCHG. The accountant’s interest is not material to him. Section AUST290.41.3 of APES 110 states that a financial interest in a client may create a self-interest threat. Owning shares in an engagement client creates a direct financial interest. S. 290.104 requires the auditor to consider the nature of the financial interest in order to determine the significance of the threat and the
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appropriate safeguards. Matters to consider are whether the shareholding is direct or indirect, how material is the holding, and the role of the member of the assurance team. Therefore, what duties does the member of the assurance team perform? How senior is his role? How much judgement will he be required to exercise? If the person is very junior and/or the amount of the financial interest is very small, the threat is lower and fewer safeguards are required. However, if the person is more senior and/or the amount of the financial interest is greater, the safeguards would need to be more significant. Section 290.106 states that if a member of the assurance team has a direct financial interest, as in this case, the only safeguards available to eliminate the threat are to dispose of the direct financial interest prior to the individual becoming a member of the assurance team, or to remove the member of the assurance team from the engagement. AUST290.41.3 "Self-Interest Threat" occurs when a Firm or a member of the Assurance Team could benefit from a Financial Interest in, or other self-interest conflict with, an Assurance Client. Examples of circumstances that may create this threat include, but are not limited to: • A Direct Financial Interest or material Indirect Financial Interest in an Assurance Client; 290.104 A Financial Interest in an Assurance Client may create a self-interest threat. In evaluating the significance of the threat, and the appropriate safeguards to be applied to eliminate the threat or reduce it to an acceptable level, it is necessary to examine the nature of the Financial Interest. This includes an evaluation of the role of the person holding the Financial Interest, the materiality of the Financial Interest and the type of Financial Interest (Direct or Indirect). 290.106 If a member of the Assurance Team, or their Immediate Family member, has a Direct Financial Interest, or a material Indirect Financial Interest, in the Assurance Client, the self-interest threat created would be so significant the only safeguards available to eliminate the threat or reduce it to an acceptable level would be to: (a) Dispose of the Direct Financial Interest prior to the individual becoming a member of the Assurance Team; (b) Dispose of the Indirect Financial Interest in total or dispose of a sufficient amount of it so that the remaining interest is no longer material prior to the individual becoming a member of the Assurance Team; or (c) Remove the member of the Assurance Team from the Assurance Engagement.
Fellowes and Associates was previously engaged by HCHG to value its intellectual property. The consolidated balance sheet as at 30 June 2014 includes intangible assets of $30 million, which were valued by Fellowes and Associates on 1 March 2014 following HCHG’s acquisition of the subsidiary Shady Oaks Hospital. The intangibles are considered material to HCHG. APES 110 ss. 290.174 – 290.179 address the issues surrounding the provision of valuation services to an assurance client. The problem arises because in a financial
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report audit the auditor is required to gather evidence about the client’s valuation of the assets. If the auditor provided the valuation to the client, then the auditor has to audit their own work. A self-review threat may be created when an audit firm performs a valuation for an audit client that is to be incorporated into the client’s financial statements. Specifically, (s.290.176) this is a problem if the valuation service involves the valuation of matters material to the financial statements and the valuation involves a significant degree of subjectivity. In this case, the self-review threat created could not be reduced to an acceptable level by the application of any safeguard, and the valuation services should not be provided, or alternatively, the auditor should withdraw from the audit engagement. Therefore, the key questions are whether the item is material, whether there is a significant degree of subjectivity in the valuation service. The intangibles are stated to be material. Valuation of intangible assets is likely to be subjective, or at least more subjective than valuation of real property (land and buildings). This implies that Fellowes and Associates should withdraw from the audit or the client should obtain another independent valuation for the intangibles. However, the question appears to state that the valuation services were provided prior to the audit engagement being accepted. If so, at this time, there was no conflict between Fellowes and Associates duties as valuer and auditor. However, now, as auditor, Fellowes and Associates is required to provide an opinion on the valuation which it previously provided. Other safeguards that could apply to valuation situations (s. 290.177) include - involving an additional professional accountant who was not a member of the assurance team to review the work done or otherwise as necessary; - confirming with the audit client their understanding of the underlying assumptions of the valuation and the methodology to be used and obtaining approval for their use; - obtaining the audit client’s acknowledgement of responsibility for the results of the work performed by the firm, and - making arrangements so that personnel providing such services do not participate in the audit engagement. At a minimum, Fellowes and Associates should apply the safeguards in s. 290.177 with respect to the intangible assets valuation. The valuation should be reviewed by an additional professional accountant, who is outside the audit team, they should obtain the client’s acknowledgement of responsibility for the valuation, and should not use the personnel involved in the valuation on the financial report audit. However, it is likely that these safeguards would not be enough, given the high level of subjectivity in the intangible assets valuation. Therefore, the client will either have to obtain another independent valuation or Fellowes and Associates should withdraw from the audit. In the future, the audit firm should not perform valuations for audit clients that are likely to be the subject of the financial report audit, unless they are immaterial and/or have a very low degree of subjectivity.
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Case Study Cloud 9 Solution 1.
Prepare a document that explains the impact, if any, of each piece of relevant information on your client acceptance decision for Cloud 9 Pty Ltd.
Issues (sections refer to APES 110): • The relationship between David Collier and P.S. Nethercott is described as distant. Section 290.41.6 discusses familiarity threats which can occur because of a close relationship, such as a member of the assurance team having an immediate family member or close family member who is a director or officer of the assurance client, or an employee in a position to exert direct and significant influence over the subject matter of the assurance engagement. In this case, P.S. Nethercott is not on the assurance team (and is not likely to be), and although the relationship is with a person in a position to be involved in the subject matter of the audit, the relationship is distant. There would be no threat to independence. •
The potential consulting fees are twice the size of the audit fee, creating a significant business relationship between the audit firm and the client, and potentially an undue dependence on the fees from this client (relative to total fees from all clients). According to s. 290.41.3 a self-interest threat to the auditor’s independence could arise from this relationship. In general, firms would limit the size of non-assurance service fees relative to the size of assurance fees for any one client, through either limiting the amount of non-assurance services provided or refusing to perform both for the same client. In addition, it is possible that a selfreview threat could arise (s. 290.41.4) if the IT installation was relevant to the financial data that would be the subject matter of the audit in future periods. The non-assurance service (IT installation) in itself should also give risk to consideration of the threats to independence (s. 290.46). The matter is discussed in detail in ss. 290.187 – 290.191. In general, the self-review threat is likely to be too significant to allow both services to be provided by the same firm, except if the audit client clearly takes all management decisions with respect to the installation of the IT project, and non-assurance and assurance staff at the audit firm are kept separate.
•
Purchases of products in the normal course of business and on an arm’s-length basis, such as shoes from stores, is acceptable and is not an independence threat (s. 290.134).
•
Members of the IT department at the audit firm could be involved in the audit. As such, their financial interests need to be considered. In this case, the shareholdings are in retailers that sell the audit client’s products, and the shareholdings are material and have been disclosed to the audit firm. The shareholdings are not in the audit client, and the relationship does not allow the members of the IT department to influence management decisions at either the retailers or the audit client. There is no independence threat to the audit of Cloud 9.
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•
This point does not relate to independence issues. In this case, the newspaper article suggests that the management of Cloud 9 Inc, the parent firm of the audit client, is engaged in illegal and/or unethical behaviour. The auditor is required to consider client integrity in the client acceptance decision (ASQC1). In addition, s. 210 of APES 110 requires the auditor to consider any threats to the fundamental principles. Such a threat could occur if the prospective client is dishonest or involved in illegal activities. The management of Cloud 9 Inc have denied the allegations and invited international human rights groups to visit their factories. Cloud 9 Inc is not the prospective client of W&D Partners, so it could be argued that the auditors are not concerned with this issue. However, a lack of integrity at the parent company could indicate a lack of integrity at the local level, and/or create other issues for the auditors related to dealings between the companies. The auditors could raise the issue with Cloud 9 Pty Ltd management, and if still concerned, also visit the factories.
2.
List and explain any additional actions you would take before making your client acceptance recommendation to the partner, Jo Wadley, in this case.
Other issues to be considered in making the client acceptance decision include: • Other issues relating to client integrity, such as reasons for the audit switch, client attitudes to risk, internal controls, accounting standards, full access to information, and payment of fees. • Obtaining permission from the client to communicate with the previous auditor, third parties such as bankers and lawyers, and client personnel • Review press • Any potential threats to other fundamental principles, such as professional competence and due care through lack of auditor expertise in the client industry or insufficient audit staff 3.
Assume the decision is made to accept Cloud 9 as a client. Prepare the client engagement letter.
Prepare client engagement letter as per example in text.
Research Question (a) What are the arguments for and against allowing former audit firm partners and/or employees to join audit committees? (b) Explain how these accounting experts could help or hinder the audit process and thereby have an impact on the quality of a company’s internal controls and financial reports. (a) Arguments: Advantages
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•
expertise of former auditors being available to client, should lead to an improvement in their financial reports which benefits the client, its stakeholders, and the general public (through a general increase in reporting quality), • ex-auditors understand the problems facing the auditors and can help their new colleagues at the client respond appropriately to the auditor’s requests Disadvantages • loss of auditor independence arising from close personal relationships between these former auditors and their former colleagues in the audit firm, • audit committee might lose its independence when selecting audit firms (preference for their old firm) and in dealing with disputes (b) Former audit partners might be recruited by the client in order to - improve their systems and financial reports based on the ex-auditor’s intimate knowledge of good control systems and financial reporting However, they could also be recruited to - encourage the audit firm to be ‘soft’ on their mates, - use the expertise of the former auditors to ‘get around’ the system, that is, they know what the auditors will be looking for in terms of ‘red flags’ and thus better able to hide the problems, - share their knowledge of audit sampling methods could be used to hide errors in items that are not likely to be sampled.
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Solutions Manual to accompany
Auditing: a practical approach 2nd edition by Jane Hamilton CHAPTER 3 Risk Assessment I
© John Wiley & Sons Australia, Ltd 2013
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Chapter 3 – Risk Assessment I REVIEW QUESTIONS 3.11 Explain the relationship between the risk assessment, risk response and reporting phases of an audit. Planning is an ongoing process during the audit because the plan is modified if necessary based on the results of the audit procedures. Planning an audit usually precedes the risk response phase, and the reporting phase is last stage of the audit. The risk assessment phase includes gaining an understanding of the client, identifying significant accounts and transactions, setting planning materiality, identifying the factors that can go wrong in the audit, gaining an understanding of key internal controls and developing an audit strategy. Risk assessment is in the first phase of audit ASA 300.8 (ISA 300) Planning an Audit of a Financial Report requires an auditor to plan their audit to reduce audit risk to an acceptably low level. Therefore, the auditor must identify the risks to the audit so that the auditor can plan to gather the evidence required to reduce those risks.
Effective and efficient planning ensures that sufficient appropriate evidence is gathered for those accounts at most risk of material misstatement.
3.12 Explain the importance of the risk assessment phase of a financial report audit. The risk assessment phase of a financial report audit is important because it helps the audit team identify the risks which could contribute to a material misstatement, and thus help identify the audit procedures that are most appropriate to the client’s characteristics and situation. An effective audit plan shows that a suitable amount of time is spent testing each major account and class of transaction. The audit procedures detailed in the plan are guided by the audit strategy chosen to suit the client’s risk factors and reporting requirements.
By understanding where the risks are most significant, an auditor can plan their audit to spend more time where the risks are greatest. During the risk assessment phase of an audit an auditor will gain an understanding of their client, their client’s internal controls, their client’s information technology (IT) environment, their client’s corporate governance environment and their client’s closing procedures. An auditor will identify any related parties, factors that may affect their client’s going concern status and significant accounts and classes of transactions that will require close audit attention to gauge the risk of material misstatement.
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3.13 List and briefly explain the key factors that the auditor would consider during preliminary risk assessment.
The auditor would consider the following factors during preliminary risk assessment: 1. Understand the client – consider issues at the entity, industry, and economy level. What does the client do? How does the client function? What is its ownership structure and sources of finance? Who are its customers and suppliers? Does it import or export? How does the client adapt to changes in technology? Is it liable for warranties? What are its operations? Who are its employees? What industry does it operate in? What are the industry’s issues – competition, government support, demand and supply constraints? How does the economy’s health affect the client? 2. Identify related parties – (AASB 124, ASA 550) – who are the related parties, including parent companies, subsidiaries, joint ventures and associates? 3. Fraud risk – factors indicating high risk of fraud, identify incentives, pressures, and opportunities for fraud, management attitudes (ASA 240) 4. Going concern risk – risk and mitigating factors, is it appropriate to assume that the client will remain as a going concern? 5. Corporate governance – board structure, listing status, audit committee – is governance likely to be effective? 6. Understand internal controls – what are the control risks, how will auditor gain an understanding of the system? 7. Understand IT environment – risks to processes, security, changes, and controls 8. Significant accounts – identify so that enough time spent on testing these accounts 9. Significant classes of transactions - identify so that enough time spent on testing these transactions 10. Closing procedures – types of procedures, monitoring, pressure on results Set planning materiality – For all questions, define what will be considered to be a material misstatement or risk 3.14 When gaining an understanding of a client an auditor will be interested in an entity’s relationships with both its suppliers and customers. What aspects of these relationships will the auditor be interested in and how would they affect the assessment of audit risk? Customers: Auditors are interested in the relationship between the audit client and its customers because this could affect the reliability of cashflow due to problems with collectability of debts from customers.
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If the relationship is poor, customers could withhold payment, hence, increases the settlement period for the accounts receivable (debtor). If the customers are not satisfied with the goods or services provided due to poor quality the audit client could be liable for warranty claims, therefore the auditor should check the reasonableness of provision for warranty claims (liability). Auditors are also interested in risks associated with the client’s reliance on a few major customers because non-payment or leaving of major customers can have significant effect on cashflow in the short term. However, in the long term, can be a going concern issues for the audit client Suppliers: Poor relations between the audit client and its suppliers could be indicators of cash flow problems for the client. The supplier could be supplying faulty goods, leading to issues with customers and problems with warranty claims. Poor relationship between the audit client and its suppliers could potentially affect the business operation of audit client and therefore affect the production and sales of the audit client. For audit client who entered into a contract with their suppliers could be locked into unfavourable arrangement over a period of time affecting its ability to survive as a going concern. If the client is not paying its suppliers on a timely basis, it might lose access to that supplier, affecting its ability to continue to trade. In both cases, the auditor would be interested in whether the other parties are located overseas because of the additional risks associated with international transactions and foreign exchange (which could apply to domestic trading partners as well).
3.15 In the context of fraud, explain the differences between (1) incentives and pressures, (2) opportunity and (3) attitudes and rationalisation. Why is it important for an auditor to consider client systems relevant to all three concepts? Incentives and pressures are the motivating factors for the client’s personnel to commit fraud. For example, a regional manager could be under pressure to achieve a sales target to keep their job or to receive a bonus. This motivates the manager to consider fraud possibilities. The manager would be able to commit a fraud only if there is an opportunity to do so. An example of an opportunity would be an unlocked storeroom (for asset misappropriation) or loose controls over cut-off (to push a sale from one period to the next to create fraudulent financial reporting). If the manager did not have the incentive or pressure to commit the fraud, the opportunity would not lead to a fraud. Attitudes and rationalisation refer to the ethical beliefs of the manager and the more senior management of the client. If there is an attitude at the top that achieving sales targets is more important than following policies and procedures, then the manager could use this attitude to justify misstating sales for the period. Rationalisation refers
Chapter 3: Risk Assessment I
to the view about the fraud, for example “They push me very hard and I work a lot of weekends, I am entitled to this bonus.” An auditor must consider client systems relevant to all three because they would be more likely to detect fraud by doing so. Perpetrators of fraud are likely to take great care to conceal the fraud, and considering only one set of indicators increases the risk that the auditor will not detect a material misstatement resulting from fraud. 3.16 What does it mean when we say that a business is a ‘going concern’ or, alternatively, has ‘going concern issues’? Why must an auditor specifically consider evidence about the going concern assessment for each client? ASA 570 (ISA 570) states that under the going concern assumption, an entity is viewed as continuing in business for the foreseeable future. It also notes that a general purpose financial report is prepared on the going concern basis, unless management intends to liquidate the entity or to cease operations, or has no realistic alternative but to do so. When the going concern assumption is appropriate, assets and liabilities are recorded on the basis that the entity will be able to realise its assets and discharge its liabilities in the normal course of business. Therefore, if the going concern basis is not appropriate, the management should prepare a special purpose report which reflects that state. ‘Going concern issues’ mean that there is doubt about the going concern assumption’s applicability to the client’s financial report, and if these doubts are serious enough, the entity should prepare a special purpose report. The auditor must consider evidence about the appropriateness of the going concern assumption for the client in order to express the appropriate audit opinion. If there is not sufficient evidence to support the assumption, the auditor cannot issue an unqualified opinion on general purpose reports. If the going concern uncertainty is appropriately disclosed in the financial report by management and those charged with governance, the auditor can issue an unqualified audit opinion with an emphasis of matter paragraph. However, if adequate disclosure is not made in the financial report, the auditor shall express a qualified or adverse opinion.
3.17 What are mitigating factors in the context of the going concern assessment? Give some examples of mitigating factors for a loss-making client. Mitigating factors are factors that reduce the risk that the going concern assumption may be in doubt. For example, if the client has lost a key customer, this could raise doubt about its ability to continue as a going concern. However, this doubt would be mitigated by ongoing negotiations with a potential new customer. If the client is making a loss, doubt about its ability to continue in business could exist. This doubt could be mitigated by: - plans to introduce new profitable products - management planning to merge with another company - plans and progress towards expansion into another market
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financial support from a parent (or any other factor indicating that the losses can be borne for some time without defaulting on debts etc.) restructuring, retrenchment, downsizing plans (to cut costs)
3.18 Do only listed companies have good corporate governance? Explain. ASX has principles and recommendations for good corporate governance, which suggest that listed companies are more likely than other companies to have sound management oversight, well-structured boards of directors, and policies to promote ethical and responsible decision-making, sound financial reporting and time disclosures, protection of shareholders’ rights, comprehensive risk management policies and procedures, and fair and responsible remuneration practices. Listed companies are usually observed more closely than unlisted companies by the financial press and large investors, encouraging their compliance with the ASX principles. However, some listed companies do not comply with all the ASX principles (taking advantage of the ‘if not why not’ approach). In addition, some unlisted companies have voluntarily implemented sound corporate governance policies and procedures. In some cases, these policies and procedures could exceed the standard recommended by the ASX. It is not true that only listed companies have good corporate governance, although it is more likely that these companies follow the ASX principles. 3.19 Explain the purpose and main objectives of the ASX Corporate Governance Council’s Corporate governance principles and recommendations. The purpose of the ASX Corporate Governance Council’s Corporate governance principles and recommendations is to serve as a guide for companies to improve their corporate structures, improve their performance and enhance their accountability to shareholders and other interested parties. It also guides companies towards better governance structures. However, it does not require companies to adopt the guidelines, but requires them to disclose their lack of compliance with an explanation as to why they could not comply with ASX Corporate Governance principles and recommendation. The exception to this ‘if not, why not’ rule is the requirement for the top 300 companies to establish an audit committee. While it is important that audit client should comply with them all the ASX principles and recommendation, the most relevant to the auditor are only Principles 4 and Principles 7. Principle 4 (Safeguard integrity in financial reporting) recommends establishment of independent audit committee to safeguard the integrity of financial reports. Principle 7 (Recognise and manage risk) recommends companies to establish sound system of internal controls.
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3.20 Why does an auditor need to understand a client’s IT system? Explain how IT affects the financial report. IT is part of a company’s accounting processes, from transaction initiation to the financial reports. ASA 315 (ISA 315) requires the auditor to gain an understanding of client’s IT systems and its associated risks (para 18). Paragraphs A53-A59 (Application and other explanatory material) explain how IT benefits an entity’s internal controls but also poses specific risks to that internal control. For example, IT allows an entity to consistently perform complex calculations in processing large volumes of transactions or data. However, if that processing is inaccurate, reliance on those systems would be inappropriate because of the risk of material misstatement in the entity’s financial report. The auditor needs to understand where the risk of inaccurate processing lies within the IT system and whether the client has other controls (e.g. manual controls or other automated controls) over processing systems which would provide greater assurance that the reported figures are accurate.
3.21 Give an example of a client closing procedure. Using your example, explain the accounts that would be affected if the closing procedure is performed inadequately. Examples of client closing procedures include: Depreciation or amortisation of assets (debit depreciation expense, credit accumulated depreciation) Accruals e.g. salaries, interest expense (debit expense, credit accrued expense) Prepayments e.g. prepaid insurance, prepaid rates, prepared registration of motor vehicles (debit prepaid expense, credit prepayment) Other closing procedures include procedures to test the identification of revenues and expenses which belong in the current reporting period or the next and to include the item in the correct period (i.e. client’s entries to ensure correct cut-off). For each example, the following are the accounts affected: Depreciation/amortisation: depreciation expenses are understated and accumulated depreciation is understated Accruals: expenses are understated and liabilities are understated (e.g. salaries expense are understated and accrued salaries are overstated) Prepayments: expenses are understated and assets are overstated (e.g. Insurance expense is understated and prepaid insurance is overstated). Cut-off entries are required to ensure that late expenses (e.g. invoice for goods or services received) are identified as belonging to the current financial year. If this is not done, expenses are understated and liabilities are understated. For revenue items, ensure that revenue is not recognised until goods are despatched or delivered (depending on the terms of sale). If this is not done and the sale is recorded in the current financial year instead of the next financial year, revenue in the current year is overstated and assets (debtors) are overstated.
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3.22 What is a related party? Why is an auditor interested in identifying related parties during the risk assessment phase of an audit? AASB124 Para 9 defines related party as a person or entity that is related to the entity preparing the financial statement( e.g. close member of the family has control or significant influence or holds a key management position in the reporting entity ; an entity is in joint venture or an associate of the reporting entity.) Auditors search for related parties during the risk assessment phase of an audit so that they consider the risks associated with transactions between the client and the related parties (such as whether sales between them are genuine and recorded at arm’s length), and to assess whether the client has made the required disclosures under AASB124 (IAS24). Omission of required disclosure would require the auditor to issue a modified report ASA 550 (ISA 550) is a guidance for auditors’ responsibilities relating to related party relationships and transactions in an audit of a financial report As per Para 2, the standard notes that many related party transactions are in the normal course of business and pose no greater risk than any other transaction. However, under certain circumstances, transactions between the client and related parties can give rise to higher risks of material misstatements. The examples provided include: increased complexity of the arrangements and transactions; ineffective information systems for identifying or summarising the transactions and outstanding balances for related parties; transactions not conducted under normal market terms and conditions (e.g. no consideration).
PROFESSIONAL APPLICATION QUESTIONS 3.23 Audit planning Required What questions would you have for Michael before accepting his audit plan? What work has been done to provide evidence that there are no related parties and that there are no issues with the client’s corporate governance structure? Is the risk of misstatement the same for a dollar of hire revenue as a dollar of retail revenue? The risk of material misstatement should drive the audit plan. The client is new, what work has been done to understand the client, its industry (both hire and retail elements) and the effect of the economy factors on the client? What is the initial assessment of internal controls? What are the significant transactions and accounts?
Chapter 3: Risk Assessment I
Is the risk of fraud directly proportional to revenue? If not, how should the work on fraud be allocated? What impact would IT have on the risks associated with the two segments of the business? How does IT relate to the rest of the client’s internal controls? Are closing procedures the same for the two segments of the business? Is there any going concern risk? What are the risks and mitigating factors that are likely to occur in a hire and retail company?
3.24 Understanding the client and its governance Required (a) Make a list of the main factors that will be considered by each audit manager’s group. (b) Based on the above information, can you conclude that Ajax Ltd complies with Principle 4 of the principles? Explain. (a) (i) Entity level (Refer to para A23-A27 of ASA 315) Team will be trying to gain an understanding of: Complexity of the client’s structure (subsidiaries, locations, investments) Ownership and relations between owners and other people or entities (related party issues) Factors to consider include: Business operations – revenue, products, markets, production, outsourcing, geographic dispersion, segmentation on industry lines, location of facilities and inventories, key customers, suppliers, employment arrangements, research and development activities, transactions with related parties. Investments – new or planned acquisitions or divestitures, investments in securities and loans, capital investment, non-consolidated entities. Financing – major subsidiaries, debt, beneficial owners, derivatives. Financial reporting issues such as principles and practices usually applied, revenue and cost recognition, fair value accounting, foreign currency items, complex transaction accounting, Changes from prior periods in any of these factors. (ii) Industry and economic effects (Refer to para A17-A22 of ASA 315) Factors to consider include: Competitive environment, supplier and customer relationships, technological developments, cyclical or seasonal activities, energy supply and cost, nature of regulation, including accounting practices, specific regulations affecting industry, taxation, government policies, environmental requirements, general economic conditions, interest rates, availability of financing, inflation, currency revaluations.
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(b) Principle 4 of the ASX recommendations refers to safeguarding the integrity in the entity’s financial reporting (see figure 3.4). The ASX recommends that the entity establishes an audit committee which is comprised only of non-executive directors, with a majority of independent directors, and chaired by an independent chair who is not chair of the board. The committee should have at least 3 members, and operate with a formal charter. The question states that there are four members of the audit committee, who are all independent directors. In addition, the chair of the committee is an independent director. However, we do not know if the chair of the committee is also the chair of the board, nor if the committee has a formal charter. If both these conditions are satisfied (and the appropriate disclosures are made), we could conclude that the entity complies with Principle 4, but without this information we could not made this conclusion. 3.25 Risk assessment — considering going concern: financial Required Discuss whether there are any events or conditions that may cast significant doubt on the new client’s ability to continue as a going concern.
Factors that may cast doubt on going concern: - Late payment of suppliers – indication of cash shortages and/or poor systems for creditors accounts, both could indicate problems in paying other accounts and doubt about whether all liabilities are being correctly recorded - Suppliers demanding cash on delivery – placing stress on cash flow because no opportunity to generate cash from sales to pay creditors - Bank correspondence – cash flow problems for extended period of time, bank has concerns about client’s ability to make payments
3.26 Risk assessment — considering going concern: operating Required Discuss whether there are any events or conditions that may cast significant doubt on the new client’s ability to continue as a going concern.
Factors that may cast doubt on going concern: - Lack of maintenance on rides – suggests sufficient cash flow not available to pay for maintenance, or poor management of facilities (i.e. not required inspections, not required qualified staff to operate rides - Two popular rides have suffered major damage – given proximity to salty conditions (causing rust) are other rides all fully operational? Any further failures in facilities could close theme park completely, severely damaging revenue and cash flows
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Minor injuries suffered by patrons – is the client legally liable for damages as a result of court cases against it for the injuries? If major damages awarded against the client, does the client have capacity to pay? Most popular rides have major breakdowns – taking them out of action for several months until repairs are completed. Major impact on revenue because theme park would be closed or severely restricted. Significant cost of replacement parts (more than 10% of profit) – requires major capital investment, is there sufficient cash flow to service the investment? Repairs are scheduled to be done during the period April – July 2012 – this would be on-going at a balance date of June 2012 (balance date not stated in the question). Auditor would not be able to gather evidence of the successful repairs before the balance date. Major question about client’s ability to continue at full capacity if repairs are delayed or not successful.
3.27 Understanding the client Required Explain how you would use the information to understand your new client. 1. Prior period financial reports can be used to understand the client’s financial performance and position over several periods. Past periods provide a benchmark for analysing the current period. For example, trend analysis can reveal whether the client is growing, becoming more profitable, changing the mix of products and locations, how cash flows change during the year etc. Detailed analysis can reveal whether the client is financing its operations through debt or equity, using short or long term debt, whether it is exposed to foreign currency movements (which it will be because of the imports from Asia) and how the exchange risk is being managed. The auditor can use the understanding gained from analysing past financial reports to assess the risk of misstatement in individual accounts. 2. Anticipated results (forecasts) can reveal where the client foresees risks and understand how the client plans to handle them. Forecasts can be used to understand what changes the client believes the future will bring, and how they will impact on the business. Management forecasts and plans can be analysed to reveal how growth etc. will be financed. 3. Industry averages provide a benchmark against which to assess the client. Is the client typical of the industry? How does it vary? Understanding the differences between the client and the other members of the industry can provide context for judging how the likely future economic conditions will affect the client, and which accounts are mostly likely to be at risk of material misstatement.
3.28 IT risk assessment Required What concerns would you have about the payroll application’s integration with the general ledger application?
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Concerns include: - New payroll system is more complex than the old system – how does this affect its integration with the general ledger (can the general ledger interface completely with the new payroll system, have undocumented changes been made to the general ledger system to enable the interface?)? - Have staff been adequately trained in the new system, including inputting data and acting on reports? - Limited testing of new system – why did this happen (was installation rushed, were there problems with the new system, are there adequately trained staff operating the system)? - Lack of evidence of the integrity of the new system due to limited testing, there could be undetected problems with the new system
3.29 Fraud risk Required Explain why the revenue from passenger accounts in the income statement is at significant risk of fraudulent financial reporting by management. Factors that increase risk of fraudulent financial reporting: - Lower demand and increased competition, especially relating to business travel, increases pressure on management to meet revenue targets - Accounting policy involves use of revenue received in advance account with subsequent transfer to revenue. This required control over procedures to recognise when flights are taken and match with the appropriate transfer to revenue. Opportunity to corrupt this system to allow revenue to be transferred at a time that suits management (i.e. to meet forecasts). This type of accounting policy is more easily overridden by management than by more junior staff. Management also usually have greater incentives to manage revenue. - Passenger revenue is 8% of total revenue, potentially material, creating an opportunity to use this revenue stream to affect total profit targets. - Change in revenue from passengers is less than change in revenue in advance, suggesting that some receipts are being channelled into revenue rather than revenue in advance. Alternatively, forward bookings (which would be credited to revenue in advance) are falling much more than current revenue, signifying even greater falls in revenue in future periods, creating even more pressure on management to manipulate revenue. 3.30 Understanding the client and its risks — risk assessment Required (a) Identify the issues that potentially impact on the audit of Scooter Ltd. (b) Explain how each issue affects the audit plan, by identifying the risks and the financial report accounts that require closer examination. (a) Issues:
Chapter 3: Risk Assessment I
Change from good economic conditions (solid employment growth, rising petrol prices, easy access to credit for consumers) to financial crisis (recession with lower employment growth, falling petrol prices, difficult access to credit). Changing conditions such as lower petrol prices and lower employment growth have slowed consumer demand for scooters. Consumer demand is also likely to be affected by less access to consumer credit for scooter purchases. The changed economic conditions also likely adversely impact Scooter Ltd’s access to finance (tighter finance market, slower cash flow to service debt). (b) Impact on audit plan Greater risk of fraudulent financial reporting because of pressure on Scooter Ltd management to meet performance targets (either for bonuses or to satisfy bank covenants) Likely impact on profit: Sales revenue: Consider risk of fraudulent transactions, cut-off (sales from future period back-dated to the current period), revenue recognition issues (e.g. scooters loaned to potential customers recorded as sales despite generous rights of return) Risk associated with finance company – scooter price inflated to be above $10,000 with ‘allowance’ granted later to customer. Expenses: Consider risk that expenses post-dated to next period to improve current period profit. Going concern risk – is business able to pay its debts as they fall due? What are the terms of finance between Scooter Ltd and its banks? Is Scooter Ltd locked into a lease on premises that are now too large? Risk associated with staff layoffs – poor sales could lead to staff sackings not in accordance with relevant awards, risk of successful case for unfair dismissal.
3.31 Financial reporting fraud risk Required (a) Discuss the incentives, pressures and opportunities to commit financial report fraud, and attitudes and rationalisations to justify a fraud in the above case. (b) What financial report frauds would you suspect could have occurred at Vaughan? (a) Incentives: The board has shown through their selection of a new CEO with a reputation for ‘toughness’ and turning around businesses that they want a change in the company’s results. The board has given the new CEO a 5 year contract with incentives for growth, profit and share price. The CEO also has the incentive to preserve his reputation. Opportunities: The new CEO has a bonus that is tied to profit from continuing operations. This means that any write-offs that can be labelled as ‘discontinuing operations’ will not affect his bonus. There is the opportunity to ‘take a bath’ by writing down assets more than is required without affecting the bonus. In future periods, bonus payments will be higher because a lower amount of depreciation will be charged to continuing profits. In addition, selling off certain divisions reduces recurrent depreciation charges and provides a cash resource to invest in other areas
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that are favoured by the CEO. The new CEO also has a 5 year period to make these changes without risking termination. Attitudes/rationalisations: The focus is now on maximising profits through boosting sales and cutting costs. There is less emphasis on compliance and more on pleasing the CEO. This suggests that efforts to boost profit will be received favourably and any attempt to obstruct the CEO, such as questioning accounting policies or business decisions, will not be received favourably. Increasing share prices also seem to say that the market approves the new actions. The CEO has been rewarded by the board, further encouraging this type of behaviour. (b) Potential frauds – consider risk of fraudulent financial reporting greater than risk of asset misappropriation. Examples: - Backdating sales to current period, postdating expenses to next period (consistent with reported growth in sales, lower costs in latest results) - Reclassifying assets and expenses as part of discontinued operations, overstating asset impairments, overstating losses on disposal of discontinued operations - Inappropriate classification of revenues and expenses in current period to accentuate reported growth in profit, greater capitalisation of expenses in current period as assets (also to increase profit), understating liabilities (nonrecognition of accruals etc.)
3.32 Assessing the risks associated with information technology Required What audit risks are associated with the installation of the new inventory IT system at Clarrie Potters? The installation of a new IT system means that results of previous audits do not necessarily apply to the new audit. Shane Woodrow needs evidence that the new IT system operates as it was intended before he can place reliance on it. Although the new IT system was not part of the audit in the last period, there could be evidence of its testing in a preliminary phase. This issue should be discussed with the ex-audit partner. In addition, there could be evidence of the process surrounding the order of the new system, including its customisation to the client’s requirements. Risks in the new system include those associated with accurate initiating, recording, processing and reporting of inventory transactions (including non-routine transactions), whether the system can be overridden or bypassed by management or staff, whether there are sufficient controls over program changes, whether the information in the old IT system has been transferred to the new system appropriately, whether the new system produces sufficient management reports (e.g. exception reports) to show that the client is monitoring its performance.
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3.33 Going concern Required (a) Is there a going concern issue in this case? Explain. (b) Are there mitigating factors? Explain them and how they would impact the auditor’s conclusion. (a) Going concern issue factors: Hotel occupancy fees are lower due to reduced business, shopping, and sport related travel. Rent from coffee shop has stopped due to the shop’s closure and uncertainty about recovery of penalty fees or prospect of new lease. Short term finance for renovations will not be renewed. Effect of global financial crisis to the business (b) Mitigating factors: Hotel occupancy could increase if sport related travel is realised as predicted. If penalty fees are recoverable, this could repay the short term debt. Long term debt is not due, although repayments must be made. Other, not discussed in question: • Refinance short term debt through seeking a new bank for both the long term and short term debt • Coffee shop could be leased to a new tenant. • Global financial crisis could be less severe due to government stimulus package, increasing business related travel. • Renovations are complete and could help boost occupancy. • Consider likely success of sale of property. Auditor should consider evidence for each risk and mitigating factor. For example, review correspondence with the existing and any new bank with respect to both loans, discuss the case against the coffee shop tenant with the client’s solicitor (with the client’s permission), review advance bookings for travel associated with the football games, review correspondence (if any) with potential new coffee shop tenants, read minutes of board of directors where the issues have been discussed, obtain independent evidence on travel to the city and retain spending, obtain valuations of property (should be higher following the renovations). The auditor’s conclusion should be based on the strength of the evidence supporting the mitigating factors and the going concern issues, and professional judgement about the likelihood of the events occurring.
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3.34 Impact of closing procedures on performance Required (a) Explain why and how the circumstances described above could affect your risk assessment. (b) How would you audit Dunks’ closing procedures? What potential errors would be of most interest? Explain. (a) The auditor is required as per ASA 315 to understand the aspects of the client’s business risk that increase the likelihood of material misstatement. Dunks has experienced consistent growth but there are doubts about its ability to continue to grow in the current economic climate. There is a risk that these conditions could place financial stress on the company through falling revenue and cash collections from customers and increased costs from adverse currency movements. There could also be difficulty sourcing products from other companies in financial stress. There is increased risk of doubtful debts, and improper revenue recognition. If currency exchange rates are more volatile because of the recession there is increased risk of incorrect purchase costs and exposure to foreign currency exchange risk (which could be hedged). Senior managers remunerated through bonuses could be under pressure to find ways to increase revenues and cut costs. These pressures could increase the risk of fraudulent financial reporting. Also, the general attitude within the company towards profit targets could be interpreted as a poor attitude towards preventing fraudulent financial reporting. The slower monthly reporting is a concern. It increases the risk that exceptions and performance evaluation are not being dealt with on a timely basis. It also suggests that the reporting system is under pressure for some reason, increasing the risk that the reports are not accurate, particularly with respect to monthly closing entries. (b) Given the above risk statements, specific focus would be on making sure that revenues are not overstated and expenses are not understated. This means that there would be a search for backdated revenues and postdated expenses. Documents (invoices, cash receipts and payments) related to sales for the first weeks of the new year and expenses for the last few weeks of the old year would be inspected. The auditor would vouch sales journal entries for the old year and trace expense documents to the journals for the new year. Interim audit procedures would be directed towards investigating monthly closing procedures. Although these monthly closing entries will not impact on the overall profit for the year (except the first and last month entries), they provide a guide to the management’s attitude towards closing entries in general and the adequacy of the closing entry system controls.
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3.35 Gaining an understanding of a new client Required You have access to the following information for Featherbed: 1. prior period financial reports 2. anticipated results for the current year 3. industry comparisons. Explain how you would use this information to understand your new client. For prior period financial reports, the information could be used to calculate ratios and trends (i.e. analytical procedures). The auditor would gain an understanding of the client’s main categories of revenue and expenses, and the relative importance of various assets and liabilities. For industry comparison, the auditor can compare the audit client’ results to other firms within the same industry. The following are some questions which when answered will provide information about the new client: a. How similar is the client to other businesses in this industry? b. What are the major trends developing in the industry, particularly as economic conditions change? c. this client show the same trends? Why/why not? For anticipated results, this could be analysed to understand the client’s expectations regarding growth (or decline) and also reveal shifts in revenue and expense patterns. The auditor would consider whether actual changes in business are reflected in the accounts (e.g. has the bank given the business a new loan to finance an expansion or new purchase of equipment?). The auditor would also use the reports to understand the difference between peak and off-peak periods and how they affect the business’s profits. Specific issues include provision for annual and other leave (apparently some staff never take holidays) and the most senior staff’s retirement-related provisions. The auditor should also obtain information about occupancy rates, visitor numbers, staff numbers, and compare these to the financial data. For example, does accommodation revenue vary proportionally with occupancy rates, tour revenue with visitor numbers, payroll expense with employee numbers? Why/why not?
3.36 Assessing fraud risk (a) Identify and explain any significant fraud risk factors for Featherbed. (b) For each fraud risk factor identified above, explain how the risk will affect your approach to the audit of Featherbed. (a) Fraud risk factors: Justin and Sarah Morris have effective control, but not 100% ownership of the business. This creates a risk that related party transactions are not properly at arms’ length or disclosed in the Featherbed reports. The presence of a new equity investor and the involvement of the bank increase the demand for credible reports. The management have a ‘laid back’ style, suggesting there is not effective control. There
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is also the question of effective control over assets because the CFO is in control of financial reports and a major investor in both companies. The chairman of the board is the husband of the CFO, the CFO is a director – is there good oversight, i.e. good corporate governance? The accounts have not been audited before, meaning that an independent external party has not previously reviewed the business’s internal control and financial reports. Opening balances are particularly at risk. Accounts staff rarely take leave, suggesting that there has not been an opportunity to independently review their work. Are they hiding anything? There appear to be issues with segregation of duties and effective supervision. For example, they help each other with journal entries, it is not clear whether banking cash is kept separate from bank reconciliation (these issues relate to opportunity to commit fraud). Peter Pinn is close to retirement and thus has a short ‘horizon’ in the business. Is there an attitude that they work so hard in the accounting department that they are ‘owed’ something (i.e. an attitude/rationalisation issue). Is there effective supervision of the casual workers? They are people likely to have incentives for asset misappropriation due to their low wages. They could have an attitude that fraud is reasonable due to the poor working conditions and low wages. Does the accounting staff have proper procedures for processing these short-term employment contracts? Who handles the HR duties? Overall, the small size of the business means that it is unlikely that the client has fully effective internal control systems. A great deal of reliance is placed on management supervision and there are factors that indicate that this supervision might not be totally effective. (b) Each fraud risk factor would require more time in the audit plan to gather evidence about the assertions relating to relevant accounts and transactions. The plan would include time on understanding the client’s system of internal control, but additional control testing would only be warranted where the auditor intended to place reliance on the controls. The fraud factors appear to suggest that greater substantive testing would be required, particular for accounts relating to payroll, bank, related parties, revenue recognition and expenses, and closing entries. Fraud Risk Factor
Explanation as to why a risk
Key Finance staff not There is no independent taking leave review of the work of the key finance/accounting staff which could lead to the staff misappropriating asset and not being detected by anyone
Weak or ineffective Poor segregation of internal controls accounting dutiesPoor supervision of staff Poor business management
Suggested audit approach to address the risk Little reliance should be placed on internal controls. More use of substantive testing of transactions and account balances (i.e. (payroll and bank reconciliation. Review unusual transactions/activity Test authorisation of refunds and discounts
Chapter 3: Risk Assessment I
systems and processes Opening balances have not be confirmed Related party There is a risk that transactions transactions to related parties were not at arm’s length, not reviewed or approved
Testing of opening balances Substantive testing ( i.e. confirming specific transactions, purpose and aspects of transactions to related parties and making enquiries to business relationship) ( see ASA 550 A31-A33) Poor corporate Risk of management Test appropriateness of governanceoverriding of controls (see journal/ledger entries independence issues ASA 240. 32 Review of management estimates and adjustments Review timing difference issues for recognition of revenue and expenses
3.37 Fraud risk Required (a) Which accounts (balance sheet and income statement) are potentially affected by the fraud? (b) Describe how Gardens Nursing Home’s business could be affected as a result of the fraud event. (a) The collusion resulted in reduced fees for patients. This means that revenue is understated for various medical and other services as well as room charges (completeness of revenue). It is possible that accounts receivable are understated – either amounts are too low or some accounts are not recorded (valuation and allocation of accounts receivable) The following identify and explains the potential effect of fraud on the balance sheet and income statement as a result of the collusion between the nursing staff and some patients) Effect on Balance Sheet accounts 1. Accounts Receivable- This account is understated because nursing staff was not billing the patient or billing amount has been reduced in exchange of secret payment my patients to the nursing staff Note: There may be instances when patients have been invoiced or billed correctly but when patients paid Cash to nursing staff, the nursing staff pocketed the Cash and did not enter them as Payments to the invoice(s) paid by the patients. In this case,
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accounts receivable is overstated and therefore need to be adjusted and so with provision for doubtful debt which is understated 2. Cash – This account is understated for the same reason 3. Inventory of equipments/medical supplies- This account is understated because some equipments/medical supplies may have been given to patients in exchange of secret payments to nursing staff. Effect on P/L accounts 1. Revenue from medical services- This account is understated 2. Revenue from room charges- This account is understated 3. Bad debt expense- This account is understated Note: Some patients will not pay their bills because they will claim that they made cash payments previously but the nursing staff have not recorded them. Therefore, any unpaid invoice amount should be debited to bad debt expense
(b) Revenue and cash receipts are reduced by the fraud. This means that Gardens Nursing Home appears less profitable than it is. The ripple effect of decreased profit could be on staffing decisions (i.e. decreasing number of staff , increasing work load on retained staff, capital equipment , loan covenants (are covenants breached due to reduced profitability?). Have management taken other action to deal with declining profitability? Garden’s nursing home’s control environment should be reviewed. The organisation should reflect on the following: What conditions led to this fraud? What other controls are inadequate? What is the prevailing attitude within the business to fraud? Are personnel upset by the fraud? How effective is Gardens Nursing Home’s management and supervision?
Chapter 3: Risk Assessment I
Case Study Cloud 9 Your task is to research the retail and wholesale footwear industries and report back to the audit team. Your report will form part of the overall understanding of Cloud 9’s structure and its environment. You should concentrate your research on providing findings from those areas that have a financial reporting impact and are considered probable given Cloud 9’s operations. In conducting your research, you should consider the following key market forces, as they relate to Cloud 9’s operations. • General and industry-specific economic trends and conditions • Competitive environment • Product information • Customer information • Supplier information • Technological advances and the effect of the internet • Laws and regulatory requirements
Solution Students may have identified some of the following key market forces based on their research. Economic characteristics/Supplier information/Regulatory The Australian footwear market is expected to grow at an average of approx. 2% each year to 2014: • Household consumption expenditure has decreased over the last few years with petrol and housing prices increasing. Expenditure is mostly going towards travel and leisure rather than clothing or footwear. • Tariff reductions have led to a decrease in prices for consumers • Lower pricing levels and improved quality of Chinese imports have resulted in large volume increases. Cloud 9 Pty has responded well to this shift by obtaining the majority of its good from their China distribution plant. • The strength of the Australian dollar against the US dollar has improved the foreign currency exchange issues • Having a retail outlet/store increases the risk of theft (and has been proven) and need for skilled or at least consistent labour. • Consider effect of recent events e.g. Global financial crisis Competitive environment/Product information/Customer information Competition is high and increasing, with price and quality the deciding factors: • The ability to supply footwear retailers with products in a timely manner is an important success factor against competitors. Footwear is subject to fashion trends. • Image and functionality are two of the most important characteristics consumers use to differentiate footwear. An aggressive marketing campaign, often using sports and fitness preferences are key to establishing brand recognition. • The industry is relatively capital intensive – need for warehousing, transportation, stock – is high and may create barriers to entry
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•
• •
While entry from new wholesalers can be difficult based on agreements between existing wholesalers and retailers, the trend in the industry is for the customer to buy directly from the manufacturer. Cloud 9 has responded well to this trend by opening its own store, thereby taking out the wholesaler. Discount stores are surpassing department stores – this may impact Cloud 9’s current customer base and sales opportunities. To boost repeat customer visits, retailers are developing loyalty programs. While Cloud 9 started a program this year, it remains to be seen if the benefits will be achieved given the low regularity of consumers purchasing athletic footwear.
Technology and Systems Technological advances in this industry have mainly been in the areas of replacing the need for skilled labour with computerised automation of inventory control: • Computers allow inventory to be stored on an international basis; allowing for more efficient transportation and distribution • Distribution management software allows advanced order management, inventory management, and delivery systems to be combined in one seamless supply chain • An on-line presence will provide a competitive advantage through increased marketing power and the ability to provide product information. By considering these factors, the auditor would identify key business risks that would have a material effect on the financial statements. These risks are inherent to the business operations. Based on the research above, the Cloud 9 audit team have identified the following audit risk areas: Growth of revenues given industry outlook and management incentive Risk Description Consumer discretionary spend is low and expected to grow by only 2% for the year. Management receive bonuses based on revenue targets, which was set at 3%. General economic conditions will also impact retail businesses with their recoverability of debt and valuation of assets. Use of IT for inventory management system Risk Description Retail businesses are reliant on a smooth supply chain process. Where a business uses products with a long lead time, there is significant pressure to ensure that the correct type and quantity of stock is ordered to meet the requirements of customers. Level of competition Risk Description Most sectors of retailing are relatively mature and continue to compete on the traditional basis of price, brand strength and level of market power. Price remains important in most mass market areas of retailing. Merchandise cycle and fashion trends Risk Description Rapidly changing fashion trends and slow sales outlooks can result in obsolete stock.
Chapter 3: Risk Assessment I
Misappropriation of stock and cash Risk Description Retail business selling highly desirable and moveable products (e.g. PC games, CDs, designer sunglasses) will be exposed to an increased risk of theft. In addition, employees handling cash at store locations increase the risk of fraud through theft also. Rebates/Discounts to retailers Risk Description For the wholesale business, there is significant pressure from retailers to receive generous rebates or volume discounts. Retailers are heavily influenced by landlords and consumers; therefore they control their profits through the supply chain, thus impacting the wholesaler.
NOTE TO THE LECTURER: From a big picture perspective, you may want to highlight the key risks in respect of understanding the wholesale/retail industry. This does not directly affect the outcome of the case study for Cloud 9 given the limited company background provided. • How does the company control the suppliers/manufacturers? Are they onshore or offshore? • How do they determine the quantity/style for their purchases from the manufacturer? Ultimately, the wholesaler inherits some of the risk when determining stock balances to effectively service the retailers • What are the terms and conditions with the retailers? What rebates or discounts are provided? As price is the key driver in retail, this will be the area of concern when dealing with retailers.
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RESEARCH QUESTION Required (a) Research the progress of the case against David Friehling. Write a report explaining his alleged role in the Madoff Ponzi scheme and the current (at the time you write your report) state of the legal action against him. (b) Friehling was subject to US auditing standards and legislation. Explain if, and how, Friehling’s alleged actions would violate Australian Auditing Standards and professional ethics. (a) Students should conduct a literature review and write a report of the current state of the legal case. There are several useful texts explaining the Madoff affair including Markopolos, H. No one would listen, Wiley (2010) Arvedlund, E. Too Good to Be True: The Rise and Fall of Bernie Madoff, Penguin, (2009). (b) A summary of the allegations against Friehling from the most recent court documents and media reports should be tested against the following relevant provisions and standards APES 110 (e.g. lack of independence, competence, professional behaviour and due care allegations) ASA 200 (conduct of an audit) ASA 220 (quality control) ASA 230 (was there appropriate documentation ?) ASA 240 (fraud factors - were they properly identified?) ASA 315 (understanding the client and assessing risk – did the auditor understand the business of hedge funds and assess Madoff’s control systems?) ASA 330 (responding to assessed risks – did the auditor respond appropriately to any risks identified?) ASA 500 (audit evidence – was it sufficient and appropriate?)
Chapter 4: Risk assessment II
Solutions Manual to accompany
Auditing: a practical approach 2nd edition by Jane Hamilton CHAPTER 4 Risk Assessment II
© John Wiley & Sons Australia, Ltd 2013
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Chapter 4 – Risk Assessment II REVIEW QUESTIONS 4.11
Explain the approach adopted by auditors of identifying accounts and related assertions at risk of material misstatement. How does this approach help reduce audit risk to an acceptably low level?
Audit risk is the risk that the auditor gives an inappropriate opinion on the financial report. The auditor tries to keep this risk to an acceptably low level by planning the audit according to the key risks faced by the client and allocating more audit time where the risk of material misstatement is highest. This means that the auditor tailors the audit work to the client’s characteristics. If the client has characteristics which suggest that the greater risk of material misstatement is in a particular account or transaction cycle, the auditor will plan to do more audit work on that account or transaction cycle than would be done for another client with different characteristics and lower risk in that area. The auditor identifies the specific accounts that are most at risk, and how those accounts are likely to be misstated. For example, one client may have a greater risk that fictitious credit sales are included in the balance of accounts receivable, while another client may have a greater risk that accounts receivable balance includes balances that are not likely to be collected. The first client has ineffective controls over processing credit sales and the second client has ineffective controls over granting credit to customers. The auditor would spend more time gathering evidence over the validity of credit sales transactions for the first client, and more time gathering evidence about the collectability of accounts receivable for the second client.
4.12
How does the auditor’s preliminary assessment of materiality affect audit planning? What does an auditor consider when making the preliminary assessment of materiality?
The auditor’s preliminary assessment of materiality is made early in the audit and is used to guide planning of the audit and the audit testing based on the plan. The auditor will set materiality higher when client risk (inherent risk and control risk) is lower, i.e. there is an inverse relationship between client risk and the preliminary assessment of materiality. This means that the materiality assessment is set lower for riskier clients. The auditor must specifically consider the three components of audit risk when making the preliminary assessment of materiality. At this stage, the auditor has not completed testing, so the assessment of control risk is also preliminary. A low preliminary assessment of materiality means that the auditor must plan to detect misstatements of low materiality. A high preliminary assessment of materiality (for a low risk client) means that the auditor plans to detect misstatements that have a high level of materiality. It takes more audit work to be reasonably sure that smaller misstatements are detected, than the amount of audit work required to be reasonably sure that larger misstatements are detected. This is because the lower the materiality
Chapter 4: Risk assessment II
level set, the more items will fall into this definition. In addition, because the auditor will be combining all testing results together, a lower materiality level is more sensitive to a potential material misstatement.
4.13
The quantitative materiality of an item is assessed relative to a particular base number. What are some of the choices for this base and what factors guide the auditor in this choice?
AASB 1031 guides auditors in the choice of base for materiality calculations. The base must be ‘appropriate’, which means that the potential misstatement should be considered in the context of its effect on the client’s financial performance or position. This judgement is made based on the auditor’s knowledge of the client and the auditor’s experience. For example, a listed client is primarily assessed on its ability to generate profits, so an auditor is likely to consider profit before tax as an appropriate base. However, a non-profit entity is less likely to be evaluated on profit, so either assets or revenue would be more suitable as a base. However, a listed client could be reporting a loss or have variable profits. In this case the auditor is more likely to use revenue as a base. If the client is newly established, and thus with little revenue, equity or total assets would be more suitable as the base. The overall consideration is how the impact of the potential misstatement is likely to affect users’ decisionmaking.
4.14
If an auditor adopts a predominantly substantive approach to the audit, do they have to consider and test the client’s internal controls? Explain your answer
A predominantly substantive approach is adopted by the auditor when the assessed level of internal control risk is high. There is high control risk if the operating systems and procedures are poor and ineffective. However, the auditor will still perform tests of controls to obtain sufficient appropriate audit evidence on effectiveness of relevant controls if substantive procedures alone cannot provide sufficient appropriate audit evidence at assertion level (see ASA 330 Para 8b). There are also instances when the auditor may perform test of control and perform substantive test of details on the same transaction but the purpose of performing test of control is different from the purpose of performing substantive test of details (see ASA 330 Para A23) For example, the auditor may examine whether a particular overtime payment has been authorised at the same time gather substantive evidence through test of details of balances by recalculating payroll liabilities
4.15 If an auditor adopts a lower assessed level of control risk approach, do they have to perform any substantive procedures? Explain.
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If the auditor adopts a lower assessed level of control risk approach there will be increased reliance on tests of controls and reduced reliance on substantive tests of transactions and account balances. In this case, the auditor has assessed the client’s control risk as low and detection risk as high. However, an auditor can never completely rely on a client’s system of internal controls and will always conduct some substantive procedures to gather independent evidence about the amounts in the client’s financial report.
4.16
A client has physical controls over inventory, including a locked warehouse with access restricted to authorised personnel. Testing of these physical controls over inventory shows that they are very effective. Can the auditor conclude that the valuation assertion for inventory is not at risk? Explain.
No. There are many reasons that the valuation assertion for inventory could be at risk, i.e. the risk that the inventory is shown at an incorrect value in the balance sheet. Locking the warehouse would reduce the risk of theft, but does not address all the valuation risks. For example, the inventory could be physically present in the warehouse, but the valuation is incorrect because there are errors in the costing procedures used to value inventory. If the client is using FIFO, there could be errors in identifying the inventory movements and associated costs. There could be errors in calculating inventory costs because of mathematical mistakes in the invoices or inventory records. There could be errors in updating the inventory records so that they misstate the amount and value of inventory in the warehouse. There could be inappropriate procedures for identifying obsolete or damaged inventory so that these items continue to be carried at full cost instead of being written down to NRV. There could be errors in cut-off, so that inventory purchases made prior to the end of the financial year are not recorded in the inventory records as at the end of the year. The auditor would need to explicitly all the risks to the inventory balance and how these would be prevented or detected by the client’s controls before concluding that inventory was not likely to be misstated.
4.17
Explain using examples how you could use analytical procedures in assessing the risk of misstatement of sales revenue.
Analytical procedures that could be useful to assess the risk of misstatement of sales revenue include: Comparisons between this year’s sales (interim or final data) and previous years (for the same months) • year by year comparison • Trend analysis (across time periods) • Common size statements and analysis (sales to every other item in the accounts) Comparison between this year’s actual sales and budgeted sales Comparison between sales for this client and industry averages or peers Calculation of gross margins for this year and comparison with other periods and entities (year by year, trend analysis, common size analysis)
Chapter 4: Risk assessment II
Consideration of sales and margins by product line, region, store (and comparison with other periods and entities) Comparison of sales commissions and revenues and margins, by entity, region and sales person
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4.18
What are some possible explanations of a change in the gross profit margin? How could the auditor investigate which of these explanations is the most likely cause of the change in the ratio?
A gross profit margin is the gross profit divided by net sales. Fully understanding this margin, and the reasons for any change, requires an understanding of the components of the margin. Gross profit = sales – cost of goods sold. If the gross profit margin increases, profit as a proportion of sales increases, which means that cost of goods sold as a proportion of sales decreases. Cost of goods sold = opening inventory plus net purchases minus closing inventory. This means that any change in cost of goods sold could be due to changes in opening inventory, net purchases (i.e. purchases less purchases returns), or closing inventory. Opening inventory can be verified by comparing with closing inventory in the previous period. Net purchases can be verified through detailed testing of transactions. Closing inventory can be verified through stocktake testing procedures. Increases in the gross profit margin are likely caused by either: • Increasing selling prices (at least increasing faster than cost of sales are increasing) • Decreasing cost of sales (at least decreasing faster than sales prices are decreasing) Increasing Sales are possibly caused by: • Cut-off errors (sales in next period backdated to current period). Auditor will verify dates of sales around the end of the financial year. • Fictitious sales. Auditor will seek evidence of sales, and test for sales returns being used post the balance date to eliminate fictitious sales and debtors. Auditor will seek evidence of inventory movement to customers. • Increasing selling prices. Auditor will check for evidence of increased prices on approved price lists. • Errors in accuracy of sales. Auditor will test for correct calculations in sales invoices and accounting records. Decreasing cost of sales is possibly caused by: • Lower cost of purchases, e.g. buying goods for lower prices because of better purchasing agreements, buying in bulk, favourable exchange rate movements for imported goods etc. This can be verified through examining purchase agreements, invoices, foreign exchange agreements and transactions. • Higher cost items being held as closing inventory and lower cost items being sold (higher closing inventory reduces the cost of goods sold). This implies a change in the product sales mix without lower selling prices. Auditor will analyse changes in product mix. • Overstatement of closing inventory – auditor will use stocktake testing to verify. • Failure to update inventory records for sales. Auditor will test details of inventory movements.
Chapter 4: Risk assessment II
Decreases in the gross profit margin are likely caused by either: • Decreasing selling prices (at least decreasing faster than cost of sales are decreasing) • Increasing cost of sales (at least increasing faster than sales prices are increasing) Decreasing Sales are possibly caused by: • Cut-off errors (sales in this period postdated to next period). Auditor will verify dates of sales around the end of the financial year. • Omitting sales. Auditor will trace sales orders and invoices to accounting records, evidence of sales returns made in error. • Decreasing selling prices. Auditor will check for evidence of lower prices on approved price lists. • Errors in accuracy of sales. Auditor will test for correct calculations in sales invoices and accounting records. Increasing cost of sales is possibly caused by: • Higher cost of purchases • Lower cost items being held as closing inventory, higher cost items being sold • Understatement of closing inventory. The auditor is likely to be more concerned about a potential misstatement which overstates gross profit and closing inventory than one which understates gross profit and closing inventory.
4.19
What is the difference between liquidity and solvency? Why does this difference matter to an auditor?
Liquidity is the ability of a company to meet its short term debt obligations. Solvency is the long-term viability of a company. Both liquidity and solvency can be analysed using ratios. Liquidity ratios tend to take a short-term view of a company; solvency ratios have a long-term perspective. An auditor is interested in both its client’s liquidity and solvency. If the client cannot pay its short-term obligations, it could lose key employees, relationships with suppliers, and have to pay back borrowed funds. These circumstances could place the fair statement of financial reports at risk, and disrupt the client’s ability to continue to trade effectively. Analysing a client’s liquidity situation can alert an auditor to potential going concern issues. The longer term focus of solvency means that an auditor can use a solvency analysis to alert it to future going concern issues at the client. High debt relative to equity or high financing costs relative to profit cannot be sustained indefinitely and alert the auditor to growing pressures on borrowing costs or access to finance.
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4.20
Consider the following statement: ‘When inherent and control risk are assessed as high, the risk of material misstatement is assessed as high and an auditor will set detection risk as low, to reduce audit risk to an acceptably low level.’ Explain what it means to set detection risk as low. What does this mean for the operation of the audit?
The statement is based on the audit risk model. Audit risk (AR), the risk of giving an inappropriate audit opinion, is a function of the client’s inherent risk (IR), control risk (CR) and the auditor’s detection risk (DR). [AR = f(IR,CR,DR] The auditor chooses a desired level of AR. The auditor cannot control IR and CR, so the only way they can achieve the chosen level of AR is by setting DR at an appropriate level High levels of IR and CR increase AR, so the auditor must plan for a low DR to achieve the required AR. Low levels of IR and CR decrease AR, so the auditor can plan for a higher DR before AR becomes unacceptable. The mere act of setting DR low does not reduce actual AR. The auditor must perform the appropriate audit procedures to have reasonable assurance of achieving the chosen DR. The lower the DR, the more effective and extensive the audit procedures required. 4.21 Explain how setting a lower materiality level affects the number of items that are material and the assessment of the sufficiency and appropriateness of audit evidence.
Auditors set the materiality level based on their professional judgement of the client and the information needs of users of the client’s financial statements ( ASA 320 Para 4 When planning materiality level is set at lower level, there will be more items considered to be material than when planning materiality is set at higher level. For example, if the planning materiality level is set at $10,000, then any error that has an effect $10,000 or more is material. However, if planning materiality level is reduced to $5,000, then errors between $5,000 and $10,000 are now material. Previously, they would have been regarded as immaterial. By setting a lower planning materiality level, an auditor increases the quantity of evidence that needs to be gathered. It is also likely to increase the quality of evidence required because the auditor will need greater assurance than an error with a lower effect has not occurred (better evidence would be required to detect smaller errors, larger errors are likely to be more obvious than smaller errors). When gathering evidence, one of the criteria may be to test material items. The lower the materiality level set, the more items will fall into this definition. Also, by setting a lower materiality level, an auditor increases their sensitivity to a potential misstatement.
Chapter 4: Risk assessment II
When analysing test results, an auditor will assess potential misstatements in aggregate with reference to their planning materiality. The lower the materiality, the more likely the auditor will conclude that misstatements are material and further testing is required.
4.22 What is a time-series analysis? How could it be useful to an auditor?
The basic concept of time-series analysis is to compare the same type of data across a number of time periods (e.g. monthly, quarterly or yearly). For example collecting or measuring a well-defined financial data, such as sales, repeatedly over time at equally spaced interval. Time –series analysis can also be performed on wages expense or any account measured regularly over time because of its significance. Time –series analysis is less useful for ad hoc or irregular financial data, such as purchases of fixed assets. When performing analytical procedures, the auditor can perform time-series analysis and examine the series of data points across time and predict the next value in the series. For example, sales for the past four years can be used to predict sales for the current period being audited. A significant deviation from the predicted value and which are inconsistent with the auditor’s expectation can be an item for investigation by the auditor. Using time-series analysis as one of analytical procedures employed during the risk assessment phase will assist auditors in the risk identification process
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PROFESSIONAL APPLICATION QUESTIONS 4.23 Audit risk and inventory Required What are the inherent risks for Cheap-as- Chips’ inventory? Discuss the assertions being made by management about the inventory.
The following are the explanations of inherent risks for Cheap-as-Chips inventory given the circumstances of Cheap-as-Chips’: 1. Material portion of inventory on hand in the current asset account- Cheap-as-Chips’ inventory represents a material portion of current assets, and is likely to be a significant item in the balance sheet. The importance of inventory to the financial position of the client increases the inherent risks because a material misstatement in the inventory account will cause a material misstatement. Therefore, audit risk (the risk of an incorrect opinion) is associated with the risk of misstatement in inventory. 2. Constant change of nature of inventory- The regularly changing nature of the inventory stocked by the client increases inherent risk because items are likely to become obsolete rapidly. Staff will be unfamiliar with the new items and there is a risk that items will be misidentified, stored or recorded incorrectly, different purchasing requirements are likely for new items (e.g. batch sizes, approval of art work associated with promotional themes). 3. Seasonal change of inventory items -Special orders on changing stock items increase the risk of incorrect purchasing. The discounts associated with special orders increase the risk of inappropriate discounts or problems recording the correct purchase price. 4. Having overseas suppliers- Dealing with overseas suppliers creates risks associated with foreign exchange and possibly communication problems due to language barrier. . 5. Substantial deposit required by the supplier upon placement of order- The required deposit from the supplier will impact on the cashflow of the company.
Some management assertions can be at risk given that there is an increase in inherent risk in the inventory account. Below are explanations as to why the following management assertions can be at risk: 1. Valuation and allocation- there is a risk that not all inventories and/or adjustments to inventories are appropriately recorded in the balance sheet. 2. Existence- there is a risk that not all inventories that were recorded actually existed. Management has an incentive to overstate inventory to reflect a better profit. 3. Completeness- there is a risk that not all inventory on hand that should have been recorded have been recorded
Chapter 4: Risk assessment II
4. Presentation and Disclosure (Accuracy & Valuation) – there is a risk that inventories were not disclosed fairly in the financial report 5. Rights & Obligation- the company controls and has rights to the inventories and for liabilities, they are an obligation of the company
4.24 Control risk Required Describe how the balance sheet and income statement may be at risk of material misstatement if the controls regarding the proper allocation of revenue are not functioning properly. The journal entry which transfers amounts from the deferred revenue account to the revenue account is: Debit Deferred Revenue Credit Revenue This transaction reduces the liability and increases the revenue accounts. As such, it has a direct effect on both the liquidity and profitability of the client. The transaction improves the client’s liquidity by decreasing current liabilities, so that the ratio of current assets to current liabilities increases. The client’s profitability increases because revenue increases. Controls over transfer of revenue from deferred revenue should be able to prevent or detect misstatements in revenue account and deferred revenue account (liability) due to incorrect transfers. For example, processing a transaction twice would overstate revenue and liquidity. Failure to make a transaction would understate revenue and liquidity. 4.25 Materiality assessment Required Explain whether the information provided impacts on the auditor’s assessment of preliminary materiality. Why/why not?
Discovering evidence that the client is having ongoing cash flow difficulties is relevant to the audit because the auditor may need to assess which accounts could possibly be at risk of material misstatement. For example, if the business is having difficulty making its repayments, debts may become due earlier than anticipated, causing changes to the balance sheet (such as a non-current liability being reclassified as a current liability). Suppliers requesting cash on delivery means that if client cannot pay cash on delivery, some supplies may not be available when required causing loss of sales, this will further have a negative effect on the client’s financial position. Overall, there is a greater risk that there will be undetected errors in the client’s financial position. The ongoing cash flow problem of the client may cast doubt on the ability of the client to continue as going concern.
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Auditors set planning materiality based on their judgement of the client and the user’s information needs. Users would be very interested in the client’s ability to pay its debts when they fall due. The increased demand from users for financial information would suggest that planning materiality should be set at a lower level so that the auditor can have assurance that quantitatively and qualitatively material items are detected.
4.26 Audit strategy Required Discuss the type of strategy planned by the audit partner. Why is it no longer appropriate after the initial testing of controls?
The initial audit plan is to obtain evidence of the revenue recognition by relying on internal controls and the use of analytical procedures. This type of audit approach decided by the audit partner was based from his initial assessment of control risk which was low. When control risk is low, the audit partner will test the operating effectiveness of internal controls (i.e. company’s policies and procedures on revenue recognition). As per ASA330 Para 17c, if deviations from controls upon which the auditor planned to rely on are detected, the auditor will make specific enquiries and will determine whether the potential risks of misstatement need to be addressed using substantive procedures. In this particular case, during subsequent testing of internal controls, significant deviations from controls occurred where revenue was incorrectly recognised immediately upon customer payment in advance. Therefore, the controls on revenue recognition are not operating effectively, hence, the controls will have to be reassessed as ineffective and less reliable. In response to the reassessed level of control risk, the audit partner changes the audit approach to a predominantly substantive approach. The initial planned audit approach of test of controls is not any more appropriate because the predominantly substantive approach will be more efficient and effective in obtaining sufficient appropriate audit evidence.
4.27 Audit risk and revenue Required What are the inherent and control risks for Ajax's revenue? What type of misstatements would be most likely for revenue? Ajax generates one type of revenue by lending to customers. The finance charges paid by the customers (i.e. interest and fees) are Ajax’s revenue. Ajax must pay interest
Chapter 4: Risk assessment II
and fees when it raises the funds on the wholesale money market. In addition, Ajax earns revenue through credit card sales. Ajax is paid an amount per credit card and a proportion of the interest charges paid by the customers to the credit card company. The difference between the revenue earned by lending to the customers and the cost of raising the money paid to the money market participants, plus the credit card commission and interest, pays Ajax’s running costs and contributes to its profit. The major risks with Ajax’s revenue relate to the style of its business. Loans are made by mobile lending officers who are paid on a commission basis. The lending officers appear to be alone when they visit clients, and we do not know what controls exist over the loan applications when the lending officer returns to the office (or submits the paperwork electronically). These factors suggest that control risk will be higher over the validity of the loans and credit card applications. There is a possibility that some loans or card applications will not be processed at all, or processed in a timely fashion. The facts also suggest that there could be a high risk of selling loans to customers who do not have the capacity to pay their debts. There is also the possibility that the ‘little person’ who is the foundation of Ajax’s business are not likely to pay their obligations as much as the people who have good relationships with their banks. In addition, the selling techniques used by the mobile lending officers could be unscrupulous because of the pressure on the lending officers to make sales. These factors increase the inherent risk surrounding Ajax’s revenue from collecting on their debts and interest payments.
4.28 Performance measures Required Discuss the risk of material misstatement for the PPE account. Explain why it could be at risk of misstatement and how it is likely to be misstated.
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Solutions manual to accompany Auditing: a practical approach 2e
The unaudited data for the PPE account shows that there is an increase of $6 600 000 from one year to the next. During this period there is a new auditor appointed, and major repairs commenced but not yet completed. The specific risk being considered is that repair costs will be capitalised to the PPE account. When repairs are undertaken, their cost should be debited to an expense account, unless they are an improvement to the asset. A debit to the PPE asset account, instead of a debit to the repairs expense account overstates profit because expenses are understated and the PPE account is overstated by the amount of the entry. Management has an incentive to overstate PPE Account and understate the repairs expense account because the profit will be better, potentially increasing their performance bonus.
4.29
Audit risk components, assertions, and materiality Required (a) Explain the inherent risks for inventory for Carl's Computers. How would these risks affect the accounts? (b) What strengths and weaknesses in the inventory control system can you identify in the above case? (c) Comment on materiality for inventory at Carl’s Computers. Is inventory likely to be a material balance? Would all items of inventory be audited in the same way? Explain how the auditor would deal with these issues.
(a) Inherent risks for inventory for Carl’s Computers include: 1. Likelihood of rapid obsolescence of computer hardware and accessories – risk of incorrect valuation of obsolete product 2. Foreign exchange transactions – are contracts written in US$, A$, etc., are the transactions hedged against adverse movements in exchange rates? – leading to difficulty ascertaining cost of purchase and incorrect creditor liability 3. Competition from aggressive discounters, risk that inventory will not be held on hand to meet fluctuating sales, risk that inventory will be unsold because of competition – increasing risk of obsolescence, valuation problems 4. Rapidly changing product lines – risk that suppliers will change and products not be to required standard, valuation problems 5. Risk that correct stock will not be received from suppliers due to inability to meet orders, confusion between Australian importers and foreign suppliers – purchase orders unfilled or incorrectly filled, payment for stock not received 6. Dealing with multiple transport companies – ship from overseas and truck from ports – could increase risk of goods not being received, or not received in a timely manner, missing inventory 7. Many different products, wide range of value per item – incorrect calculations of stock on hand 8. Risk of theft (either during transport or from the stores) would vary across products – inventory account would be overstated if thefts were not identified
Chapter 4: Risk assessment II
(b) Strengths in inventory control system: • Branch manager in each store and permanent staff who can receive consistent training in inventory control • Permanent staff used to supervise casual staff at stores • Inventory held at central warehouse under control of specialist inventory supervisors • Requisition required for transfer from central warehouse to branch store Weaknesses in inventory control system: • Casual staff may not be sufficiently trained or supervised despite procedures requiring this • Inventory requisition authorised by branch manager rather than central manager • Passing through central warehouse could delay receipt of product at branch, leading to overriding system to increase speed of delivery Questions about inventory control system: • Who chooses and approves suppliers? • Is there segregation between inventory staff and those keeping inventory records? (c) Inventory would be a material balance because the company is an importer and retailer of computer hardware and accessories. Inventory is likely to be the largest asset after property, plant and equipment. It is likely that the majority of sales are made for cash, so debtors is unlikely to be a large balance (except for balances owing from credit card companies for card transactions). The inventory is also qualitatively material because the business model requires expert inventory management to deal with obsolescence and competition issues. Users of financial reports would be very interested in data such as inventory turnover. The auditors would adopt different approaches for different types of inventory. They would focus more on larger value items with greater risk of obsolescence or product specification problems. They would also focus on products with greater risk due to more likely supplier problems, such as new suppliers for consumables, or complicated foreign transactions which create valuation issues. Focus would also be given to items with greater risk of being stolen, to ensure that the inventory balances are not overstated, and those items with greatest competition pressure, to ensure sales are valid.
4.30
Planning analytical procedures using profitability ratios Required (a) Make a list of possible explanations for the pattern observed in the gross profit and profit margins. (b) Which of your explanations suggest additional audit work should be planned? For each, explain the accounts and/or transactions that would need special attention in the audit.
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Solutions manual to accompany Auditing: a practical approach 2e
Possible explanations for the increasing Gross profit margin (a) and the declining profit margin, and impact on audit work (b), include: • Cost of goods sold being misclassified as operating expenses (reducing cost of goods sold, increasing gross profit, increasing other expenses) – this suggests verify classification of expenses, trace cost of goods on sales invoices through to cost of goods sold account, trace supplier invoices to purchases account, vouch other expenses to underlying invoices and documentation • Understated purchase costs – test for purchases cut-off, subsequent payments testing to identify creditors that could be understated (that are not recognised in accounts at year end), test for inventory movements inwards • Overstated closing inventory (reducing cost of goods sold, increasing gross profit, but also increasing profit margin which could be offset through other increased expenses) – audit client’s stocktake, test procedures for identifying and valuing obsolete and damaged closing inventory • Overstated sales this period – test for sales cut-off, subsequent receipts testing to identify debtors that could be overstated (that have not paid their accounts), test for inventory movements to match sales to customers
4.31
•
Increased advertising costs, reducing overall profit but generating more sales and higher sales prices – analyse expenses to determine if this is a likely explanation
•
Increased other costs, e.g. interest costs, salaries etc., which have impacted adversely on overall profit but not on gross margin – analyse expenses to determine if this is a likely explanation
Determining audit strategy Required (a) Identify the factors that would affect the preliminary assessment of inherent risk and control risk at Queen Island Dairy. (b) Explain how these factors would influence your choice between the predominantly substantive approach and the lower assessed level of control risk approach for sales, inventory and debtors. (a) Factors affecting preliminary assessment of inherent risk include: • Cheese is perishable, suggesting high risk of spoilage, affecting inventory valuation • Boutique cheese operation – highly skilled processes requiring skilled staff, reliant on few customers? • Export sales, foreign exchange transactions – complicated transactions with risk of incorrect pricing, risk assessment • Tourism based sales at shop and café – fluctuating demand? • Competing incentives for export sales and café consulting businesses
Chapter 4: Risk assessment II
•
Heavy reliance on export sales increases vulnerability of business to this source of revenue, and making product available to meet this demand
Factors affecting preliminary assessment of control risk include: • Effectiveness over quality control over cheese operations, affecting saleability of product (although quality control is apparently high) • Risk of product spoilage, affecting value of inventory • Controls over sales made by Jim, documentation, pricing, sales allowances • Lack of communication between Jim and brother Bob and other staff – affecting efficiency and effectiveness of management (b) Lower assessed level of control risk approach is appropriate when control risk is assessed as low while predominantly substantive approach is appropriate when control risk is assessed as high, and it is more efficient not to rely on controls. For Sales The poor communication between Jim and other management and staff, plus his competing incentives and the lack of control over his actions means that control risk in these areas would be considered high. The validity of sales transactions, including the amounts and terms of the sale, is at risk. There is also a risk that sales made to customers are not entered correctly in the accounts. Control risk for sales and debtors is high, meaning that the predominantly substantive approach would be adopted in these areas. For Inventory Control over production appears to be good, and inventory quality seems to be high. However, the inherent risk of inventory spoilage is great. This suggests that a lower assessed level of control risk could be adopted for inventory. Testing the controls over inventory, and obtaining satisfactory results, would mean that less substantive testing would be required. For Debtors A predominantly substantive approach for sales is more appropriate because the adjustments to debtor accounts do not appear to be adequately controlled. Rather than developing and implementing a policy and procedures on credit notes, Jim frequently issues credit notes to clients who complain about their statement without investigating it. Also the lack of resources to follow company’s protocol (i.e. Jim is to too busy to respond to customer complaints) increases the control risk. 4.32
Analytical procedures for liquidity and solvency issues Required (a) What liquidity and solvency issues does Bright Spark Fashion face? Explain the likely impact of each issue on the usual liquidity and solvency ratios.
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Solutions manual to accompany Auditing: a practical approach 2e
(b) Advise Jenna Kowalski about the audit risks for Bright Spark Fashion and suggest how she could take these into account in the audit plan. (a) In the short term Bright Spark Fashion faces liquidity issues because the finance is due for repayment in two months. The business has just experienced the winter season, where sales are lower, and it is unlikely to have significant cash receipts from sales until the summer season. The summer stock is ordered on pre-paid basis, which suggests that these orders have been paid by the time the finance is due for renewal. Unless the finance is renewed the business will not have any funds until the summer period to pay for salaries, rent, and other commitments. In the longer term, it appears that renewing the finance for a further two year period will not be sufficient to ensure that the business avoids future cash problems. Renewal every two years means that the business is in almost constant renegotiation talks with its banks. Greater certainty for the business would flow from a longer term finance agreement. In addition, the likely interest rate rise will adversely impact profit over the term of the loan. Liquidity ratios include: Current ratio (CA/CL) Quick ratio ((cash + ST investment + net receivables) / current liabilities) Inventory turnover (cost of sales / average inventory) Receivables turnover (net credit sales / average net receivables) Solvency ratios include: Debt to equity (liabilities/equity) Times interest earned (PBIT/interest expense) If the debt is not renewed, it will have to be repaid from other sources. It is possible that another bank would make a loan (no impact on the ratios except in reclassifying a current liability as a non-current liability if the new debt has a longer term). It is possible for the owner of Bright Spark Fashion could inject more capital into the business (replacing debt with equity, which would reduce total liabilities and increase equity). Another possibility is that some assets could be sold to repay the debt (reducing both assets and liabilities). This course of action would likely require sales at less than book value, creating a loss which would reduce equity. (b) The major risk is that Bright Spark Fashion will not be able to pay its debts as they fall due if the loan is not renewed. This means that it has a going concern issue until the debt is renegotiated. Unless this is disclosed correctly in the financial reports, the auditor should qualify the audit report. There is a risk that the bank will not process payments to suppliers because of the outstanding debt. There is a risk that suppliers will not deliver goods to Bright Spark Fashion, meaning that the clothing will not be in the shops in time for the summer season, adversely impacting sales. There is a risk that the owner of the business will have to obtain funds elsewhere at penalty rates, adversely impacting profit and exposing the business to the risk of even shorter loan terms. This also creates a going concern risk because there is the risk that the funds will not be available for the next 12 months.
Chapter 4: Risk assessment II
Jenna should plan to investigate the progress of the funding renegotiations and obtain evidence that any loans that Ray Bright claims to negotiate are certain to be received. Jenna should obtain confirmation from the bank about the state of the loan, and plan to obtain expert legal advice about the bank contracts. Jenna should also gather evidence about delivery of goods into the stores during the period between the year end and the audit report date.
4.33
Risk assessment and materiality Required (a) What factors in the background information would you consider when determining preliminary materiality for the 2014 audit of Featherbed? (b) Explain the effect of the factors identified in (a) above on your assessed audit risk and your initial assessment of the preliminary materiality. Preliminary materiality assessment, or planning materiality (PM), is based on the auditor’s assessment of the client and its users’ information needs. It will also give consideration to the following: • • •
If detection risk (DR) is determined by the inherent risk (IR) and control risk (CR) assessments If IR and CR are higher, DR is lower Lower DR and lower planning materiality means that the auditor will need higher quality and greater quantity of evidence.
The factors that would impact on the risk of material misstatement, and thus DR and PM are • Several revenue streams – leisure activities plus different classes of accommodation hostel, hotel, resort – creating a variety of inherent risks over sustainability of revenue streams (e.g. customers of each part of company could be affected by different factors). No information given about relative reliance on each revenue stream; could be different levels of materiality. • Husband and wife own majority of shares of parent company of client. Husband is chairman of both, wife is director of both companies and client’s CFO – creating conflicting incentives and confused lines of reporting and authority – is there effective control? Suggests higher risk and lower PM for transactions between companies. • Client has not been audited before – risk associated with opening balances; cannot rely on previous audit results – lower PM for opening balances and assessment of prior period accounting principles and application • New private equity investor group has 20% of client – creating additional demand (together with request from bank for audit) for financial reports. Increases audit risk, suggesting lower PM • Use of part-time and casual workers, as well as permanent staff – suggesting variation in work force, problems in payroll and HR –
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Solutions manual to accompany Auditing: a practical approach 2e
• • •
•
suggests greater risk, lower PM for payroll. Also consider effectiveness of controls requiring segregation of staff if workforce is fluctuating. Laid-back management style – suggests greater control risk from ‘tone at the top’ issues. Lower PM. Lack of regular annual leave – control risk from ineffective supervision and segregation of duties, no opportunity to use another staff member in key roles, lower PM. Peter Pinn close to retirement, consider incentives for fraud and effectiveness of supervision of accounts staff, seems inadequate segregation of duties (i.e. they ‘help each other’ during busy times). Greater CR, lower PM. However, one staff member is a graduate, suggesting accounting expertise. Company is facing increased risk to its viability given changing climatic conditions in the area. Consider effects on going concern issues.
Overall, there appear to be a number of problems with the business, particularly in its governance and staffing. These issues create questions about specific control risks which would be assessed in greater detail. Greater control risks suggest lower detection risk and lower planning materiality would be appropriate. These risks are most relevant to: • Board of director decisions - because of husband/wife control of both companies and recent acquisition of significant percentage of the company by a new private equity investor, possibility of related party transactions • Control in accounts department – staff shortages, inappropriate delegation, inadequate segregation of duties, closeness to retirement and lack of annual leave by head of department, lack-back attitude of CFO • Staffing issues – use of part-time and casual staff, variation in staffing according to seasons, questions about adequate training and supervision of casual staff
4.34
Assessing inherent risk Based on the background information, what are the major inherent risks in the Securimax audit? Consider both industry and entity risks in your answer.
Industry: - defence - high sensitivity of product information, customer information - risk of selling to allies which later become enemies, or on-sale of products to others - competitive market tendering to win government contracts Entity: - high reliance on one product, specialised nature of product and reliance on export customers creates risk to revenue stream - pricing of sophisticated product designed to meet customer specifications - adequate security over designs, customer details – effect on personnel (e.g. security clearances required?), inventory management (secrecy over product components?) etc.
Chapter 4: Risk assessment II
-
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4.35
new inventory costing system, replacing in-house system – does new system provide comparable information, has it been tested, integration with other client systems sophisticated nature of product design and costing information, questions about standard costing, inventory movements adequate documentation for tendering sufficient accountability of waste – is any waste controlled substances e.g. dangerous chemicals used? How are damaged items and wastes disposed of?
Assessing preliminary materiality Discuss the factors to consider when determining preliminary materiality for Securimax.
Preliminary materiality assessment is based on the auditor’s assessment of the risk of material misstatement and the client’s users’ information needs. Inherent risk for Securimax is high because of the sensitivity of the information surrounding its products and clients; its reliance on one main product; difficulty costing and pricing products; concerns over waste and damaged goods and components. (See answers to professional application question 4.34 for further discussion of inherent risk.) Control risk for Securimax would be affected by the following factors: - control over pricing and sales contracts, approval of credit - procedures to handle security risks relating to both products and foreign clients - nature of tendering process for government contracts - ability to gather accurate costing information to assist tendering - integration of product costing, inventory movements for sales and waste, damaged stock, and success of installation of new inventory costing system - controls over personnel and payroll – particular reference to obtaining highly skilled staff required for product design and manufacture and obtaining security clearances, as required, for all staff working with sensitive information Control risk is likely to be assessed as high, although successful testing of product costing controls would reduce control risk. Together with high inherent risk, high to moderate control risk would result in a low planned detection risk, and a low planning materiality.
4.36
Planning in context of IT system changes Identify the audit risks associated with the installation of the new IT system for patient revenue.
Staff feedback comments suggest the following issues with the new IT system: - not using a unique identifier for patients, such as a patient number. New patients were occasionally confused with old patients in the system. There should be a method of identifying new patients at the point of admission and assigning a unique identifier to their file at that point, to be used for all future
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Solutions manual to accompany Auditing: a practical approach 2e
-
-
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transactions, services etc. relating to the patient. (Risk that patient database contains errors) not having a system of approving room rates billed to patients. Room rates should be charged based on an approved room rate list using a code for the relevant room rate. The system appears to accept different room rates. (Risk that rates database contains errors and applied to billing system with error) Software program change approval system does not appear to have procedures to prevent billing calculation changes to client files to allow charges that depart from medical fund and pensioner subsidy rates. Any charges that differ from approved rates should require specific authorisation. (Risk that billing system contains errors) Power surge resulted in loss of patient invoice data. Backups do not appear to be used to prevent loss of data. (Risk that billing system contains errors)
The issues raised by staff relate to controls over data entry and processing in the new IT system. The problems suggest that control risk is high, especially in relation revenue and debtors.
4.37
Determining audit strategy Comment on the audit strategy likely to be adopted for the audit of patient revenue for Gardens Nursing Home.
The audit strategy adopted in an audit depends on the assessment of control risk. As per ASA330 Para 4 (The Auditor’s Response to Assessed Risks), the auditor’s assessment of risks is the basis for considering the appropriate audit approach for designing and performing a test of control, or predominantly substantive testing or use a combined approach,. The errors in the new patient revenue system suggest that control risk is high (see professional application question 4.36 for further discussion). Therefore, a predominantly substantive approach is required because it is unlikely that control testing will produce results which allow the use of the lower assessed level of control risk approach. Where the control risk is assessed as high, the auditor will gain the minimum necessary knowledge of the client’s system of internal controls, but generally conduct no tests of those controls. If a client’s system of internal controls is very poor, there is generally no point in testing the internal controls as the auditor will not be planning on relying on them. Instead an auditor will increase his level of reliance on detailed substantive procedures, which involves intensive testing of yearend account balances and transactions from throughout the year. The failure of the patient revenue system could be regarded as a significant risk, and a noteworthy deficiency in a client’s system of internal controls.
Chapter 4: Risk assessment II
Case Study Cloud 9 Part 1 – Materiality 1. Using the 30 September 2014 trial balance (in the appendix), calculate planning materiality and include the justification for the basis that you have used for your calculation. 2. Based on your results from researching the client and its industry in chapter 1 and chapter 2, discuss the inherent risks in the audit of Cloud 9 Pty Ltd. Identify the associated financial accounts that would be affected and provide an assessment of ‘high’, ‘medium’, or ‘low’ in relation to the likelihood and materiality of the risk occurring. Solution 1. Planning Materiality (PM) Students should select Revenues as the basis for calculating PM. This is the preferred method because: • Cloud 9 is currently in, and projecting a loss result for the year ended 31 December 2015 therefore profit is not an appropriate basis • The parent entity (main users of the accounts) is concerned with increasing the brand’s share of the Australian market – essentially revenue share • Management have an incentive to manipulate revenue recorded based on growth targets expected and compensation attached to meeting those targets The revenues used should be the aggregate of store and wholesale revenues as this drives the normal operations of the business. However, as the other revenues are immaterial, their inclusion in the base figure would not materially impact the PM calculation. Revenues should be annualised to represent a full year of operations. To decide where within the range PM should be set, students should consider: • Cloud 9 is part of a SEC listed entity therefore subject to strict regulations • Cloud 9’s business has changed in terms of the opening of the retail store and high reliance on new inventory management systems • Evidence of theft at the stores – risk of fraud with merchandise Based on the factors, PM should be set at 5%. Revenue – stores Revenue – wholesale
640,782 27,255,417
Total revenue from normal operations
27,896,199
Annualised revenue
37,194,932
PM at 5%
1,859,747
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Solutions manual to accompany Auditing: a practical approach 2e
2. Risks The following risks were identified as part of case study question in chapter 1. Financial accounts are as follows: (assertions are also provided for completeness even though not required in the question). Growth of revenues given industry outlook and management incentive Risk Description Consumer discretionary spending is low and expected to grow by only 2% for the year. Management receive bonuses based on revenue targets, which was set at 3%. General economic conditions will also impact retail businesses with their recoverability of debt and the valuation of assets. Risk Assessment This inherent risk is “High” and impacts the Sales – Occurrence, Accounts Receivable – Valuation, Inventory – Valuation, Fixed Assets – Valuation, Bonus Provision Existence assertions. Use of IT for inventory management system Risk Description Retail businesses are reliant on a smooth supply chain process. Where a business uses products with a long lead time, there is significant pressure to ensure that the correct type and quantity of stock is ordered to meet the requirements of customers. Risk Assessment Where there is a high reliance on timing of supply or one supplier, this can affect the level of sales, making the assessment “High”. The company’s early implementation issues of the JIT system and FOB Shipping Point terms also contribute to the higher assessment. This impacts the Inventory – Existence, Completeness and Valuation, and Cost of Sales - Completeness and Accuracy assertions. Level of competition Risk Description Most sectors of retailing are relatively mature and continue to compete on the traditional basis of price, brand strength and level of market power. Price remains important in most high volume areas of retailing. Risk Assessment This inherent risk is “Medium” and impacts the Accounts Receivable – Existence and Valuation, Inventory – Valuation, Sales – Occurrence and Accuracy assertions. Merchandise cycle and fashion trends Risk Description Rapidly changing fashion trends can result in obsolete stock. Risk Assessment Based on the stability of the athletic footwear market, this inherent risk is “Low” as the fashion trends are not as exaggerated as with other footwear. Misappropriation of stock and cash
Chapter 4: Risk assessment II
Risk Description Retail business selling highly desirable and moveable products (e.g. PC games, CDs, designer sunglasses) will be exposed to a risk of theft. In addition, employees handling cash at store locations increase the risk of theft of cash. Risk Assessment This inherent risk is “High”, especially given the recent known thefts at the store location. This impacts the Inventory – Existence, Cash – Existence, and Cost of Sales – Accuracy assertions. Rebates/Discounts to retailers Risk Description For the wholesale business, there is significant pressure from retailers to receive generous rebates or volume discounts. Retailers are heavily influenced by landlords and consumers; therefore they control their profits through the supply chain, thus impacting the wholesaler. Risk Assessment This inherent risk is “High” given the risks identified around the growth outlook and customer base. Cloud 9 will be pressured to offer rebates and/or discounts to the larger retailers. This will impact the Cost of Sales – Accuracy and Completeness, and Accrued Expenses – Accuracy and Completeness.
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Solutions manual to accompany Auditing: a practical approach 2e
Part 2 – Analytical procedures 1. Using analytical procedures and the information provided in the appendix, perform an analysis of Cloud 9 Pty Ltd’s financial position and its business risks. Discuss the ratios indicating a significant or an unexpected fluctuation. 2. Which specific areas do you believe should receive special emphasis during your audit? Consider your discussion of the analytical procedures results as well as your preliminary estimate of materiality. Prepare a memorandum to Suzie Pickering outlining potential problem areas (that is, where possible material misstatements in the financial reports exist) and any other special concerns (for example, going concern). Specify the accounts that would require particular attention.
Solution (treating all provisions as CL and all interest bearing liabilities as NCL) (annualising all P&L items) (averages used for current year only - not available for previous year) Liquidity ratios
2015
2014
Current ratio
CA/CL
2.05
2.64
Quick ratio
Liquid assets/CL
0.99
1.40
Inventory turnover
COS/Ave Inventory
2.81
2.62
Accounts receivable
Credit sales/Ave Receivables
3.50
5.43
Debt to equity
Liabilities/equity
5.03
3.25
Times interest earned
Op profit bf interest and tax/interest expense
-0.91
2.91
Gross profit ratio
Gross profit/sales
0.54
0.52
Net profit ratio
Net profit/sales
-0.06
0.03
ROA
Net profit/ave total assets
-0.10
0.04
Return on Sh funds
Net profit/ave common shareholders equity
-0.49
0.18
Solvency ratios
Profitability ratios
Chapter 4: Risk assessment II
Memo to include the following: • 2014 data based on annualising 9 months of interim results to 12 months- this could distort figures if transactions in last three months of the year differ from those in the first 9 months. • Decline in both current and quick ratio- this suggest tightening of liquidity • Accounts receivable turnover is based on treating all sales as credit sales- this would not be correct because cash sale need to be separated from credit sales • Large increase in debt to equity and less interest coverage – this is due to loss • Slight improvement in gross profit ratio, but other ratios show effects of loss. analysis of reasons for loss reveals that large increases in promotion expenses • Overall liquidity, solvency and profitability have all worsened, although the company is still in a sound position –the conditions of loans need to be verified. • Analysis suggests difficulties arising from opening new stores and associated inventory situation- there is a greater need to focus on inventory and validity of sales Further analysis could include common size statement – see solution to chapter 9.
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Chapter 5: Audit evidence
Solutions Manual to accompany
Auditing: a practical approach 2nd edition by Jane Hamilton CHAPTER 5 Audit evidence
© John Wiley & Sons Australia, Ltd 2013
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Solutions manual to accompany Auditing: a practical approach 2e
Chapter 5 – Audit evidence REVIEW QUESTIONS 5.11
Explain why the quality of audit evidence is determined by the choice of audit procedure and the assertion at risk of material misstatement.
Evidence is higher quality when it is more relevant and/or more reliable. Evidence is obtained by performing audit procedures. Auditors choose procedures which will give them reasonable assurance about management assertions at the transaction, account balance, or disclosure level. If auditors choose procedures to gather evidence about the occurrence assertion (for example, occurrence of sales), the evidence is relevant to the occurrence assertion but will not be relevant to the completeness assertion. This is because the evidence shows whether recorded sales occurred, but not whether all sales that occurred are in the records. Therefore, the evidence is likely to be of high quality for the occurrence assertion, but low quality for the completeness assertion.
5.12
What is the difference between a legal confirmation and a legal representation letter? What other external parties could an auditor send a confirmation to? What other parties provide representation letters to an auditor?
An external confirmation may be sent to a client’s lawyer if the lawyer holds documents on behalf of the client that are of relevance to the audit. Such documents could be titles, contracts etc. The auditor will ask the lawyer to confirm that the title is held in the client’s name. A legal representation letter could be provided by a lawyer to the auditor on the auditor’s request to confirm the lawyer’s opinion about a matter, such as the likely outcome of a court case. A legal representation letter is different to a confirmation because the confirmation letter asks about matters of fact, but the representation letter asks about matters of legal opinion. The auditor could send a confirmation letter to any third party, to ask them to respond to the auditor on the matter(s) included in the letter. For example, the auditor could ask the client’s bank to confirm the amount of cash held in the bank, details of any loans and interest rates charge. An auditor will ask the client’s management to provide a representation letter to confirm their discussions or other matters relevant to the audit. The contents would normally include an undertaking that laws and regulations have been complied with, a statement that there have been no material frauds or errors that would impact the financial report, and that internal controls are effective.
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5.2
Chapter 5: Audit evidence
5.13
Explain how gathering physical evidence by inspecting a client’s tangible assets assists the audit of the completeness and existence assertions.
When an auditor inspects a client’s tangible assets they can see that the assets physically exist, and that they appear to be in good working order. In order to gather evidence about the completeness assertion for the assets, the auditor would trace the details of the assets, gathered from the physical inspection, to the client’s accounting records. For example, if the auditor inspects 10 motor vehicles and makes a note of their registration details and physical characteristics, the auditor would then inspect the asset register to determine if all the motor vehicles were present in the register with the appropriate registration information and details about colour, make etc. The focus for this test is that all the physical assets are in the accounting records. In order to provide evidence about the existence assertion for the assets, the auditor would start with the asset register and then inspect the physical assets to determine if they existed as described. The focus for this test is that the assets in the accounting records physically exist.
5.14
Discuss the impact of electronic processing of transactions on the audit.
Electronic processing of transactions leaves no paper trail when the documents are initiated and stored electronically. To access the details of these transactions, an auditor must access their client’s computer system, where details are kept. For example, the contact between the client and its supplier to create a purchase order could be done electronically, such as through an email. The client emails the supplier with purchase order details, and the supplier confirms the placement of the order via return email. The return email confirms the order and also provides detailed information about the estimated delivery date and the amount to be invoiced upon delivery of the goods. When the goods are received, the receiving department advises the accounts department which then initiates an electronic transfer of funds from the bank account to the supplier’s bank account. The client can provide the information about electronically processed transactions to the auditor via email. The auditor then searches for corroborating evidence to verify the details of the files. The extent to which the auditor can rely on electronic evidence from the client’s computer system depends on the strength of the client’s internal control system.
5.15
Why does an auditor have to consider the persuasiveness of corroborating evidence? Explain.
Corroborating evidence is evidence that supports the client’s records in terms of accuracy. Corroborating evidence can be internally generated by the client, such as copies of documents, externally generated evidence held by the client, such as bank statements and supplier invoices, or externally generated evidence sent directly to the auditor, such as lawyers’ representation letters or debtors’ confirmations. The auditor must consider the persuasiveness of corroborating evidence to help them judge how much weight to place on each piece of evidence. The auditor needs to
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Solutions manual to accompany Auditing: a practical approach 2e
gather sufficient appropriate evidence about the assertions and the financial reports as a whole. If the evidence is very persuasive the auditor would need to gather less of it. If the evidence is not very persuasive the auditor might judge that there is not sufficient appropriate evidence to support their audit opinion, and try to gather more persuasive evidence. The most persuasive evidence, generally, is the externally generated evidence sent directly to the auditor, and the least persuasive evidence is, generally, the internally generated evidence.
5.16
If an auditor does not have sufficient knowledge and skill in an area, the auditor can ask for the assistance of an expert. This creates a problem — how does an auditor know if the expert’s work is correct if the auditor is not also an expert? Explain.
The auditor can use an expert to provide sufficient, appropriate evidence when the auditor does not have the requisite skills and knowledge to assess the validity of an account or a transaction. The expert could be from within or external to, the audit firm. The auditor must decide if an expert is required and the scope of the work to be done by the expert. The auditor must assess the capacity of the expert to do the job and the expert’s level of objectivity. The auditor must assess the expert’s completed work and draw a conclusion. Ultimate responsibility rests with the auditor. The auditor does not usually have the same level of expertise as the expert, but is able to assess the capacity and the objectivity of the expert based on their qualifications, experience, and association with the client. The auditor is able to make a judgement about the validity and usefulness of the expert’s report based on their reading of the report and the consistency of the expert’s conclusions with other evidence gathered during the audit. The expert should write the report in such a way that an auditor can understand the technical content of the report. This means that the expert should details each stage of the process used in arriving at the overall opinion or conclusion in the report. The auditor should be able to understand the process and how the expert reached the conclusion. The expert should explain the data sources or estimation models used or calculations conducted. The auditor would be able to check the data and re-perform the calculations. The auditor will assess the consistency of any assumptions made with those in prior years and with other known information. The auditor also assesses the consistency of the expert’s report and conclusions with other information they have gathered about the client, and with other corroborating information gathered by the audit team.
5.17
Under what circumstances does an auditor use the work of a component auditor? Why doesn’t the group engagement partner do all of the work?
A component auditor is another independent auditor who performs work related to a component of a group audit. The group engagement partner is responsible for signing the audit report and asks the component auditor to perform work as part of the group
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audit. The engagement auditor has to assess the capacity of the other auditor to undertake the work, as well as the component auditor’s reputation and professional standing. The engagement partner is also responsible for ensuring that the work completed by a component auditor meets the group engagement partner’s requirements and standards. The group engagement partner does not do all of the work where the physical circumstances make it impracticable and/or more costly for the group engagement partner to do the work. These circumstances include: the client operates in a number of locations, has divisions or subsidiaries spread around the country or the globe, or has significant assets in other locations. In addition, the component could be a listed company which has separately appointed an independent auditor that differs from the auditor chosen by the parent company. The group engagement partner retains responsibility for the audit report and must consider whether they are able to do the majority of the client’s financial report and be sufficiently knowledgeable about the components of the financial report that they do not audit themselves.
5.18
What are the evidence gathering procedures an auditor might use? At which stages of the audit are these procedures appropriate? How do the procedures relate to the types of evidence an auditor can rely upon?
The main evidence gathering procedures are: Inspecting – viewing documents or tangible assets Observation - watching Enquiry - asking Recalculation – checking mathematical accuracy Re-performance – redoing client process Analytical procedures – studying plausible relationships among data These evidence gathering procedures can be done at different stages of the audit. For example, analytical procedures are used in the client evaluation process, gaining an understanding of a client’s system of controls in planning, as evidence gathering procedures such as testing controls, and in reviewing the audit evidence in the final stages. Documents and assets can be inspected during the audit, and can be used to provide evidence of controls as well as substantive testing, such as existence of inventory. Client staff can be observed performing their duties during the period or at specific times such as stocktaking. Enquiry is appropriate at all stages; management can be asked about their reasons for actions taken during the year and external parties, such as solicitors, can be asked about progress of court cases. Recalculation can be used to check any client records, such as pricing on invoices and sub-totals for receivables ledger. Re-performance can be used to check any client process, e.g. a bank reconciliation. In general, re-performance and recalculation provide more reliable evidence than observing or enquiring. Client staff may perform their duties more diligently when they are being observed than at other times, so observation provides evidence only for the time that the staff are being observed. Verbal evidence obtained by asking client
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management about the reasons for their actions is not very reliable until it is corroborated by other evidence. Re-performance allows an auditor to gain a deeper understanding of how a task is performed by client staff and to confirm that the items in question are being dealt with appropriately. Recalculation allows an auditor to confirm mathematical accuracy, but does not in itself confirm the data being used in the recalculation. Analytical procedures are limited as evidence by the validity of the underlying data (which could be unaudited client data). Inspecting provides useful reliable evidence to the extent that the auditor understands what they are inspecting (e.g. an auditor may not understand the usefulness and appropriateness of specialised computer hardware), and in some cases needs to be confirmed by other data (e.g. inspecting a vehicle provides evidence that a particular vehicle exists, and in what condition, but documentary evidence is needed to confirm that the particular vehicle is owned by the client).
5.19
What is the difference between recalculation and re-performance? Explain using examples.
Recalculation involves checking additions and computations. Re-performance means following a process used by a client. For example, reconciling the bank account in the client’s ledger with the bank account balance as per the bank records through preparing a bank reconciliation statement is a client process. The auditor could re-perform the bank reconciliation by confirming the opening balance, tracing unpresented cheques and deposits in transit, and identifying fees, charges and other items that are on the bank statement, and ensuring that the bank ledger balance can be reconciled to the bank statement balance. Recalculation in this context would involve only checking the accuracy of the sub-totals and totals, such as the total of unpresented cheques. This means that re-performance is a more involved procedure than recalculation and produces more reliable and comprehensive evidence.
5.20
Explain the difference between ‘occurrence’ and ‘existence’ assertions. How do both differ from ‘completeness’?
The ’occurrence’ assertion relates to transactions. For example, when management present a profit and loss statement they are asserting that the revenue shown in the statement occurred; the sales took place. The ‘existence’ assertion relates to balance sheet items. For example, when management present a balance sheet they are asserting that the inventory shown on the balance sheet exists; the inventory is physically in the warehouse or otherwise under the client’s control. The occurrence and existence assertions are different because one relates to transactions occurring during the period and the other to balances of accounts at the end of the period. The assertions are similar because they both relate to management’s claim that an item shown in the accounting records is a true reflection of an item or transaction in the real world. They are also both opposite to ‘completeness’. When management present the financial statements they are also asserting that the accounting records are complete; there are no items or transactions in the real world that have been omitted from the accounting records.
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Chapter 5: Audit evidence
5.21 Explain why a search for physical items in the client’s premises would be part of the test of the completeness assertion for fixed assets. The auditor will search the client’s premises for physical items because the auditor is interested in whether all the physical items at the premises are properly reflected in the client’s accounts. For example, the auditor will walk through the office and note how many pieces of furniture and equipment are physically present, then go to the accounting records to check if that number of items are recorded as assets in the appropriate accounts. This type of test is part of the test of completeness because the auditor is interested in whether the accounting records are complete (are a full listing of each item physically present). 5.22 Why would an auditor be less likely to use payable confirmations than receivables confirmations? An auditor can ask a third party to confirm in writing the balance of an account recorded in the client’s records. The auditor could use a confirmation as evidence of a client’s account payable or account receivable. A confirmation request is generated by the auditor using the list of accounts in the client’s records. That is, the auditor selects the items from the client’s records, and then sends the written request for confirmation to that third party. The assertion most at risk for debtors is existence; that is, does the account shown in the client’s records as an amount owing to it by a third party really exist? The assertion most at risk for creditors is completeness; that is, are the accounts shown in the client’s records as amounts owing to a third party a complete record of amounts owing by the client to others? Sending confirmation requests to any, or even all, of the creditors shown on the list presented by the client to the auditor will not address the completeness assertion (the auditor needs to discover if there are any payables NOT on the list). However, sending confirmation requests to debtors from the client’s list is useful to the auditor because they want to discover if any of the debtors on the list do not exist. Therefore, confirmations are more likely to be used for receivables than payables because they will provide evidence about the assertion most at risk for receivables, but will not do so for payables.
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Solutions manual to accompany Auditing: a practical approach 2e
PROFESSIONAL APPLICATION QUESTIONS 5.23
Assertions Required Based on the above information, what accounts and assertions are likely to be affected? Explain.
Repairs and maintenance costs should be expensed (debited to an expense account), not capitalised (debited to an asset account). Only improvements to an asset should be capitalised. If a repair expense is mistakenly capitalised the profit for the period will be overstated (because expenses will be understated) and assets will be overstated. Therefore, management’s assertion that expenses are complete will be incorrect and their assertion that assets exist will be incorrect.
5.24
Assertions and evidence Required (a) Identify the key assertions at risk in relation to inventory and prepayments. (b) For each assertion in (a), identify a type of evidence that would be persuasive. Inventory assertion most at risk for this client: valuation will be at risk because the constantly changing nature of the type of merchandise held suggests that items will become obsolete (and their value impaired) each season. The special branding and promotional packaging will make it difficult for the client to sell these items after the promotional period ends, and the client will also find it difficult to return the items to the supplier. Evidence: • Auditor should inspect the terms of the contract with suppliers to determine if there is any provision for return of items not sold. • Inspection of inventory records to determine if any items are held for long periods, suggesting they could be obsolete. • Physical inspection of inventory to search for out of date items (e.g. at back of shelves, dusty, branded with discontinued promotional material). Other inventory assertions also at risk: Rights and obligations for inventory could also be at risk because some items may be held on consignment. That is, the ownership of the items remains with the supplier until the audit client sells them. If the items are not sold, the items have to be returned to the supplier. Because the items are not purchased, they should not be included in the client’s inventory. Evidence: • Auditor should inspect the terms of the contract with suppliers to determine if ownership passes to the client. • Inspection of inventory records to determine if any items held on consignment are included in the inventory balance by mistake.
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Existence of inventory is also at risk. Do all items shown in the inventory account exist? There is a risk that items shown as purchased from suppliers have not been received, and items sold have not been removed from inventory records. Evidence: • Vouch items held in inventory to the suppliers invoices • Observe client stocktake, perform test counts, to obtain evidence that items shown in inventory records are held by client. Prepayments assertion most at risk for this client: Existence. Large deposits are paid when items of inventory are ordered. The payments are made 6 months in advance from overseas suppliers. There is a risk that orders are not completed and the prepayments shown in the accounts should be reversed, or that when orders are completed, the prepayment amount is not reversed when the balance of the account is paid to the supplier. In both cases, the prepayment account is at risk of overstatement and the assertion most at risk is existence (the prepayment does not exist). Evidence: • Auditor should inspect the terms of the contract with suppliers to determine the amount agreed as a prepayment and payment terms when contract is completed. • All outstanding amounts in prepayments should be matched to unfilled contracts. Completeness of prepayments is also at risk. There is a risk that amounts paid in advance to suppliers are not correctly recorded as prepayments (the amount is debited in error to expenses at the time of payment). Evidence: • The auditor should inspect all outstanding contracts for supply of inventory to determine if amounts have been paid in advance and determine if they are recorded correctly in the accounts.
5.25
Types and persuasiveness of audit evidence Required (a) List the types of audit evidence gathered by Jenna and comment on the persuasiveness of each type. (b) Link each type of evidence to the relevant accounts receivable assertions. (a) Jenna has gathered the following evidence: - external confirmations – 30% of which were positive confirmations and 70% negative confirmations - documentary – invoices, cash receipts and sales returns vouchers - verbal – interviews with accounts receivable manager, CFO and accounts receivable department (b) The external confirmations provide evidence about the existence of accounts receivable when the debtors reply and confirm that they owe the client money for goods or services. Negative confirmations provide more limited evidence about existence when the customer does not reply to state that they do not owe the client money. The confirmations also provide evidence about rights and obligations assertion because the customer confirms that they owe the client.
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Solutions manual to accompany Auditing: a practical approach 2e
The documentary evidence relates to the existence and valuation and allocation assertions for accounts receivable when Jenna vouches the balances back to the underlying sales documents. It relates to the completeness assertion when Jenna traces the sales transactions to the accounts receivable balance. In addition, the vouching of accounts receivable back to sales returns and cash receipts documents provides evidence about the occurrence of these transactions, and thus the completeness of the accounts receivable balance. The tracing of these transactions to accounts receivable provides evidence about the completeness of the record of these transactions, and thus the existence of the accounts receivable balance. The review of subsequent cash receipts also provides evidence about existence and valuation and allocation because when a customer pays their account they are confirming that they owed the balance on the balance date and they were in a position to make a payment. The verbal evidence could relate to all assertions, depending on the topic of conversation. The auditor is likely to ask about procedures used to identify potential bad debts (valuation and allocation), about credit control (valuation and allocation), segregation of duties (primarily existence, rights and obligations, completeness), about control systems in general (which would relate to all assertions).
5.26
Communication with lawyers Required (a) What type of communication should Angelo and his audit team have with each legal firm? Explain. (b) What procedures could Angelo perform to discover if any other legal firms have performed work for Acme during the financial year? (a) A legal representation letter is sent by the client to its lawyers asking them to complete the letter for the information required and send it directly to the auditor. In this case, the auditor would ask Acme Ltd to write to three legal firms. The client would be requested to ask each solicitor to advise if there are any legal matters involving the client, the lawyer’s opinion on the client’s description of any outstanding legal matters and whether the client’s evaluation of those matters appears reasonable, and for any details of any legal matters that the lawyer is in disagreement with the client. Angelo would expect that each firm would respond in detail about the type of work being done by that firm for the client. (b) Angelo should perform procedures to detect if any other legal firms have performed work for Acme during the financial period because there could be additional matters relating to claims against the client. Angelo should - Review the minutes of the board of directors, specifically seeking references to any claims against the client or complex legal matters, such as new enterprise bargaining agreements, property purchases, proposed mergers, major new contracts, new regulations on which they may be seeking legal advice, etc. - Hold discussions with senior staff, audit committee members, board members, about new developments at the client
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Chapter 5: Audit evidence
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Review trial balance for major transactions which could be linked to legal matters (property purchases, new loans etc.) Review press coverage of the client Review cash payments for large payments to legal firms
5.27
Bank reconciliations Required (a) Comment on the persuasiveness of the evidence in Mohammad’s files for Ajax Ltd’s financial report audit. (b) Explain how an auditor would obtain more persuasive evidence for the relevant assertions for the bank accounts at Ajax Ltd. (a) There is a hierarchy of evidence persuasiveness. The most persuasive is externally generated evidence sent directly to the auditor, then externally generated evidence held by the client, then the least persuasive evidence is internally generated evidence. None of the documents held in Mohammad’s files is in the most persuasive category because it is all held by the client. Therefore, the more persuasive evidence held by Mohammad is the externally generated evidence such as bank statements, correspondence from banks, and other bank initiated documents. The least persuasive evidence is Mohammad’s documents, including bank reconciliations and copies of letters sent to banks and other parties. (b) The auditor would obtain more persuasive evidence by obtaining documents directly from the bank. For example, the auditor could ask the bank to confirm in writing (via a bank representation letter) the balances of the client’s various accounts at specific dates, the interest rates and fees that apply to the client’s bank accounts and amounts payable for the period, the state of any disputed transactions etc. This evidence would be more persuasive because it has not passed through the hands of the client and therefore could not have been altered by the client. 5.28
Account balances at risk Required (a) What account balances are at risk? Explain. (b) What key assertions for the above accounts are likely to be affected? Various supplies and asset accounts (food, alcohol, table linen, kitchen and restaurant equipment) are at risk of overstatement because items are missing because of theft – existence assertion. The auditor should perform test counts and observe client stocktakes to determine if the accounts are overstated. Sales revenue could be overstated (completeness and valuation assertions) if the employees have been covering their thefts by recording fictitious sales or overstating genuine sales. The auditor should investigate if there is documentation (either signed sales dockets or cash register records) to support the sales.
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5.29
Misstatement risk for depreciation Required (a) What key assertions for the above accounts are likely to be affected? (b) Explain what evidence would be persuasive in this case. Financial pressure on the airlines could encourage management to understate expenses to overstate profits. Capitalising expenditure on maintenance that should be a cost of the period by designating it as improvements would understate expenses. Depreciation expense could also be understated if the rate is reduced or new additions to assets are not depreciated. In this case the standard cost of maintenance is capitalised. The standard cost is calculated based on formulae and data including the activity levels of the aircraft and the scheduled cost (not the actual cost) of the maintenance activities. If management cut costs by employing fewer maintenance workers for smaller periods, or use reconditioned parts instead of new parts etc., then costs being capitalised are likely to exceed actual costs of maintenance. This could understate expenses. Auditors should investigate the standard cost calculations and test them for reasonableness. They should also compare actual costs against standard costs and determine the reasons for any significant differences. Auditors should determine if the accounting policy to capitalise maintenance and amortisation over the maintenance period is reasonable under the accounting standards. Depreciation costs have decreased even though the cost of aircraft and engines has not changed. This suggests that the maintenance costs are lower and/or the scheduled period for maintenance is greater (a longer period before the next major maintenance is scheduled). This would be justified if the aircraft are flying fewer kilometres each year (a possibility if the GFC has led to flight cancellations). Auditors should investigate the flight schedules for aircraft to determine if the distances flown are lower. The most persuasive evidence would be documentary evidence of actual maintenance costs, and contracts for future maintenance. The standard cost calculation assumptions are more likely to be based on management estimates, thus less persuasive. More persuasive evidence could come from experts in aviation who could supply independent cost calculations and estimates.
5.30
Revenue assertions 1 Required (a) Does the procedure address the stated assertion? Explain. (b) If your answer to (a) is no, provide the correct assertion or explain what work would be required to address the assertion. (c) Explain what type of evidence is obtained by performing the stated procedure. How persuasive is it? (a) The completeness assertion relates to the claim by management that revenue shown in the profit and loss is a complete record of all revenue earned by the client. If the auditor tests the revenue that has been recorded in the accounts they are testing the occurrence assertion – that recorded revenue did occur, not the completeness assertion.
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(b) A more appropriate test of the completeness of revenue would be to select a sample of the delivery dockets or customer orders and trace the details to the revenue account. This test would detect any orders or deliveries of goods that were not subsequently invoiced to the customer and recorded as a debit to debtors and credit to sales. (c) The evidence obtained from the procedure described in the question is documentary evidence. The sales invoice is internally generated. The customer order is generated by a third party. The delivery docket that has been authorised by the customer is verified by a third party. The third party documents are more persuasive than internally generated documents.
5.31
Revenue assertions 2 Required (a) Does the procedure address the stated assertion? Explain. (b) If your answer to (a) is no, provide the correct assertion or explain what work would be required to address the assertion. (c) Explain what type of evidence is obtained by performing the stated procedure. How persuasive is it? (a) The cut-off assertion relates to claims by management that sales revenue has been recorded in the correct accounting period. The risk is that sales revenue will be overstated by bringing items delivered in the first few days of the new financial year into the previous financial year. This can be done by backdating invoices to the last few days of the financial year for goods delivered in the first few days of the New Year. The planned procedure to examine sales invoices in the last few days of the year to determine if the items were delivered prior to the end of the financial year will address the cut-off assertion. (b) The auditor should also examine invoices for the new year to determine if sales are recorded late. This test would address the completeness assertion for sales and provide additional evidence about cut-off for both periods. (c) The evidence is documentary evidence. The invoices and delivery dockets are internally generated by the client. The evidence that the client has accepted delivery (e.g. by signing the docket) is documentary evidence provided by a third party. The third party evidence is more persuasive than the internally generated evidence.
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5.32
Revenue assertions 3 Required (a) Does the procedure address the stated assertion? Explain. (b) If your answer to (a) is no, provide the correct assertion or explain what work would be required to address the assertion. (c) Explain what type of evidence is obtained by performing the stated procedure. How persuasive is it? (a) The test gathers evidence on whether the correct price is used to calculate the total sales price for the recorded sale. This addresses accuracy. (b) The auditor should also test the calculations and item numbers because items x price = sales, and the auditor is gathering evidence only about one part of the total sales amount. If the sales invoices are generated by computer, the test would include a test of the computer program and data. (c) All the evidence for the stated test comes from internal documents. This is only reasonably persuasive (more persuasive than verbal evidence from the client, but not verified by third parties). The auditor could increase the persuasiveness of the evidence by examining the authorisation controls for the sales price list (i.e. approval by management, control over sales price list files). Checking the calculations as suggested in (b) would provide computational evidence to increase persuasiveness.
5.33
Using an expert Required (a) Advise Ken Kennedy about the choice of an expert for the audit of SolarTubeGen. What must he consider when making his choice? (b) SolarTubeGen takes over another renewable energy company during the second year of the audit. The new subsidiary is based in another state and has previously been audited by a local audit firm. How should Ken handle the new audit responsibilities brought about by the client’s expansion? Explain. (a) Ken must consider the requirements of ASA 620 when making his choice of expert. Once it has been decided that the services of an expert are required, the main factors to consider are: - Scope of the work: The auditor must specify the scope of the work to be carried out by the expert. It is possible that the two experts being considered, as well as any others, would not be interested in completing all the work required. Ken has to consider how to communicate the scope of the work, and whether he could use more than one expert to complete the work required. - Capability of the expert: What qualifications do Manfred and Lily possess? Are they a member of a relevant professional body (e.g. Institute of Engineers), and what tertiary qualifications do they have in the relevant scientific field? What experience do they have – both appear to have been working in the industry for many years? - Objectivity of the expert: This appears to be the most contentious point in this case. Fritz is not in favour of using Manfred because he believes that Manfred would have a negative attitude. However, Ken should be cautious about taking Fritz’s advice to employ Lily because it appears that Lily could be too positive towards Fritz. A third choice of expert might resolve the deadlock, although in
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such a specialised field it is likely that there would be personal relationships or views on reputation of most of the leading experts. (b) Ken will be guided by ASA 600 (ISA 600) if the local auditor is to continue to audit the new subsidiary. Ken would consider as part of his client continuance decision in the second year whether he can operate with a component auditor or if he should take over the work of the subsidiary himself. Ken needs to consider whether he is able to do or supervise the work involved in the new subsidiary, and whether the local auditor is able to complete the audit work to the necessary standard if they are to continue with the audit of the subsidiary. It is Ken’s responsibility to be satisfied whether the other auditor is able to do the work to the required standard. Ken will consider the other auditor’s capacity and ability, reputation, membership of a professional body, and whether they will take direction from Ken.
5.34
Gathering evidence Required (a) Discuss Susan’s comment that they have already started the audit. What evidence have they gathered so far? (b) Explain what work is being done with the spreadsheets of financial data. Give some specific examples for this client. How is this type of work relevant to all stages of the audit? (c) When Susan is touring the client’s premises, she is taking notes of equipment and furniture items she sees, especially anything that looks either newly purchased or older and unused. Why might she be doing this? Explain.
(a) Susan has been gathering the following types of evidence: - Oral: Susan has been holding conversations with staff. During these conversations she will be discovering how they perform their duties, whether there are staff shortages in certain areas at various times, how management are communicating their attitudes towards control systems and profit targets, whether controls are overridden at various times. - Physical evidence: Susan has inspected physical assets of the company during her tours. She can see if assets exist, whether they are being protected, their condition, how they are used. For example, she can see if construction equipment appears to be new or well maintained. She can also observe staff performing their duties, both on the construction sites and in the offices. - Computational evidence: Susan is calculating ratios and reviewing the trial balance. She is looking for indicators of problems, such as unusual fluctuations, and whether the data appear to reflect the state of the business as described by management. (b) The spreadsheets are reviewed to identify unusual patterns which could indicate problem areas for further investigation, and to calculate trends and ratios, including common size statements, to quantify the fluctuations. Susan will use the results of the analytical procedures to justify increased or decreased focus on specific areas, and the nature, timing and extent of further procedures.
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For this type of business Susan will be using the data to determine if profitability is comparable to previous periods and with other similar clients. She will analyse the specific movement of physical materials used in construction and whether this is consistent with the financial data. For example, if the quantities of physical materials delivered to a site are lower because of slower construction progress, is the cost of materials also lower? Is the progress of the build consistent with the use of labour and machinery? Is revenue recognised on building in progress consistent with the progress and cost of the construction? (c) Observing the assets during the tour provides a starting point for investigating the assertions of completeness (whether the items she observes are in the accounting records) and valuation (whether the items appear to be in poor condition, and thus have impaired values). The older items or unused items are more likely to be obsolete and thus either impaired in value or scrapped from the accounting records. The newer items are more likely to be of higher value, but could also be not recorded in the accounting records.
5.35
Considering the work of other auditors Required Discuss the effect, if any, of ASA 600 on Clarke Field’s consideration of Securimax’s internal audit department for the financial report audit. ASA 600 requires a group engagement partner to consider the work of component auditors. A component is defined as an entity or business activity for which a group or component manager prepares financial information that should be included in the group financial report. A component auditor means an auditor who, at the request of the group engagement team, performs work on financial information related to a component for the group audit. The engagement partner retains responsibility for the audit and signs the audit report. The component auditor must meet the independent requirements that are relevant to the group audit. This means that the component auditor must meet the same independence requirements as the engagement auditor (see para A37). There is no mention in the case of a group of companies, but ASA 600 also applies where an auditor involves other auditors in the audit of financial reports that are not group financial reports, so ASA 600 could apply to Securimax’s audit. In this case, Rydell Creek heads the internal audit department at Securimax. As such, Rydell Creek and the department could not meet the independence requirements for the external auditor, and thus ASA 600 would not allow their work to be treated as though it is done by a component auditor. ASA 610 gives an external auditor guidance on using the work of an internal auditor, and would govern the use of the internal audit department’s work at Securimax.
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Chapter 5: Audit evidence
5.36 Confirmation evidence Discuss the strength and weaknesses of debtor confirmations as audit evidence for HCHG. Debtor confirmations would provide evidence about the existence assertion for accounts receivable at HCHG. If the debtor replies with an affirmative answer, they provide external evidence that they owe HCHG for services rendered. Debtor confirmations also provide evidence about the rights and obligations assertion, because they give evidence about whether the amounts were owed to HCHG companies. They do not provide reliable evidence about the valuation and allocation assertion because the debtor does not provide any more assurance that they intend to pay the account, although they may note that there is an error in the account balance. The balance of receivables for Shady Oaks is material, and although payment terms are 14 days, many of the smaller accounts are more than 60 days overdue. This suggests that procedures at Shady Oaks for approval of credit and collection of debtors are not very effective. Debtors confirmations could be sent to the large balances (60% is owed by 5 medical practitioners) to obtain evidence about their existence. However, further procedures would be required to gather reliable evidence about their valuation. It is not stated how long these accounts have been outstanding. If they are within 14 days, it is less likely that there are significant doubts about their eventual recovery. However, a subsequent receipts review would provide additional evidence which would be necessary because of the material nature of the accounts. The smaller accounts, 40% of the balance, appear to be more likely to be in doubt because most are well over the allowed 14 days. Debtor’s confirmations would provide evidence about their existence, but other procedures would be required for the valuation assertion. As the allowance for doubtful debts is taken directly against the trade receivables account, the auditor would need to review the transactions and assess their reasonableness in light of the apparently poor credit control. Subsequent receipts review and analysis of the characteristics of the debtors would also provide evidence about their valuation.
5.37
Adequacy of documentation and audit evidence Is it possible for Fellowes and Associates to use debtor confirmations only as audit evidence and adhere to the mandatory requirements in ASA 230? Explain your answer.
ASA 230 requires that the auditor prepares documentation of the audit on a timely basis that provides a sufficient appropriate record of the basis for the auditor’s report and evidence that the audit was planned and performed in accordance with ASAs and applicable legal and regulatory requirements. Paragraph 9 of ASA 230 requires specific documentation of the procedures performed in relation to the bad debt. The auditor would document the analysis of the ageing of the accounts receivable balance. For example, which accounts receivable balances were included in the analysis, and the date the balances of accounts receivable were
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extracted; who conducted the analysis, and on which date; and who reviewed the analysis, and on which date, including the items reviewed and the conclusions drawn. It is not likely that using only debtor confirmations in this case would provide sufficient basis for the auditor’s report. The accounts receivable balance is material, and there is evidence that many smaller debtors’ balances are overdue. Performing debtor’s confirmations would not provide sufficient evidence of the valuation and allocation assertion for debtors. It would necessary to conduct further procedures for the valuation and allocation assertion. In particular, it would be necessary to discuss with management their approach to recognising doubtful debts. The auditor would need to consider the assumptions, data, and methods used by management and consider their reasonableness, as well as the reasonableness of the adjustment to the accounts. In addition, the large outstanding balances from 5 practitioners would have to be considered specifically with respect to their collectability. Additional procedures for all debtor balances would include analysis of subsequent receipts and further invoices to these debtors.
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Chapter 5: Audit evidence
Case Study Cloud 9 1. Explain the procedures for engaging component auditors to perform the work on the inventory in China and the US. 2. Advise Suzie on engagement of the derivatives expert. Discuss the qualities the expert must possess. What steps must Suzie perform? What should she tell the expert about the engagement? What must the expert provide to Suzie so that she can be sure she has sufficient and appropriate evidence about the derivatives? Can the expert do all the work on derivatives, or must Suzie perform any other procedures? 3. Assume you are engaging the component auditors and the derivatives expert. Create a working paper for each task. Solution 1. The procedures for engaging component auditors to perform the work on the inventory in China and the US are covered in ASA 600. The standard (and APES 110) requires the auditor responsible for signing the audit report to consider the issues with using another auditor when accepting the client, be responsible for performing the majority of the work, and be knowledgeable about the other components that they do not audit themselves. When engaging the component auditor W&S Partners should consider the reputation of the component auditor and ensure they are the member of a reputable professional body. W&S Partners are also responsible for ensuring the work done by the other auditor meets the required standards. The procedures include: • The engagement partner sets out the work to be done – in this case auditing the inventory in another location • Discussing the detailed procedures to be used between the engagement partner and the component auditor – such as stocktake procedures • Reviewing the conclusions drawn in the working papers by the other auditor • Discussing the results, particularly if there are any problems or there is a lack of understanding between the auditors 2. Engagement of the derivatives expert is covered by ASA 620. In this case, Suzie is engaging an expert in valuing derivatives. Derivatives are specialised assets and can be difficult to value because of the risks involved. Suzie must decide the scope of the work to be carried out by the expert. Suzie has to advise the expert of the nature timing and extent of work to be completed by the expert, but will consult with the expert in order to make sure that the instructions are appropriate. All instructions will be communicated in writing to ensure that there are no potential misunderstandings about the scope of the work and the use of the findings in the financial report audit. Suzie will require the expert to report on specific details about the derivatives, explain the
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assumptions used to value the derivatives, show the computations in detail, and explain any issues in reaching the conclusion. Suzie must also consider the choice of expert – are they appropriately qualified, experienced, independent, and do they have sufficient time to complete the work? Once the report is received from the expert, Suzie will need to be able to read the report and understand the findings even though she is not an expert in the subject. The technical content of the report has to be explained clearly. Suzie will then need to assess the conclusions, based on the assumptions and calculations, whether they are consistent with previous periods and with the instructions given, and whether it is appropriate to rely on the report in the audit. The audit partner retains ultimate responsibility for the expert’s work as part of the audit. 3. Working papers: Students are to create a document with a heading including the details of the audit client, preparer and reviewer of the document, date prepared and reviewed, reference number. Each working paper would include instructions to the other party (component auditor or expert). Instructions would include information about why the auditor/expert is being engaged, that their work would be relied upon as part of the financial report audit, that the engagement auditor retains responsibility for the conclusion. Each paper would ask the third party to confirm their qualifications and independence to perform the work. It would include a list of detailed steps to be undertaken by the third party, including that they must report the work done in a manner that the engagement partner can review the adequacy of their work.
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Solutions Manual to accompany
Auditing: a practical approach 2nd edition by Jane Hamilton CHAPTER 6 Gaining an understanding of the client's system of internal controls
© John Wiley & Sons Australia, Ltd 2013
Solutions manual to accompany Auditing: a practical approach 2e
Chapter 6 - Gaining an understanding of the client's system of internal controls REVIEW QUESTIONS 6.11
If an auditor does not intend to rely on internal controls in the audit, does the auditor need to obtain an understanding of internal control? Explain.
ASA 315 requires the auditor to obtain an understanding of internal control on all audit engagements. Therefore, even if the auditor intends to take an entirely substantive approach to the audit and not rely on internal controls, the auditor must obtain an understanding of internal control. This is because without gaining this understanding, the auditor will not fully understand the risks of material misstatement of the financial report. ASA 315 states that gaining an understanding of the entity and its environment, including its internal control, establishes a frame of reference within which the auditor plans the audit and exercises professional judgement throughout the audit. The standard allows the auditor to use professional judgement to determine the extent of the understanding of internal controls required in each case.
6.12
Explain the difference between entity-level controls and transaction-level controls. Is an auditor interested in both?
Entity-level controls are: 1. the control environment 2. the entity’s risk assessment process 3. the information system, including the related business processes, relevant to financial reporting, and communication 4. control activities 5. monitoring of controls Each of these controls relates to the whole organisation. Transaction-level controls are controls that impact a particular transaction or group of transactions. Therefore, the difference is that entity-level controls have the potential to impact all of the processes in the organisation, including those that have a direct impact on the financial report and others, while transaction-level controls impact only a specific group of transactions. Transactions make up the financial report that the auditor is auditing, and can be impacted by both entity-level and transaction-level controls. This is why an auditor would be interested in both types of controls.
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6.13
Discuss the contention that the control environment is the most important part of a system of internal controls because it provides the foundation.
The control environment sets the tone of the entity and influences the control consciousness of its people. People, through their actions, determine the effectiveness of internal controls. If the control environment does not encourage ethical behaviour and high quality work, the people within an organisation could fail to implement controls or override them when performing their duties. Even the best control system is not 100% effective, and all systems are less effective if the people working with them do not support the systems. However, all components of an internal control system are important. Having a strong control environment will not be sufficient by itself to ensure that an organisation is able to achieve its objectives.
6.14
Explain why an auditor would be interested in the functioning of the human resources department within an organisation.
The human resources department within an organisation is responsible for hiring, inducting, training, evaluating, counselling, promoting and compensating employees. This means that the HR department is responsible for ensuring that the organisation’s employees are competent and honest. As such, the HR department sets policies and procedures which have a direct effect on the organisation’s control environment. For example, the HR department ensures that employees have the required skills and qualifications for the position they are appointed to. The HR department influences the ability of the organisation to retain trained, competent, and experienced employees to discharge the duties required for the effective operation of the internal control systems. An auditor can gain an understanding of the organisation’s standards, commitment to quality, and the likelihood of effective control by studying the operation of the HR department.
6.15
What sort of risks would an entity’s risk assessment process consider? Give some examples for a retailer. Which of these risks would be relevant to financial reporting? Explain.
An entity’s risk assessment process would consider risks to its achievement of its objectives at all levels. These would include: risks to revenue through product competition, to attracting and retaining staff, exchange rate risks, transport interruption risks (both freight and passenger transport delays affecting staff and customers), climate change risk, financing risk (obtaining and servicing loans), supply risks, and risks relating to protection of assets from theft and fraud etc. A retailer would have a particular focus on the risk of not being able to buy the appropriate products from reputable suppliers, product quality risks which would lead to sales returns and/or warranty claims, exposure to exchange rate risks if suppliers are located in other countries, transport risk affecting imports, competitive risks from other retailers in the same location or servicing the same type of customer, staff risks relating to attracting and retaining the right type of staff for all shifts, physical risks including power interruption, shopping centre building issues, financing risks relating
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to funding product purchases and paying expenses prior to receipt of cash from customers, and protection of assets and the integrity of sales and other transactions in the accounts. The retailer would be interested in identifying and controlling risks to its ability to operate and achieve its objectives. All uncontrolled risks for the entity could affect the ability of the entity to survive (i.e. be a going concern). Therefore, all risks are of interest to the auditor. However, the auditor is most directly concerned with risks relating to protection of assets and the integrity of transactions in the accounts. The auditor must consider the risk to the accounts so that the audit can be planned with appropriate consideration of the risk of material misstatement
6.16
Explain the importance of segregation of incompatible duties. What sort of duties would be segregated within the sales process? Why?
Segregation of incompatible duties is a part of the control activities of an organisation. Control activities are policies and procedures that help make sure management’s directives are carried out. The concept of segregation of incompatible duties is that no one employee or group of employees should be in a position both to perpetrate and hide errors or fraud in the normal course of their duties. If these duties are not segregated, an employee could steal assets (such as cash or stock) and adjust the records to conceal the theft. If the duties are segregated, the employee stealing the assets would have to get the cooperation of another employee to adjust the records to hide the theft. Therefore, it is very important for the effective operation of a control system that incompatible duties are split between different employees. Within the sales process, the person making the sale is not responsible for recording the sale, and should not be able to process a sales return or other adjustment to a debtors account balance. If these duties were not segregated, the sales employee could record a sale to a fictitious customer and take the goods for themselves. To conceal the theft, the employee would later process a sales return or adjustment to eliminate the balance in the fictitious debtor’s account.
6.17
Why would an auditor be interested in a client’s control monitoring processes?
A client should have processes for monitoring the effectiveness of its internal controls because circumstances and conditions change over time and controls need to adjust accordingly. An out-of-date control system may not be able to alert management to new risks, or control new types of transactions. The monitoring process allows the client to assess the need for changes to internal controls. As such, the auditor will be interested in the effectiveness of the monitoring system and whether the client’s management are able to be sure that internal controls remain current and valid. The auditor will also be able to assess the client’s management attitude to internal control systems through evaluation of the monitoring processes within the client.
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6.18
Discuss the role of internal audit in an entity’s system of internal controls. Is internal audit an essential element of a control system? Explain.
Internal audit is a part of an entity with responsibility for assessing the performance of the entity’s control systems and making evaluations of client’s activities. Internal auditors provide information about the functioning of the entity’s internal control system, its strengths and weakness, and make recommendations’ for improvements, to the entity’s management. Although internal audit departments are usually separate to other functions within the client, they are not independent of the client. Not all organisations have an internal audit department. Smaller organisations usually do not have an internal audit function and many larger organisations outsource the internal audit function to a third party. However, as organisations become larger, the level of importance placed by an entity on its internal audit function can be a guide to its overall commitment to internal control.
6.19
Four approaches to internal control documentation are discussed in the chapter. Assess the advantages and disadvantages of each. How would documentation assist the auditor to identify strengths and weaknesses of an entity’s system of internal controls?
The four approaches to internal control documentation are: 1. Narratives; the advantage is that the process can be described in full; the disadvantage is that it can take many words to describe a process in full. 2. Flowcharts or logic diagrams; the advantage is that the standardised graphics allow a large amount of information to be presented on a single page to represent complex flows of transactions and the key controls. If there is common understanding of the symbols, it is easier to review and understand. The disadvantage is that the reader may not understand the symbols or require additional clarification. 3. Combinations of narratives and flow charts or logic diagrams; the advantage is that complex systems can be described using standardised symbols, with additional narrative to explain steps that are hard to chart. The disadvantage is that both the diagram and narrative have to be prepared and checked for consistency. 4. Checklists and preformatted questionnaires; the advantage is that it is helpful to inexperienced auditors because the checklist guides the process and assists in identifying critical controls. The disadvantage is that it can inhibit an experienced auditor and slow down the process. The documentation assists the auditor because the process of preparing the documentation prompts the auditor to ask detailed questions in order to gain a full understanding. An experienced auditor would be able to identify departures from the systems used at similar organisations and the graphical forms of documentation reveal quickly the destination of all copies of documents.
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6.20
Why do auditors prepare management letters?
ASA 260 requires the auditor to communicate matters from the audit with those charged with governance, and ASA 265 governs communicating deficiencies in internal control to those charged with governance and management. To satisfy the requirements in these standards, the auditor will prepare a management letter to those charged with governance. The auditor will also communicate on a timely basis with management of the entity, where appropriate, the deficiencies in internal control revealed during the audit that are either being communicated to those in governance or are not. The auditor uses their professional expertise to inform management about deficiencies in the internal control system which could affect the integrity of the financial report either in the current financial period or in the future. The feedback is provided in written form so that there is no confusion about the fact of the report or the observations and recommendations being made. The management of the entity is able to use the written report as a basis for a response. Sometimes, management is able to use a letter written at an interim stage of the audit as a basis for a response before the end of the audit. 6.21
Why don’t auditors usually test entity-level controls as part of the audit?
Entity level controls are the collection of the internal control components of control environment, entity’s risk assessment process, the information system, control activities, and control monitoring (ASA 315/ISA315). The entity level controls exist at an organisational or entity level rather than at a more detailed transaction level. The auditor is required to gain an understanding of the entity level controls, but they are not specifically tested. They are not specifically tested because of the difficulty in trying to do so. For example, there is rarely audit evidence that a control such as the ethics/tone at the top of an organisation is in existence and operating effectively, in the same way that there would be evidence that sales transactions above a specified level must be authorised by the sales manager. In addition, entity-level controls by themselves are not usually sensitive enough to prevent or detect and rectify material errors, such as controls over large sales transactions would prevent an incorrect sales figure entering the system.
6.22 In the sales transaction process, a key control affecting the accuracy assertion for sales is ‘Credit committee review and approve all applications for credit over $1000’. Explain the impact of this control on the valuation assertion for sales receivable (debtors). A control such as ‘Credit committee review and approve all applications for credit over $1000’ will require applications for credit over the specified amount being separately authorised. This control is related to the accuracy assertion for sales because it prevents sales transactions being recorded that are incorrectly processed. For example, if a data entry error is made so that a sale for $500 is incorrectly entered as $5,000, the transaction would not be accepted until it had been authorised. Because there is a data entry error, the person responsible for authorising the transaction should notice that it is not for $5,000, but should be entered as $500. The control also
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Chapter 7: Gaining an understanding of the client’s system of internal controls
impacts on the valuation assertion for sales receivable because it would prevent the incorrect sale being entered to the debtors account, and thus prevent it from being overstated. In addition, if sales are genuinely being made for amounts over $1,000, the authorising person has a chance to consider if the debtor has capacity to pay large amounts. Procedures to check the credit-worthiness of debtors is likely to improve the chances of the amounts being paid by the debtors (because only debtors that can and will pay their debts are allowed to buy on credit), increasing the likelihood that debtors are valued correctly.
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PROFESSIONAL APPLICATION QUESTIONS 6.23 Understanding client controls Required Explain why the junior auditor’s suggestion is not appropriate. The junior auditor’s suggestion is not appropriate because the auditor needs to have sufficient appropriate evidence about the effectiveness of controls in the current year. Any change in either the controls or the conditions would make last year’s evidence not applicable to the current period. At a minimum, the auditor would need evidence that the conditions remained the same and that the controls had not altered. The auditor should also consider whether the controls are able to provide sufficient control in the current circumstances. Even if there had been no changes since last period, the auditor should evaluate the effectiveness of the controls and draw a conclusion on the degree to which they can be relied upon. In this particular case, the controls were assessed with respect to their ability to ensure compliance with the regulations. It is likely that additional work is required for the controls to be assessed for their effectiveness at preventing or detecting material misstatements at the assertion level because this is a different objective.
6.24
Importance of internal control Required (a) Make a list of the potential problems that could occur in Powersys’ maintenance and improvements program. (b) Suggest ways that good internal control over parts, equipment and labour could help Powersys avoid these problems.
(a) Potential problems include: • Problems with communication systems stop emergency reports reaching the response teams in a timely manner • Police or other emergency services are unable to contact Powersys during an emergency because they do not have the required contact information or staff at Powersys are not rostered on to respond to emergencies • Trained staff are not available to respond to emergencies through mismanagement of leave or failure to recruit and train staff • Storms, fires or other emergencies are more extensive than anticipated and not enough staff and equipment are available to respond • Equipment, such as vehicles, diggers and cherry pickers, are not operational due to lack of suitable maintenance • Not sufficient supplies of specialised tools and parts are held in stores • The large warehouse is not accessible in an emergency because the key holder is away sick or on leave • Too many staff are rostered onto normal maintenance and not enough available for emergency response in a particular geographic location • Changes are made to the electricity distribution system so that different parts are required for maintenance and these new parts are not ordered in time
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(b) suggested internal controls include: • responsibility for maintaining communication systems with emergency services assigned to a senior staff member at Powersys who also has information about staff rosters • HR department is made aware of staffing requirements for emergency response and reports to senior management on achievement of staff targets • HR department oversees policies and procedures for staff training to ensure that sufficient staff within the organisation have the required skills and qualifications • Scientific modelling of emergency situations, taking into account population growth and climatic conditions • Schedule of maintenance for equipment coordinated with senior staff responsible for emergency response • Stores report on holdings of various parts, with integration with new equipment purchases • Stores maintain security systems and assign responsibility for staff member to coordinate with emergency response teams • Staff schedules and rosters approved by senior management with consideration of balance between maintenance and emergency response
6.25
Segregation of duties in small business Required (a) Discuss the attitude and control consciousness of Big State Computers’ management. (b) Which duties should be segregated in this business? Recommend an appropriate allocation of duties for the staff at Big State Computers.
(a) The accounts show that the controls over sales, debtors and cash receipts are not good. The accounts are not up to date and client statements have not been issued for four months. These tasks were apparently the responsibility of the junior trainee, Sally, under the supervision of Max. Max appears to have been unaware of the problems, suggesting that he is not monitoring the processes very closely. Overall, this means that the management’s attitudes towards internal controls in general, and the accounts in particular, are not good. The fact that the bank has asked them to meet to discuss their worsening cash position also suggests that they are not managing their cash flow adequately. Although Betty is responsible for technical issues, such as repairing computers, rather than the administration side of the business, she is also an owner of the business and as such should be involved in setting the tone of the organisation. Max and Betty appear to have failed to establish good internal controls and to communicate and enforce the importance of the systems to their staff. There is no evidence of any unethical behaviour by the staff, but they do not appear to have been adequately trained and/or appropriately selected for the positions they hold. In a small business, such as this, management involvement is a substitute for a large system of formal controls. This means that Max and Betty must be personally involved in authorising and supervising transactions to a greater extent than if there were more staff.
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(b) Segregation of duties should follow the broad principle that the following duties are segregated: • Authorisation or approval of transactions affecting assets • Custody of assets • Recording or reporting of transactions • Control over processing of a transaction should be separated from recording or reporting a transaction Sally is employed to help with administration. The other staff is a computer technician and a sales part-timer. This means that Sally and Max are the only two staff currently with administrative responsibilities. It will be difficult to adequately segregate duties with only two staff in the area. Therefore, Max and Betty must perform additional review tasks, such as separately reviewing all transactions over a certain limit, monthly reports of debtor’s balances and transactions, bank reconciliations etc. In addition, if Sally retains the task of banking, she should not be involved in recording transactions, particularly cash receipts. An alternative would be for Max to do the banking and leave Sally responsible for transaction processing. Betty could take responsibility for stock control, so that the sales staff are not involved in maintaining stock records as well as having access to the stock for making sales.
6.26 Control environment Required How does the above information affect your understanding of the control system at Cheetah Airways? The information available to the auditor raises questions over the tone at the top of Cheetah Airways because it is alleged to have engaged in cartel activities (activities relating to distorting the market for freight or passengers). Specifically, is there a commitment to integrity and ethical values in the organisation? What is management’s philosophy and operating style? Is there a win at all costs attitude and lack of respect for laws that affect the business? At the time of the audit there is an investigation by the ACCC, but no prosecution against the client. However, several customers of the audit client have taken their business elsewhere. This fact also raises questions for the auditor because it suggests that the client’s revenue has been adversely affected, and could be more adversely affected if other customers also take this action. In the extreme case, there could be questions about the audit client’s ability to continue as a going concern (although this would require many more customers to also leave), and could impact on the auditor’s opinion. If there is a poor ethics/tone at the top, or evidence of fraudulent or illegal activities, the auditor should consider whether the client is one that they wish to continue to audit. The auditor should reconsider the information it gathered at the time of taking over the client – what did the prior auditor disclose, what did the auditor’s investigations disclose etc. Ultimately, the auditor will have to document the action taken to investigate the matter and consider the integrity of the client, and any impact on the auditor’s ability to perform the audit. For example, has the auditor had any difficulties in getting access to records and personnel it requires in order to do the audit? Has the client been able to offer the auditor any assurances about their integrity? The auditor may conclude that the bad publicity is unwarranted and the
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departure of several customers is more related to activities by the client’s competitors. Alternatively, the auditor may decide to resign from the audit engagement if the client is unable to provide the assurances required.
6.27 Expense transaction risk Required Discuss the risk of misstatement for depreciation costs. What could go wrong? The main risk for depreciation costs is that they are understated. ‘What could go wrong’ is that it will overstate profits and overstate the written down value for assets. Capitalising expenditure on maintenance that should be a cost of the period by designating it as improvements would understate expenses. Depreciation expense could also be understated if the rate is reduced or new additions to assets are not depreciated. Auditors should determine if the accounting policy to capitalise maintenance and amortisation over the maintenance period is reasonable under the accounting standards. Depreciation costs have decreased even though the cost of aircraft and engines has not changed. This suggests that the scheduled period for maintenance is greater (a longer period before the next major maintenance is scheduled). This would be justified if the aircraft are flying fewer kilometres each year (a possibility if the GFC has led to flight cancellations). Auditors should investigate the flight schedules for aircraft to determine if the distances flown are lower.
6.28 Control environment Required Discuss the impact of the background material for Red Minerals on your likely assessment of entity-wide controls at Red Minerals. The information suggests that there are problems with the client’s control environment surrounding the chemical spill incident. What are the circumstances of the spill? Was there evidence of suitable precautions being taken or was management treating the potential problem lightly because the country is poor (currency devaluation issues suggest economic problems in Bangaloo)? Was there evidence of appropriate consideration of the risks of a chemical spill and the impact of the cost of clean-up on the company? What action has management taken to repair the damage? Is the company’s failure to repair the damage evidence of financial problems at the client? The petty theft could be simply a problem isolated to several dishonest employees, or could be further evidence of poor control procedures at the client. Is the resignation of the COO related to either the chemical spill or the theft? Does it signify that there are further problems at the client which the client has not provided information about to the auditor? What procedures have been adopted to find a replacement? The auditor should consider whether those charged with governance (board of directors) are aware of the problems and taking action. Has the board established suitable policies for dealing with the risk of operating in Bangaloo?
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What evidence can the auditor gather about Red Minerals’ management’ philosophy and operating style? What approach has management taken to establishing procedures to implement policies around the risk of chemical spills and control over company assets? How have the policies and procedures, as well as the ethical values of the organization, been communicated from the board to management and more widely in the organization? 6.29 Revenue fraud risk Required Explain why the revenue in income statements is at significant risk of fraudulent financial reporting by management. The GFC creates additional pressures on management to achieve performance targets, including revenue growth and profit. In the case of Leopard Airways, there is a risk that the amount of revenue received in advance is transferred to revenue too early because it would help management achieve their revenue and profit targets. The evidence from the financial statements suggests that there is a greater fall in revenue received in advance than in revenue. This could occur if revenue received in advance is incorrectly treated as revenue of the period (revenue in advance would be decreased and revenue for the period would be increased). Although both type of account are lower than previous years, the decrease is not evenly distributed across the two types of account, as would be expected. However, an alternative explanation is that the revenue in advance is lower because bookings for the next period have fallen even further than bookings for the current period.
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6.30
Objectives of internal control Required (a) Give examples of transactions that would occur at Emerald Spa. (b) Explain what could go wrong with these transactions if the system of internal controls could not meet any of the seven generally accepted objectives of internal controls.
(a) Transactions would include: • Cash receipts from customers for services • Reimbursement from health insurance companies for counselling and massage services • Credit purchases of supplies, such as oils, hair products • Electronic funds transfers to pay wages • Cheque payments for rent, electricity, furniture purchases, insurances, tax remittances, advertising • Depreciation for furniture and equipment (b) Potential problems in transactions if control system does not meet objectives include: • Incorrect pricing used for customer services; services provided but not charged to customers or recorded in the accounts; duplicate receipts recorded • Not all cash receipts are banked intact in a timely manner • Failure to claim reimbursements from health insurance companies on behalf of clients, or claims for the wrong services • Ordering wrong supplies or sufficient supplies to meet demand • Failure to keep supplies safely locked away, as required • Failure to record purchase of supplies; payment for supplies not received; incorrect cost of supplies recorded • Branch manager approves salary payments for hours not worked by staff, at wrong rates, or for staff that do not work for the business • Failure to control costs such as electricity, through inefficient use of equipment • Equipment and furniture not accounted for, not kept secure at the premises, charging depreciation on furniture and equipment no longer used by the business; failure to record depreciation because equipment not recorded as asset • Repairs to furniture and equipment recorded as new purchases of assets; new purchases recorded as repairs
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6.31
Control environment at a large company Required Discuss the control environment at International Bank assuming the press reports are correct. Which parts appear to be most deficient?
The problems at International Bank (IB) appear to begin at the most senior levels of the foreign currency department, rather than with an individual trader. The attitude at senior levels was that if the trader was able to make a profit, the official policies and procedures could be ignored, or overridden. This suggests that the control environment in the department did not reinforce integrity and ethical values, and encouraged risk taking in pursuit of profit. Questions must be asked about more senior levels in IB if senior management of one department has a poor ethical attitude, how was this viewed by higher levels of management and those charged with governance? Did senior levels in the foreign currency department hide their attitudes from their supervisors, or did those supervisors ‘turn a blind eye’ to the issue provided the department was profitable? The press reports suggest that the poor ethical attitudes are not confined to the foreign currency department, adding weight to the view that more senior management were likely to have poor attitudes to ethical conduct. There should have been stronger communication and enforcement of integrity and ethical values through the organisation, through measures such as codes of conduct. The press reports do not suggest that the rogue trader or the supervisors lacked technical knowledge about foreign currency trading. The organisation structure at IB could be deficient if there was not effective supervision of the foreign currency department. In addition, HR policies and practices were either ignored or were nonexistent with respect to inculcating ethical attitudes and behaviour. Overall the most significant problem was with communication and enforcement of integrity and ethical values. Other considerations: The risk assessment processes at IB appear to not have considered the potential problems in the foreign currency department, or at least have addressed them in full. The information system should have produced reports to more senior levels of these irregularities. Control activities, such as performance reviews, should have detected the common occurrence of the risky trading behaviour, or alerted senior management to excessive profitability based on risky activity. Internal audit department of IB should have provided information on the risky trades to those charged with governance. Finally, transaction level controls should have prevented or detected the large trades and unbalanced positions.
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6.32
Segregation of duties and documentation Required (a) Create a flowchart to represent the flow of transactions from the raising of a purchase order to cash payment. (b) Which duties in the above process should be segregated?
(a)
Requisition for stock prepared by stores sent to purchases department Approved vendor available?
No
Yes Funds available?
Refer to purchases manager to source approved supplier
No
Request approval to exceed purchases limit
Request approved?
No
Reject purchase requisition
Yes
Yes Create purchase order and send to vendor
Stock receival process
Receiving report, packing list and supplier invoice received Do quantities, unit price and shipping agree to purchase order?
Contact supplier to resolve discrepancy
No
Yes
Supplier payment process
Process purchase in purchase ledger
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(b) As indicated on the flowchart, the stores which create the requisition and receive the goods are separate from the purchasing process. The store’s manager is not permitted to make purchases directly with suppliers because there needs to be a segregation of the authority to commit the entity to purchasing goods and the custody of the goods. The recording of purchases into the stock account is separated from the record keeping at the stores. Also, the payment process is separate from the purchases process. At various points in the process, permission is sought from purchases manager and the accountant for action. The purchases manager arranges for suppliers to be selected and approved. Only approved suppliers are used to ensure that they are reliable and the items meet the entity’s specifications. The accountant gives permission to create purchase orders if the purchases department does not have approved funds available. Payment is not approved for processing until the purchase order, receiving report and packing list, and supplier invoice are matched and reconciled. Not shown on this flowchart, approval for processing the payment would be required before the supplier is paid.
6.33
Internal control components (a) Explain how the internal control components are usually adjusted to meet the needs of small entities. What advantages and disadvantages does this bring? (b) Assess the internal controls at Featherbed. What changes would you recommend?
(a) Small entities have limitations in their ability to implement a comprehensive control system. There are fewer employees in small entities, which means that segregation of incompatible duties is harder to organise. In addition, small entities usually do not have formal documentation of their control systems, making assessment of their design effectiveness more difficult. However, managers of smaller entities (who are usually also the owners) are able to have a greater personal involvement in all aspects of the business and are therefore able to monitor activities directly. With direct monitoring, many departures from control systems could be detected. The effectiveness of this direct monitoring is dependent on managers’ knowledge and interest in controls, which could be low. Managers may also be tempted to override systems because they do not distinguish between their interests and the interests of the entity. (b) There is little separation between the board and the senior management – Sarah is both CFO and director of both Featherbed and the Morris Group. The control environment would be stronger if the CFO and the director positions were split Management philosophy and operating style are ‘laid back’, suggesting that formal control structures are not in place. Although some documentation is now being done, it is being done at a low level rather than being designed by senior management. There is a risk that the documentation will be incomplete, without the necessary review procedures. Peter Pinn does not appear to be very active in reviewing the performance of the more junior staff, and there is a lack of clear information on whether Sarah is adequately supervising Peter. The lines of accountability should be stronger and because of the
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small size of the accounts department, should include periodic reviews of transactions authorised and processed at lower levels. There appears to be a lack of adequate segregation of duties, both Kristen and Julie are involved in opening mail, processing transactions, banking, bank reconciliations, and payroll. These duties should be segregated so that staff handling cash are also not able to record transactions. Bank reconciliations and reviews of journal postings should be done by Sarah or Peter, and they should also be authorising transactions. There appears to be no separate HR function and there is a danger that payroll is not valid. Overall, the internal controls appear to have deficiencies. The documentation should be completed by Sarah and she should take more responsibility for overseeing the operations of the accounts department. Peter does not appear to be performing the necessary authorisation and supervision roles.
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Communication with management Write a management letter to Justin and Sarah Morris.
The management letter would conform to the example in the text. It would be addressed to the chair of the board of Featherbed (Justin Morris). It would explain the deficiencies in internal control, as outlined in Professional Application Question 6.33, with the appropriate recommendations with respect to segregating duties and completion of documentation of policies and procedures.
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Components of internal control Required Select two (2) components of internal control. Explain how the role of internal and external audit would differ in assessing these components in relation to the new manufacturing costing system.
(1) Control Environment. The high level of security around information relating to product design, manufacturing and costing, and the client identity and transactions is a key part of the internal control system at Securimax. The secure environment provides the foundation for the successful implementation of the new manufacturing costing system because data are secure and only certain personnel will have access to it. The highly secure environment indicates that the control environment at Securimax has a focus on clear assignment of authority and responsibility and a formalised organisational structure. It also reflects management’s philosophy and operating style which rates security highly. Consistent with this approach it would be expected that internal audit have a formal and important role in the organisation. Internal audit were involved in all stages of the installation of the new manufacturing costing system. Their role would have been to ensure that the integration with other systems (e.g. sales) is correct. Internal audit will also be interested in maintaining the secure environment and assessing the performance (i.e. efficiency and effectiveness) of the new system. External audit would focus on understanding the control environment and assessing whether the control environment means that management has positive attitudes
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towards internal control systems. The auditors would be interested in assessing how well the implementation of the new costing system was executed, and whether the secure environment was maintained. (2) Risk assessment process. The risk assessment process refers to management’s processes to identifying and responding to business risks. Securimax has responded to the risk of using inaccurate costing data by installing the new manufacturing costing system. However, there are risks involved with the installation and these would need to be managed. The internal audit department would be involved in assessing how management handle the implementation and other risks. The external audit department would use the information from the internal audit department’s assessment to evaluate the level of risk to the financial accounts from any problems with the manufacturing costing system. (3) Control activities The information provided does not explain the segregation of duties and physical controls relating to the new manufacturing costing system. However, internal audit would assess the level of segregation and physical controls when determining the success of the implementation process. External audit would require an understanding of these matters in order to assess control risk for transactions relating to the costing system.
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Control environment Discuss the implications of the sales bonus system for the control environment within HCHG. What special factors would management have to have to consider?
The sales bonus system would impact on the control environment at HCHG because it increases the focus on recorded sales and provides incentives for personnel to take actions to increase their bonus through increasing sales. A bonus structure can work against management attempts to communicate and enforce integrity and ethical values because it implies a reward for ‘cutting corners’ in order to increase sales. When such a bonus system is in place management have to work hard to communicate the core values and show through their philosophy and operating style that there is not a focus on increasing sales at all costs. Management will need to ensure that there is a commitment to competence through mechanisms such as HR recruitment and review policies and practices. Management would also pay attention to ensuring that sales, particularly those on credit to new customers, are authorised by appropriately senior staff, and performance reviews are used to guide sales staff towards the organisation’s objectives.
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6.37
Control risks in new IT systems With reference to the ‘control activities’ component of internal control, formulate one question that each of internal audit and external audit will ask regarding the switch-over of the patient revenue systems by Gardens Nursing Home.
The internal audit department was required to ‘make sure the switch-over worked without any problems’. This means that the internal audit department was primarily focussed on the effectiveness of the switch-over, and not just making sure it was completed at the lowest possible cost. Therefore, the potential questions would address the accuracy of information from the new system. Examples include: • How did the performance indicators address the effectiveness of the switchover? Who was responsible for the switch-over and how was the effectiveness measured for the purpose of performance review? • What changes were made to the information processing activities and how was their effectiveness assessed? • What physical controls are used to prevent unauthorised changes to the manufacturing costing system? The external auditor is required to gather evidence to support an opinion about the truth and fairness of the financial report, and its compliance with the relevant accounting standards. The auditor would require evidence that the transactions are processed accurately, meeting the objectives of the internal control system (real, recorded, valued, classified, summarised, posted, timely). Therefore, the external auditor would have questions to address the control risks in the new manufacturing costing system, including: • How are duties segregated with respect to approving changes to programs, authorising transactions, custody of raw materials and work in process, reporting costs? • What controls exist to ensure that all product movements are recorded accurately? • What controls exist to ensure that invoices to customers are based on correct costs? • What controls exist to ensure that the correct labour costs are added to the manufacturing costs assigned to products?
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Case Study Cloud 9 You have been assigned the task of documenting the understanding of the process for recording sales, accounts receivable, and cash receipt transactions for wholesale customers. In your absence, Josh met with the Cloud 9 Pty Ltd financial controller, Carla Johnson, and received permission to tape the interview, which is provided as a transcript (see appendix). Using this interview transcript and other information presented in the case, you are asked to: 1. Prepare a flowchart or narrative documenting your understanding of the sales to cash receipts process for wholesale sales. 2. Identify any follow-up questions you would like to ask the client if aspects of the process are not adequately explained. You could address such questions to Carla Johnson or any other employee you deem appropriate. 3. Identify the potential misstatement that could occur in the sales to cash receipts process for wholesale sales. 4. Identify, for the misstatements in 3, the financial report assertion that is affected. To answer requirements 3 and 4, draw up a worksheet using the following format. Use as many rows as you need. Use the first three columns of the following worksheet to present your findings. (You will complete the fourth column of the worksheet in the next chapter.) Significant process
Potential misstatement
Assertions
Transaction level internal controls
Solution 1. NARRATIVE – Cloud 9 wholesale sales to cash receipts: A sales transaction begins with the receipt of the customer purchase order via the inventory management system, Swift. Swift is a custom-made software package that has an interface through a secured site key to retailer inventory systems. When stock balances at retailers get below a pre-determined amount (which is established and updated by the customer), the system automatically alerts the customer to complete a purchase order on-line. Purchase orders are initiated in Swift based on a master price file and the available stock in the warehouse. Swift does not allow quantities to be ordered greater than the amount on hand in the warehouse. The price file is maintained by the sales manager and is reviewed monthly. Changes to the master file must be approved by the sales director and the finance director. Only those 3 employees have access to the file.
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Once the purchase order is completed by the customer, a credit limit check is automatically performed by the system against pre-determined limits maintained in the customer master file. If the customer exceeds their limit, the system will reject the order. Daily, the sales manager reviews a listing of rejected purchase orders to follow up with the customer regarding the order. This may result in credit limit increases being approved. Once the credit check is successful, the system will generate the sales order. Each day, the warehouse manager downloads the outstanding sales orders to hand held computers for his team. Warehouse personnel collect the goods and take them to the packaging staging area. Here, they scan the bar codes of each product with the hand held computer that is linked to Swift. This creates the dispatch note in Swift, which is automatically matched to the sales order. Only when there is match, does the approval box get activated. The Shipping Supervisor electronically signs off on the dispatch note by entering his passcode to approve the dispatch note. The goods are boxed up and placed in the secure caged areas for the Cloud 9 drivers to pick up the following day. In the morning, drivers print the approved dispatch notes and arrange their delivery schedule. For each order, they confirm the total number of boxes in the staging area against the dispatch notes prior to loading in the truck/van. They sign off on the top copy of the dispatch note and leave it with the shipping supervisor prior to departure. Upon delivery, the customer signs the dispatch note confirming receipt of goods. That copy is sent to the billing team. Any undelivered items are returned to the cage. At the end of the day, the warehouse manager reviews the unfilled sales order report and contacts the customer service representative to notify the customer of when the expected delivery for their items would be. When goods are returned, they are received in the warehouse and scanned. The goods are tagged in the system as either “Warranty Return” or “Sales Return”. For warranty returns, if the return date is within 12 months of the sale date, a special sales order with $0 price is generated, triggering a replacement pair to be sent to the customer following the normal shipment procedures. If the return date is greater than 12 months, a warranty decline notice is printed and sent with the original goods back to the customer. For sales returns (where stores have over purchased), a credit memo is generated in the system and the product is returned to inventory. All credit memos are electronically approved by the receiving manager. Any credit memos greater than $10,000 are also approved by the financial controller. Once the dispatch report is signed, the system automatically generates the invoice, which is maintained in “draft” status for the billing team. The billing team matches the draft sales invoice to the returned dispatch note. Final invoices are printed in duplicate at 4pm each day and mailed to the customer. The invoice copy and signed dispatch note are stapled and put on the customer’s file. After the print run, an exception report is generated to catch any shipments for which the final bill was not issued. The signed dispatch note file is checked regularly to catch any unmatched notes.
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Once the invoice is printed, the receivables and sales entries are recorded automatically by the system. The system automatically posts the sales in the subledger to general ledger. Most customers pay by EFT. Each morning, the AR clerk downloads from on-line banking the receipts received the previous day. The amounts are applied to the customer’s accounts receivable balance in the sub-ledger system. Once each receipt is entered, a batch report of postings to Accounts Receivable is generated and reconciled back to the direct banking receipts. That reconciliation is reviewed and approved by Carla. Any unapplied cash receipts are posted to a dummy account until they can be cleared against a specific customer. The dummy account balance is reviewed weekly for unapplied balances that need follow-up. Bank reconciliations are prepared on a monthly basis by Carla and reviewed by David. 2. Additional questions: From the interview transcript, students should ask the following questions for further information or clarification: For the sales manager • How often are prices changed? What is the process for making a change to the master price list? Who has access to the master price lists? • What are the mechanics of the credit check the system performs? Who set the limits? What happens if they are over their limits? How are the limits changed? For the shipping supervisor • How are the goods prepared for delivery – i.e. how are they packaged? • Do the drivers check their loads against the dispatch notes prior to departing the warehouse or during their deliveries? How is this evidenced? For the warehouse manager • How do you ensure all sales orders are filled? • What happens if a product is returned? For Carla Johnson (to represent finance) • What happens if the batch posting report doesn’t reconcile to the bank report? • How do you know to what invoice the payment relates? • Do you ever have cash that you can’t determine what customer or invoice against which it should be applied? For an IT Manager Overall, there is such a reliance on the IT systems that the audit team would want to get an IT specialist involved to help review the general controls (access, change management, backups) as well as help understand exactly what happens to the data that gets entered.
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3 & 4: Potential misstatements and assertions The Wholesale Sales to Cash Receipts process includes transactions recorded in Sales, Accounts Receivable and Cash. Students should have identified the following potential errors: Significant Potential Misstatements Process Sales/Accounts Credit memos are not issued or Receivable recorded for returns on a timely basis or at all. Duplicate/false sales transactions are recorded.
Invoice misstates the quantity of goods shipped or incorrect pricing. Proper credit authorisation is not obtained for wholesaler transactions. Sales journal/sub-ledger is incorrectly posted to G/L or does not reconcile. Sales transaction is not recorded upon shipment of goods.
Sales transaction is recorded when goods not shipped.
Cash Receipts
Cash receipts are not recorded when received.
Assertions Sales - Occurrence; Accounts Receivable - Existence Sales - Occurrence; Accounts Receivable - Existence; Allowance for Bad Debt Completeness Sales - Accuracy; Accounts Receivable - Valuation; Inventory - Valuation; COGS Accuracy Allowance for Bad Debt Completeness Sales - Completeness
Sales - Completeness; Accounts Receivable Completeness; Inventory Existence; COGS – Occurrence Sales - Occurrence, Accounts Receivable - Existence; Inventory - Completeness; COGS - Completeness Accounts Receivable Completeness; Cash Completeness Accounts Receivable Valuation; Cash - Valuation
Cash receipts in foreign currencies are incorrectly valued (e.g. by using the incorrect exchange rate). Cash receipts recorded differ from Accounts Receivable amounts deposited. Completeness and Existence; Cash - Completeness and Existence Cash receipts and transfers are Accounts Receivable recorded in the wrong period. Completeness; Cash -
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Completeness Duplicate postings of cash receipts are made to the general ledger. This would lead to a discrepancy between the general ledger and the underlying AR subledger. Totals in cash receipts journal are incorrectly posted.
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Cash - Existence
Cash - Completeness
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Solutions Manual to accompany
Auditing: a practical approach 2nd edition by Jane Hamilton CHAPTER 7 Sampling and overview of the risk response phase of the audit
© John Wiley & Sons Australia, Ltd 2013
Solutions manual to accompany Auditing: a practical approach 2e
Chapter 7 – Sampling and overview of the risk response phase of the audit REVIEW QUESTIONS 7.11
Explain the difference between the two types of sampling risk for controls: overreliance on an ineffective system of internal controls, and underreliance on an effective system of internal controls. What are the different implications for the audit? Which is the more serious risk? Explain your answer
As per Para 5c ASA 530 (Audit Sampling), sampling risk for internal controls can lead to the following two types of erroneous conclusion: a) That the controls are more effective than they actually are; or b) That the controls are less effective than they actually are Over-reliance on an ineffective system of internal controls is when the auditor places too much reliance on their client’s system of internal controls which are ineffective, to identify and rectify material misstatements. This occurs when the items selected for testing the effectiveness of the internal controls are not representative of the population for testing. Hence, the sample results indicate that internal controls are effective, but they are not. In this case, the auditor concludes based from the sample tested, that the control risk is lower than it really is. Therefore, in response to the assessed level of control risk, the audit approach will be to test of control and perform minimal substantive testing of transactions and balances. If auditor did over-rely on the ineffective controls, the audit approach he would have taken is to perform a detailed substantive approach. The implication for audit of over-reliance on ineffective controls is increased audit risk. There is a risk that the audit will be ineffective. The auditor will not detect a material misstatement and provide an inappropriate audit opinion due to the inappropriate audit approach used. Under-reliance on an effective system of internal controls is when the auditor places too little reliance on their client’s system of internal controls which are effective, to identify and rectify material misstatements. This occurs when the auditor has tested the client’s system of control and concluded that the controls are ineffective when it is in fact effective in preventing and detecting material misstatements. In this case, the auditor concludes that the control risk is higher than it really is, Therefore, in response to the assessed level of control risk, the audit approach will be to perform detailed substantive testing and not to test the controls ( if not perform minimal test of controls). If auditor did not under-rely on the effective controls, the audit approach he would have taken is to perform test of control and minimal substantive testing of transactions and balances. The implications for audit of under-reliance on an effective control are increased in audit effort when not required. There is a risk that the audit will inefficient.
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Over-reliance exposes the auditor to increased audit risk and under-reliance exposes the auditor to unnecessary waste of resources. The more serious risk is over-reliance on ineffective system of controls because detection risk is increased when auditor conducts fewer detailed substantive testing. There is less detection risk when there is under-reliance on effective system of controls because the auditor conducts more detailed substantive testing. Other considerations that may assist the auditor to assess the situation is the extent of the problem (i.e. whether the over or under reliance was extreme) and the chances of the problem happening.
7.12
Why does non-sampling risk exists for all types of tests in all audits? Explain your answer.
Non-sampling risk is the risk that the auditor reaches an erroneous conclusion for any reason not related to sampling risk due to the use of inappropriate audit procedures or misinterpretation of audit evidence and failure to recognise a misstatement or deviation ( see Para 5d and A1 of ASA 530 Audit Sampling). Possibilities are that non-sampling risks can happen during testing of control and substantive testing. When conducting test of control, there is a risk that an auditor designs ineffective audit procedures consequently not providing the auditor with evidence that the particular internal control (which the auditor is interested with) is effective. For example, if the auditor is advised that a new credit policy which restricts sales to debtors with overdue accounts has been implemented, however, the auditor reads the client’s policy manual instead of testing overdue debtors if it complied with new credit policy When conducting substantive testing, there is a risk that an auditor relies heavily on management representations with little or without gathering independent corroborating evidence. There may be instances also when the auditor spends more time testing and gathering evidence on accounts or assertions with low risk rather than on accounts or assertion with high risk. When conducting analytical review, there is a risk that the auditor employs an inappropriate and/or insufficient analytical procedure to assess the business risk, consequently, failing to recognise a significant deviation or misstatement.
7.13
Describe the main non-statistical sampling methods. What are the advantages of non-statistical sampling?
Description of non-statistical sampling Unlike statistical sampling, non-statistical sampling does not involve random selection and probability theory to evaluate the results. The auditor uses his judgement alone to select a sample for testing. It is used when the auditor believes the account is
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low risk and the auditor has access to adequate corroborating evidence from other sources. The following are the non-statistical sampling techniques and the application to audit sampling (see Appendix 4 of ASA 540 Audit Sampling): a. Haphazard selection- This is a selection of items without using a structured technique. The auditor could be consciously bias or predictable by selecting items that are easier to reach or may avoid items that are difficult to test. b. Block selection- This is a selection items that are grouped together. This is not ordinarily used in audit sampling because most populations are structured such that items in a sequence can be expected to be of similar characteristics to each other, but of different characteristics from items elsewhere in the population. The other non-statistical sampling method used by auditors is judgemental selection. This is the selection of items that the auditor believes should be included for testing. The auditor may consciously select unusual items when conducting substantive testing. When testing controls, auditor’s judgement maybe used to ensure that transactions processed are included in the sample when a new computer is installed. Advantages of non-statistical sampling techniques Non-statistical sampling technique is easier to use than statistical sampling technique. Generally, cost is lower than statistical sampling and requires less staff training. It also allows the auditor to select a sample that he believes is appropriate
7.14
Explain the relationship between the sample size for controls testing and each of the following factors: (1) the likely effectiveness of a control, (2) the acceptable rate of deviation, (3) the expected rate of deviation, (4) the required level of confidence in the effectiveness of the client’s system of internal controls and (5) the number of units in the population.
Appendix 2 of ASA 530 (Audit Sampling) provides guidance on factors influencing sample size for tests of controls (1) The likely effectiveness of a control - If the auditor believes that the controls are effective, the auditor will seek to rely on the controls, hence, the auditor will test the control. This means that the auditor will need greater assurance and more appropriate audit evidence that the controls are effective. Therefore, the sample size is increased (2) The acceptable, or tolerable, rate of deviation- The higher the number of deviations (or control errors) that the auditor is willing to accept or tolerate, the lesser sample size for testing controls is required. (3) The expected rate of deviation- If the auditor expects a higher rate of deviation from the population tested; there will be an increase in the sample size so that the auditor is confident to make a reasonable estimate of the actual rate of deviation. .
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(4) The required level of auditor’s confidence on effectiveness of controls- If the auditor places greater reliance on the effectiveness of controls in the risk assessment, the greater is the extent of the auditor’s tests of controls, therefore, the auditor requires more sample size. . (5) The number of units in the population- An increase in the number of sampling units has negligible effect on the sample size for test of controls. A large population should have little effect on the ability of the auditor to draw a conclusion. For small populations, audit sampling may not be as efficient as alternative means of obtaining sufficient appropriate evidence
7.15
How does stratification of the population reduce the required sample size? Give an example of substantive testing where stratification would be appropriate.
Stratification is the process of dividing the population into groups of sampling units with similar characteristics, then selecting items randomly from each group (called stratum). As per Appendix 1 ASA 530 (Audit Sampling), the purpose of stratifying the population is to reduce the variability of items within each group (or stratum) and therefore allow sample size to be reduced without increasing the sampling risk. The auditor may decide to stratify the population into groups before selecting a sample, hence, improving audit efficiency. For example, by stratifying the population by months or by dates of the transaction, (or by sizes of the items and by branch or department) before taking the sample from each month ensures that the auditor obtains sample items from each group or month. Then, the whole year is covered by the test. If stratification is not done, and the inclusion of each item from each month is a priority, the auditor would have to take a larger sample to have a reasonable chance of selecting items from each group if the auditor used random sampling from the entire population. By using stratification the auditor can also ensure that sample items come from the riskier sections of the population, increasing the auditor’s confidence that the results reflect the risk in the population. The fact that the confidence is increased by using stratification, the auditor can reduce the size of the sample that would otherwise be required to obtain such a level of confidence. An example of substantive testing where stratification is used is when stratifying transactions by monetary values which allows greater audit effort to be directed to the larger value items because these items may contain the greatest potential misstatement in terms of overstatement (see Para 2, Appendix 1 ASA 530). When testing reasonableness of provision for doubtful debts, accounts receivables balances may be stratified by age (i.e. 0-30 days, 31-60 days and 61-90days)
7.16
Assume an auditor finds total errors of $25 300 in a sample of sales invoices. Why is it not appropriate to conclude that sales are misstated by $25 300? How would you determine the estimate of misstatement in sales?
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The auditor considers whether an error is likely to be unique, and thus not likely repeated throughout the population being tested. The auditor also considers whether the population was stratified prior sampling. If neither of these circumstances applies, the auditor projects the error to the whole population of the sales invoices. If the sample error is $25,300, it will not be appropriate to conclude that sales are misstated by the same amount because the sample error was discovered from a sample of sales invoices. In this particular case, there was no information on the total of sales invoices in the sample or the total of sales invoices in the whole population. Therefore, an estimate of the projected error cannot be determined. To determine the estimate of the projected error the auditor considers the size of the error in relation to the sample size. The auditor calculates the error rate by dividing the sample error by the sample size. Then, the error rate is by multiplied to the population size to determine the total projected error 7.17
Explain the difference between tests of controls and substantive procedures.
Tests of controls are the audit procedures designed to evaluate the operating effectiveness of controls in preventing or detecting and correcting material misstatement at the assertion level (see Para 4b ASA 330 the Auditor’s Responses to Assessed Risks) Substantive procedures comprise of tests of details (of classes of transaction, account balances and disclosures and substantive analytical procedures) and substantive analytical procedures which are designed to detect material misstatements at the assertion level (see Para 4a ASA 330) The difference between the two types of tests are that control tests are designed to test the client’s system’s effectiveness at ensuring the accounts are free from material misstatement, whereas substantive tests are direct tests of whether the accounts are free from material misstatements. If controls are perfect (which they cannot be in the real world) and operating perfectly (also not possible) there will be no errors in the client’s accounts.
7.18 How are the results of tests of controls related to decisions about the nature, timing and extent of substantive procedures? Tests of controls are audit procedures designed to evaluate the operating effectiveness of controls in preventing, detecting and correcting, material misstatements at the assertion level. Substantive procedures are audit procedures designed to detect material misstatement at the assertion level. Therefore, the difference between the two types of audit procedures is whether they provide evidence about the effectiveness of the control systems at preventing or
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detecting material misstatements from entering the accounts, or about the existence of material misstatements in the accounts. The results of the tests of controls indicate how likely it is that material misstatements exist in the accounts. If it is unlikely that these misstatement exist (i.e. control risk is low), then the auditor has gained some assurance from the control tests about the fair presentation of the financial report. The auditor then needs to gather only a limited amount of evidence from substantive tests which are less expensive and less extensive substantive procedures. If it is likely that misstatements exist in the accounts (i.e. control risk is high), then the auditor has only limited assurance from the control tests about the fair presentation of the financial report. The auditor must gain more assurance from substantive tests and therefore is required to use more effective and extensive substantive procedures. The auditor makes decisions about the nature, timing and extent of substantive procedures to achieve the required level of quality and quantity of evidence from substantive testing.
7.19
Explain how analytical procedures could be used for control testing and substantive testing. Give examples of each.
Analytical procedures can be used at various stages of the audit. ASA 315 (Identifying and Assessing the Risks of Material Misstatements through Understanding the Entity and its Environment) requires an auditor to obtain an understanding of the entity’s internal controls, and design appropriate responses to the assessed risk of material misstatement. The auditor could perform substantive procedures or tests of controls concurrently with risk assessment procedures when it is efficient to do so. Paras A7-A9 of ASA 315 discusses the use of analytical procedures to help identify risks, such as those revealed by unusual transactions or events and amounts, ratios or trends. For example, the auditor could use the client’s interim trial balance to analyse relationships between data such as cost of sales and sales, between non-financial data such as employee numbers and financial data such as payroll expense, to identify areas or risk that would require further testing. ASA 330 (The Auditor’s Responses to Assessed Risks) requires the auditor to gather sufficient appropriate audit evidence through designing and implementing the appropriate responses to the assessed risk of material misstatement. For example, an auditor could use a combination of procedures to gather evidence about the effectiveness of controls. The auditor could make enquiries of management to obtain explanations about the results of analytical procedures which indicate that there is unusual variance between budgeted and actual amounts. ASA 520 (Analytical Procedures) explains how analytical procedures are used as substantive tests. It notes that substantive analytical procedures are generally more applicable to large volumes of transactions that tend to be predictable over time (see Para A6 ASA 520). These types of transactions could include expenses such as insurance, rent, power related to asset values, building size, and production activity, respectively.
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7.20
How is test data used to gather evidence about the effectiveness of controls? Why is it likely to be a more effective audit test than reading client procedure manuals?
Test data are transactions created by an auditor to tests controls embedded in their client’s computer programs. The auditor creates transactions with valid and invalid items to determine how they are processed by the client’s programs. The auditor knows what the results of the processing should be, and tries to use the data to ‘trip up’ the programs. For example, the auditor could create transactions with invalid prices or quantities which should be detected and rejected by the programs. If the program is well designed it should detect all types of invalid entries. Reading client procedure manuals gives the auditor an understanding of the design of the control system, or programs. The manuals explain how the programs work and what type of results are expected. The manuals would also explain the error messages or results that will be produced if invalid data is entered into the system. However, the program designers and manual writers may not have anticipated all possible invalid entries. Testing the system using auditor created transactions will provide direct evidence of how the systems work in practice.
7.21
Why are audit tests more likely to be conducted at or after year-end for high-risk clients than for low-risk clients? Explain.
High risk clients are more likely to have material misstatements in their accounts. Auditors are not as able to rely on these client’s internal controls to detect or prevent material misstatements. If an auditor gathers evidence which shows that the internal control systems work effectively (i.e. a low-risk client), there is a low risk that material misstatements will occur between the date of the testing and the year end. However, if the evidence shows that the internal control systems do not work effectively (i.e. a high-risk client), there is a high risk that material misstatements will occur between the date of the testing and the year end. For high-risk clients, this means that the auditor must gather evidence up to the year-end for high risk clients.
7.22 Review the examples of working papers provided in the chapter. What advantages are there for the auditor in writing working papers in spreadsheets and word documents? Working papers are prepared, stored electronically and archived to a location that keeps them secured for the required record keeping period which is up to 10 years. Electronic working papers have advantages over paper- based working papers because the files can be shared between users (i.e. sent electronically between members of a team or to the more senior auditors) to aid completion and review of the working papers.
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Details of who accessed the files and what changes they made) can be kept and monitored more easily on electronic files, particularly details about time and date of access and amendment, and the users details (through their login access codes). This is useful when auditors review the audit trail
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PROFESSIONAL APPLICATION QUESTIONS 7.23 Results of control testing 1 Required (a) What is a ‘tolerable deviation rate’? (b) Explain why the ‘exceptions’ are evidence that the control did not work effectively in these cases. (c) Explain in general terms what impact the control test results would have on the nature, timing and extent of substantive testing. (a) A tolerable deviation rate (or tolerable rate of deviation) is the rate of deviation from prescribed controls set by the auditor in which the auditor seeks to obtain an appropriate level of assurance that the rate of deviation set by the auditor not to exceed the actual tolerable rate of deviation (see Para 5j ASA 530 Audit Sampling) This is the maximum error an auditor is willing to accept within the population tested and still conclude that controls are effective. If the auditor intends to rely on a control to prevent and detect a material misstatement, a lower tolerable deviation rate will be set and the sample size will be increased to provide the auditor with the sufficient evidence required to demonstrate that the control is effective. However, if the auditor expects to place relatively more reliance on substantive procedures and reduce the reliance on the internal control, the tolerable rate of deviation is increased and the sample size is reduced when testing the control. (b) ‘Exceptions’ are instances where the controls did not work as planned. In this case the exception is one instance of part-time staff being paid an incorrect hourly rate. This is the evidence that the controls on ensuring that correct hourly rates of pay are used in calculating wages did not work effectively. (c) Generally, an increase in the number of deviations, or control errors, increases the confidence required from substantive testing. Greater confidence can come from different types of tests (for example, tests of details rather than analytical procedures), timing (covering a greater portion of the financial period, and/or closer to balance date), and extent (increasing the sample size).
7.24 Results of control testing 2 Required The junior auditor on the engagement has suggested that, since there were no exceptions detected in previous years, no work on internal controls is required because last year’s evidence will be sufficient. Explain why the junior auditor’s suggestion is not appropriate. The junior auditor’s suggestion is not appropriate because the auditor needs to have sufficient appropriate evidence about the effectiveness of controls in the current year. Any change in either the controls or the conditions would make last year’s evidence not applicable to the current period. At the minimum, there should be evidence that the conditions remained the same and that the controls had not altered. The auditor
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also considers whether the controls can provide sufficient control in the current circumstances. Even if there had been no changes since last period, the auditor should still evaluate the effectiveness of the controls and draw a conclusion on the degree to which the controls can be relied upon. In this particular case, the controls were assessed with respect to their ability to ensure compliance with the regulations. It is likely that additional work is required for the controls to be assessed for effectiveness at preventing or detecting material misstatements at the assertion level because this is a different objective.
7.25
Testing accounts receivable Required (a) What is Emma’s objective in testing of controls over accounts receivable? (b) List some procedures Emma could use to achieve her objective. (c) Assuming Emma achieves her objective; discuss the implications for the nature, timing and extent of substantive testing of accounts receivable.
(a) Emma will be testing the controls over accounts receivable to support her preliminary assessment that the control risk is low. Evidence of low control risk allows Emma to reduce the reliance on substantive testing for accounts receivable. She will be seeking evidence that the controls over transactions and balances in the accounts receivable area are effective and consistent. Effective controls mean the entity has a low risk of violating the assertions: occurrence, completeness, accuracy, cut-off, classification, existence, rights and obligations, and valuation and allocation. (b) Emma could use these common procedures to test the controls: 1. Inspection of documents for evidence of authorisation (e.g. of prices, extending credit to new customers, sales returns) 2. Inspection of documents for evidence that details included have been checked by appropriate client personnel (e.g. that variations to prices have been authorised by the sales director, etc.) 3. Observation of client personnel performing various tasks (e.g. opening mail, reconciling receipts with customer statements) 4. Enquiry of client personnel about how they perform their tasks (e.g. following up on outstanding accounts, making adjustments to client accounts) 5. Re-performing control procedures to test their effectiveness (e.g. bank reconciliations, customer statement reconciliations) (c) If Emma is successful in obtaining evidence that controls are effective and consistent, she will reduce the reliance on substantive testing. This means that she can use less substantive techniques (e.g. rely more on observation and enquiry and less on inspection of documents), vary the timing (e.g. conduct more interim testing and less balance date testing), and reduce the extent of testing (e.g. inspect fewer documents).
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Solutions manual to accompany Auditing: a practical approach 2e
7.26
Auditing low-value assets Required (a) Discuss the controls that would be relevant to furniture transactions and balances at MICA. Consider the likely sources of audit risk. (b) Make a list of audit procedures that could be used for substantive testing of furniture at MICA. List at least one procedure for each assertion, and at least one procedure using each type of evidence gathering technique. (a) Risk: Furniture is vulnerable to damage but the risk of theft is reasonably low for most items. This is because customers have access to the branch only during office hours when there is a strong employee presence. In addition, customers have access only to the public areas. Damage is possible due to high volume of customers passing through branches. Obsolescence would be an issue for electronic equipment, but unlikely for chairs and desks, which can be refurbished and relocated. Valuation is relatively straightforward. Items would be held at cost less accumulated depreciation. Depreciation rates are standardised for four and seven years for furniture, and although it is not mentioned, computer assets would likely be depreciated over the life of the finance lease. Controls: Security in branches would be very high because of the presence of cash and sensitive documents. A central asset purchasing department makes all purchase decisions and relocation decisions. A new green office policy has been implemented which encourages recycling and refurbishment, increasing controls over older equipment. It would be expected that relevant authorisations would be required for purchase, refurbishment, and relocation decisions. A register of all items would be kept, with periodic reconciliation between items and the register. A credit union is likely to have an internal audit department, which could be used to make the reconciliations. (b) Substantive testing of the furniture at MICA would include: • Inspection of documents relating to purchase and disposal of items and tracing to the asset register (completeness of register for additions, valuation and allocation, existence of items that have been disposed of) • Inspection of documents relating to purchase of assets (or financing of assets) for evidence of ownership (rights and obligations) and date of acquisition (cut-off of additions) • Vouching of new entries in asset register to underlying supplier invoices, receiving documents, transfer documents (existence, cut-off) • Inspection of physical assets recorded in the asset register (existence) • Recalculation of depreciation expense and review of expense relative to asset values (accuracy, valuation and allocation) • Review of repairs and maintenance account to ensure that items relate to repairs and not purchase or capital items (classification, completeness) • Observing staff in central asset purchasing department performing their duties when updating the asset register (existence, completeness) • Enquiries of management about asset purchasing decisions (existence, rights and obligations)
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7.27
Sampling and non-sampling risk for control testing Required (a) What population(s) would be relevant to Fred’s control testing? (b) Explain the potential implications of sampling risk for the audit of cash payments. (c) What possible non-sampling risks exist in this case?
(a) Fred is gathering evidence over cash payment controls. This means that the population definition must relate to the controls over cash payment transactions. Fred would need to gain an understanding of controls over cash payments and identify the controls for each type of potential misstatement, or ‘what could go wrong’ (WCGW). Fred would then sample from the instances of each control, as required. For example, the cash payments are authorised by a senior accountant in order to prevent unauthorised payments being made. Fred would need to consider all authorisations as a population from which to sample. All cash payments are based on a set of documents assembled and checked by the accounts staff; Fred would need to regard all these sets of documents as a population and would sample a number of sets of documents to test if the documents were assembled correctly and checked as required. Fred would also sample from the processed cash payment transactions and test the documents and authorisations on which the transactions are based. In this case, the population is the processed cash payments. (b) Sampling risk refers to the possibility of drawing an incorrect conclusion about the population based on the sample results. There is a possibility that the sample is not representative of the population, and the sample deviation rate (departure from controls in the sample items) differs significantly from the population deviation rate (departure from controls in the population). Sampling risk could lead to the auditor concluding that the population contains more control deviations than it actually does. In this case, the sample deviation rate is higher than the population deviation rate. In this case the auditor would under-rely on the controls and conduct further testing which was not necessary. Sampling risk could also lead to the auditor concluding that the population contains fewer control deviations than it actually does. In this case, the sample deviation rate is higher than the population deviation rate. In this case the auditor would over-rely on the controls and conclude that the control is working effectively. The auditor would not conduct further testing and has a higher risk of providing an inappropriate audit opinion. (c) Non-sampling risks always exist. This is the risk that the auditor will make an inappropriate conclusion based on anything other than sampling risk. That is, the auditor misinterprets the evidence or misapplies the audit techniques. For example, in this case, the auditor could fail to detect that cheques were countersigned by the chief accountant by being careless when reviewing the documents. The auditor could fail to understand the significance of certain cash payment entries being authorised for maintenance on items which were not owned by the client (i.e. the maintenance was for a staff member’s private assets). The auditor could fail to ask the chief accountant about their leave and the arrangements for counter-signing cheques whilst on leave.
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7.28
Sampling methods (a) Describe the population(s) that would be relevant to Bob’s sample selection. (b) Which sample selection methods would be appropriate for choosing sales invoices for substantive testing at RGHF? Explain the factors that would influence your choice.
(a) Bob is conducting substantive testing of sales invoices. In order to gather evidence about existence, Bob would need to sample the entries in the sales journal and then vouch to the underlying documents. This would also allow evidence to be gathered about the details of the sales transactions that is relevant to the accuracy, classification and cut-off assertions. In order to gather evidence about completeness of the accounting records, Bob would sample the invoices, and then trace the details of the transactions to the sales journal. This would also provide evidence relevant to the accuracy, classification and cut-off assertions. In this case, Bob has to be careful about which invoices he samples. The conditions in which the boxes of sales invoices are stored appear to be unsatisfactory. He will have difficulty identifying the boxes of sales invoices relevant to the current year. He will also have to be careful not just to sample the invoices that are in boxes near the door or otherwise easy to access, because this would introduce bias to his sampling and potentially invalidate his conclusions. (b) As noted above, there is an issue about identifying and accessing the sales invoices because of the unsatisfactory conditions in the storage shed. Other information relevant to sampling is the difficulties in the administration department. There have been periods of staff shortages. The auditor should consider stratifying the sample and making sure that they sample from the periods where staff conditions were different. This would provide evidence about the effectiveness of controls under different conditions. The auditor would consider the patterns in customer complaints. Do they relate to specific periods, or specific types of sales? Do the complaints suggest greater risk would apply to different parts of the year? Overall, controls over sales invoices appear to be poor and substantive testing should be extensive.
7.29
Determining sample size for control testing Required Explain how the factors mentioned above would impact on the sample size for control testing of accounts payable.
•
The number of accounts payable has increased by 50 per cent since last year. An increase in the population has a negligible effect on sample size. Bunns and Major has changed some of its suppliers. This changes the conditions affecting accounts payable because the change has been from large corporate wholesalers to direct dealing with manufacturers. There is a possibility that the two groups of suppliers would have different levels of quality control over their supplier statements. The auditor would need to consider if there was a decrease (increase) in quality, and if so, increase
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7.30
(decrease) the sample size because there is potentially a greater (lower) degree of error in the supplier statements (an increase/decrease in the expected rate of deviation of the population to be tested). Belief that controls in accounts payable are likely to be operating more effectively than in previous years because of additional staff, expecting a reduction in control deviations. An expected reduction in control deviation leads to a lower sample size. A lower tolerable rate of deviation because of the increased importance of accounts payable to the solvency analysis would lead to an increased sample size for control testing. An increased reliance on controls to justify less substantive testing means that the sample size for control testing will increase (an increase in the extent to which the auditor’s risk assessment takes into account relevant controls leads to increase in sample size).
Evaluating substantive testing results Required (a) Project the errors for each stratum and calculate the total projected error. Is the projected error material? What difference would it make if the tolerable error was set at $30 000? Explain. (b) Discuss the implications for the substantive testing if it was discovered that for three months of the financial year the permanent staff member in the department corresponding to stratum 3 was on long service leave. (a) Completed Table:
Stratum
Error found
Sample total Stratum total Projected value value error
1
$7,930
$101,170
$128,660
10,085
2
$3,290
$41,990
$76,830
6,020
3
$8,600
$62,840
$162,280
22,209
Total
$19,820
$206,000
$367,770
38,314
Projected error ($38 314) is not material if tolerable error is set at $40,000. However, it is material if tolerable error is set at $30,000 and the auditor will need to do more testing. (b) Consider results of testing controls for the three months. If results are not consistent across the year and show that controls are weaker in that period, the auditor would need more substantive testing for weaker control period, or change the tolerable error for that period to reflect the weaker controls.
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7.31 Documentation (a) What is the minimum standard that the audit documentation must meet? (b) How would you treat the corrections made to the audit assistant’s recommendations and the additional work on accounts receivable confirmations in the working papers? Explain. Refer to both ASA 505 and ASA 230 in your answer. (a) ASA 230 (Audit Documentation) requires that the auditor prepares documentation of the audit on a timely basis that provides a sufficient appropriate record of the basis for the auditor’s report and evidence that the audit was planned and performed in accordance with ASAs and applicable legal and regulatory requirements. The audit documentation of audit procedures must record the (a) identifying characteristics of the specific items or matters tested (b) who performed the audit work and the date such work was completed, and (c) who reviewed the audit work performed and the date and extent of such review (see Para 9 ASA 230) Essentially, the documentation should allow another experienced auditor to understand the work done and the results obtained and any significant matters that arose during the audit. The conclusions reached should also be understandable given the audit work documented. (b) The audit assistant has documented that there were no replies to certain accounts receivable positive confirmation letters. Jennifer’s review has shown that the decision to take no further action after non-reply from customers is not appropriate. A response to a positive confirmation request is necessary to obtain sufficient appropriate evidence (see Para 13 ASA 505 External Confirmation) According to Para 12 ASA 505, the auditor shall perform alternative audit procedures to obtain relevant and reliable audit evidence for each of non-responses. Jennifer should note that further audit work is required and the specific audit work to be done. Examples of alternative audit procedures the auditor can perform are: a) examining specific subsequent cash receipts; b) shipping documents and c) sales near the period end for the non-response customers (see Para A18 ASA 505). Specific consideration should be given to the implication of the non-responses to audit risk for accounts receivable. These conclusions would also be documented (see Paras 8-12 of ASA 230).
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732
Sampling methods and risk 3 4 5 Discuss the appropriate method of sampling PPE for the planned tests of depreciation. Define the population. What assertions are most at risk?
The population for the tests of depreciation expense is the depreciable items included in PPE. This includes both new items and existing items. The auditor should ensure that disposals are removed from the asset register before the sample is taken. Sampling PPE for the tests of depreciation expense should reflect the changed conditions and the materiality of PPE to the balance sheet. The changed conditions relate to the large investment in a new manufacturing process and the associated increases in PPE acquisitions. The sampled items should include new acquisitions of PPE (because these have not been tested before for depreciation), plus the larger items (because the depreciation expense would likely be higher for these items). Other considerations include the location of items (does FH have different branches?), and types of equipment (are some pieces of equipment harder to value and make estimates about useful life and depreciation rates?), and history (does management made predictable types of misjudgements about useful life?). The auditor could formally stratify the sample to select samples of new items and old items, and different value items, or select a large enough sample to be reasonably sure that the sample includes all types of items that are likely to be most at risk. A random sample (either with or without stratification) would allow the auditor to make conclusions using probability theory. The auditor could supplement the formal conclusions based on a random sample with evidence obtained from samples of items considered ‘important’ in the auditor’s judgement. This judgement would relate to the consideration of which items are more likely to be depreciated inappropriately. The assertions most at risk are the accuracy of depreciation expense and the valuation and allocation for PPE (shown as cost less accumulated depreciation).
7.33
Projecting errors for PPE8 What conclusion would you draw about ‘valuation and allocation’ of PPE from the above information? Justify your conclusion.
In order to project the error in the sample of $48,500 back to the population we use information on the sample total value ($1145000) and the population total value ($11345000). The projection shows: 48500/1145000 x 11345000 = $480,552. This means that PPE items with a value of $480,552 have inappropriate depreciation rates. This error equates to approximately 4% of gross PPE, which is usually not considered material. In this case, the auditor would conclude that the valuation and allocation assertion for PPE was not violated. Although we are not given the depreciation rate, the effect on profit before tax is likely to be less than 4% (i.e. assuming 10% depreciation, the error in the expense is $48,055 which is 2.5% of profit before tax). However, given that PPE is considered to be one of the most material balances, the auditor might consider further testing or asking management to adjust the depreciation.
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7.34
Documenting the audit Required Explain how you would apply the mandatory requirements of the above paragraphs of ASA 230 in relation to the potential bad debt.
Paragraph 9 of ASA 230 (Audit Documentation) requires specific documentation of the procedures performed in relation to the bad debt. The auditor would document the analysis of the ageing of the accounts receivable balance. For example, which accounts receivable balances were included in the analysis, and the date the balances of accounts receivable were extracted; who conducted the analysis, and on which date; and who reviewed the analysis, and on which date, including the items reviewed and the conclusions drawn. In addition, the notes (or transcript of interview) for the consultations with Julie and Kristen from Featherbed’s accounts department, would be documented; the date of the interview and the personnel involved; who conducted the interview; and who reviewed the contents of the interviews. Any other audit procedures relevant to the matter would also be documented. For example, a review of subsequent receipts and other transactions with this debtor in the period following the financial year end. Paragraph 10 ASA 230 requires the auditor to discuss significant matters with the management, those charged with governance, and the nature of the significant matters discussed, with whom and when the discussions took place. In this case, the XXXX Travel Agency’s account is large, material and is more than 60 days overdue, yet there is no provision made. The auditor would discuss with management any attempts made to recover the debt, and the progress of those attempts. They would also discuss the reasons why management has not made a provision for this account. If the auditor was not satisfied that repayment was likely (particularly if there were no receipts during the subsequent period), the auditor would ask management to make a provision. In the event that management refuses to make a provision as required, the auditor would discuss the matter further with the board of directors. However, if management makes a provision that was acceptable to the auditor, the auditor would inform the board of directors of the decision and the provision. All discussions of significant matters should be documented.
7.35
Substantive testing and assertions2 8 (a) Identify the key account balance at risk because of the sales team remuneration at Shady Oaks. Also identify and explain the key assertion at risk. (b) Identify the key account balance and key assertion being tested with the substantive procedure. Given the bonus structure in place for the sales team, justify your answer.
(a) The sales team are remunerated in two ways; a base salary plus a bonus based on the dollar values of sales. The bonus payment increases if the sales person increases recorded sales. An inappropriate way of increasing sales is to record sales during the
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year for samples given to customers. When the sample is returned following the yearend the sale is reversed or adjusted with a sales return or allowance. Another way of increasing sales is to falsify sales by recording a sale to a fictitious customer. The account balance is eventually written off for non-payment of the account. The sales and accounts receivable account balances are at risk because of these practices. The assertions at risk are occurrence and existence for the sales transaction and accounts receivable balance. In addition, the valuation and allocation assertion for accounts receivable is at risk because the balance does not represent the amount that is reasonably expected to be received from customers. (b) The substantive test described in the question is to take a sample of payments received by the hospital (i.e. cash receipts) and trace back to the general ledger and customer account balance. Performing this test will provide evidence about the existence/occurrence assertion for the accounts receivable and sales balances, and the valuation and allocation assertion for accounts receivable. If the client receives cash for the credit of an accounts receivable this is reliable evidence that the recorded sale did occur and that the balance of accounts receivable was fairly stated at the year-end. The reference to the bonus structure is to reinforce the risk to the occurrence assertion for sales and the valuation and allocation assertion for accounts receivable.
7.36
Substantive testing versus control testing 1 8 For each of the test results for Gardens Nursing Home: (a) Identify whether this is a test of controls or a substantive test of detail. (b) Determine the key assertion addressed by the test procedure. (c) Explain why the conclusion reached is appropriate or inappropriate. (d) Outline the key additional procedure that you believe needs to be performed.
(a) Test 1: This is a substantive test. The test gathers evidence about the balance of trade creditors at year end and the total of purchases. In particular, the test is gathering evidence about the date the goods were received and the date the entry is posted. Test 2: This is a test of controls. The test is gathering evidence about the process of reviewing and authorising the pricing and discount terms. (b) Test 1: Cut-off assertion for purchases, valuation and allocation assertion for trade creditors. The dates are being verified to ensure the transactions are recorded in the correct financial period. Test 2: Controls over pricing and discounts are relevant to the valuation and allocation assertion for trade creditors, and the accuracy assertion for purchases. (c) Test 1: The test does not address the issue of completeness for trade creditors or fully address the cut-off assertion for purchases. The key risk for creditors is understatement. By taking a sample from the list of trade creditors the auditor is not able to detect unrecorded liabilities. The conclusion is not appropriate. Test 2: The initial test reveals that 3 out of 20 invoices had not been authorised and incorrect discounts were recorded. The follow-up shows no pattern. The conclusion refers to the amount of the discount. This is not appropriate for a test of controls. The issue is whether the rate of deviation in the control is tolerable. If the deviation rate in the sample is tolerable when projected to the population, especially given the
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additional testing, then the auditor could conclude that there is no significant deviation in the control. The auditor cannot conclude the valuation of suppliers is fair based on the control tests alone. (d) Further procedure for test 1: The auditor should examine suppliers’ invoices and goods received notes relating to the period following year-end. These documents could reveal an unrecorded liability, that is, goods recorded as received after the yearend that were actually received by the client prior to the year-end. Further procedure for test 2: As outlined in part (c), the conclusion about the deviation in controls should be considered in light of the tolerable deviation rate. The substantive testing needs to be designed given the control risk as revealed by the control tests. Further procedures would include selecting a sample of suppliers invoices, given the control risk, and testing of pricing and discounts.
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Case Study Cloud 9 Chapter 7 Consider the effects of the opening of Cloud 9’s first retail store on its accounts. 1. Describe how this business change would affect audit risk. 2. What changes would you expect to see in inventory transactions and balances as Cloud 9 changes from a wholesale only business to a retail and wholesale business? Be specific in your answer. 3. Which inventory balance and transaction assertions would be most affected? Explain. 4. Describe the population(s) and suggest a sampling approach for control and substantive testing for inventory.
Solution 1. As discussed elsewhere in the solutions, opening a retail store creates new risks for inventory and receivables (if sales are made on credit). For example, the risk of theft. The store also requires exposure to risk associated with leasing premises and equipment. Sales through a store are directly affected by matters impacting on consumers, e.g. weather conditions, transport etc., that are absorbed by retailers when Cloud 9 makes wholesale sales. There would be additional issues around cash because cash would be held in the premises and staff would be required to bank cash at the end of each day. 2. Inventory will be affected by the need to hold inventory in the store to meet daily sales. There will be a larger volume of smaller sales made (consumer sales would be smaller than wholesale sales). There will be movements of inventory from the warehouse to the store. There could be issues with sales returns as customers return items that do not fit etc., and risk of damage to inventory held in the store. 3. Assertions that are likely affected by the opening of the store include: occurrence of sales, existence of inventory (theft issues), valuation of inventory (risk of obsolescence, damage of goods in store). 4. The population would include: inventory items held in the store and warehouse – sample for stocktake; sales made – sample for testing validity or occurrence of sales; cash receipts made by the store – testing for completeness of cash. The sampling approach would be to select key items for testing – large sales transactions, inventory items that make up the largest part of the inventory balance (e.g. high value items), and take representative samples of the other items. The auditor would be concerned with completeness of cash receipts and would test controls over cash at the store. Control testing of inventory would focus on movements of inventory, either from the warehouse to wholesale customers or to the store, and goods in transit controls. Other details are provided in chapter 6 solutions.
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Solutions Manual to accompany
Auditing: a practical approach 2nd edition by Jane Hamilton CHAPTER 8 Execution of the audit - testing of controls
© John Wiley & Sons Australia, Ltd 2013
© John Wiley & Sons Australia, Ltd
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Chapter 8 - Execution of the audit - testing of controls REVIEW QUESTIONS 8.11What is the difference between entity-level controls and transaction-level controls? Entity level controls are the collection of the internal control components of control environment, entity’s risk assessment process, the information system, control activities, and control monitoring (ASA 315/ISA315). The entity level controls exist at an organisational or entity level rather than at a more detailed transaction level. Transaction level controls operate at the transaction level. For example, there are controls; such as the authorisation required for sales above a certain amount, and reconciling and accounting for every cheque issued through a bank reconciliation statement. Transaction level controls operate at a much lower level than entity controls and have the best chance of preventing things going wrong with transactions, or detecting when they have gone wrong.
8.12
Explain the purpose of (a) prevent controls and (b) detect controls. Why would it be important for an entity to have both types of controls?
Controls have two main objectives: to prevent or detect misstatements in the financial report, or to support the automated parts of the business in the functioning of the controls in place. The prevent controls are designed to stop fraud or errors from occurring. The prevent controls are applied to each transaction with the objective that all transactions that are entered into the client’s accounting system do not contain any errors. The detect controls are designed to detect fraud or errors that have occurred. As such, they are applied after transactions have been processed with the objective that any transactions that were entered into the client’s accounting system with error are detected so that they can be rectified. Ideally, the prevent controls would stop all fraud and error, so that detect controls are not necessary. However, because prevent controls do not work at 100% effectiveness, the detect controls are necessary. Prevent controls are normally expected to be less than 100% effective because of factors such as: • Management override of the controls • Failure to apply the prevent controls due to staff tiredness, busyness, or malfunctioning hardware or software Also, the prevent controls may not leave an auditable trail when they are applied. This means that it is not always easy to verify if the prevent control has worked. For example, there may be a signature of the person authorising the transaction, but it is not clear if the transaction was carefully checked before it was authorised. Also, the prevent control may not leave any evidence if the transaction is not processed (because it was not correct). An effective detect control will provide additional assurance that the transaction was checked because it shows the errors detected.
© John Wiley & Sons Australia, Ltd 2013
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The system should not rely solely on detect controls. Prevent controls are necessary to support the detect controls because the detect controls are unlikely to be sensitive enough to detect all errors after they enter the records. 8.13 Explain why reconciliations, such as bank reconciliations, are classified as detect controls. Bank reconciliations are classified as detect controls because their purpose is to detect errors that have been made. They operate after the transactions have been created and processed, so cannot be classified as ‘prevent controls’. A bank reconciliation will detect delays in depositing receipts, incorrect recording of the amount of a cheque etc., and by detecting the error, allowing it to be corrected.
8.14
Explain the difference between automated and manual controls.
Manual controls differ from automated controls because they do not rely on the client’s information technology environment for their operation. Automated controls can differ in the degree of their reliance on the IT system. Manual controls include such controls as locked cage for high dollar stock items, with restricted number of people holding keys to the cage. Manual controls can also include information produced by other parties’ computer systems, such as a computergenerated consignment stock statement used in a client’s stocktake. Purely manual controls tend to be preventing controls (rather than detect controls). Automated controls include such controls as controls over software program changes or restrictions to software program access. They can also include fully automated controls that apply to transaction processing.
8.15
Explain the three types of ITGCs. Why are they ‘general’ controls? Why are they important controls?
ITGC means Information Technology General Controls. The three types are: 1. program change controls – only appropriately authorised, tested and approved changes are made to applications, interfaces, databases and operating systems 2. logical access controls – only authorised personnel have access to data and applications and can perform only authorised tasks and functions. 3. other ITGCs, including regular and timely back-ups of data, following up and resolving program faults and errors in a timely manner, following up any deviations from scheduled processing on a timely basis, and planning upgrades to programs and applications on a timely basis. These controls are ‘general’ because they do not relate to a specific program, or type of transaction process. They apply generally to the IT system. These are important controls because they support the functioning of the IT system. They are prevent and detect controls, and provide evidence supporting the auditor’s reliance on the electronic audit evidence.
© John Wiley & Sons Australia, Ltd 2013
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8.16
What are the four types of tests of controls? Explain them and comment on the reliability of the evidence obtained from each.
The four types of tests of controls are: 1. Enquiry – this means that the auditor asks an employee of the client about how the control is performed and/or monitored 2. Observation – this means that the auditor observed the control being performed 3. Inspection of physical evidence – this means that the auditor inspects the documents for evidence that the control was performed 4. Re-performance – this means that the auditor re-performs the control to test its effectiveness. The most reliable evidence is re-performance because the auditor obtains direct evidence on how the control works. However, this test can be very time-consuming and would not be applied to a very large sample. Inspection of physical evidence is the next most reliable test because the auditor gathers evidence about the performance of the controls in detail. However, the evidence may not be conclusive. For example, finding a signature authorising a document does not mean that the person properly checked the transaction before authorising it. Enquiry and observation are limited as evidence gathering techniques because the employee may not tell the truth, or may perform the control more diligently if the employee knows that they are being observed. Although the control may be performed correctly on that occasion, the auditor does not know if the control is always performed the same way. The auditor would supplement evidence from enquiry and observation with the evidence gathered from the other two types of tests.
8.17
Does an auditor have to test every control? Explain.
An auditor does not have to test every control because some controls are redundant or control errors that are not likely to result in material misstatements of the financial report. The auditor would select the controls that will provide the most efficient and effective audit evidence (that the controls are working). The auditor selects the controls that they believe are critical to their opinion. Factors affecting the auditor’s decision about which controls to test include: - type of control - Frequency of the controls - Level of assurance that the auditor wants to gain Generally, the auditor tests controls that address the WCGWs the most effectively with the least amount of testing. If one control addresses multiple WCGWs, then it would be most likely to be selected for testing.
8.18
What factors do auditors consider when deciding how much control testing to do?
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- the frequency of the control’s operation - the level of assurance required (i.e. how much the auditor will rely on the control to reduce substantive testing) - the persuasiveness of the evidence gained from testing the control - the need to be sure that the control operated throughout the period - the existence of a combination of controls address the WCGW - the relative importance of the WCGW being addressed - the likelihood that the control operated as intended (i.e. how competent are the staff, the quality of the control environment, changes in the accounting system, unexplained changes in related account balances, the auditor’s prior period experience with the client).
8.19
Explain the concept of benchmarking and its benefits to the auditor.
Benchmarking is the audit testing strategy that allows the auditor to carry forward the benefit of certain application controls testing into future periods. The concept behind benchmarking is the idea that a computer will continue to perform any given procedure in exactly the same way until such time as the program (or application) is changed. This means that if the auditor can show that there has been no change in the program or the application, the auditor can continue to rely on the results of testing the program or application in previous periods. The auditor is likely to be more successful in showing the absence of change if the overall control environment is strong, the length of time between the original test and the audit test period is shorter, and the specific program or application is more defined and likely to be stable. In addition, the decision to use benchmarking is more likely if the results of other tests are consistent and the consequences of failing to detect changes because of the reliance on benchmarking are less severe. The benefit to the auditor of benchmarking is that the auditor’s testing is reduced. Instead of re-testing the program or application, the auditor needs to test only the lack of changes to the program or application.
8.20 Discuss the concepts of nature, timing and extent as they relate to controls testing. Nature refers to the type of test (enquiry, observation, inspection of physical evidence, re-performance). As discussed in review question 8.16, the types of tests vary in the reliability of the evidence produced. Timing refers to the date of testing (i.e. interim vs. year-end). Interim testing is common for controls testing because it provides evidence about control risk which influences the nature, timing and extent of substantive testing to be conducted at or near year-end. Further control testing is conducted during the remainder of the year to provide evidence that the controls continue to operate effectively throughout the financial period. Extent refers to the number of items tested (i.e. size of the sample). A larger sample provides more reliable evidence about the strength of controls, and would be used if the auditor wishes to gain a higher level of assurance from the controls testing.
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8.21
What is the relationship between the results of tests of controls and substantive testing?
If an auditor assesses control risk as being less than high, the auditor must gather evidence from controls testing to support their assessment. If the evidence shows that control risk is less than high, the auditor can tolerate a higher level of detection risk. Higher detection risk means that the auditor can adjust the nature, timing, and extent of substantive testing such that less evidence is required from these tests. Therefore, the evidence gathered from tests of controls can provide a reasonable level of assurance that there are no material misstatements in the financial report. In this case, the auditor will perform only limited substantive testing (perhaps relying on analytical review). If the auditor is able to obtain only limited assurance from tests of controls, the auditor will need to perform more substantive testing. If the auditor is unable to gain any assurance from controls testing, the auditor will perform considerable substantive testing. 8.22 Explain the process of documenting the auditor’s conclusions. What must be documented? The auditor would document the results of the control testing, including the purpose of the tests and the deviations found. The auditor must document the action taken, if any, to resolve the exceptions or issues that arose during the controls testing. For example, there could be a compensating control which was working effectively, so that the auditor did not need to do further testing. Alternatively, the auditor would document the additional work done to resolve the issue, or the adjustment to substantive tests to take into account the higher than expected control risk. The tests are documented in detail: - the actual control being tested - the purpose of the test - the work performed (e.g. the items selected for testing) - the results of testing each item - whether the test results supported overall purpose of the test - details on audit personnel performing the test, date of the tests The documents should allow another auditor to review the working paper, re-perform the steps and reach the same conclusion as the original auditor.
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PROFESSIONAL APPLICATION QUESTIONS 8.23
Performance indicators Required Are the performance indicators in the report useful as audit evidence for the financial report audit? Explain.
The performance indicators appear to be useful to the client. That is, the supervisor of the procurement department uses the performance indicators in the reports to assess the performance of the purchasing team. This means that the client has faith in the quality of the data. As such, the auditor has more confidence in the data. However, the supervisor also reveals that the performance indicators are not used for follow-up on unexpected results in the financial reporting system. The performance indicators are based on non-financial data. Although the non-financial data are relevant to financial data (e.g. overtime requests would be related to payroll expense classified as overtime payments), the client does not appear to relate the performance indicators to the financial reporting system. This means that the relevance of the indicators to the topic of the financial report audit is lower. The auditor could conduct tests of the non-financial data to gain additional assurance about their reliability, including their relation to the financial data, before using them in the audit. 8.24 Results of testing controls Required Explain why the result shows a control exception (deviation). The audit evidence is that there is one instance of a part-time staff member being paid an incorrect hourly rate. The fact that the payment was incorrect is evidence that the procedures for calculating and checking the payments have failed in some way. The client’s controls for preventing the error should have stopped the incorrect payment being made. An example of such a control would be a step in the system that would not have allowed the payroll clerk to select the incorrect rate when calculating the payment. The detecting controls have also failed. For example, it could be the payroll manager’s job to review and approve the payments for the month. The incorrect pay is evidence of a control exception or deviation because if the controls had been designed and executed correctly the incorrect pay would not have occurred, or would have been detected and corrected before the auditor found it. 8.25 IT controls - password Required Explain what type of control the above information describes. Discuss its strengths and weaknesses. The control described is an IT general control. The login and password system is a logical access control preventing unauthorized personnel from having access to the computer system. The login details would normally be linked to a level of access, for example a senior manager would have greater access than a junior staff member. The login details would also be linked to specific functions within the computer system.
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For example, a staff member in sales would not have access to personnel records even if the person was a senior member of the sales team. Login and password controls prevent staff from accessing certain areas and introducing errors, so is a prevent control. It is a strong system to force the staff member to change the password on the first login because this reduces the risk that others can know the password and use it, because the staff member chooses their own password. Changing the password every 30 days is also an advantage because it reduces the risk that others will get to know the password and be able to use it because they would have to know the new password. There is no information about whether the staff member can reuse old passwords, or whether the password must satisfy certain criteria (such as using a mix of numbers or letters) to make it a stronger password. A weakness with passwords is that some staff do not keep them secret (for example, they might share the password with others, leave it on display, use obvious passwords such as the name of their favourite sport team, use the same password for different applications, etc.). 8.26 IT controls - suppliers Required Explain what type of control the above information describes. Discuss its strengths and weaknesses. The control is a transaction control. Specifically it is an IT application control. The purpose of the control is to prevent errors because the order cannot enter the system if the correct supplier code is not used. This prevents a clerk from either making an error with the code itself (such as recording 865 as 8655) or using a supplier that has not been authorised for use. It is not clear whether the supplier code is linked to the items being purchased. For example, if the clerk uses an incorrect but valid supplier code, will the system accept the purchase order? If item ABC is only to be ordered from supplier 865, and not from supplier 864, will the order be accepted if the item ABC is being ordered from supplier 864 (which is a valid supplier code)? If the suppliers are not linked to the items that may be ordered from them, there is the potential for some incorrect orders to be accepted into the system. Another potential weakness of the system is that there might be a delay between identifying a suitable supplier and getting the supplier approved and an approved supplier number issued and accepted into the system.
8.27 Internal controls from prior year. Required Explain why the junior auditor’s suggestion is not appropriate and outline what work is required. There are several reasons why using the work done in previous years would not be appropriate. The most likely are that conditions at the client have changed. For example, if the client has grown significantly from previous years the controls may no longer be suitable for the larger organisation. Other changes to the management or © John Wiley & Sons Australia, Ltd 2013
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systems at the client could render the control system less effective than in previous years. Several controls could work together to create an effective control system, but one or more of the individual controls could have changed, creating a different level of overall control over the transactions. The auditor might have taken a substantive approach to the audit last year, and not placed much reliance on the control system. If the auditor wanted to adopt the lower assessed level of control strategy this year, there would be more testing of controls required than done in previous years. If the auditor wanted to adopt a mainly substantive approach this year, the auditor must still gain an understanding of the current system of controls. In all cases, the auditor must consider what work is to be done on the controls this year, regardless of the level of work done in previous years.
8.28
Prevent controls Required (a) What sort of prevent control could be used to deal with the problems faced by Alabama Industries? Explain how the control would work. (b) Assume the prevent control is implemented, and during this year there have been no sales to customers that have taken any customer beyond its credit limit. What are two possible explanations for this that the auditor must consider? (c) If an auditor finds two sales transactions during the year that are in excess of a customer’s credit limit at the time of the sale, what conclusion would the auditor draw from this evidence? What other evidence could the auditor consider before concluding that the prevent control has failed.
(a) Prevent controls would be designed to stop sales being made to non-creditworthy customers. For example, the software would not allow a sale to be made until the credit manager has approved the sale on credit, or the software could require a credit check authorisation number to be included in the sale transaction. The system could require all new customers to be approved before a debtor account can be opened, and the account has to be open before a sale can be processed to that customer. The system would prevent a sale being made if the sale took the account balance beyond the approved credit limit, unless authorised by the credit manager. (b) The auditor observes that no credit sale has been processed which takes a customer over its credit limit. The two possible explanations are: (1) the prevent control is working effectively, (2) no customer has tried to purchase items which take it over its credit limit. In the second case, there is no evidence that the prevent control is working or not working, because it was not triggered. (c) The transaction could have been authorised by the credit manager (or other senior manager). The authorisation could be because the client has security for the debt. However, the authorisation could be inappropriate and be a case of management override of the control. That is, the manager has overridden the prevent control to make a sale for reasons such as receiving a kick-back from the customer, disregard for company policy against such sales, an effort to reach sales targets in the department etc. The auditor would consider whether there was evidence of higher level authorisation of the transactions, such as reading board minutes, reading correspondence or memos between the managers, reading the customer © John Wiley & Sons Australia, Ltd 2013
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file for evidence of security for the debt, making enquiries of the relevant sales managers. The auditor would also consider if other similar transactions (same sales manager, same client, same product etc.) are being processed correctly, or if there is evidence of other sales in excess of credit limits being prevented.
8.29
Testing bank reconciliation controls (a) What techniques are available to you to gather evidence about the bank reconciliations? Explain how you would use each technique and comment on the quality of the evidence obtained from each. (b) When you ask the employees responsible for bank reconciliations about how they perform the reconciliations there is a possibility that they will not tell the whole truth about their performance of the reconciliations. Given this, will you bother to ask them? Explain. (c) Explain the impact of the staff changes on your controls testing program.
(a) The most reliable evidence would be gathered by re-performance of a sample of bank reconciliations. The auditor could judge if all items were dealt with appropriately. In addition, completed bank reconciliations can be inspected for evidence of identification of errors and follow-up. The least reliable evidence would be obtained from observing client staff complete a bank reconciliation or by making enquiries of the client staff (because these procedures would not provide reliable evidence about the bank reconciliation performance at earlier periods when different staff were involved). (b) The auditor would approach discussions with client staff with professional scepticism. This means that the auditor does not assume the client staff are lying, but the auditor has a questioning mind, being alert to conditions which may indicate possible errors or fraud. The auditor makes a critical assessment of any statements by the staff. For example, do the statements make sense given what the auditor knows about the client and in the context of other evidence gathered? What other evidence could be obtained to support the statements? How much would the auditor expect the staff to know about bank reconciliations performed by other staff at other periods? The auditor cannot assume that staff would lie and not ask them about the audit, but the auditor cannot rely on staff statements alone. (c) The staff changes impact on the controls testing program because the auditor would require evidence that the performance of bank reconciliations was similar in different periods. The auditor would be careful to obtain evidence about the performance of the controls from each period. If there was any evidence that performance was poor during any sub-period, the auditor would seek to obtain additional evidence about control performance, or increase the substantive testing.
8.30
Inventory program controls Required (a) Explain the normal process an auditor would expect to find in the client’s systems governing changes to computer programs. Why is an auditor concerned about program changes? (b) Dakota Drapers’ financial year-end is 31 December. Does the auditor need to obtain evidence about the performance of the inventory control © John Wiley & Sons Australia, Ltd 2013
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system from every month in the year or from a sample of months? Explain. (c) If the auditor conducts tests of the inventory controls at an interim date, is it appropriate to conclude that the controls also relate to the end of period date? Why? (a)The auditor would expect to find client documentation about the changes to computer programs. If the client made major changes to the computer programs (e.g. install a new system), the matter could be discussed at the board level. Other changes would be authorised by senior management, as appropriate. In all cases, there would be some level of authorisation of the changes, including complete documentation of the changes and their effects on the client’s reporting and operations. In addition to documenting the changes to the programs, the auditor would expect to find a log of the changes (including the staff involved, the changes, test data, copies of programs etc.). The auditor would expect to find some type of segregation of duties. For example, those making the computer changes would not also be those staff involved in maintaining accounting records. Auditors are concerned about program changes because they potentially introduce errors to programs. In addition, the changes could mean that the auditor is unable to rely on the results of any previous testing by the auditor of the computer system in the audit. (b) The financial reports for the year include the effects of sales and purchase transactions from the entire year. If the computer program is changed at any point during the year, the auditor must consider whether controls should be tested separately for the periods before and after the change. Evidence is not necessarily required from every month of the year, but there should be evidence from before and after the new system was installed in April. Inventory balances as at 31 December can be tested through the end of year stock-take procedures. (c) The results of the interim testing to the end of year inventory balance is appropriate if the testing was performed during the period after the installation of the new stock control system. However, as noted above, the total purchase and sales transactions also include pre-April transactions which were processed through the old system. The testing of these accounts should include evidence from pre-April dates.
8.31
Understanding types of controls In relation to the new manufacturing costing system, describe two (2) automated application controls that you would expect to find.
Automated application controls apply to the processing of individual transactions. These controls include edit checks, validations, calculations, interfaces and authorisations. For example: • only authorised personnel would have access to the costing system – this would be controlled through log-on and password procedures. • All transactions would have an appropriate level of authorisation, through input of an authorisation code by a senior manager (once transaction request is
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•
8.32
input, the manager’s computer would alert the manager to the transaction and request approval, then the transaction would be released for processing). Inventory movement transactions entered into the system would require input of an inventory part number which is checked against a master file before the transaction is allowed to proceed
Assessing control testing results Required Discuss the implications of finding evidence that the controls identified in question 8.31 are (a) effective, (b) not effective.
Evidence that the controls are effective increases the auditor’s confidence in the controls and justifies the lower assessed level of control risk approach. Evidence that the controls are not effective means that the auditor needs to identify and successfully test alternative controls which prevent or detect the WCGWs, or increase the reliance on substantive testing. Specifically, in respect of suggested controls in 8.31: Non-authorised personnel access – a failure of this control would suggest that nonauthorised personnel are able to process transactions. This creates doubt about the validity of all transactions and would be a major control failure. Authorisation – transactions not authorised before entry, creating the possibility that unauthorised transactions have been processed. This is also a major control failure. Inventory part numbers checked against master file – failure of this control means that part numbers could be incorrect. Inventory movement transactions processed with incorrect part numbers could lead to incorrect stock balances in the accounting records.
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8.33
Control testing results and documentation Required (a) Examine the statements by the audit assistant. What deficiencies in the testing can you identify? (b) If the results of testing one control show that the control is not effective, does the auditor have to increase substantive testing? What other options are available to the auditor? (c) Explain why it is important for the working papers to be completed with sufficient detail for another auditor to understand what has been done. Make a list of the parties who might review the documents.
(a) The audit assistant is incorrectly interpreting an absence of evidence of an event as evidence of the absence of the event. There is no evidence of any program changes or overrides, but only limited testing has been done. The auditors need to gather direct evidence that there were no changes or overrides. The auditors will need to conduct further tests to verify the statements. (b) Other options available to the auditor include testing other controls that could perform the same function, that is, what other controls exist to prevent or detect the WCGW? Further, would failure of the control being tested necessarily lead to a potential material misstatement in the financial report? For example, is the control aimed at behaviour which does not impact on the financial reports (e.g. making sure that inventory is sorted correctly by colour on the shelves if not relevant to the financial report)? If the auditor concludes that the only controls relevant to preventing or detecting an error that is likely to result in a material misstatement in the financial report, the auditor would increase substantive testing. (c) Working papers (whether electronic or paper based) are used to provide instructions to audit staff and to record results of testing. As the working papers are completed, more senior staff review the results of the tests in order to assess the adequacy of the evidence. The audit opinion must be based on sufficient, appropriate evidence. Ultimately, the audit partner must sign off on an audit report using the results recorded in the working papers as justification. Within the audit firm, other partners are often used to review the decisions reached to ensure quality standards are maintained. These other partners are not involved in the audit and must rely on the documentation to understand the nature, timing and extent of all testing, and the results obtained. The papers must be completed with sufficient detail to allow the review partners to reach a decision. Audit partners from other firms could also review the working papers to provide more independent testing of the audit quality as part of peer review programs within the auditing profession. Regulators, such as ASIC, will also review some audit working papers to monitor audit quality and write reports on the overall level of audit quality in the economy. Finally, the working papers could be used as evidence in legal disputes between auditors and their clients or other interested parties.
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Technique for testing computerised controls Required Provide a list of possible audit procedures that could be used by the audit team to test the controls in the client’s sales software application.
Possible tests include: • Test data – the auditor prepares some data to process through the client’s computer system. The data would have valid and invalid types of transactions. The auditor would try to prepare enough invalid transactions to mimic all types of errors (e.g. if the client does not sell items with values greater than $1000, the auditor could prepare a transaction with $1,000,000 as the value to test if the client’s system will reject the transaction). • Process the client’s actual transactions through another software package controlled by the auditor. The auditor would test if the output from the client’s software is the same as the output from the auditor’s software. This would require the auditor to have software that would be similar enough to the client’s systems. • Interrogation software – the auditor would have special software to interrogate the client’s systems to request reports of transactions with certain parameters. The audit software could also search for evidence of changes, which could be unauthorised, made to the client’s software. The audit software could also search for certain likely problems with client software. 8.35
Prevent and detect controls For each of the accounts (1 and 2 above) identified to be a significant risk: (a) determine the key assertion at risk (b) describe a practical prevent internal control that would directly address the risk (c) describe a practical detect internal control that Shady Oaks could implement in relation to the risk.
Account at risk
a. Assertion at risk
A. Payroll expense: overpayment of overtime
Occurrence, accuracy
B. Accounts payable: payments made twice to the same supplier
occurrence
b. Preventative internal control Use different codes for standard shifts and overtime hours; require special authorisation of overtime payments Require supplier and invoice code to be input at time of processing payment – system to reject duplicates; Cancel documents used to support payment to prevent reuse
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c. Detective internal control Review of overtime payment reports
Reconciliation of supplier accounts each month, detect debit balances or accounts with more payments than invoices
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8.36
Prevent controls In addition your business risk assessment procedures indicate there is a risk that payments to suppliers are made prior to goods being received. As part of your evaluation of the potential mitigating internal controls you note that accounting staff perform the following procedures: 1. A pre-numbered cheque requisition is prepared for all payments. 2. The details on the supplier’s invoice are matched to the appropriate receiving report. 3. The details on the supplier’s invoice and receiving report are matched to an authorised purchase order. 4. The cheque requisition is stapled to the authorised purchase order, receiving report and supplier’s invoice and forwarded to the appropriate senior staff member for review and authorisation. 5. The authorised cheque requisition, together with the supporting documents, is passed to accounts payable for payment. (a) Identify the key assertion at risk for payables in relation to payments made prior to receipt of goods. (b) For the control procedures (1) to (5) above for payables: (i) Identify the key preventative internal control that directly addresses the risk of payments being made by Shady Oaks to its suppliers before the goods are received. (ii) Outline how your choice of the internal control in (i) will prevent payment to suppliers prior to receipt of goods. (iii) Design and describe in detail an appropriate test of control that you would use to satisfy yourself about the effectiveness of this internal control.
(a) Payment to suppliers before goods are received creates the risk that the payment is for goods that may never be received, or not received in the relevant period at the price quoted. The assertions at risk are the occurrence of the payment of payables. The cheque has been drawn against the bank account, but the payment is not for a liability owing for goods purchased. (b) Requiring a receiving report before payment (with appropriately verified details of date, amount, unit price, total price and supplier) mitigates the risk of payment before receipt of goods. The receiving department will not prepare the receiving report until the goods are received. The senior staff member will review the package of documents for evidence of receipt, thus ensuring that the receiving report is included, and it matches the other documents. (c) I would review authorised packages of documents for evidence of the existence of the receiving report and verify that the details on the receiving report match the other documents (i.e. the number of goods received is the same as the number of goods on the supplier’s invoice and purchase order).
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8.37 Payroll controls Required (a) Based on the information above, explain two relevant concerns you may have about the payroll application’s integration with the general ledger application. (b) Describe one IT application control that would ensure the accuracy of the salaries and wages expenses transaction. (c) Describe one IT application control that would ensure the occurrence of the salaries and wages expenses transaction. (d) Design and describe in detail appropriate tests of control that you would use to satisfy yourself about the effectiveness of these internal controls. (a) The new system provides expenses and accruals for the accounting system, and thus any errors in its calculations can have a direct effect on the accounts. No testing prior to the new system going ‘live’. The auditor cannot review evidence of the system’s ability to operate in the same way as the old system (i.e. would the same data be generated under both systems). Limited staff training increases the risk that there will be errors in either the system and its financial data or the way it is interpreted and used by the client’s staff. (b) Accuracy is affected by the raw data and the calculations. Controls could be over the entry of data (e.g. hours worked, approved pay rates linked to the position classification, limits on total amounts calculated to prevent 10 hours being entered as 100 hours because the total would be over the approved limit), and over the calculations (e.g. reasonableness tests such as overall limits on total payments). (c) Occurrence relates to whether the payment is for hours actually worked, there would need to be a control that did not allow payment to be made until a supervisor had authorised the hours worked; controls to prevent duplicate payments (i.e. same worker paid twice for hours worked). There should be a reconciliation between payments made and recorded in the general ledger with records of hours worked via the payroll report. (d) Tests of controls could include use of dummy data (feed in new data to determine if the controls prevented the payment if it was not authorised, feed in deliberately incorrect data, such as duplicate payments); gathering documentary evidence of approvals of hours worked; reconciling hours worked for a pay period with total payments made that period; seeking documentary evidence for supervisor reviews of salary payments etc.
An example of a control test:
Client name: xxxxx Year end: 31 December 2013. Working paper: Payroll control testing Purpose of test: The purpose of this test is to verify that the payroll reconciliation control for hours worked with overall payments is adequately designed and implemented for the 12 months ending 31 December 2013. Work to be performed: Select two payroll reconciliations from different months, tie the total payments as per the general © John Wiley & Sons Australia, Ltd 2013
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ledger to the payroll report, and the payments on the payroll report with the approved hours worked, tie the payments listed on the payroll report to the bank statement, and vouch all differences between the payroll report and the approved hours worked, and payroll report with general ledger and bank statement greater than 10% to supporting documentation to ensure valid reconciling items and that the reconciliation has been performed correctly. Ensure the reconciliation has been prepared and reviewed on a timely basis. Findings/results of testing:
Conclusion:
Prepared by:
Reviewed by:
Index: P1.1
Case Study Cloud 9 1. Use your worksheet from the case study assignment in the earlier chapter to complete this part of the assignment. In column four include the transaction level internal controls Cloud 9 Pty Ltd has implemented to prevent and/or detect potential errors. 2. Based on the preliminary assessment of Cloud 9 Pty Ltd’s control environment obtained in earlier procedures, the audit team has decided to test controls over the sales to cash receipts process. It is expected that there will be no deficiencies in the transaction level internal controls. Josh has partially completed the testing for selected controls over the sales/accounts receivable and cash receipts processes. He has asked you to complete the testing for him. All information has been provided by the client (refer to the appendix). Document your findings on the workpapers Josh has started (see the tables below) and then conclude with your assessment on the overall effectiveness of the controls tested. 3. Using the results of your control testing, assess the control risk for the following assertions and write your conclusions in the following worksheet. Use the information you provided in the worksheet completed for requirement 1 to focus your controls testing on the significant assertions. Solution 1. Controls
Significant Process
Potential Misstatements
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Sales/Accounts Credit memos are not issued Receivable or recorded for returns on a Process timely basis or at all.
Credit memos > $10,000 are approved by receiving manager and finance director. All others are approved by receiving manager. Bar code scanners used to automatically record sales and returns.
Duplicate/false sales transactions are recorded.
Sales order automatically matched to dispatch note in Swift prior to shipment. Shipping supervisor enters passcode in Swift authorising each shipment. System generates draft invoice when dispatch note authorised by shipping supervisor. System automatically posts invoice to sales and AR sub-ledgers.
Invoice misstates the quantity of goods shipped or incorrect pricing.
Draft sales invoices are agreed to dispatch notes signed by customers. Sale price taken from master price file. Sales order automatically matched to dispatch note in Swift prior to shipment. System generates draft invoice when dispatch note authorised by shipping supervisor. System automatically posts invoice to sales and AR sub-ledgers.
Proper credit authorisation is not obtained for wholesaler transactions
Credit limit check is automatically performed by system against customer master file
Sales journal/sub-ledger is incorrectly posted or does not reconcile.
System automatically posts invoice to sales and AR sub-ledgers. Unapplied cash receipts are reviewed weekly via the dummy account. Daily review of the unfilled sales order report.
Sales transaction is not recorded upon shipment of goods.
Draft sales invoices are agreed to dispatch notes signed by customers. Review of exception report listing shipments not yet billed.
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Sales order automatically matched to dispatch note in Swift prior to shipment. Signed dispatch note file checked regularly System generates draft invoice when dispatch note authorised by shipping supervisor. System automatically posts invoice to sales and AR sub-ledgers. Sales transaction is recorded when goods not shipped.
Draft sales invoices are agreed to dispatch notes signed by customers. Sales order automatically matched to dispatch note in Swift prior to shipment. System generates draft invoice when dispatch note authorised by shipping supervisor. System automatically posts invoice to sales and AR sub-ledgers.
Cash Receipts
Cash receipts are not recorded when received.
Bank reconciliations are prepared and are reviewed timely. Direct banking receipts are reconciled to Accounts Receivable and reviewed/approved. Unapplied cash receipts are reviewed weekly via the dummy account.
Cash receipts in foreign currencies incorrectly valued. Cash receipts recorded differ from amounts deposited.
Bank reconciliations are prepared and are reviewed timely. Bank reconciliations are prepared and are reviewed timely. Direct banking receipts are reconciled to Accounts Receivable and reviewed/approved. Unapplied cash receipts are reviewed weekly via the dummy account.
Cash receipts/transfers are recorded in wrong period.
Bank reconciliations are prepared and are reviewed timely. Direct banking receipts are reconciled to Accounts Receivable and reviewed/approved.
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Solutions manual to accompany Auditing: a practical approach 2e
Unapplied cash receipts are reviewed weekly via the dummy account. Duplicate postings of cash receipts are made to G/L
Bank reconciliations are prepared and are reviewed timely. Unapplied cash receipts are reviewed weekly via the dummy account.
Totals in cash receipts journal are incorrectly posted.
Bank reconciliations are prepared and are reviewed timely. Direct banking receipts are reconciled to Accounts Receivable and reviewed/approved.
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Chapter 8: Execution of the audit – testing of controls
2. Complete testing Cloud 9 Pty Limited Controls Testing - Sales/AR Process 31 December 2014 AIM To test selected controls over the Sales and Accounts Receivable process SAMPLE We haphazardly selected 25 sales invoices from the entire year RESULTS
Sales Invoice #
Date
Customer Name
Sale Amount (exc GST)
Invoice matches Dispatch Note (A)
Dispatch Note #
Shipping Supervisor authorisation (B)
1
124874
14/01/2014 David Jones - Bondi Junction
645.87
4
D00124874
4
2
125048
23/01/2014 Foot Locker - St Kilda
745.21
4
D00125048
4
3
125324
7/02/2014 Rebel Sport - World Square
905.46
4
D00125324
4
4 5
125542 125987
16/02/2014 Rebel Sport - Sunshine Coast 2/03/2014 Myer – Adelaide
517.32
4 4
D00125542 D00125987
4 4
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Solutions manual to accompany Auditing: a practical approach 2e
675.28 6
126067
10/03/2014 Dick's Sports - Coffs Harbour
367.96
4
D00126067
4
7
126845
8/04/2014 Foot Locker - Geelong
781.62
4
D00126845
4
8
127111
27/04/2014 Running Shop - Manly
457.24
4
D00127111
4
For purposes of this case study, sample tests 9-19 have been removed. There were no exceptions noted in the results
20
132811
13/10/2014 David Jones - Parramatta Junction
917.92
4
D00132811
4
21
133410
27/10/2014 Rebel Sport - World Square
723.72
4
D00133410
4
22
134063
4/11/2014 Myer – Brisbane
752.20
4
D00134063
4
23
134104
6/11/2014 Cross Country Sports
229.48
x
D00134104
4
24
135215
12/12/2014 Wide Road Speciality Retailer
1,192.14
4
D00135215
4
25
136947
20/12/2014 Foot Locker - Pitt St
1,021.60
4
D00136947
4
A
To complete this test, we agreed the sales invoice to the dispatch note, ensuring it was signed by the customer.
B
To complete this test, we reviewed the dispatch note noting the encrypted passcode symbol. As passcodes are not printed, our IT specialists will perform control testing around passcode entry and the generation of the dispatch note once entered.
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Chapter 8: Execution of the audit – testing of controls
x
It was noted on the dispatch note that a customer signature was not obtained. Upon discussion with the billing team, it was determined that the customer was called to verify receipt of the goods. This should have been noted on the dispatch note to prove that the goods were received and the control was performed properly.
CONCLUSION With the exception noted in the testing above, we cannot conclude at this time that the control around matching the sales invoice to the dispatch note is working effectively. To be able to rely on this control, we would need to increase our sample size by another 15 (assuming no exceptions found). The control for the shipping supervisor's authorisation does appear to be working effectively.
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8.23
Solutions manual to accompany Auditing: a practical approach 2e
Cloud 9 Pty Limited Controls Testing - Cash Receipts Process 31 December 2014 AIM To test selected controls over the Cash Receipts process SAMPLE We haphazardly selected 25 workdays from the entire year in order to test the reconciliation of daily bank receipts to AR RESULTS
1 2 3 4 5 6 7 8
Date 8/01/2014 18/01/2014 15/02/2014 27/02/2014 11/03/2014 19/03/2014 4/04/2014 22/04/2014
Total Posted to AR 10,548.45 9,587.37 11,486.82 7,456.24 5,836.08 8,012.74 8,753.91 9,687.45
Total Bank Deposit 10,548.45 9,587.37 11,486.82 7,456.24 5,836.08 8,012.74 8,753.91 9,687.45
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Evidence of Review 4 4 4 4 4 4 4 4
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Chapter 8: Execution of the audit – testing of controls
For purposes of this case study, sample tests 9-19 have been removed. There were no exceptions noted in the results 20 21 22 23 24 25
19/09/2014 8/10/2014 23/10/2014 12/11/2014 3/12/2014 19/12/2014
10,577.23 8,765.49 5,490.61 9,302.20 12,567.33 13,874.85
10,577.23 8,765.49 5,490.61 9,302.20 12,567.33 13,874.85
4 4 4 4 4 4
CONCLUSION Based on the results above, the control appears to be operating effectively throughout the entire period.
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Solutions manual to accompany Auditing: a practical approach 2e
3. Assess control risk An exception was found in the testing for the control surrounding matching of sales orders to signed dispatch notes. Students should have concluded that the control was not working effectively based on the information provided. In practice, the exception would be investigated and it would be determined if this was a one-off event or if there was a mitigating control that was in place and operating effectively. Students may also have noted the difference in dates between the invoice date and the dispatch date. This is because the invoice, although generated in draft when the dispatch note is approved, is not sent until it is properly matched with the signed dispatch note. Assuming no further testing was performed, based on the results the control risk for the relevant account assertions would be assessed as follows: Account Assertion Sales – Occurrence
Control Risk Medium
Sales – Completeness Low
Sales - Allocation
Low
A/R – Existence
Medium
A/R – Completeness
Low
A/R - Valuation
Low
Cash – Existence
Low
Cash – Completeness
Low
Explanation The exception found in the testing provides evidence that the sale was recorded although the dispatch note was not signed. Without further testing, it could not be determined that the customer received the goods, thereby triggering the sale to be recorded. However, the shipping supervisor authorisation also covers the Occurrence assertion and was operating effectively. The matching of sales invoice to the dispatch note provides evidence that the sale is recorded when goods leave the warehouse. No exceptions were noted in the matching of quantity between the invoice and dispatch note. The effects of the sales exception are offset by the successful cash receipts testing. By confirming through testing that the cash is properly posted to the A/R balance, this provides evidence that the customer balance did exist (i.e. they are paid the balance). The reconciliation testing provides comfort that all cash received is posted to the accounts receivable balance. No exceptions were noted in the matching of quantity between the invoice and dispatch note. By matching the cash receipt journal (through the A/R batch) to the bank statement, the existence of the cash balances is confirmed. Testing shows that cash received in bank is recorded in the general ledger.
The control risk represents the auditors’ assessment of the likelihood that Cloud 9’s internal control procedures would not prevent or detect a material misstatement.
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8.26
Chapter 9: Execution of the audit – performing substantive procedures
Solutions Manual to accompany
Auditing: a practical approach 2nd edition by Jane Hamilton CHAPTER 9 Execution of the audit - performing substantive procedures
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Solutions manual to accompany Auditing: a practical approach 2e
Chapter 9 - Execution of the audit - performing substantive procedures REVIEW QUESTIONS 9.11
Explain how the nature of a substantive test could affect the decisions about when and how much substantive testing is performed. How do these decisions relate to the overall risk assessment for the item being tested?
The nature, timing and extent of audit procedures is determined in response to the risk assessment for the item being tested. The risk assessment includes the auditor’s consideration of inherent risk, control risk, which together are used to determine the level of acceptable detection risk. These assessments are conducted at the assertion level. If inherent and control risk are assessed as being high, acceptable detection risk is lower. Detection risk is reduced in proportion to the amount of substantive testing performed. Therefore, if acceptable detection risk is lower, a greater amount of substantive testing is necessary. The nature of a substantive test could affect decisions about when and how much substantive testing is performed because some substantive tests are more appropriate for year-end testing rather than interim testing (and vice-versa). For example, verifying the calculation of the split between the amount to be recognised as a prepayment and the amount to be expensed in the income statement is easiest to perform at or after year-end. Also, some tests are easier to conduct over large numbers of items than other tests. For example, verifying the correct authorisation for certain transactions could require inspection of the documents, which is more difficult to do for a large number of transactions than recalculating the discount offered to certain types of customers which can be verified by using software to recalculate the discounts for computerised transactions.
9.12
What are substantive procedures designed to obtain evidence about? What are the main types of substantive procedures?
Substantive procedures are designed to obtain direct evidence as to the completeness, accuracy and validity of data, and the reasonableness of the estimates and other information contained in the financial report. That is, they are direct tests of the amounts reported by the client in the financial statements and the relevant disclosures. The main types of substantive procedures are: inspection (of documents and physical assets), observation (of client employees performing their duties), enquiry (of client employees and directors, client solicitors and other third parties), confirmation (of account balances with debtors, creditors and banks), recalculation (of discounts, depreciation expense etc.), re-performance (of bank reconciliations, stock-takes etc.), and analytical reviews (of account data at interim or year-end, comparisons with other periods and entities etc.). Substantive procedures that are not analytical procedures are also known as tests of detail.
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Chapter 9: Execution of the audit – performing substantive procedures
9.13
What are analytical procedures? Describe how they can be used as substantive tests in an audit.
Analytical procedures include data comparisons, ratio analysis, trend analysis, preparation of common-size statements, break-even analysis, and pattern analysis and regression analysis. Analytical procedures can be used as primary tests of a balance, as corroborative tests in combination with other procedures, or to provide at least some minimal level of support for the auditor’s conclusion. For example, analytical procedures would be a primary test of the balance of the provision for doubtful debts. It would be based on analysis of accounts receivable transactions balances for the current period and comparison with past history for this client. Preparation of common-size statements, ratio and trend analysis would be useful to corroborate other evidence about cost of goods sold and other expenses.
9.14
What conditions must be satisfied before we can regard evidence from analytical procedures as persuasive rather than corroborative or minimal? Why are these conditions important?
If the auditor is using the analytical procedure to provide primary evidence, controls over financial and non-financial data need to be more reliable. If the auditor is using analytical procedures to provide a general understanding of the client, data quality is not so important. However, if the procedures are designed to provide persuasive evidence, the underlying data should be tested. For example, if the debtor’s ageing report is being used to test the reasonableness of the provision for doubtful debts, the report should be tested for accuracy. Another consideration for the auditor is that the analytical procedure could rely on non-financial data, such as quantities of raw materials, numbers of employees or customers etc. This data is usually not subject to the same controls by the client as the financial data, making it less reliable in analytical procedures. Where the client uses the data for management purposes, the data is likely to be more reliable. Analytical procedures provide more persuasive evidence when they are able to generate an amount that the auditor believes is a reasonable estimate of what the balance should be, allowing a conclusion about whether it is free from material error. In this case, no further evidence is required. Analytical procedures provide corroborative evidence if it (1) confirms findings from other procedures, and (2) supports management representations or otherwise decreases the level of audit scepticism. These results limit the amount of evidence required from other procedures. If the auditor is using the analytical procedures for minimal assurance (i.e. not persuasive or corroborative), the auditor does not need to test the underlying data.
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9.15
Why is it important to consider the quality of the data used in analytical procedures? How important to this question are client controls over financial data?
The results of analytical procedures are only as good as the data used in the procedures. Therefore, client data that has not been audited is less reliable than audited data, and less faith can be placed on the results of analysis using unaudited data. Client data can also be unreliable if the client has restructured its operations or reporting lines. The more geographical or segment diversity within the client, the less useful aggregated data (rather than geographical or segment data) will be. Client controls over data, including budget data, affect the quality of the data, and its usefulness in analytical procedures. Also, industry data that is used for comparisons can be of variable quality. Industry data could be outdated if the industry is subject to rapid changes, such as economic growth or decline. The industry could be less comparable with the client due to changes in conditions or differences between the client and the average industry member. 9.16
Vouching transactions and balances back to supporting documentation would ordinarily provide evidence about which assertions? Which assertions would vouching be least likely to provide evidence about?
Vouching a transaction or balance back to supporting documentation primarily gives evidence about existence or occurrence. This is because the documentation is used to verify that the transaction was real and valid. Vouching involves testing and verifying information already recorded in the accounting records and is used to ensure the balances or transactions are not overstated. In addition, vouching can provide evidence about valuation and allocation and accuracy. The documentation confirms the amount recorded in the accounts. Vouching can also provide evidence about rights and obligations because the documents will show the parties to the transaction. Vouching does not provide evidence about completeness. This is because the auditor is testing information already recorded in the accounting records, and as such, will not normally uncover evidence about transactions and balances that are not in the accounting records.
9.17 Explain the difference between vouching and tracing. Vouching means to find the underlying vouchers or documents for a transaction that is in the accounting records, and confirm the details in the accounting records are the same as the details on the documents. For example, go from an entry in the debtors account in the general ledger to the invoice recording the sales to the debtor and compare the details in the account with those on the invoice. This test gathers evidence about the accounting records and is particularly useful for tests of the assertions existence/occurrence (are the details in the accounts supported by documentary evidence; i.e. did the sale that is recorded actually occur?) as well as accuracy and cut-off. Tracing means to start with the documents or books of original entry and follow the details through the accounting system. For example, inspect invoices for sales to
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Chapter 9: Execution of the audit – performing substantive procedures
customer and check if the details on the invoices (dates, customer details, amounts etc.) are recorded correctly in the records. It can also be used to go from a document such as a list of inventory counted in the stocktake to the account for stock to check if the stock items counted in the stocktake are recorded correctly in the accounts. Tracing is useful for tests of completeness (are the items on the invoice recorded in the ledger; that is, is the ledger complete?), as well as accuracy and cut-off.
9.18
Explain the differences between key items testing and representative sampling using audit risk tables. How would software to select each type of sample be used?
Key item testing is done by using either a statistical basis or professional judgement to identify and test key items in a balance. The auditor focuses on selecting the largest transactions within a balance to obtain ‘coverage’ over the total. If the auditor tests the largest items in the balance, the auditor is able to reach a conclusion about the entire balance. Representative sampling aims to take a representative sample from the population (perhaps after key items have been separately tested) for testing. Every item in the population has an equal chance of selection for the sample. Audit risk tables are used to determine the size of the representative sample based on the auditor’s expectation of error (which should be low for this type of sampling) and the risk of material misstatement (which should also be low). This technique is generally used when the primary focus is on overstatement, because items already in the client’s accounts are sampled. Software is useful for both types of sampling. For example, the software could find the largest items, or the most recent etc. for key item testing. The software will also calculate if sufficient items are selected to provide a reasonable basis for concluding that sufficient ‘coverage’ is obtained by focusing on the selected key items. Software is also useful to calculate the size of the representative sample and to choose the items for testing. The software uses the audit risk model in the calculations, together with other considerations such as materiality, total key items already tested, and the audit evidence obtained from other substantive procedures. 9.19 Explain roll-forward procedures. When are they appropriate? Roll-forward procedures are defined as procedures that are performed during the period between an interim date and year-end (the roll-forward period) to provide sufficient and appropriate audit evidence to base conclusions upon as at year-end when substantive procedures are performed at an interim date. The procedures are used to update the auditor’s findings from the time of the interim date to the year-end. Whether roll-forward procedures are appropriate depends on the auditor’s risk assessment. For example, when the entity’s control environment has been assessed as effective, controls have been tested, and no significant changes in the control environment and controls have occurred, limited roll-forward procedures such as analytical procedures or limited testing of intervening transactions may be all that is necessary.
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9.20
Explain the two main types of CAATs. What are the advantages of using software to interrogate and examine client data files? Does using CAATs remove the need to test client control systems?
Computer aided audit techniques = CAATs The two main types of CAATs are: (1) software used to interrogate and examine client data files when the client is automated, (2) software to plan, perform, and evaluate audit procedures, regardless of whether the client is automated or not. Audit software can be used to perform procedures such as calculations and logic tests, select and print key items and representative samples for testing. The software makes the audit more comprehensive and efficient because the computer can handle large volumes of data. CAATs do not remove the need to test client control systems. Client data files are likely to be more useful for audit testing if controls are strong, because the records will be more complete and reliable.
9.21
Which accounts and/or clients are more suitable for interim substantive testing?
The timing of substantive procedures is directly influenced by the level of control risk. The greater the assurance gained from control testing or the more effective controls are judged to be, the more likely that substantive testing can be done at an interim period. Therefore, clients with stronger internal controls, and accounts with stronger controls, are more suitable for interim substantive testing. Also, for clients or accounts where there is low inherent risk or low materiality, substantive testing can be conducted at interim periods. In addition, the accounts that accumulate transactions which mostly remain in the account balance at year-end are more suitable for interim testing. For example, the auditor can test additions and disposals to the fixed asset register prior to the year-end. Clients with specific reporting requirements can also be suitable for interim testing. If the client needs to close its book promptly, interim testing is a great advantage.
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Chapter 9: Execution of the audit – performing substantive procedures
9.22
Provide an example of (1) an error and (2) a judgemental misstatement that could affect the balance of property, plant and equipment documented?
Examples of errors include: • An addition posted to the repairs expense account instead of the PPE asset account (and vice-versa) • A transaction posted with the wrong date around year-end • Failure to record theft of items of equipment • Failure to remove scrapped items from asset register Examples of judgemental misstatements include: • Inappropriate depreciation rates • Judgements around capitalisation of installation expenses and borrowing costs • Judgement of impairment/revaluation amounts
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PROFESSIONAL APPLICATION QUESTIONS 9.23
Designing substantive procedures Required List some of the problems with Carla’s idea of using Bryson’s audit program as a basis for designing substantive procedures for Gaskin.
Gaskin and Bryson have approximately the same amount of revenue, but there are substantial differences between the firms. Gaskin is a recently publicly listed manufacturing and wholesaling company. Bryson is a firm that provides marketing and other consulting services, listing status unknown. The auditing standards require the auditor to gain an understanding of the client and its circumstances. For example, the auditor should gain an understanding of the operating conditions in the client’s industry as well as the economy generally, and the reporting requirements that apply to the firm (which would be influenced by its listing status). The auditing standards require audit plans to be based on the auditor’s assessments of inherent and control risks at the client, and the nature, timing and extent of substantive procedures should reflect these risk assessments. Therefore, the main problems with using Bryson’s audit program as a basis for designing substantive procedures for Gaskin relate to the fact that by doing so the auditor may not properly work through the effects of Gaskin’s circumstances on the audit program. Examples of specific problems: - The auditor may use the wrong type of substantive procedures, e.g. not incorporate tests of inventory balances (which would not be on Bryson’s balance sheet) and accounts receivable balances. - The auditor may not make a thorough assessment of internal controls at Gaskin and therefore not schedule control tests in time to use the results of the control tests to determine the nature, timing or extent of substantive procedures. - The auditor may not schedule tests of disclosures required by listed firms that are not required for Bryson. 9.24
Sales cut-off Required Explain how the procedure addresses the assertion. What does it mean if (i) the dates agree, or (ii) the dates do not agree? Selecting a sample from the sales journal from around the year-end to agree the dates on the invoices to the dates on the delivery documents which are signed by the customers gathers evidence that the date the transaction is recorded in the accounting records is the same as the date the goods are delivered to the customer, and thus the sale is complete. The dates on the sales invoice and the delivery document should be the same as the date the sale is processed by the audit client. This test would be most effective if dates in the sales journal on both sides of the year-end are selected in the sample. This is because selecting dates prior to the yearend provides evidence that sales are not brought forward from post-balance date to dates prior to balance date, and selecting dates after the year-end provides evidence that sales are not held over from dates prior to balance date to post-balance date.
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Chapter 9: Execution of the audit – performing substantive procedures
If the dates on the delivery document, sales invoice, and sales journal are not the same, it is an error unless there is evidence to support a different effective date for the sale (i.e. check the contract terms for sale on approval etc.).
9.25 Sales journal and invoices Required Explain which assertion for the revenue account would be addressed by this test.
Selecting a sample of sales from the sales journal and agreeing the details in the accounting records with the original documents (invoices, delivery dockets and customer orders) provides evidence for the occurrence assertion for sales. The documents show whether the transaction, as recorded, did occur. Agreeing the details with the underlying documents (known as vouching), also provides evidence about accuracy of sales.
9.26 Sales invoices and journal Required Which test provides evidence about the occurrence assertion? Why? Which assertion does the other test provide evidence about? The occurrence assertion is tested by selecting a sample of items in the accounting records and agreeing the details to the underlying documents. The test answers the question: Did this item shown in the accounts actually occur? This is because the test gathers evidence from the documents about the item in the accounts. Test A addresses the occurrence assertion.
The completeness assertion is tested by selecting a sample of documents and agreeing the details to the accounting records. The test answers the question: Are the accounting records complete? That is, do they include this transaction? This is because the test gathers evidence about the completeness of the accounting records by testing if the transactions in the documents were entered into the accounting records correctly. Test B addresses the completeness assertion.
9.27 Payroll testing Required Discuss the type of evidence which would be obtained from each of the procedures. 1. Compare payroll tax expenses to the annual payroll times the statutory tax rates. Payroll tax is levied by the government at a prescribed rate of tax on the total amount of payroll. If the amount of payroll is known, and the tax rate is known, the amount of payroll tax can be calculated.
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Recalculation involves checking the client’s calculations for accuracy, and would be persuasive evidence. 2. Compare the relationship between direct labour costs and number of employees with prior periods. Direct labour costs (salary payments, superannuation levies etc.) have a relationship to the number of employees where an increase in the number of employees results in an increase in direct labour costs. Because each employee could be on a different rate of pay, the amount of costs cannot be obtained simply by multiplying the number of employees by a constant number. However, the test would determine if there was a significant difference in the relationship between employee numbers and direct labour costs which should be investigated further. As such, the evidence would not be conclusive but supportive of other tests.
9.28
Selecting debtors for substantive testing
3
A theme park business has a website that allows customers to make bookings online. The customers include the general public and local and international travel agents. Travel agents that wish to be able to make bookings on credit must complete an account application form with at least three references. The auditor’s tests provide sufficient appropriate audit evidence that credit is granted only after rigorous credit checks. However, large travel agents often settle their accounts between 60 and 90 days (not the required 30 days). Given the amount of business generated from these travel agents, the theme park business allows this practice to continue. The business has 450 travel agents as customers. Sixty agents represent 75 per cent of trade debtors. Required (a) Discuss which debtors would be selected for further testing. (b) When would the testing of debtors be carried out?
The key assertions at risk for debtors are existence (do the debtors really exist?) and valuation (are the debtors valued appropriately?). The auditor is concerned about the risk of overstatement. This means that the larger debtors would be of most concern. The testing has revealed that rigorous credit checks are conducted before debtors are able to purchase from the client on credit, providing some assurance that the debts are collectible. However, the constant late payments increase the risk that accounts will not be paid, either because of financial deterioration of the debtor or a dispute between the client and the debtor about a particular sale. Sixty debtors represent 75% of the debtors. A sample of the sixty debtors should be selected. An additional sample of other late-paying travel agents should also be selected. A small sample of the remaining debtors should also be selected. There are strong controls over credit approval. If other controls over debtors and sales are also strong, the testing for existence could be carried out prior to the year end with roll-forward procedures. Testing for valuation should be carried out closer to the yearend as evidence of deteriorating financial position of debtors would be more likely to
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Chapter 9: Execution of the audit – performing substantive procedures
be gathered closer to year-end. Testing of subsequent receipts from debtors (post balance date) would provide strong evidence to support debtor valuation at year-end.
9.29
Data for analytical procedures Required List and discuss the factors that would increase or decrease the reliability of data used in analytical procedures at North West.
Factors increasing reliability of data include: - Data used for management purposes, suggests that management have faith in its reliability - Data is generated by state and division, allowing new business segments to be removed before comparison with prior years - Well-established business, suggesting good business practices and reliable data being used - Purchasing and billing systems are fully integrated, suggesting data is used consistently through the business - Few changes to production processes in paper business - Minimal changes to new plastics business since acquisition, allowing analysis of this division with data held for prior years (if available) - Takeover was 18 months ago, suggesting that this year would be a full year of data Factors decreasing reliability of data include: - Acquisition of new plastics business makes whole of business reports not comparable with previous years. - Any changes such as growth could distort comparisons - Could be increased pressures for growth and/or profitability, changing the incentives for accurate reporting (i.e. managers could have incentives to manipulate figures for their division) - Last year’s data was difficult to analyse because of acquisition half-way through the year, making last year’s data not as useful for comparisons
9.30
Persuasiveness of evidence from analytical procedures Required (a) What questions would Mathew ask about each analytical procedure? (b) If all questions could be answered satisfactorily, explain whether the evidence from each analytical procedure would be persuasive, corroborative, minimal or general. What are the implications of this judgement for further substantive testing?
(a) Questions Mathew could ask include: (1) What acquisitions and disposals have occurred for each depreciable asset class? (These would affect the balance of assets at the end of the period although depreciation expense is for all assets held during the period) Are the same rates used for each asset in the asset class? Have the closing balances for the assets been verified? Are there any other changes in the business suggesting that asset balances should be different?
Solutions manual to accompany Auditing: a practical approach 2e
Are there any significant changes from last year? (2) Are sales commissions ever given at non-standard rates? If so, to which salespeople or for which products? Are all sales subject to sales commission? Has total sales been verified? Are there any significant changes from last year? (3) What changes in personnel numbers have there been this year (i.e. new employees or employees leaving?) Are there any changes in pay rates for some employees? Are there any other changes in the business suggesting that employee numbers or payroll expense should be different? Are there any significant changes from last year? (b) In all cases, the results of the analytical procedures would be more persuasive if the underlying data has been audited and is consistent with other evidence obtained during the audit. Also, in all cases there are reasons to expect the relationship between the data to be consistent if the relevant conditions are similar to those in previous years. The most persuasive tests would be (1) and (2) because they involve more than a mere comparison with the previous year. However, both these tests could be improved. For example, test (1) would require an adjustment for disposals and acquisitions to improve its persuasiveness, and test (2) would be more persuasive if data about product lines and relevant sales commissions were available. Test (3) would be more persuasive if the total payroll expense was calculated on an employee basis before comparing with the previous year. If the test is more persuasive, less further substantive testing would be required. For each of these tests, it is likely that no further testing would be required if all questions are answered satisfactorily and improved as suggested above. 9.31
Tests of details Required (a) What would you expect to see in the audit program given to Marty about (1) the sample selection and (2) the vouching procedures? Explain. (b) How could Marty use CAATs to help gather the evidence?
(a) The major risk is overstatement of sales. Therefore, we would expect to see substantive procedures in the audit program designed to test the assertions of occurrence and cut-off for sales. This focus drives the sample selection. The audit program would require sampling of recorded sales transactions. Key items would be selected on the basis of size (there are some very large transactions) and date (because those sales recorded as occurring just prior to the year-end are potentially misstated sales that occurred just after the year-end). Depending on the auditor’s assessment of the strength of controls over custom tools and standard tool sales, the sample could sample relatively more of one type of sale transaction. Key item selection and testing would allow the auditor to gain reasonable assurance that the total sales balance was adequately ‘covered’, although the auditor might also require testing of a representative sample of the remaining items. The vouching procedures would require Marty to inspect documents supporting the sales transactions. Marty would be instructed to start with the items selected as above, and locate the relevant documentation (sales order or contract, shipping
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Chapter 9: Execution of the audit – performing substantive procedures
documents, sales invoice). Marty would be instructed to verify the date and amount of the sales transaction, plus the details of the items sold. He would be instructed to recalculate the total price by reference to number of units and the agreed price. In the case of custom designed tools, Marty would be able to inspect a contract and obtain the details of price from it, but in the case of standard tools Marty would need to obtain the record of the telephoned sales order and use standard price lists. The number of items shipped to the customer would be verified by inspecting the shipping documents that are reconciled by the client to the sales order and copy of the invoice. (b) CAATs would be useful to Marty (and others in the audit team) in: • calculating the size of the samples • selecting items from the population to include in the sample • searching for electronic records of sales documents • recalculating # unit x unit price • analysing fluctuations in recorded sales to search for unusual patterns (e.g. by time, customer, product) • interpreting the results of the tests • writing working papers recording the results of the tests
Solutions manual to accompany Auditing: a practical approach 2e
9.32
Evaluating substantive testing results Required (a) Evaluate each item above and explain whether it is an error or a judgemental misstatement. What action do you recommend for each? (b) Which accounts would be affected, and how, if an adjustment is made for each item?
(1) Error - because the sale is included in the wrong accounting period (unless the date of 1 July 2014 is based on a judgement about the nature of the sales contract). The sale should be included in the next period. The client has incorrectly recorded the sale on 30 June as: Dr accounts receivable, Cr sales. To correct this error, the adjusting entry would be to reverse the entry for 30 June and record it as 1 July ($1,250,000). (2) The management underestimated the provision for warranty claims for the year ended 30 June 2014. They estimated $100,000, and (depending on how the information in the question is interpreted) there are already an additional $150,000 in processed claims and a further $200,000 to be processed. Management estimate a provision for the year ended June 2014 of $120,000. The new provision appears to be inadequate, and is a judgemental misstatement. The entry to increase the current year provision would be Dr Warranty expense, Cr Provision for warranty for the amount of the increase. (3) Error- the redundancy expenses were charged to the wrong expense account. An adjusting entry should be made: Dr Redundancy expenses, Cr Rental Expenses ($578,920) (4) The amount for impairment of assets to be recognised in the accounts is a judgement. In this case, there is evidence that the following entry should be made: Dr Impairment expense Cr Asset, but the amount of the impairment is not given in the question.
9.33
Timing of substantive tests Required Explain how Connie could vary the timing of the substantive testing at Camel to help her meet her audit obligations. Specifically: (a) give examples of substantive procedures that could be performed prior to year-end (b) explain how Connie will use roll-forward procedures to complete the audit (c) explain any other considerations that would affect the timing of substantive procedures for Camel.
(a) Some substantive procedures could be performed at interim periods. These would be most likely in the following accounts: • Accounts which accumulate transactions which remain in the account balance at year-end (e.g. verify additions to fixed assets). • Accounts where controls are confirmed as strong (which they appear to be), and high acceptable detection risk (tests could be done up to six months before year-end) • Accounts where controls are believed to be strong, and controls will be tested (tests could be done 2 or 3 months before year-end)
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9.14
Chapter 9: Execution of the audit – performing substantive procedures
•
Accounts with limited materiality (E.g. small asset accounts) or low likelihood of errors (i.e. low inherent risk)
(b) Roll forward procedures update the findings from the interim tests. For example, analytical procedures could be used to test if the patterns of revenue or expense transactions are similar before and after the interim tests. A sample of transactions from after the test date could be taken and further tests of details performed. (c) In general, risk assessments affect the timing of substantive procedures. If inherent risk and control risk are low, allowable detection risk is high. This means that the timing of the substantive tests is more flexible. For example, good internal controls over inventory would allow interim stock-take testing. In addition, the nature of substantive tests affects the timing of the tests. Some tests are more relevant at year-end than at interim periods. E.g. the auditor would test the completeness of liabilities at year end, but details of individual liabilities could be tested prior to year-end.
9.34
Substantive testing for specific assertions at risk (a) Identify two key account balances likely to be affected by the above information. (b) For each account balance identified in (a) above, identify and explain the key assertions most at risk. (c) For each assertion identified in (b) above, identify specific substantive tests of detail that would be responsive to the identified risk.
(a) Key account balances: (i) Scanning revenue, (ii) Accounts receivable, (iii) Scanning machine (fixed asset account), (b) (i) occurrence - has revenue occurred? Recognising revenue at time of receipt of cash is not consistent with revenue recognition principles (services has not been delivered) (ii) existence - does the asset exist because the service has not been delivered? (iii) valuation and allocation – what is the appropriate value for the scanning machines given the uncertainty around their approval? (c) Read the contracts for use of the scanning machines. Is there anything to support the early recognition of the revenue and the claim against the patient? (e.g. the hospital has the right to deliver an alternative service; the patient does not have the right to a refund). Obtain a legal opinion. Consider the documentation surrounding the regulation of the scanning machines. Is the Australian Doctors and Hospital Association the relevant approving body? If this body withholds approval, is the hospital still able to use the machines legally? Talk to management. What evidence does management have to support their view that there is an 80% chance of the scanners being approved? Obtain an independent expert’s view of the regulatory situation. Read the press reports. How extensive is the bad press surrounding the scanning machines? Is it likely to affect patient demand for the services? Would all these factors affect the value of the machines?
Solutions manual to accompany Auditing: a practical approach 2e
9.35
Using analytical procedures Required Based on the background provided, describe all the key information required to estimate Shady Oaks’ revenue for patients staying in hospital.
Number of patients treated in the hospital for this period and prior periods, with details about patient type and length of stay. Obtain patient data per ward during different periods during the year (different wards could have different charges e.g. maternity vs. rehabilitation) Calculate revenue per patient (by ward or other characteristic such as patient type) in past, apply to this period. Compare revenue per patient to other similar hospitals. Use personnel and other operating data to estimate reasonableness of patient data. E.g. if number of nurses increases, it is likely that number of patients also increases.
9.36
Planning substantive tests Required (a) Briefly outline the impact of the projected error rate on your planned substantive audit procedures. (b) Assume that all of the deviations from the internal control procedures tested (that is, errors in the sample) relate to a three-week period when a senior staff member was on annual leave. Discuss how this would affect your planned substantive tests of detail.
(a) A high projected error rate suggests that the controls are not working effectively. The required audit response is to increase the assurance gained from substantive testing. This can be done by using more effective substantive procedures, altering the timing of the substantive procedures to closer to yearend, and/or increasing the extent of the substantive procedures (i.e. increasing sample size). For example, greater reliance on tests of detail and less reliance on analytical procedures would normally provide greater assurance. (b) If all the control deviations can be isolated to a specific period, the increased substantive procedures could be addressed to this period rather than applied to the entire period. The auditor should also consider if the relevant senior person was on leave at other periods, and increase testing during those times as well. In addition, the auditor should consider discussing the issue with management to determine the cause of the problems. For example, are there issues with covering the absence of other staff members? Is there adequate training provided for staff taking on higher duties when colleagues are absent? How does this reflect on general control environment at the client?
9.37
Persuasiveness of evidence Review your answers to the previous questions. Comment on the persuasiveness of evidence from each test. Explain any factors that would affect your assessment.
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9.16
Chapter 9: Execution of the audit – performing substantive procedures
In general, the analytical procedures would provide less persuasive evidence than the tests of detail. However, the analytical procedures, such as estimating revenue from patient data, would be useful as corroborative tests or general tests. In this case, the auditor would also use tests of detail relating to patient revenue. Revenue from patients is also likely to be very material to the audit, so more than one type of tests would be required to provide the required level of assurance. The tests of inventory controls showing breakdowns during a three week period would be relied upon to restrict additional substantive testing to that period, and therefore would need to be highly persuasive. Additional testing to provide the highest level of assurance that the controls were effective during other periods would save the auditor completing unnecessary additional substantive tests.
Solutions manual to accompany Auditing: a practical approach 2e
Case Study Cloud 9 1. Based on your conclusions from the case study questions in previous chapters (particularly chapters 4 and 8), complete the following worksheet to determine the overall risk assessment (ORA) and the acceptable detection risk (DR). 2. (part 2 solution below) 2. Prepare common size statements for Cloud 9. Use total assets as the basis for the balance sheet and revenue as the basis for the income statement. Comment on any audit implications revealed by your statements. Solution Statement of Financial Position
30-Sep-14
COMMON SIZE
31-Dec-13
COMMON SIZE
Cash
$
245,965
1.0
$
1,753,765
7.1
Receivables
$
10,552,109
43.8
$ 10,701,064
43.5
Inventory
$
5,924,136
24.6
$
6,263,242
25.5
Financial assets
$
4,469,759
18.5
$
4,075,205
16.6
Prepayments
$
1,112,028
4.6
$
666,054
2.7
Deferred tax asset
$
346,949
1.4
$
277,559
1.1
PPE
$
1,449,330
6.0
$
852,965
3.5
Total assets
$
24,100,276
100.0
$ 24,589,854
100.0
Payables
$
10,323,185
42.8
$
8,413,818
34.2
Provisions Interest bearing liabilities
$
401,658
1.7
$
268,581
1.1
$
9,021,836
37.4
$
9,740,091
39.6
Current tax liabilities
$
159,866
0.7
$
207,893
0.8
Deferred tax liabilities
$
198,647
0.8
$
170,284
0.7
Total liabilities
$
20,105,192
83.4
$ 18,800,667
76.5
NET ASSETS
$
3,995,084
16.6
$
5,789,187
23.5
Issued capital
$
5,448,026
22.6
$
5,448,026
22.2
Reserves
$
(247,638)
-1.0
$
(259,498)
-1.1
Retained profits
$
(1,205,304)
-5.0
$
600,659
2.4
Total equity
$
3,995,084
16.6
$
5,789,187
23.5
Note: assets and liabilities are not split into current and non-current because not enough information given for liabilities. Although loan is repayable over 5 years, the information about payment schedule is not provided.
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9.18
Chapter 9: Execution of the audit – performing substantive procedures
Comments: • Total assets have grown slightly, liabilities have grown faster resulting in lower net assets • Cash is lower proportion of total assets, despite opening store inventory has not grown proportionately; PPE has grown – due to fit out of store, purchase of trucks? • Growth in liabilities has come from increase in payables • Total equity lower because of increase in accumulated losses. Implications: • Lower cash balance, increase in borrowings increase concerns about solvency. However, overall position is still strong. • Inventory balance is not increased, despite new store, consider reasons • Additional testing required for PPE to verify additions and valuations • Increase in payables is consistent with new operations, but is not reflected in higher inventory balances. Consider adequate of provisions • Special disclosures required for loans and other transactions with directors
Solutions manual to accompany Auditing: a practical approach 2e
Statement of Comprehensive Income
30-Sep-14
COMMON SIZE 2.3
COMMON SIZE
31-Dec-13
Revenue Revenue - stores
$
640,782
Revenue - Wholesales
$
27,255,417
COS - Stores
$
480,586
COS - Wholesales
$
12,340,046
$
27,896,199
97.7
100.0
$
-
$
33,987,595
$
-
$
16,393,394
0.0 $
33,987,595
100.0
100.0
$
16,393,394
48.2
48.2
$
17,594,201
less COS
Gross profit
1.7 $
12,820,632
$
15,075,567
44.2
46.0
54.0
51.8
Other revenue Interest from bank
$
45,432
0.2
$
28,642
0.1
FX Gain/Loss
$
35,467
0.1
$
29,568
0.1
Proceeds on disposals
$
-
$
7,714
Other Revenue
$
188,590
$
246,523
Storage - rent expense store
$
125,000
0.4
$
-
0.0
Storage - Rent expense warehouse
$
2,219,443
8.0
$
2,959,257
8.7
Distribution expenses
$
1,551,191
5.6
$
2,008,015
5.9
Advertising and Promotion - Print
$
1,564,359
5.6
$
1,046,668
3.1
$
269,489
0.7
1.0
$
312,447
0.7
Selling expenses
.
9.20
0.9
Chapter 9: Execution of the audit – performing substantive procedures
Trade shows
$
245,765
0.9
$
384,934
1.1
Advertising and promotion - TV
$
1,306,426
4.7
$
496,996
1.5
Advertising and Promotion - Sponsorships
$
1,284,756
$
-
Salaries and employee benefits
$
3,813,345
13.7
$
4,842,343
14.2
Telephone
$
75,654
0.3
$
152,324
0.4
Computer and IT costs
$
189,352
0.7
$
298,583
0.9
Rent expense - office
$
231,877
0.8
$
309,170
0.9
Depreciation - Furniture and equipment
$
525,890
1.9
$
339,852
1.0
Depreciation - leasehold improvements
$
150,982
0.5
$
96,326
0.3
Entertainment
$
165,432
0.6
$
320,703
0.9
Professional fees
$
238,654
0.9
$
458,903
1.4
Insurance expense
$
2,065,096
7.4
$
1,597,463
4.7
Recruitment
$
264,327
$
297,190
Bad debt expense
$
56,784
0.2
$
120,000
0.4
Interest expense - loan from bank
$
763,187
2.7
$
701,576
2.1
Interest expense - directors
$
35,424
$
46,530
$
8,296,940
4.6
29.7
$
6,895,870
0.0
20.3
Administration expenses
$
7,720,609
0.9
27.7
$
8,712,857
0.9
25.6
Finance Expenses
Profit before income tax Tax expense Profit after tax
$
$
855,395
$
16,603,455
$
(1,527,888)
278,074
0.1
3.1
$
868,106
59.5
$
16,164,386
47.6
-5.5
$
1,429,815
4.2
1.0 $
(1,805,962)
$ -6.5
378,074
0.1
2.6
1.1 $
1,051,741
3.1
Solutions manual to accompany Auditing: a practical approach 2e
Comments: • Income (revenue and expense) figures are for 9 months only, so care should be taken when comparing with previous year. However, common size statements allow valid comparisons because individual items are expressed as a proportion of the total revenue • Cost of sales as a proportion of revenue has fallen, increasing gross profit as a proportion of revenue • Significant increases in selling expenses, mainly the new sponsorship costs and other advertising costs • Administration expenses have increased. There is additional insurance, likely related to the new stores • Finance expenses are greater, due to loan from bank. • Overall, increasing costs are contributing to a net loss for the period. Total operating expenses have increased from 48% of sales to 60% of sales
Implications • Consider reasons for reduction in COS • Advertising is a new large expenditure item; consider authorisations and classifications of expenses. Insurance is larger – why? • Employee costs are lower despite new stores opening, consider reasons • Bad debts and warranty – consider adequacy of provisions • Expense growth – consider whether any items should be capitalised
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9.22
Solutions Manual to accompany
Auditing: a practical approach by Jane Hamilton CHAPTER 10 Substantive testing and balance sheet accounts
© John Wiley & Sons Australia, Ltd 2013
Solutions manual to accompany Auditing: a practical approach 2e
Chapter 10 – Substantive testing and balance sheet accounts REVIEW QUESTIONS 10.11 Explain why an audit team cannot use the same combination of audit procedures for every audit. The auditor designs the nature, timing and extent of audit procedures to provide reasonable assurance of detecting material misstatements at the assertion level and thereby provide the basis for reasonable conclusions on which to base the auditor’s opinion. The auditor is required to choose substantive procedures in response to the risk assessment for each significant account or disclosure for the client. Because these risk assessments would vary from client to client, the combination of audit procedures would also vary. However, there normally would be a high degree of overlap in the nature, timing and extent of audit procedures for the same accounts for clients with similar characteristics (size, industry, listing status etc.).
10.12 Explain the relationship between the timing of substantive procedures and the risk assessment of the significant account in question. What options does an auditor have for performing some of the substantive procedures prior to year-end? Explain. Interim testing is more likely for accounts with low overall risk assessments, and year-end testing is more likely for accounts with high overall risk assessments. A low overall risk assessment means that planned detection risk is high, which in turn means that less work needs to be performed. Most evidence from this work is likely to be obtained from controls testing during the year, with a small amount of substantive testing. A high overall risk assessment means that detection risk is low, which in turn means that more work needs to be performed. This work is less likely to be obtained from controls testing during the year and more likely to be obtained from a variety of substantive tests performed near or at the reporting date. An auditor has some opportunities to perform some substantive procedures prior to year end. Some events or transactions occur prior to year-end and then stay in the balance, for example, major acquisitions or disposals. These could be audited prior to year-end. Events or transactions that occur throughout the year could be reviewed prior to year-end and then updated at year-end. Some general audit procedures could be performed during the year, such as reviewing board minutes and some statutory records. These are updated at year-end. Provisions can be reviewed prior to year-end, then updated and checked to see if the final balances agree with the auditor’s expectations formed at the interim date. The external auditor could use results from the internal audit function to increase their understanding of internal controls.
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10.2
Chapter 10: Substantive testing and balance sheet accounts
10.13 How can an auditor use results from procedures performed during the control risk assessment phase to affect the nature of substantive testing? During the control risk assessment phase the auditor gathers evidence about the design and performance effectiveness of the client’s internal controls. This evidence provides a basis for the control risk assessment for each account, and the subsequent design of the substantive procedures. If a high control risk is identified, it is important that the auditor designs the nature of substantive testing to provide more persuasive evidence. If a low control risk is identified, the auditor need not obtain as persuasive evidence from substantive tests (there may even be no substantive testing performed). The nature of substantive testing must be appropriate and fully reflective of the control risk (and inherent risk) assessment and the expectation of the likelihood of errors of audit importance occurring.
10.14
Explain the difference between the audit of the processes impacting cash and the substantive testing of the cash balance. How is audit testing for each affected by the outcome of controls testing?
The processes impacting the cash balance are the cash receipts and cash payments processes. If the auditor has performed controls testing for these processes and concluded that the controls are effective and can be relied upon, it is unlikely that any additional tests related to the processes would be performed. The auditor would rely on substantive testing of the cash balance at year-end. However, if substantive testing of the significant transactions is required (because control testing did not provide sufficient evidence or it is considered more efficient to test the transactions), examples of the procedures are listed in Table 10.2. Substantive testing of cash balance at year-end is focussed on existence, completeness and classification of the cash balance. Existence is normally tested through a bank confirmation. Completeness tests focus on testing the client’s bank reconciliation and cut-off of cash transactions. Further examples of substantive tests for year-end cash balances are provided in Table 10.3.
10.15
How would an auditor test the cut-off of inventory movements at yearend?
The auditor would compare the dates for posting of purchases, production, transfers, acquisitions, disposals, and shipments of inventories with the inventory records and the general ledger accounts. This would involve both vouching and tracing. Vouching will entail inspecting inventory records from ledger accounts to the supporting source documentation (occurrence). Tracing will entail inspecting inventory records from supporting source documentation to the ledger accounts (completeness). The auditor would also reconcile the document numbers for internally generated documents (including receiving reports, sales invoices, inventory count tags, etc.). Establishing the last document number for the financial period assists the cut-off verification process. Any documents with lower numbers than the last document
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10.3
Solutions manual to accompany Auditing: a practical approach 2e
number should be recorded in the current financial period, those with higher numbers should be recorded in the next financial period.
10.16 Explain the difference between year-end and cyclical stocktakes. What conditions should exist at a client that conducts cyclical stocktakes? Some clients conduct stocktakes once a year, while other clients perform stocktakes on a cyclical basis. A cyclical stocktake is performed by counting a small number of items on multiple days throughout the year. For both types of counts, the number of items obtained by counting is compared with the number of those items recorded in the inventory records. The stocktake should also consider the condition of the stock (i.e. damaged or obsolete stock should be removed from the record of saleable items). Cycle counting is easier to implement when the company has better controls over stock because the inventory records are constantly updated. If the company has a periodic stock control system, there is no current record for the number of items held by the client. Another factor which affects the choice between annual and cyclical stocktakes is the physical conditions in which the stocktake has to be performed. If conditions are difficult, annual counting is preferred.
10.17 What are subsequent receipts tests? Why do they provide useful evidence about debtors’ valuation? Subsequent receipts testing is vouching the trade receivables at year-end to the subsequent receipt of cash from the customer. This provides evidence about valuation of debtors’ account at year-end because the customer has subsequently paid the account. If it is paid after year-end, it is valued appropriately at year-end. If an account is not paid, there is some doubt about its valuation at year-end. The customer might pay at a later date, or there could be a dispute which may result to bad debt.
10.18 Explain the relationship between the repairs and maintenance expense account and the PPE asset account. Why is the auditor interested in examining debits to both accounts when auditing PPE? Explain your answer with reference to the assertions at risk. Misclassification of repairs and maintenance potentially affects both the expense account and the PPE asset account. The accounting standards (AASB 116 Property Plant & Equipment) require capitalisation of some expenditures into the PPE asset account (e.g. improvements such as extensions, upgrades) and other items must be treated as expenses (e.g. repairs due to damage, replacing worn out parts). Therefore, the auditor is interested in examining debits to both accounts to assess whether they are correctly classified as capital (which should be a debit to the PPE asset account) or expense (which should be a debit to the repairs and maintenance account) items.
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10.4
Chapter 10: Substantive testing and balance sheet accounts
If capital items are misclassified as expenses, the PPE completeness (separate asset missing from the account) or valuation and allocation (improvement to asset not recognised in the balance) assertions are at risk, and the repairs and maintenance occurrence assertion is at risk. If expenses are misclassified as capital items, the PPE existence (a separate asset which does not exist is included in the account) or valuation and allocation (repair treated as an improvement to asset) assertions are at risk, and the repairs and maintenance completeness assertion is at risk. 10.19 Why is an auditor interested in PPE that is not currently being used or could become idle in the near future? If an item of PPE is not currently being used or will become idle in the near future, it could be an evidence of the item’s obsolescence. An obsolete PPE item would likely have an impaired value, which should be recognised in the accounts as an asset impairment charge (valuation and allocation assertion). The auditor may be interested in factors which may have significant effect on profitability (i.e. occurrence or increase in impairment charges or any write-down of asset) because of impact on going concern. An idle PPE asset could also be evidence of a significant drop in production, or a change in production. Significant decrease or change in production could lead to more items being recognised as obsolete. This could be an early indicator of going concern problems as well. 10.20 Why would an auditor review directors’ board minutes to gather information about assets that could be sold or become idle in the future? An auditor would review directors’ board minutes to gather evidence about production plans and asset disposal plans for the foreseeable future and for any specific discussion of asset values. This evidence would form part of the basis for conclusions with respect to asset valuations.
10.21 Explain why completeness is a more critical assertion for payables than for cash, receivables, inventory or PPE? What procedures are primarily designed to address the completeness assertion for payables? The completeness assertion relates to the objective of ensuring that the balance sheet accounts are not understated. Although this is important for assets, it is generally more important for liabilities because the consequences are likely to be more serious. If assets have to be revised upwards at a later date, shareholders' equity becomes greater. If liabilities have to be revised upwards at a later date, shareholders equity becomes smaller, potentially negative, which could result in the client’s liquidation. Typical procedures used to address the completeness assertion for payables include: • Testing the occurrence of cash payments (to ensure that a payable is correctly recorded as paid) • Testing the completeness of purchasing (to ensure that a payable is not incorrectly omitted from the balance sheet)
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10.5
Solutions manual to accompany Auditing: a practical approach 2e
• • • • •
• •
Testing the accuracy and cut-off of purchases and cash payments (to ensure that they purchases and payments has been correctly included or excluded from payables based on the invoice date or cash payment date). Testing of subsequent payments (to detect payments of payables which were not recorded at year-end) Reviewing payables ledger and cash payments ledger for unusual items Search for unrecorded liabilities at stocktake date and/around year end Analytical procedure such as comparing a list of payables with those of prior periods and investigating any unexpected and significant changes (or absence of changes), such as significant increase of suppliers, ageing, pattern of purchases Compare payables in sub-ledger with general ledger account Review board minutes for discussion of major suppliers.
10.22 Explain why gathering evidence about the occurrence assertion for a set of transactions could also provide evidence for the completeness assertion for a balance sheet account. Provide an example. Gathering evidence about the occurrence assertion for transactions provides assurance that the transactions recorded correctly are those that happened and are real. Transactions typically also affect balance sheet accounts, therefore, evidence about the transaction also provides evidence about the balance sheet account. For example, vouching a sample of recorded trade receivables to supporting source documents (i.e. dispatched notes or shipping dockets) is an evidence for both occurrence of credit sales transaction and completeness of account balance of trade receivables. To test for occurrence assertion of credit sales transaction, the auditor determines whether credit sales that represents the goods shipped or services provided are recorded during the reporting period. To test for completeness assertion of trade receivables, the auditor determines whether all amounts owed by the debtors at the end of the reporting period are included in the trade receivables account. The closing balance of the trade receivables account for the reporting period includes the sum of all the credit sales transaction for the reporting period minus any payment made on those credit sales
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10.6
Chapter 10: Substantive testing and balance sheet accounts
PROFESSIONAL APPLICATION QUESTIONS 10.23 Bank Confirmations Required (a) Find the list of banks from which the auditor has sought bank confirmations. How many banks are listed? (b) What information would be sought in a bank confirmation? Explain what assertion(s) are relevant to this test, and how the test provides evidence about the assertion(s). (c) Have any errors or misstatements been revealed by the bank confirmations in this example? (a) Four banks: ANZ, Westpac, National Australia Bank, AMP Banking (column ‘bank name’) (b) As per Para 29 of GS 016 Bank confirmation requests, the following are the information to be confirmed during bank confirmation request: •
• •
Normal banking activities, such as account balances, interest rates, terms of liabilities, items held as security for the client’s liabilities, any accounts opened or closed by the client during the period, and unused limits and facilities; Client’s treasury operations, such as forward rate agreements, foreign currency contracts, interest rate swaps, options and treasury futures contracts; and Other contractual arrangements.
The example in this question relates to normal banking activities. The assertions addressed by this test are: • Existence (of bank accounts and loans), • Completeness (by asking the bank if there are any other deposits or loans than the ones listed), • Valuation and allocation (by asking the bank to confirm the account balance and seeking information about interest rates), • Rights and ownership (by asking the bank if there are any charges against deposits, and to confirm the name the accounts are held in). • Cut-off, as the bank accounts are confirmed via two requests, either side of the balance date. (c) There are no errors or misstatements in the example. All items are agreed to bank accounts maintained by client (see ticks in ‘TM/Ref’ column), and absence of any comments.
10.24 Accounts receivable cut-off Required (a) Find the details of the transactions selected for cut-off tests. Why would these transactions be selected for testing?
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Solutions manual to accompany Auditing: a practical approach 2e
(b) Explain how the auditor has used documents to test the details of the transactions. Why are these documents relevant to the tests? (c) Have any errors or misstatements been revealed by the cut-off tests in this example? a) To test for cut-off assertion, the sales transaction occurring at around the period end (immediately before and after the end of financial year) are inspected to test if they are recorded in the correct period. These transactions are selected because they are shown as sales in December and January respectively. The auditor tests the transaction against the source documents (i.e. invoice and shipping documents) to verify that the sales revenue (debit account receivable, credit sales for each transaction) is recorded in the correct financial year as supported by its source document. b) The documents used by the auditor to test the transaction are invoices and shipping documents. The invoice is sent to the customer and shows the amount recorded as the sale (with debit to account receivable for the customer) on the date of the invoice. The sale is not recorded until the goods are delivered. The auditor also checks the shipping document for evidence that the goods are delivered before the invoice is raised and the sale recorded. The documents are evidence that the accounting entries are correct. c) No errors are found in this test. (See ‘yes’ in the column ‘recorded in the proper period?’
10.25 Inventory valuation Required (a) Why does an auditor test for NRV? (b) Find the details of the inventory items selected for NRV testing. What is a ‘key item’? Explain how the auditor has decided whether or not the inventory items should be shown at NRV or cost. (c) Are any inventory items to be written down to NRV in this example? If so, by how much? (a) An auditor tests for NRV (net realisable value) because the accounting standards (AASB 102 Inventories) require inventory items to be measured and disclosed at the lower of cost and NRV. (b) A ‘key item’ in this context is an inventory item that has a major effect on the total inventory balance. The ‘switches’ are a key item because there are 2000 in stock, with a total stock value of 10,000. The other items selected for testing are also listed. The auditor has taken a representative sample of each of these to determine if they are fairly priced. The auditor tests the selling price less distribution costs against the unit price (cost). For example, for ‘covers’ the unit price is 15, the selling price is 45, less distribution costs of 1. This means that the item’s cost is below NRV. (c) One item has an NRV below cost. Routers have a unit cost of 540, and there are 25 items in stock, giving a total value at cost of 13,500. In this case, the
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selling price is only 420. The total variance (difference) is 121, including the cost of distribution shown in column ‘Distribution costs’. Therefore, the routers have a NRV below cost. The total inventory should be written down by 3,025. Note ‘A’ in the comments shows that the amount for the obsolescence or write-down of the routers is included with other stock items, and that the amount was correctly provided for by the client.
10.26 PPE additions and disposals Required (a) What assertions are relevant to additions and disposals of PPE? (b) Find the details of the additions. Explain the difference between the two items, particularly with respect to depreciation. (c) Find the details of the disposal. How much was the gain on sale? Why is the auditor interested in the amount of the gain (explain the comment by the auditor about the disposal in the working paper)? (a) Additions and disposals are directly linked to the PPE asset account, so evidence on the assertions for additions and disposals is also relevant to the asset account. For key assertions relating to additions to PPE: • • • • •
Occurrence (additions which are recorded during the period are PPE acquired during the period), Cut-off (additions are recorded in the correct period) Classification (additions are recorded at the correct asset (PPE) account). Completeness (additions that occurred during the period have been included or recorded) Accuracy (additions are correctly journalised or posted )
For key assertions relating to disposals to PPE: • Occurrence (disposals which are recorded during the period are PPE disposed during the period • Cut-off (disposals are recorded in the correct period) • Classification & Understandability (disposals are recorded in the correct account and disclosed in the financial report) • Completeness (disposals that occurred during the period have been included or recorded) • Accuracy ( disposals are correctly journalised or posted ) (b) The additions relate to the purchase of a new delivery van and work on an asset under construction. The asset under construction will not be depreciated until it is ready for use, however, the depreciation of delivery van commences from its purchase date.
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(c) The disposal relates to a delivery van. It had a gross book value of 350 and an accumulated depreciation of 280 which left a net book value equal to 70. If the selling price was 75, this made a gain on disposal of 5. The auditor has made a note that the gain on disposal of the van is not material. This is relevant because as the note suggests, it provides evidence that the company is using a reasonable depreciation rate. Therefore, the auditor is confident that the depreciation expense is not understated nor overstated for the period.
10.27 Payables Required (a) Explain the nature of the test being documented in the working paper. (b) Compare the information for the current year with the details for the prior year. Do you agree with the auditor’s conclusion? Why? (a) The working paper is the lead schedule for payables. It shows the following information: • Pre-adjusted balances for both trade payables and other payables • Comparison between the current years pre-adjusted amount with the prior year amount. • Variance amount which is the difference between the pre-adjusted amount(2014) and the prior year amount (2013) • Variance expressed as a percentage. • ‘TB’ stands for the trial balance • ‘PY’ is for the previous year. The tests are at a high level, i.e. comparisons of balances, rather than details of transactions or vouching of balances. The working papers, linked to the lead schedule, contain details of other tests. In step 3, the auditor shows the calculated average payment period, which also provides an overview of the reasonableness of the payables. (b) The auditor has concluded that the payables balances are reasonable because they are consistent with previous period and in line with expectations. The expectations are that the payables balances and creditors days will not vary due to the nature of the client’s business and the stability of the markets in which it operates. The auditor has concluded that a 23% change in trade payables is reasonable. This would need to be considered in the context of other information for the client.
10.28 Designing audit procedures for cash Required (a) Advise Julie about the controls over cash that should be maintained by Onslow. (b) Assuming these controls are present and operating effectively, suggest the appropriate substantive procedures for Onslow’s cash balance.
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(a)
• • • • • • •
Controls should include: Separate bank deposit books and cheque books for each cash account Bank reconciliations for each bank account Segregation of duties – banking, reconciliations, cheque authorisation, posting to customer ledger accounts, and segregation of these duties from staff performing tenancy search and management services Accountability/reconciliation of numerical sequence of all forms (cheques, deposits, vouchers) Mail opening procedures (for any amounts received by post) – two people, listing, reconciliation with bank deposits Supervision of customer ledger postings Specific procedures for dealing with trust account – additional authorisation procedures
(b) Cash is a significant account balance for this business Substantive procedures include: • Bank confirmations of all bank accounts & liens • Testing bank reconciliations • Confirm signatures on cheques for correct authorisation • Testing cut-off for cheques remitted to customers (reconcile with customer accounts) and transfers between cash accounts (especially to ensure that withdrawals and deposits for account transfers are recognised on the same day) • Correlate cash receipts and cheques to movements in customer accounts • Compare paid cheques and supporting documents with cash payments ledger – confirm dates, payees, amounts, account classifications, and cancelling of supporting documents • Compare entries in cash payments ledger with paid cheques and supporting documents to confirm dates, payees, amounts, account classifications, and cancelling of supporting documents • Compare entries in cash receipts ledger and supporting documents to tenants accounts • Test calculations of commission before remittance of rental payments to landlord customer • Investigate for any unusual delays in remitting rental payments to landlord customers • Test mathematical accuracy of cash receipts, cash payments ledger • Test supervision reports for evidence of timely review, authorisation, and evidence of follow-up of differences
10.29 Valuation of PPE, additions and disposals Required (a) Explain the implications of ‘mothballing’ for auditing PPE. (b) Design the audit procedures for PPE for Metalinc NL. Discuss the audit risks and their effect on your approach.
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(a) Mothballing is a process of removing PPE from active use and making it safe for storage until it is required again. Some equipment requires modification for storage (draining fuel, removing parts), and must be stored under cover. Other equipment can be stored in a safe external environment. In some cases, a caretaker is employed to ensure that conditions remain safe. The implication for auditing is to consider whether there are sufficient controls over the safety of equipment such that its existence and value are protected. Are the measures in place going to protect the equipment from damage or theft? Are disposals correctly recorded during this period? How will an auditor physically sight assets that are mothballed at a remote mine site? There would be questions over the equipment’s valuation – should asset impairment be recognised in the accounts to reflect the cost of restoring the equipment to production? Should depreciation continue to be charged if the asset is idle? Are rights and obligations for the assets protected – what duties do the lease contracts or lending contracts impose upon the client? (b) The mothballing process would require the auditor to reconsider the controls over PPE because conditions are changing significantly. If a substantive approach is adopted, the auditor would inspect documents authorising the process. In addition, the following procedures could be adopted: • Test assumptions underlying PPE valuation and impairment charges and review charges for reasonableness • Test mathematical accuracy of any depreciation charges for the period • Inspect mothballed assets • Review cash receipts journal for evidence of PPE disposals • Examine underlying documents for any asset acquisitions during the period • Review repairs and maintenance account for reasonableness in the new conditions • Review tax returns for claims relating to mothballing assets • Review board meeting minutes and any relevant legal documents for authorisation of mothballing assets • Examine financing contracts and consider the reasonableness of the client’s actions with respect to any duties for safe handling of assets • Inquire of management about plans for continuing mothballing or reassigning assets to other locations
10.30 Inventory Required (a) What controls would you expect to see over inventory movements at the local store level and the central office? (b) Explain how you would audit the stocktake for Brompton Hardware. What details would you focus on most? (a)
• •
Controls at the local store level include: Locked doors to store and to any warehouse area Receiving documents when goods are received from the supplier
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• • • •
Any discrepancies in deliveries are reported to the central office for backorder Electronic tills record stock items and update store stock records Cyclical stocktakes reconciled to store stock records Obsolete, damaged, impaired stock is identified promptly
Controls at the central office include: • Purchase orders are placed with approved suppliers • Invoices from suppliers are not paid until local store receiving reports are reconciled with purchase order and supplier invoice – quantities and prices for each unit, and overall accuracy of invoice is verified (quantities and prices total correctly) – vouchers are prepared before payment • Invoice payment is authorised by a senior staff member who does not participate in placing purchase orders • Stock records are reconciled to the store level stock records (b) Brompton conducts cyclical stocktakes during the year at each store location. Therefore, the auditor would substantiate a sample of these stocktakes. The auditor would observe the stocktake to establish that • the client’s personnel are complying with the instructions for taking the counts • items belong to the client, and those the client is responsible for, are accurately counted and recorded • items to be excluded from the inventory count (such as those with no value or belonging to others) are either subject to satisfactory control and excluded • count tags, sheets, or cards are properly controlled. The auditor would also perform test counts of the client’s counts (from tags to items, and from items to tags), and trace the tags to the inventory records (including treatment of unused, voided etc. tags) The auditor would inspect documents for receiving and any transfer between stores, to establish the numbers of the last documents used and other information required for cut-off of inventory movements in accounting records. The auditor would also perform procedures to verify inventory valuation. This would include identification of obsolete, slow-moving, damaged items. Inventory records would be inspected for evidence of correct pricing and record of cost of goods sold. Analytical procedures would compare physical item numbers and pricing, compared with previous periods, comparisons across stores (by month, product line).
10.31 Payables cut-off testing Required (a) Which assertions are most at risk for accounts payable at Hyde Ltd? Explain. (b) What is ‘subsequent payments’ testing? How would you select the transactions to examine? (c) How does cut-off testing differ from subsequent payments testing?
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(a) In general, the key assertions for payables are usually completeness and valuation and allocation. This is because the bigger risk is that the client has omitted amounts from the balance, which is then understated. For Hyde Ltd, the disruption in the accounts department has increased the risk for all assertions because there is an increased risk of mistake and error. The disruption also means that former systems of segregation of duties (such as preparation of cheques for payment and updating suppliers' ledgers) will not be as effective because some staff are required to perform additional duties. The lack of control increases the risk of individual fraud, creating the risk that accounts payable are not valid (existence assertion) because personal expenses are being treated as business expenses. (b) Payments made after the year-end are evidence of an amount owing by the client to another party. Subsequent payments testing is the process of vouching sample of payments made after year-end to supporting invoices. The purpose of the test is to ensure that if the date of the invoice relates to the period prior to year-end, the payable is shown in the accounts at year-end. The auditor would select a sample of payments made after year-end. If the key assertions at risk are valuation and allocation and completeness, the auditor is most concerned about large payables that are not included in the accounts payable balance at year-end. This would suggest that large payments are more likely to be selected. In addition, the closer the date of payment to year-end, the more likely that the amount owed at year-end, so these are more likely to be selected. The auditor might also select payments to suppliers that were not included in the list of accounts payable at year-end, or suppliers that are new to the client. (c) Cut-off testing is establishing the last valid transaction (using document numbers) in the current financial year and testing transactions with lower document numbers to ensure that they are included in the current financial year, and transactions with higher document numbers to ensure that they are included in the next financial year. The testing is not confined to cash payments; cut-off testing can include any transaction, such as inventory transfers, supplier and customer invoices, cash receipts and payments etc. In the accounts payable area, the auditor would focus on a sample of purchases, and a sample of purchase returns, either side of the reporting date to ensure they are being processed in the correct accounting period.
10.32 Substantive testing of inventory Required (a) What inventory items would you expect to see in Securimax’s accounts? How would the cost of each item be calculated? (b) Suggest some substantive procedures that you would use in the audit of inventory for Securimax. Justify your choices with respect to the risk assessment. (a) Securimax is a manufacturer so it would hold inventory in the form of raw materials (RM), work-in-process (WIP), and finished goods (FG). Depending on the
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nature of waste and damage to vehicles in production and the value of these items, there could be another inventory category to represent these items. RM would be held at the purchase price, or net realisable value if purchase price overstated the NRV. WIP would be held at the cost of production. The manufacturing costing system would be used to calculate costs of RM, labour and machinery time, and overheads applicable to each unit based on its degree of completion. The ‘Terrain Master’ product is likely to be completed on a batch basis; that is, different government clients are likely to order the vehicle with different specifications. Each specification type would have a different manufacturing cost representing the different components, labour and machinery time, and overhead used in production. FG would be held at the lower of cost of production and NRV. Any damaged or waste items would be held at NRV. (b) The key risk assertions for Securimax’s inventory are valuation and allocation and existence. In addition, complex sales agreements could mean that the rights and obligations assertion is at risk if ownership of the vehicles passes to the buyer at an early stage of production (this issue would be determined by reading the sales contracts). Existence would be tested by sighting a sample of inventory. Valuation and allocation is the most difficult to audit because of the complexity of valuation of WIP and FG. The installation of a new product costing system means that the auditor does not have assurance about the controls over inventory costing based on prior year audit evidence. The products are highly specialised and sophisticated and there would be numerous assumptions embedded into the decisions about cost allocation of RM, labour and machinery hours and overheads to individual products. Substantive procedures would include: • Testing of RM costing through comparison of purchase requisitions, purchase orders, receiving documents, and vendors’ invoices • Testing of posting of purchases, production transfers to the inventory records • Testing of recording of inventory movements to the general ledger accounts • Test mathematical accuracy of invoices, purchases register • Test timely recording of purchases to purchase order register, invoices to creditors ledger • Test physical stocktake of RM, WIP, FG, and waste inventories • Perform test counts and trace client count documents (inventory tags, sheets) to inventory records and general ledger. • Vouch general ledger and inventory records to underlying client count documents and purchase documents, inventory transfer documents • Perform cut-off procedures around inventory purchases, transfers • Test valuation of inventory through analytical procedures (e.g. analyse turnover, units produced and sold with RM, WIP, FG movements and balances) • Review reconciliation of physical inventory counts with general ledger and inventory records
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• • • • • • •
Investigate large and unusual differences Compare manufacturing budgets with actual, investigate differences Assess reasonableness of assumptions underlying standard costing used Compare current period labour and machinery usage with previous year s and investigate any unusual fluctuations Inspect waste, damage items Review minutes for discussion of waste, difficulties with customer orders etc. Compare cost assigned to RM, WIP, FG, waste with NRV
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10.33 Substantive testing of PPE Required (a) What is the key assertion at risk for the PPE additions? Why is it at risk? Explain. (b) Identify the relevant substantive tests of details that would be appropriate to address the assertion at risk identified in (a) above. (c) How would your answers to the previous questions change if the PPE additions have been manufactured in-house by FH’s engineers and toolmakers, rather than purchased? (a) An increase in PPE acquisitions suggests that the risk would be related to overstatement of PPE (existence and valuation and allocation assertions). The analytical procedures have detected a fluctuation which could be explained by the large investment in a new manufacturing process. The auditor needs to consider if the increase is consistent with this investment. It is possible, for example, that old equipment is being disposed of and the overall balance of PPE is not excessive. The acquisitions need to be assessed for their appropriate valuation in the accounts. Are the acquisition costs to be treated as capital, or are there costs associated with the acquisitions that should be expensed? Is any part of the cost of purchase to be written off as an impairment charge to recognise the recoverable value? Another assertion that is at risk when there are increased PPE acquisitions is rights and obligations. Are the new acquisitions being purchased or are they being acquired under lease or other forms of finance? Are there additional disclosures required to recognise these financing arrangements? (b)
• • • • • • • •
Substantive tests of details that would be appropriate include: Recalculation of new depreciation charges, consideration of underlying assumptions of useful life, residual value etc. (V&A) Inspect authorisations for acquisitions (R&O) Examine cash payments, invoices for new acquisitions (V&A) Compare actual costs with authorised costs (E, V&A) Inspect assets (E) and vouch entries in fixed asset register (E) Test mathematical accuracy of fixed asset register (V&A) Review documents relating to finance for fixed asset acquisitions (R&O, V&A), evidence of ownership (R&O) and review financial report disclosures (C&U) Consider likelihood of continued production using new assets (V&A)
(c) If the PPE additions have been manufactured in-house the auditor should focus on the process of assigning costs to the assets. Therefore, instead of reviewing documents relating to evidence of ownership of the asset or its purchase, the auditor would focus on testing the data and assumptions supporting the manufacturing cost allocations. The auditor would still be concerned with gathering evidence to support the existence and valuation and allocation assertions.
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10.34 Debtors confirmation Required (a) Explain the potential impact of the change in credit terms on the accounts and the associated audit risk. (b) What changes to the audit program for debtors would you recommend this year given the change in credit terms? (c) How would you select a sample of Albert’s debtors for debtors’ confirmation letters? (a) Potential impact of the change in credit terms Below is a table showing the previous credit terms, new credit terms and impact of change in credit policy or terms. Previous Credit Terms Albert require deposit from retailers
security smaller
New Credit Terms
Potential Impact of Change in Credit Policy No security deposit require No easy way to recover for new retailers debt because there is no security deposit from retailers which can be taken if the account is not paid when due “ no change from previous No impact credit terms”
For new retailers, no credit given prior to performing credit checks 7 days payment terms for 30 days payment terms large retailer large retailer
7 days payment terms for 30 days payment terms smaller retailers smaller retailer
Account becomes only in arrears after 30 days which creates doubt in recoverability Additional time increases the likelihood of full amount not being recovered
The change in credit terms means that there are less strict controls over accounts receivable (debtors), consequently, increasing control risk. The valuation and allocation assertion for debtors is at greater risk because there is a risk that gross receivables may not be properly stated with appropriate allowances provided for uncollectible amounts (amounts owed from its customers that may not be paid in full or not paid all) Existence assertion for debtors account may also be at risk. Through positive confirmation from selected customers, the auditor will be able to ensure that all receivables on the balance sheet are real claims of Albert (b) The change in credit terms should be recognised in the audit program for debtors by performing some additional control testing and additional substantive testing and analytical procedures Additional control testing can be carried out to test the reliability and effectiveness of the new policy on credit terms. Some form of observation or inspection of whether credit checks are still being performed to both
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large and small debtors prior to approving any credit sale after the change in credit terms has been implemented Additional substantive testing is required to assess the valuation and allocation assertion and the existence assertion and may include the following procedures: • Positive confirmation of debtors (more samples from debtors with larger receivables balance ) • Examination of significant new accounts created near the year end to verify validity of accounts receivable • Examination of substantive cash receipt , and shipping records to verify validity of accounts receivable as at year end • Vouching of invoices remaining in debtors’ balances at year-end to underlying source documentation • Reading of correspondence with debtors, including attempts to recover debts that are paid late and any disputes relating to product quality
Analytical procedures • Analysis of new debtors accounts focussing on history of making timely payments • Comparing of the current period’s sales returns and discounts as percentage of sales with the previous period percentages • Comparing the current number and amounts of sales credit notes issued with those of the previous period (prior to new credit term policy) • Comparing the current period’s accounts receivable turnover and number of days sales outstanding with prior period( prior to changing credit terms policy) • Comparing allowance for doubtful debt as a percentage of receivables and sales amount of previous year to current year (underlying assumptions is a likely increase because of a more relax credit terms policy compared to previous year) • Comparing current period’s receivables as a percentage of sales with the prior period’s percentage ( considering reasonableness of current period percentage in relation to the new credit terms policy )
Other general audit procedures • Review evidence or gather information about credit worthiness for large new accounts (c) As per Para 28 GS016 (Bank Confirmation Request), the auditor may determine the bank confirmation to be confirmed and select the appropriate confirming parties (debtors). One of the methods of how appropriate confirming parties are selected for bank confirmation is to analyse the assertions made by the entity in the financial report being audited ( see Para 28b GS016) Samples of debtors for confirmation should be focussed and taken from those with greater risk of misstatement. In this particular audit engagement, the auditor has identified that valuation and allocation and existence are the assertions which are at most risk because of the
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impact of the change of policy on credit terms. The auditor should select samples of confirming parties (debtors) which have the following characteristics: • Large accounts receivables balances at year-end • Smaller accounts balances which maybe be doubtful • New customers with large accounts receivables balances( those attracted by the new relaxed credit terms are more likely to have difficulty paying accounts)
10.35 Accounts receivable ledger Required (a) Help Victoria explain to her audit assistants the reasons why they must account for the numerical sequence of sales invoices, credit (sales returns) memos, sales orders and shipping documents. (b) One of the audit assistants is checking credit memos. The task is to compare the credit memo and supporting documents with the entries to debtors for sales returns and allowances as to dates, customers, products, quantities, prices and amounts. He checks all memos with dates of up to and including 30 June (year-end) and reports that he finds nothing unusual. Why would Victoria send the assistant back to examine credit memos with July dates? Explain. (c) Why is it important for Victoria to undertake some procedures herself, such as reviewing the accounts for unusual items, instead of assigning the tasks to the assistants? What types of things would she be looking for when performing these procedures? What other procedures would be best performed by a more senior auditor? (a) Internally generated documents are often numbered consecutively. The numbers provide a convenient reference for the audit trail. For example, the sales invoice number is used to identify the document underlying the transaction entered into the sales journal. In addition, a missing number(s) reveals a document has been omitted from the records, or duplicated numbers reveal that a document has been entered twice in the records. The control is stronger if the numbers are pre-printed on the forms or automatically numbered in sequence by the software program when the invoice is generated. This will prevent from duplication. For example, when sales invoices are entered consecutively in the sales journal and a number appears twice, there is an error because two valid invoices cannot have the same number. If the sales invoices in the sales journal omit a number, the original document should be accounted for (i.e. the document is cancelled and filed in a cancelled document file). The numerical sequence is also useful for testing cut-off assertion. The auditor should establish the last valid number for the current financial year and ensure that all documents for previous numbers are recorded in the current year, and all subsequent numbered documents are recorded in the next financial year.
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All documents mentioned are internally generated documents and should be preprinted on forms which are completed manually or pre-numbered by the computer software when the electronic form is generated. (b) Credit memos are the documentary basis for a credit to debtors and a corresponding debit to sales returns and allowances. These adjustments result in a decrease in debtor’s balances, increase in expense or decrease in revenue. The effect of this reverses a recorded sale. The greater audit risk for debtors and sales relates to their overstatement, thus the auditors are particularly interested in any evidence of an invalid recorded sale. Victoria would ensure that credit adjustment resulting from credits to debtors and debits to sales returns and allowance are made following the year-end to reverse invalid sales recorded in the current financial year. These reversals could be posted after year-end (perhaps the month after year end which is July) Therefore, evidence about the validity of sales returns in July will also provide evidence about the validity of sales prior to year-end. (c) Victoria would undertake some substantive testing herself due to the following reasons: • Audit assistants are inexperienced and less likely to detect ‘unusual’ relationships because they are not familiar and • Lack the experience of identifying with what are ‘usual’ and “unusual” items. • In some cases, a lack of fluctuation in an account raises more doubts than a fluctuation because other evidence suggests that the account balance should be different. • A more senior or experienced auditor would have a better understanding of how non-financial information relates to financial data. Other tasks usually performed by more senior auditors would be: • interviewing senior client personnel, including directors to obtain access to confidential documents and board meeting minutes. A junior auditor may have difficulty understanding discussions regarding corporate governance matters • communicating with external parties such as solicitors about complex matters • making judgement estimates, such as the provision for doubtful debts • speaking to experts about valuations • auditing complex accounts, such as derivatives, • auditing disclosures such as related parties, • reading contracts between the client and its customers/suppliers/employees • reading contracts for leasing of PPE.
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10.369 Debtors’ confirmations (a) Explain how you would select the sample of debtors for confirmation. (b) Only one in four of the debtors’ confirmations are returned. Explain the additional audit procedures you could carry out in order to provide sufficient appropriate audit evidence on the trade receivables balance for the existence assertion. (a) The key assertions at risk are existence and valuation and allocation. Confirmation addresses the existence assertion. This indicates that it will be most useful to confirm large debtors, as these are more likely to be overstated than small debtors. However, a large number of small debtors that do not exist could also result in a large overstatement. Debtors that have been outstanding for a longer period of time are more likely than new debtors to be invalid, suggesting that older debtors should also be targeted for confirmation. Stratify the sample. Choose a sample of large debtors (select all five large debtors and a sample of the group with moderate balances) and a sample of older debtors (outstanding for more than 60 days) for confirmation. Take smaller samples from the remaining group of debtors. Also send confirmations to new accounts with significant balances or accounts with significantly different balances or activity from previous periods. (b) Any non-responses should be investigated through other procedures. For example, subsequent receipts testing would provide evidence of payment. Other procedures for the non-responses: • Trace entries in the debtors balance to the underlying documents, including invoices; agree dates, customer, services, amounts • Test mathematical accuracy of the debtors accounts • Examine any allowances to the debtor’s accounts in the subsequent period. Test for authorisation of discounts or credits. • Examine any invoices issued to these customers in the subsequent period to verify the validity of these accounts • Test cut-off for these accounts by inspecting invoices and other supporting documents before and after cut-off date • Examine the adequacy of the provision for doubtful debts for these accounts
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10.37 Payables’ confirmations (a) Would you use payables’ confirmations? Explain. (b) Provide a list of substantive procedures that would address the completeness and valuation assertions for each account. (a) The biggest risk for payables is that it is understated. Sending confirmation requests to large accounts payable balances shown in the accounts does not address the risk of understatement. The auditor should focus on the completeness assertion and the valuation and allocation assertion. (b)
• • • • • • • • • • • • • •
Substantive procedures include: Test cut-off for cash payments at year-end Account for numerical sequence of cheques issued Compare paid cheques with supporting documents for accounts payable Trace from purchase register and creditors’ sub-ledger to general ledger Examine subsequent payments to detect unrecorded accounts payable at yearend Search for invoices held but not yet recorded in accounts payable ledger Test mathematical accuracy of creditors ledger Compare accounts payable balances with previous years and investigate any missing from current period list or those with substantially lower balances or differences in ageing Compare number of days purchases in accounts payable with prior years Read directors meeting minutes for authorisation of loans between the client and banks or its directors, pledges or mortgages Perform bank confirmation and request solicitor representation letter Test mathematical accuracy of accruals Review debit memos or purchases allowance after year-end Compare payroll expense and provisions with previous years
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RESEARCH QUESTION Required Discuss the implications for auditors of these accounting standard changes and the associated questioning of the use of fair values in financial accounting. In particular, you should address the following issues in your answer: • How do auditors audit fair values? • Would it be easier for auditors if financial reports contained more or less fair value accounting? • Are there different implications for auditors when fair values are rising versus when they are falling? The guidelines for auditing fair values are contained in ASA 540 Auditing accounting estimates, including fair value accounting estimates and related disclosures (ISA 540). ASA 540 (ISA 540) discusses the requirements for auditing accounting estimates, including fair value accounting estimates and related disclosures. The standard requires the auditor to obtain sufficient appropriate evidence about whether the estimates are reasonable. The auditor should assess how management makes the relevant accounting estimates and should also understand the data on which the estimates are based. The auditor would consider the relevant controls and whether external experts have been used. The auditor should determine whether the management has appropriately applied the relevant accounting standards, and whether the estimates have been made consistently and appropriately. The procedures used by the auditor include testing the method and data, and the reasonableness of the underlying assumptions. The auditor should also develop an estimate to compare with management’s estimate. ASA 540 recognises that greater uncertainty exists for some estimates, and management could be more biased under some conditions. In some cases, the estimation uncertainly is so high that a reasonable accounting estimate cannot be made. This could be dealt with by additional disclosure of the range of the estimate and the uncertainty associated with them. The student should consider: • The factors that make fair value estimates difficult to audit and compare those with the factors that make other accounting balances and disclosures difficult to audit. • The benefit to financial report users of fair value disclosures in a time of uncertainty and the perceived cost to auditors of making mistakes when auditing estimates • Relevant press reports of problem cases e.g. fair value accounting during the global financial crisis when it was claimed that markets for some assets were not functioning, or rapidly changing market conditions • ASIC inspection report from 2011-2012 contains key conclusions about the inadequacy of impairment testing and fair value measurements in some audits in an environment of global economic uncertainty
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Case Study Cloud 9 Based on your ORA and DR estimates, design substantive audit procedures for Cloud 9 Pty Ltd that would address the DR for the accounts: (1) Accounts Receivable (do not include the Allowance for Doubtful Debts), and (2) Cash. Solution – includes solutions for chapters 10 and 11 1. Complete the table to determine the Combined Risk Assessment and acceptable Detection Risk. Account Assertion Sales – Occurrence
IR High
CR Medium
ORA Higher
DR Lower
Sales - Completeness
Low
Low
Lowest
Highest
A/R – Existence
Medium
Medium
Medium
Medium
A/R - Completeness
Low
Low
Lowest
Highest
Cash – Existence
High
Low
Medium
Medium
Cash – Completeness
Low
Low
Lowest
Highest
2. Design substantive audit procedures for the three accounts – Cash, Accounts Receivable (do not include the Allowance for Doubtful Debts), and Sales - that would address the detection risk of each account. When determining testing thresholds for your detail procedures, consider using a percentage of PM that best reflects the relationship to the detection risk – i.e. if DR is high, the % of PM should be high. NOTE: The percentages used to determine testing thresholds are based on the auditor’s professional judgment. Students do not have to have the same percentages, but should demonstrate an understanding of the relationship between DR and the threshold.
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Solutions manual to accompany Auditing: a practical approach 2e
Assertions E V C R&O P&D Cash 1 Bank Confirmations:
X X X
X
X
X
X
Obtain bank confirmations for all accounts, including the accounts closed during the year to confirm the relationship with the bank including contingencies, liens, pledges, restrictions on the client´s assets, guaranteed amounts etc. 2 Analytical Review:
X X X
Compare the listing of cash accounts with those of prior periods and investigate any unexpected changes (e.g., credit balances, unusual large balances, new accounts, closed accounts) or the absence of expected changes. 3 Bank Reconciliations:
X X X
Examine the client's bank reconciliation as of year-end, including cash-in-transit accounts, to verify the proper reconciliation of bank statements and general ledger accounts. (a) Trace the bank balance to the confirmation. (b) Trace the book balance to the general ledger. (c) Test the clerical accuracy of the reconciliation. (d) For those greater than 80% PM, test deposits in transit and selected outstanding checks by tracing from the bank reconciliations to the cutoff bank statement (or subsequent month's bank statement) and vice versa. (e) Review the nature and extent of other reconciling items for reasonableness and investigate any large (> 80% PM) or unusual reconciling items. 4 Cash cut-off:
X
X
Test cut-off of cash receipts and cash disbursements for transfers between different bank accounts at the balance sheet date. (a) Obtain or prepare a schedule of bank transfers made in the 5 days before and after year end. For those greater than 80% PM, trace to the bank statements. 5 Cash Reconciliation:
X X X
Examine the client's year-end reconciliation of physical cash on hand to cash accounts balances in the books. Investigate large (> 80% PM) or unusual reconciling items and determine the proper revenue recognition. 6 Valuation of coupons and vouchers:
X X
Test that coupons, gift vouchers, and tokens at year end closing are carried in accordance with the client's accounting policies or applicable financial reporting framework and determine
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appropriate revenue recognition. Assertions E V C R&O P&D Accounts Receivable trade 1 Agreement of sub-ledger with general ledger:
X
X
Agree receivables sub-ledger to the general ledger and investigate large (> 80% PM) and unusual reconciling items. 2 Analytical review:
X X X
X
Compare the aged listing of accounts receivable with those of prior periods and note any significant changes (e.g., changes in major customers, in major customers’ balances in the percentage of overdue accounts, in the proportion of credit balances). Obtain explanations for unexpected changes. 3 Confirmations and subsequent cash receipts:
X X
X
X
Verify the existence of accounts receivable trade through confirmation or subsequent cash receipts or a combination of those procedures. (a) Select customer account balances greater than 50% PM to prepare and send positive confirmations of year end balances. (b) For confirmation requests for which no reply is received, vouch customer account balance through cash receipts received after year end. If amounts still remain untested, then vouch to the supporting invoice and dispatch note. 4 Accounts receivable cut-off:
X
X
X
X
Inspect sales register, billings, shipping documents and other supporting documents 5 days before and 5 days after the yearend date. Select those transactions greater than 80% PM and verify that the sales were recorded in the proper period. 5 Credit balances and unusual items: Inquire about or review list of credit balances and investigate large items. 6 Allowance for returned goods:
X X X
Evaluate significant assumptions made regarding the frequency/ percentage of goods returned for which refunds are given and verify mathematical correctness of respective allowance. 7 Credit (card) fraud:
X X
Consider the risks arising from fraudulent credit card use and other credit payment options to assess the need to provide for such losses.
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X
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O
Assertions A C P&D
X
X
Revenue / Sales 1
Analytical review: Perform an analytical review and investigate any significant changes or lack of expected changes
2
Analytical review of gross margin:
X
X
X
Review the monthly/quarterly trading results to gain an understanding of the trends relating to gross margin by major product groups/ geographical areas/ income generating units. Investigate unusual discrepancies, trends and relationships. 3
Revenue recognition procedures:
X
Test recorded sales invoices to the records of products shipped; agree dates, customers, products, quantities, prices and amounts. Select the sample so as to ensure at least 25% of the revenue balance has been tested. 4
Sales cutoff:
X
X
Refer to work performed in Accounts Receivable 5
Credit memos:
X
X
Investigate large or unusual credit memos issued subsequent to year end. Co-ordinate with the work performed in Accounts Receivable
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X
Solutions Manual to accompany
Auditing: a practical approach 2nd edition by Jane Hamilton CHAPTER 11 Substantive testing and income statement accounts
© John Wiley & Sons Australia, Ltd 2013
Solutions manual to accompany Auditing: a practical approach 2e
Chapter 11 – Substantive testing and income statement accounts REVIEW QUESTIONS 11.11 How do the key differences between balance sheet accounts and income statement accounts affect the nature, timing and extent of substantive testing of each? Balance sheet accounts are ‘permanent’ and their balance is carried forward from one period to the next. Income statement accounts are ‘temporary’ and their balance is closed to the income account at the end of each financial year. Therefore, the audit work done in one year on a balance sheet account carries forward to the next year, but the audit work done in one year on an income statement account does not. Another difference is that income accounts typically comprise many transactions of the same type and are usually exclusively either debit or credit (except for closing or adjusting entries. Balance sheet accounts may contain very few entries, but they could be both debits and credits and the transactions could be made up of several different types of transactions. This means that controls over income statement accounts typically are designed to control the regular type of transaction, but controls are not usually so standardised for balance sheet accounts. The balances of payables and receivables (balance sheet accounts) are typically made up of the purchases, expenses, and revenue transactions from the last 30 or 60 days. Income accounts, such as sales, purchases, and other revenues and expenses, comprise the transactions from the entire year. Audit testing needs to take all these factors into account. The focus for substantive testing for income statements is on testing the assertions for a year of transactions, which are relatively regular and predictable. Analytical procedures are useful for this type of auditing because of the predictable patterns between the revenue and expense accounts, and between them other measures of activity. Analytical procedures are more likely to be chosen as the type (nature) of substantive testing for income accounts than for balance sheet accounts. This is supplemented with some tests of details, such as vouching back to underlying documentation. Timing of substantive procedures for income accounts can be done during interim periods, to confirm relationships, although cut-off testing is done around year-end. The extent of substantive testing is usually less for income accounts relative to the number of transactions because of a greater reliance on control testing.
11.12 What are the most important assertions for sales revenue? Compare these with the most important assertions for other revenue. Are they different? Explain.
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Chapter 11: Substantive testing and income statement accounts
The most important assertions for sales revenue are occurrence, accuracy and cut-off. Occurrence relates to the fact that the sale actually occurred. It is important to gather evidence that revenue recognition has taken place at an appropriate point in the sales cycle. Accuracy means that the sale has been recorded at the correct amount and not overstated. Cut-off means that the sale is recorded in the correct accounting period. Sales revenue could be related to goods or services sold. If the revenue is derived from selling services the auditor has to gather evidence on whether the service has actually been delivered to and received by the customer. In the case of projects with progress billings, the auditor has to test the percentage of completion for the project in order to determine the appropriate amount of revenue to be recognised for the period. The important assertions for service revenue are also occurrence, accuracy and cutoff. Other revenue items include interest or dividend income. These can be substantiated using analytical procedures, bank statements and dividend statements. Once again, the same assertions are important for these revenue items even though the substantive procedures vary.
11.13 Explain the techniques clients might deliberately use to violate the cut-off assertion because of pressure to meet sales targets. How might an auditor detect these actions? The cut-off assertion relates to recording revenues and expenses in the correct accounting period. The date that revenue is earned or the expense incurred determines the appropriate accounting period, not the date the item is recorded in the accounts. Deliberate violation of the cut-off assertion could occur in order to meet a sales target. If the client’s revenue is below the target revenue, staff could backdate sales invoices issued in the early part of the next accounting period to the previous accounting period. Alternatively, if revenue is above target, staff could postdate the sales invoices to move them to the next accounting period to help reach that period’s targets. The auditor could determine the last valid sale of the accounting period and test invoices with dates either side of the last valid sale for the date entered into the accounting records. The auditor would inspect the sales ledger, billings, shipping documents and other supporting documents immediately before and after the cut-off date of revenue with cut-offs in other areas, for example, accounts receivable and inventory.
11.14 Why is substantive testing of the processes impacting sales revenue usually kept to a minimum? How does the auditor gain sufficient assurance about these processes? The processes impacting sales revenue are cash receipts, sales, and sales returns and allowances. The extent of substantive testing of the processes impacting sales revenue is determined by the risk assessment for those processes. If controls over these processes are assessed as likely to be strong, it is preferable to test the controls and supplement the evidence with high level analytical procedures. If controls are strong,
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apart from test of control and analytical procedures, minimal substantive testing will also be carried out. However, if controls are likely to be ineffective or it is more efficient to test the balances substantively, the auditor would rely more heavily on substantive testing. The auditor gains sufficient assurance about the processes from the control testing. If there are any remaining detection risks, the auditor uses additional substantive tests of the processes and sales revenue.
11.15 Auditors often use client budgets for revenue and expenses as part of their substantive testing. Explain how and why this is done. Client budgets for revenue and expenses are prepared by the client for internal use. They are used to control expenses and motivate staff to achieve targets. They contain the client’s predictions and are used by the client to assess performance and investigate differences. They are useful to the auditor because they provide a benchmark against which to compare actual performance. The auditor can use them to form expectations for the balances of revenues and expenses. In addition, the auditor can investigate the action taken by the client when targets are not achieved. For example, the auditor will test for evidence that the client used the budgets to assess performance against budget and the evidence gathered by the client about any variations from the budget. A test that would normally be performed is to compare current year’s expenses to the prior year’s actual and the current year’s budgeted amount (both in absolute amounts and as a percentage of sales). The auditor would also review the client’s comparison of budgeted and actual costs and expenses by month or by quarter. The auditor would corroborate the reasons identified by the client for important variations and investigate any unexpected variations or the absence of expected variations not identified by the client.
11.16 Do analytical procedures use only financial data based on transactions and balances for the current period? Explain using examples. Analytical procedures can use financial data from the client’s records to make comparisons between items (e.g. gross profit ratio) or between periods (e.g. gross profit ratio this year compared to previous year). Analytical procedures can also use non-financial data. For example, the auditor could compare payroll expense to the number of employees and compare these ratios across years. The auditor could compare revenue for a hotel to its occupancy rate, or parking fee revenue for a car park operator to the number of vehicle movements through the boom gates. A manufacturer would have data about labour hours and machinery hours which could be compared to costs, and units of production that could be compared to sales revenue. The auditor should always consider the source of the data (audited or not, internally generated or not) when judging the degree of reliance to place on the analysis.
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Chapter 11: Substantive testing and income statement accounts
11.17 Which assertions are violated if a client includes labour expense related to manufacturing processes as a general expense rather than in cost of sales? If labour expense for manufacturing personnel is included as a general expense then cost of sales is understated. This violates the completeness assertion for cost of sales and the occurrence assertion for general expenses. In addition, if the goods are still on hand at the end of the accounting period, the valuation and allocation assertion for inventory is violated. Auditors need to consider the method of assigning costs to cost of sales (and inventory). If the client uses standard costing there will potentially be variances that should be passed through the income statement. The auditor might consider the variances should be allocated to inventory and cost of sales rather than treated as a period expense.
11.18 Discuss the usefulness of examining subsequent payments as an evidence gathering technique. If an auditor was to use this technique, what would they be looking for? Subsequent payments are examined to determine if there are any payments of accounts that did not appear in the creditor’s listing at year-end. The auditor is primarily looking for evidence of unrecorded liabilities and expenses. The auditor will examine the documents supporting the cash payment to determine if the invoice relates to the financial period of the audit or the following period. The subsequent payment could also be evidence of an accrual (such as payroll) that was not properly accounted for at year-end. The technique is useful because the payment is good evidence of the existence of a liability and an expense that should appear in the audited financial period. However, the auditor will not be able to determine if the liability should have been shown on the balance sheet at year-end without examining the documents for evidence of the date the expense was incurred.
11.19 What is the purpose of examining the records of employees who left the client during the year? Where should the auditor obtain the information about departed employees? The auditor will examine the records of employees who left the client during the year for several reasons. For example, the auditor will be considering if termination payments were appropriately recorded. The auditor will also consider if the payroll expense for that employee terminated on the appropriate date. The information about departed employees will be on a file held by the human resources department. The HR department is responsible for employment and termination, and setting appropriate conditions, including wage rates. The payroll department should not have access to the HR files. They pay employees based on
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information about pay rates provided by HR, and on time cards (or other records of time worked). The auditor should trace from the HR files to the payroll function and vouch payroll expenses by examining underlying records of pay rates and hours worked. 11.20 Explain the process of ‘roll forward’. When is it used? Roll forward is used when the auditor conducts some testing at an interim date. Where controls are relatively good, the auditor will complete some testing during the financial period. The auditor will then compare the activity in that account for the current year with the same period in the previous year. If there are no unexpected fluctuations, the auditor can conclude that there is sufficient evidence that the final balance is appropriate. If there are any unexpected fluctuations (or the lack of expected fluctuations) the auditor will need to consider investigating the reasons for the changes.
11.21 Explain the purpose of searching for unrecorded liabilities. Why is it important? The auditor searches for unrecorded liabilities because if the client has not recorded a liability, its financial position is overstated. For example, if a client has a loan from another party which is not recorded in the balance sheet, the client’s liabilities are therefore understated. Consequently, the client’s debt to equity ratio is lower than it actually is or in terms of total asset to total liability ratio, it is greater than it actually is. In the context of purchases of inventory, an example of an unrecorded liability is a credit purchase of inventory that has not been credited to accounts payable. In this example, although the purchased inventory was not recorded as a payable (liability), the inventory items will be included in the stocktake to cover up for a stolen stock. Finding the unrecorded liability in this case could shed light on inventory control problems which are not revealed by a simple stocktake. It is important to search for unrecorded liabilities in order for the auditor to ensure that completeness assertion is not at risk. Auditor must be confident that all liabilities for the period included all amounts owed by the client to their suppliers at the end of the reporting period.
11.22 When would a client be more likely to (i) overstate or (ii) understate expenses? i) Overstate expense A client may overstate expenses when there is an incentive to increase expenses which will consequently reduce the profit in the current period however with the intention of overstating profit in the next reporting period. For example, by doing this.
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Chapter 11: Substantive testing and income statement accounts
A new CEO in their first year may blame previous managers for problems that the new CEO has ‘discovered’. This practice reduces the asset base of the client and allows the new CEO to show rapid percentage improvements in return on assets. For companies who place ceilings on bonus schemes and when the ceiling has been reached for the current period, there is an incentive to overstate expenses during the current period i.e. to shift profits to the future period to maximise the total overall bonus. For example, the CEO may face a ceiling on their current year bonus so it would be more worthwhile to earn greater profits in the next period For clients who want to minimise tax liability, there is an incentive to overstate expenses
ii) Understate Expense Where the bonus ceiling is less likely to be reached, the CEO may manipulate the accounts such as understate the expense in order to increase profits. On some occasions this is not merely driven by a bonus calculation but by the desire to show the market that the entity is stable if not improving profit wise. Another incentive of expenses being understated is an attempt to cover a specific problem, such as major cost over-runs in a particular project. By doing this, the investors do not suspect how badly events have affected the entity in the current year. For a business who is applying for a loan from a financial institution and who may not have been financially performing well in the past, there may be an incentive to understate business expenses to demonstrate that the business is profitable enough to be able to service the loan.
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Solutions manual to accompany Auditing: a practical approach 2e
PROFESSIONAL APPLICATION QUESTIONS 11.23 Depreciation expense Required (a) The opening gross book value balances of the assets are carried forward from the prior period and reconciled to the general ledger (K-01). The auditor then adds half of the amount recorded as additions and subtracts half of the amount recorded as disposals in order to calculate the total balance to be multiplied by the depreciation rate. Why does the auditor use half of these values? (b) The difference between the estimated depreciation expense and the actual depreciation expense is dismissed as immaterial. Do you agree? Explain. a) The amounts added for additions and subtracted for disposals are half of the amounts recorded in each of those categories. The auditor uses ½ of each amount because this recognises that, on average, additions and disposals affect half of the year for depreciation purposes. If the total amount for additions was added to the opening balance, the depreciation estimate would be overstated. b) The difference between actual and estimated depreciation for equipment is 50, which is 6.25% ( [50 /800] x 100%) of the actual depreciation for equipment, and 2.78% ( [50/1800] x 100% ) of the actual depreciation for all assets. If materiality level is set at 5%, therefore any amount less than 5% is immaterial. The difference in depreciation for all assets is immaterial, although it should be noted that all the additions and disposals of assets occurred in equipment category and not in buildings category, to include the buildings balance in the materiality calculation could be criticised or may be an issue to some. The equipment depreciation difference of 6.25% could be material, depending on the circumstances. As the auditor uses a rudimentary but justifiable approach of averaging additions and disposals of assets throughout the year, the immateriality of the equipment depreciation estimate difference is mostly likely justified.
11.24 Roll-forward procedures- accounts receivable Required (a) When are roll forward procedures used? Why are they useful in testing accounts receivable and revenue? (b) The details of the test show that credit note 2648 was highlighted as an unusual transaction. The credit note was used as the basis for a credit to the accounts receivable for Brighter Bobs. Why is an auditor interested in credits to accounts receivable when testing revenue? a) Roll forward procedures are used when acceptable levels of detection risk are high or assessed levels of controls risk are low. This means that the client has efficient and effective controls. This would allow interim testing (performing test several months before year end) to gain assurance up to that point when testing has been carried out. At year end, the auditor conducts roll-forward
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Chapter 11: Substantive testing and income statement accounts
procedures to verify the account balance at year end. The auditor performs analytical procedures and substantive test of details of transactions to transactions in the remaining months (intervening period). If after comparison of activities, there are no unexpected fluctuations, the auditor can conclude that there is sufficient evidence that the yearend balance is appropriate and reliable. However, if there are any unexpected fluctuations (or lack of expected fluctuations) the auditor will need to consider investigating reasons for these changes. Roll forward procedures are useful in testing accounts receivable and revenue because controls are usually strong over revenue transactions and accounts receivables balance. Revenue account consists of many transactions that are predictable and has strong controls over the validity of revenue and its corresponding entries to accounts receivable. b) Credit note 2648 results in a credit of $500 to the accounts receivable of Brighter Bobs. The credit note is used because some defects were found in the goods supplied to Brighter Bobs, and the customer has sought a credit adjustment to their account so that the total cost owing is lower. The auditor would be interested in such transactions because they could be used to hide fraudulent transactions. For example, if a staff member stole $500 from the amount paid to the account of Brighter Bobs, the credit note would adjust the balance so that the customer would not complain when their payment was not credited to their account. The credit note could also be used to hide theft of stock which was inaccurately recorded as a sale to Brighter Bobs. Management could also use credit notes to adjust for overstated revenue for fictitious sales in this or a previous period.
11.25 Sales cut-off Required (a) Why is an auditor interested in whether inventory movements are recorded for the correct date? (b) The test described in the working paper focuses on the date of the inventory stocktake and is used to verify inventory balance details. Why is the test also relevant to sales revenue?
a) Inventory movements are important because if inventory leaves the client prior to the year end, it is a good evidence of a completed sale. Alternatively, if the inventory does not leave the client until after the year end, it should be treated as a sale of the next period. The auditor is interested in whether the inventory movements are recorded in the correct dates. This gathers evidence on effectiveness of controls over recording sales and the correct period the sales should be recorded. (See also the comment below about other reasons for stock movements).
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Solutions manual to accompany Auditing: a practical approach 2e
b) Inventory stocktake gathers evidence on the inventory balance. The amount of stock in the client’s warehouse is verified through a stocktake. This is the amount that is recorded as closing inventory on the balance sheet. Closing inventory is also used in the calculation of cost of goods sold which is deducted from sales revenue to obtain gross profit). The stocktake is also useful for verifying sales revenue because, as described above, the physical movement of the stock is good evidence of a completed sale. Care should be taken to understand whether goods are moved for other reasons, such as goods held on consignment by other parties or shipped to customers without a valid sales order or invoice being raised. Auditors should be aware of the terms of sale for the client because goods shipped in advance of sales orders or goods held on consignment are not considered as sales and therefore should not be recorded as sales revenue.
11.26 Search for unrecorded liabilities Required (a) Why does an auditor search for unrecorded liabilities? (b) Explain the test documented in section 1. Does this test reveal any unrecorded liabilities? (c) Explain the test documented in section 2. Why is ‘N/A’ recorded in the Accrued at year end?’ column? a) The auditor searches for unrecorded liabilities because if the client has not recorded a liability, its financial position is overstated. For example, if a client has a loan from another party which is not recorded in the balance sheet, the client’s liabilities are therefore understated. Consequently, the client’s debt to equity ratio is lower than it actually is or in terms of total asset to total liability ratio, it is greater than it actually is. In the context of purchases of inventory, an example of an unrecorded liability is a credit purchase of inventory that has not been credited to accounts payable. In this example, although the purchased inventory was not recorded as a payable (liability), the inventory items will be included in the stocktake to cover up for a stolen stock. Finding the unrecorded liability in this case could shed light on inventory control problems which are not revealed by a simple stocktake. b) Section 1 is a review of subsequent disbursements. It shows details of payments (disbursements) made by the client after year end for invoices dated 2015( after year end) These payments are for two (2) services received on 2014 and for one(1) service received on 2015. The auditor is interested in whether the client has accrued an expense and shown it as a liability appropriately in each case. The first payment of 1700 was for a gas bill for December 2014. In the column ‘Accrued at year end’ there is ‘yes’ indicating that the auditor has found an accrual for this liability in the client’s accounts. This was also in the case of the payment of 2000 for “Consultants Invoices for 12/14”. The third item is for an expense which belongs in the new financial year, so there is no accrual required at
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Chapter 11: Substantive testing and income statement accounts
year end. For each item shown in the working paper, the auditor is satisfied that there is no unrecorded liability found. c) In Section 2, the auditor is testing invoices received after the year end. The auditor is interested in whether the invoices relate to items or services received on 2014 or on 2015 which is the next financial year. If items or services were delivered or received after 2014, the auditor checks that there is no accrued liability recorded for this particular item in the current financial year. The first item relates to ‘switches’, which are inventory items purchased and delivered in 2015. Because these items are not delivered until January 2015, there should not be any liability or accrual in December 2015 year end. “N/A” means that accrual is not applicable for these particular purchased items. The other two items are invoices received in January 2015 (next financial year) however these were expenses incurred or items purchased and received on December 2014. The “Yes” written on the column means that there was accrual recorded at year end 2014. 11.27 Accounts payable cut-off Required (a) Why does an auditor test accounts payable cut-off? Explain with reference to income statement effects. (b) Explain the error found by the auditor in the second transaction on the working paper. (c) Why has the auditor done additional testing (see the comments section)? a) The working paper describes tests of whether accounts payable recorded prior to, and after, the financial year end are recorded for the correct dates. The auditor is interested in whether the liabilities are shown appropriately (i.e., if the liability relates to the December period it should appear on the client’s balance sheet. However, if the liability relates to the January period, it should not appear on the balance sheet as at December 2014. The auditor is also interested in detecting errors that affect the income statement. If an account payable relates to December 2014 it also relates to purchases for the year ended December 2014. This provides evidence that expenses for the year are complete and profit is not overstated. b) The transaction relating to receipt of goods or supplies from Grom Ltd, who is one of the suppliers, is not recorded in the correct period. Although the supplier’s invoice is dated 2015, the goods are received on December 2014 The error found by the auditor is that the credit purchase transaction is not recorded as accounts payable as of December 2014 or there is no accrued expense recorded in relation to this purchased items received on December 2014. Therefore, the client’s liability account for the year ended December 2014 is understated and the expense account is understated.
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c) The auditor has done additional test of details of transactions recorded within 10 days of the start of the next reporting period ( from 1/1/2015 to 10/1/2015) to ensure that there are no other 2014 transactions incorrectly recorded in January 2015. Considering that preventative and detective controls on recording purchases transactions were less effective, possibilities are that when one error has been identified initially by the auditor, there may be other subsequent errors of similar type which may have occur and can be identified through additional testing.
11.28 Internal audit and substantive testing Required What approach would you recommend Jurgen take to the audit of Lynch Brothers’ income statement accounts? Why? The problems at Lynch brothers five years ago showed that high risk of misstatement existed for revenue occurrence as well as more generally for income statement accounts. The circumstances appear to have changed considerably since that time, with a much greater emphasis within the company on ethical behaviour and good corporate governance. The audits for the last four years have provided evidence of these changes and the risk of misstatement for revenue would be assessed as much lower now. The internal audit team reports to the audit committee, which is consistent with good practice. In addition, the audit committee appears to be independent. There appears to be evidence that the internal audit team is highly qualified and effective. This suggests that the external auditor can place reliance on the internal audit team’s findings, if the auditor completes appropriate testing for the current year to supplement past evidence (i.e. are there any changes this year or is the team still effective etc.). Jurgen would be able to adopt an approach which relies heavily on testing controls over processes affecting income statement accounts and perform minimal substantive testing.
11.29 Auditing an internet business Required What could Holly do to audit the revenue claimed by Search.com? Revenue for Search.com is generated when members post a profile or message or make contact with another person, and when advertisements are ‘hit’ or followed by users of their website. Holly suspects that revenue is overstated, i.e. she has concerns about the occurrence and accuracy assertions for revenue (and the cut-off assertion for transactions around year-end). She needs evidence of the ‘transactions’ that provide revenue. Substantive procedures include:
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Chapter 11: Substantive testing and income statement accounts
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Correlate activity for the recorded ‘sales’ with the activity for the bank account, seeking confirmation that revenue has been received in cash Test recorded sales to supporting documents (e.g. invoices sent electronically to customers) Test posting of individual sales documents to sales ledger and to trade receivables (customers and advertisers) sub-ledger Test recorded sales to the records of ‘product’ (i.e. profile pages added to website, hits on advertisements) Review receivables sub-ledger and sales, returns, ledger for unusual items Test cut-off in processing sales and credits or allowances granted to customers and advertisers Test accounting classification of cash receipts (to ensure receipts from customers and advertisers are classified and posted correctly) Test mathematical accuracy of cash receipts, sales, receivables, returns, ledger accounts Test pricing and mathematical accuracy of sales documents Test accounting classification of sales transactions Test bank reconciliation process with respect to receipts, cut-off Review activity using indicators produced by web pages for unusual patterns (e.g. many hits from same computer, at same date, just before year-end etc.) Correlate computer generated activity metrics with sales and cash receipt transaction data Compare sales to customers and advertisers with industry averages, previous period Inquire of management, sales personnel, webpage designers, about special arrangements Review minutes, contracts (especially with advertisers)
11.30 Substantive testing of sales Required Write a memo to James explaining the substantive procedures for sales that he could choose from and which would be most useful in these circumstances. Memo to James The key assertions at risk for sales are occurrence, accuracy, and cut-off. In this case, clothing sales are growing, but sales from camping and climbing equipment are down in most stores. Because your risk assessment shows that controls are reasonably effective, I suggest you use monthly sales budgets and actual results to perform analytical procedures for the 8 months to date, then roll-forward results for the remainder of the year. You should compare budgeted sales with actual sales for the past eight months and test for management review of the results and follow-up of variances. This means that where management have indicated on the report that specific action should be taken, gather evidence to show that such action was taken. Also, you should consider the reasonableness of the action that was recommended. If management have indicated
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Solutions manual to accompany Auditing: a practical approach 2e
that certain events have occurred which would explain the results, gather evidence that those events did occur and test the reasonableness of the explanation. In addition, you should obtain industry data for the same period to ascertain if the patterns shown in Rock’s results are similar to those experienced by other firms in the industry, and whether the same events and conditions that affected sales also affected sales for those businesses. Your primary concern with the analytical review is to test the reasonableness of the actual sales data. Therefore, you should form expectations for the actual results based on all the available information and review the results for departures from those expectations. In some cases, no change in actual results would be unusual because you believe that there should be some fluctuation. Use the expense data to help form your expectations. For example, if sales are down, cost of sales should also be down. Compare ratios such as gross profit ratio with the previous period, and correlate the financial data (e.g. sales) with the physical data (e.g. units shipped). In times of uncertainty, such as falling demand for camping equipment, pay careful attention to sales returns and allowances. Substantiate a sample of sales returns, particularly after the year-end. To test cut-off, I suggest you inspect the ledgers and relevant documents for the period immediately before and after the cut-off date (i.e. this will be done at the yearend not during the interim period) and determine that transactions were recorded in the proper period. Compare revenue cut-off with cut-off for inventory and accounts receivable.
11.31 Auditing research and development expenditure
(a) (b)
Explain why the classification of the expenditure is important and needs to be tested. Suggest to the auditor some techniques for substantiating the expenditure amounts.
(a) Classification of expenditure into accounts is important because users rely on the classification of expenditure to assess the level of spending by the client on research and development, and its likely success. The accounting standards require that research expenditure is expensed and development expenditure is capitalised only when certain conditions are satisfied relating to its likely recoverability from sales of the product (see AASB 138 Intangible Assets). If research expense is misclassified as development (and capitalised), or if research and development expense is classified as general administrative expense, the financial report will not be true and fair. In this case, the expenditure does not meet the requirements of AASB 138 for capitalisation so all expenditure ($24m) must be expensed. If it is shown as research and development expenditure in the income statement, users will be informed that the amount was spent on these activities and did not meet the criteria for capitalisation. If the amount is shown as general expenses, the users will not be informed about the expenditure on R&D. Therefore, the auditor must gather evidence as to whether the expenditure is appropriately classified.
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Chapter 11: Substantive testing and income statement accounts
(b) To obtain evidence of the accuracy of the amounts claimed by the client, the auditor will vouch the expenditures to the supporting documentation. There are several categories of expenses: salaries, depreciation, supplies consumed, and amortisation of patent. Salaries will be supported by contracts of employment and other details held on employee’s file by human resources. It is possible that chemists will be paid an hourly rate (e.g. if they are casual employees), so records of times worked will also be checked in these cases, and the amounts paid recalculated. The auditor should gather evidence of the employees who worked during the period and search for departed employees to ensure that they were removed from the payroll on a timely basis. Vouching payments for payroll to documents, performing cut-off tests around yearend and comparing salaries with previous year and program budgets can be performed as well. Depreciation and amortisation are substantiated by reference to the cost of the assets and assumptions about their useful lives and pattern of usage and recalculation of expense using appropriate amortisation/depreciation rate. Assets should be substantiated for existence, rights and obligations and valuation and allocation to ensure that depreciation/amortisation is charged only for assets held during the period. Acquisitions and disposals of assets should be substantiated and where appropriate, valuations of assets are obtained to test of impairment. Supplies consumed will be evidenced by documents showing transfer of the supplies from storeroom to laboratory. These records should show authorisation for the transfer of the supplies, including date, details, and units. Cost of supplies is substantiated through reference to purchase documents (i.e. invoices and receiving reports) and entry into supply and accounts payable accounts in the general ledger. 11.32 Assessing the results of payroll substantive testing Required (a) Based on William’s findings, which accounts are likely to be misstated and which assertions are violated? (b) What tests would you recommend that William perform to substantiate weekly wages expense?
Accounts likely misstated Payroll Expense
Assertions violated Completeness
Accuracy
.
Explanation Recorded payroll expenses which may not include all payroll expenses for the reporting period Payroll transactions may not be accurately recorded due to HR not recording the termination date correctly; hence there is overpayment
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Solutions manual to accompany Auditing: a practical approach 2e
of one (1) week. Payroll expense of short term contract drivers may not be recorded at the correct period because of delay of payroll department to process their pay Recorded payroll expense is overstated because of the extra one (1) week paid to the contract driver who already left. This is due to delay of recording of termination or resignation of employee. Therefore there is a risk that not all recorded payroll expense relate to employee services received during the period
Cut off
Occurrence
Payroll Liability
Valuation and allocation
Accrued payroll liabilities ( i.e. accrued wages, annual leave and long service leave) may not be at the appropriate amounts or may not at all recorded No provision is made for accrued wages because of confusion at payroll department
b) Test to perform to substantiate wages expense: •
To search for overpayment All payments made for a week should be tested against underlying record of hours worked, and traced back to employees file at human resources to ensure that the employee was employed, and the applicable rate of pay for the period was applied. The amounts for the weekly wages expense should be recalculated. Additional supporting evidence should be sought to verify the employee’s right to claim pay.
•
To search for underpayments Details of employee held on employee’s file at human resources should be traced to payroll expense and disbursement (payment). All wage payment changes due to changes in employment condition around year end should be tested for cut-off.
•
To verify liabilities
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Chapter 11: Substantive testing and income statement accounts
The following specific procedures can be performed to verify liabilities 1. Search for employees that have not been paid 2. Search for leave entitlements that have not been accrued 3. Review files for list of employees added or removed during year 4. Analytical review (as per ASA 520 Analytical Procedures) of payroll expense compared to previous periods and against non-financial data, such as truck movements (i.e. who was driving the truck? how many drivers have been paid for each truck movement?) 5. In line with analytical procedures, records for wages payments can be reviewed to compare payments made to previous period’s payments •
Review payment amounts to ensure that overtime has been paid correctly.
11.33 Purchases testing Required (a) What strengths and weaknesses can you identify in the inventory control system at ACVS? (b) What substantive procedures would you recommend for purchases given your assessment of the control system? (a)Strengths: - Sales orders received by clerk without store access - Packing slip generated by computer based on sales order - Variety of suppliers used - Perpetual inventory control system (ACVS) - Periodic stocktakes
(b) Weaknesses: - Chris Farnon takes drugs without formally recording removal and without any control over which drugs, quantities and etc. taken. - No formalised process for approval of taking stock from stores. - No apparent control over incomplete customer orders and packing slip is not amended. - No follow up procedure exists to ensure that items are sent at a later date - No system of recording backorders (and follow up when inventory on hand) and in generating new packing slip and invoice. - No clear processes for approval of supplier list ( i.e. who selects suppliers and store man, who ensures that the company purchases items or goods only from, approved suppliers to ensure that quality of product are used, - No control exists to ensure that store man is not using suppliers who provide personal incentives to him, - No approval process for purchase orders from approved suppliers.
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Solutions manual to accompany Auditing: a practical approach 2e
-
-
No control for supplies ordered in bulk (i.e. is there other control other than store man ‘being careful’) over use-by dates and obsolete stock?) No system of recording use-by-dates and limits on order quantities for timesensitive inventory. No control over follow up to receive stock from a supplier that was not provided in response to the order. No process of receiving reports with comparison (not by store man) of units ordered versus received with automatic re-ordering of supplies. Receiving reports and purchase orders to be reconciled with supplier invoices. Periodic stocktakes performed solely by store man. There is no involvement of independent personnel with reconciliation to general ledger Sales made by telephoned purchase order. There are no credit checks performed ( this relates to valuation and allocation of debtors)
(b) Several questions exist around controls over inventory control, including existence of inventory, valuation and allocation (with specific reference to obsolete out-of-date products). Main issues with purchases are occurrence (whether goods were received), accuracy (cost of goods purchased) and cut-off (because of numerous back-order issues for both sales and purchases). Procedures for substantiating purchases include: • Test cut-off by inspecting purchases ledger, stock receiving records, supplier invoices around year-end. • Search for unmatched invoices, stock receiving reports and purchase orders • Examine payments of creditors balances subsequent to year-end to verify recorded purchases • Compare entries in payable sub-ledger to the creditor invoices • Test account postings within general ledger by comparing nature of goods or services purchased with description of accounts and account name transaction was posted to • Test mathematical accuracy of purchases, creditor invoices, and creditor subledger • Trace details or purchases to invoices, receiving reports and purchase orders • Compare purchases with previous period, against budget • Review interim financial reports and investigate any unusual fluctuations • Compare current year gross profit with previous years • Investigate physical movements ( i.e. number of parcels despatched and shipments received) with financial data for number of years Separate tests for inventory existence, such as stocktake, will also provide evidence relevant to purchases accuracy.
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Chapter 11: Substantive testing and income statement accounts
11.34 Substantive procedures for cost of sales (a) What are the principal audit objectives and assertions for Securimax’s cost of sales? Explain. (b) Identify the relevant substantive tests of details that would be appropriate to gather evidence about the assertions in (a) above. (a) Costs of sales are properly supported as charges against the entity in the period. Costs applicable to future periods are carried forward as inventories. (Occurrence) All cost of sales relating to the current period’s revenue are included in the income statement. (Completeness) Cost of sales are stated in income statement at the appropriate amounts and correct period (Accuracy and Cut-off) Cost of sales are properly classified, described, and disclosed in the financial report, including the notes, in conformity with IFRSs. (Classification and understandability) The principal objectives relate to occurrence, accuracy and cut-off because there is a greater risk of understatement than overstatement of cost of sales (to increase gross profit). The complex costing for Securimax’s products suggest accuracy of costing of manufactured items will be at risk. (b) The nature, timing and extent of substantive testing of cost of sales are dependent on results of control assessment and testing. The new manufacturing costing system will be tested for its ability to provide accurate costing data for cost of sales and inventory balances. The manufacturing costing system must support costing of sophisticated product designs (including likely individual specification requests by the foreign governments) and integrate with the general ledger for all stock movements. All expenses that are included in the manufacturing process will need to be substantiated (including purchases of materials and supplies, transfer of materials and supplies into the production process, labour and allocation to individual products or batch processes, machinery costs) and estimates of percentage of completion of work in process on hand at the end of the period. In addition, movements of completed items from finished goods to cost of sales during the period will be substantiated. Substantive procedures include: • Trace and vouch purchases (supplier invoices etc. to entries in purchases/general ledger and entries in ledger to supporting documents) • Trace and vouch labour expense (list of employees and HR records to payroll expense and payroll expense to documents and timecards); compare relationship of direct labour costs to number of employees with prior period, investigate significant fluctuations • Test mathematical accuracy of product costing • Cut-off procedures for purchases, inventory transfers, payroll • Review production data and compare relationship of overhead costs in cost of dales to direct labour, hours and/or dollars with prior years
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• •
Review relationship with respect to flow of goods, such as gross profit analysis, comparison of standard and actual costs, and review reconciliation between cost of sales and shipments. Compare actual and budgeted costs by month or quarter. Investigate reasons identified by client for important variations. Investigate unexpected variations (or their absence) not identified by the client.
11.35 Substantive testing of income statement and balance sheet accounts Discuss how substantive testing of Securimax’s cost of sales expense would relate to substantive testing of the inventory account on its balance sheet. All manufacturing costs must be allocated between cost of sales and closing inventories of finished goods (FG) or work in process (WIP) or charged as period expenses. Substantive testing of the FG and WIP inventory balances on the balance sheet will provide some evidence for cost of sales because costs that are not part of inventory are allocated to cost of sales (or separately identified as wastage or damaged stock). Evidence from testing controls over manufacturing costs or direct substantiation of manufacturing costs relate to both cost of sales and closing FG and WIP inventory. Evidence of misstatement of a component of manufacturing cost (e.g. labour that has been incorrectly classified as direct labour that should be treated as nonmanufacturing, evidence about incorrect amounts for cost of raw materials etc.) potentially impacts on both cost of sales and FG and WIP inventory. Evidence of cut-off errors (e.g. purchases that should be recorded in current period incorrectly recorded to the next period) also impact on both cost of sales and raw materials (RM) inventory. Also, cut-off of inventory transfers potentially impact on cost of sales and RM inventory.
11.36 Tests of details for purchases Design the tests of details for purchases that you would use to supplement the analytical procedures. Relate each test to the relevant assertion for purchases. •
• •
Test cut-off by inspecting the purchases ledger, purchase orders, receiving reports, supplier invoices, and cheque requisitions, immediately before and after the cut-off date ( around the yearend) to determine that the transactions were recorded in the correct period. Compare purchases cut-off with cut-off in other areas, (e.g. accounts payable). (Cut-off) Examine payments of suppliers accounts subsequent to year-end for selected purchases in records to determine that recorded purchase transactions were items or services received during the period of audit (occurrence) Search for unrecorded purchases by inspecting subsequent payments, unmatched invoices, receiving reports, purchase orders to determine that all purchases transactions that occurred during the period were recorded (completeness)
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Chapter 11: Substantive testing and income statement accounts
• • •
Test classification of recorded purchases by inspecting underlying documents for evidence of items ordered and received were recorded in the correct accounts (classification) and amounts paid were properly recorded (accuracy) Test mathematical accuracy of documents supporting an authorised cheque requisition (accuracy) Test postings from purchases sub-ledger to supporting documents, and payables sub-ledger to the general ledger (completeness, occurrence, and accuracy)
11.37 Analytical substantive procedures for revenue Describe all the key information required to estimate Shady Oaks’ revenue for patients staying in the hospital. Revenue for Shady Oaks is generated from patients for stays in the hospital and medical practitioners in private practice for use of the hospital facilities and provision of nurses, anaesthetists, operating theatres and supplies. To perform analytical procedures the auditor would require: • Financial data from Shady Oaks’ trial balance (with a breakdown of revenue by each service) for the current period • Budgets for each category of revenue compared with actual revenue received • Management reports investigating budget variances and explanations of causes of variances and follow-ups. • Revenue for period around year end • Gross margins, cost as percentage of sales by category of cost and revenue Other non-financial information: • Statistics on numbers of patient stays, duration of stays and services used whilst an in-patient • Statistics on facilities’ usage, numbers of staff (nurses, anaesthetics) provided to the medical practitioners for each type of medical procedure and costs of each staff hour • Statistics for times in operating theatres ( i.e. dates, charge-out rates) • Supplies used by each practitioner by type of supply and with costings The data should be comparable across periods. Audited data is more reliable than unaudited data.
RESEARCH QUESTION Students should discuss general issues in revenue recognition rules and the reasons revenue recognition is problematic for clients and auditors. The student should apply this discussion to their chosen industry. What are the key features of construction and telecommunication industries that make revenue recognition problematic? For example: long term contracts, and bundling of products and services with on contracts with various cancellation rights and minimum charges.
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The student should examine the audit implications of the old and proposed (at the time of writing) rules. Thee student should address the issues of risk and evidence with specific reference to the problem identified as the main issue confronting the industry. Students should use appropriate references to the IASB documents, particularly submissions by members of the relevant industries and their auditors.
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Chapter 11: Substantive testing and income statement accounts
Case Study Cloud 9 Based on your ORA and DR estimates, design substantive audit procedures for Cloud 9 Pty Ltd that would address the DR for the sales account. Solution – includes solutions for chapters 10 and 11 1. Complete the table to determine the Combined Risk Assessment and acceptable Detection Risk. Account Assertion Sales – Occurrence
IR High
CR Medium
ORA Higher
DR Lower
Sales - Completeness
Low
Low
Lowest
Highest
A/R – Existence
Medium
Medium
Medium
Medium
A/R - Completeness
Low
Low
Lowest
Highest
Cash – Existence
High
Low
Medium
Medium
Cash – Completeness
Low
Low
Lowest
Highest
2. Design substantive audit procedures for the three accounts – Cash, Accounts Receivable (do not include the Allowance for Doubtful Debts), and Sales - that would address the detection risk of each account. When determining testing thresholds for your detail procedures, consider using a percentage of PM that best reflects the relationship to the detection risk – i.e. if DR is high, the % of PM should be high. NOTE: The percentages used to determine testing thresholds are based on the auditor’s professional judgment. Students do not have to have the same percentages, but should demonstrate an understanding of the relationship between DR and the threshold.
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Solutions manual to accompany Auditing: a practical approach 2e
Assertions E V C R&O P&D Cash 1 Bank Confirmations:
X X X
X
X
X
X
Obtain bank confirmations for all accounts, including the accounts closed during the year to confirm the relationship with the bank including contingencies, liens, pledges, restrictions on the client´s assets, guaranteed amounts etc. 2 Analytical Review:
X X X
Compare the listing of cash accounts with those of prior periods and investigate any unexpected changes (e.g., credit balances, unusual large balances, new accounts, closed accounts) or the absence of expected changes. 3 Bank Reconciliations:
X X X
Examine the client's bank reconciliation as of year-end, including cash-in-transit accounts, to verify the proper reconciliation of bank statements and general ledger accounts. (a) Trace the bank balance to the confirmation. (b) Trace the book balance to the general ledger. (c) Test the clerical accuracy of the reconciliation. (d) For those greater than 80% PM, test deposits in transit and selected outstanding checks by tracing from the bank reconciliations to the cutoff bank statement (or subsequent month's bank statement) and vice versa. (e) Review the nature and extent of other reconciling items for reasonableness and investigate any large (> 80% PM) or unusual reconciling items. 4 Cash cutoff:
X
X
Test cutoff of cash receipts and cash disbursements for transfers between different bank accounts at the balance sheet date. (a) Obtain or prepare a schedule of bank transfers made in the 5 days before and after year end. For those greater than 80% PM, trace to the bank statements. 5 Cash Reconciliation:
X X X
Examine the client's year-end reconciliation of physical cash on hand to cash accounts balances in the books. Investigate large (> 80% PM) or unusual reconciling items and determine the proper revenue recognition. 6 Valuation of coupons and vouchers:
X X
Test that coupons, gift vouchers, and tokens at year end closing are carried in accordance with the client's accounting policies or applicable financial reporting framework and determine
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Chapter 11: Substantive testing and income statement accounts
appropriate revenue recognition. Assertions E V C R&O P&D Accounts Receivable trade 1 Agreement of sub-ledger with general ledger:
X
X
Agree receivables sub-ledger to the general ledger and investigate large (> 80% PM) and unusual reconciling items. 2 Analytical review:
X X X
X
Compare the aged listing of accounts receivable with those of prior periods and note any significant changes (e.g., changes in major customers, in major customers’ balances in the percentage of overdue accounts, in the proportion of credit balances). Obtain explanations for unexpected changes. 3 Confirmations and subsequent cash receipts:
X X
X
X
Verify the existence of accounts receivable trade through confirmation or subsequent cash receipts or a combination of those procedures. (a) Select customer account balances greater than 50% PM to prepare and send positive confirmations of year end balances. (b) For confirmation requests for which no reply is received, vouch customer account balance through cash receipts received after year end. If amounts still remain untested, then vouch to the supporting invoice and dispatch note. 4 Accounts receivable cutoff:
X
X
X
X
Inspect sales register, billings, shipping documents and other supporting documents 5 days before and 5 days after the yearend date. Select those transactions greater than 80% PM and verify that the sales were recorded in the proper period. 5 Credit balances and unusual items: Inquire about or review list of credit balances and investigate large items. 6 Allowance for returned goods:
X X X
Evaluate significant assumptions made regarding the frequency/ percentage of goods returned for which refunds are given and verify mathematical correctness of respective allowance. 7 Credit (card) fraud:
X X
Consider the risks arising from fraudulent credit card use and other credit payment options to assess the need to provide for such losses.
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O
Assertions A C P&D
X
X
Revenue / Sales 1
Analytical review: Perform an analytical review and investigate any significant changes or lack of expected changes
2
Analytical review of gross margin:
X
X
X
Review the monthly/quarterly trading results to gain an understanding of the trends relating to gross margin by major product groups/ geographical areas/ income generating units. Investigate unusual discrepancies, trends and relationships. 3
Revenue recognition procedures:
X
Test recorded sales invoices to the records of products shipped; agree dates, customers, products, quantities, prices and amounts. Select the sample so as to ensure at least 25% of the revenue balance has been tested. 4
Sales cutoff:
X
X
Refer to work performed in Accounts Receivable 5
Credit memos:
X
X
Investigate large or unusual credit memos issued subsequent to year end. Co-ordinate with the work performed in Accounts Receivable
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Solutions Manual to accompany
Auditing: a practical approach 2nd edition by Jane Hamilton CHAPTER 12 Completing and reporting on the audit
© John Wiley & Sons Australia, Ltd 2013
Solutions manual to accompany Auditing: a practical approach 2e
Chapter 12 – Completing and reporting on the audit REVIEW QUESTIONS 12.11 What is the process of ‘engagement wrap-up’? Why is it important? The process of engagement wrap-up involves the auditor finalising an open items before issuing their audit report. The finalisation process could include completing additional audit procedures to ensure that sufficient and appropriate evidence is held on which to base the audit opinion. The process usually includes work in the following areas: 1. Review planned audit procedures for proper and complete execution. 2. Determine that all necessary matters have been appropriately considered. 3. Revisit open review notes, ‘to-do’ items and any audit procedures not yet completed. The auditor determines if any additional work is needed or the matter is no longer relevant. 4. Determine that all unnecessary documentation, drafts and review notes have been removed from engagement files. In some cases, the auditor notes that the item is no longer required and the reason, in other cases the item is removed along with any references to it. 5. For multi-location engagements, determine that all documents requested from other audit teams have been obtained and reviewed. 6. Remove all documents from the working papers that do not provide audit evidence supporting the auditor’s conclusions. 7. Consider the amount used for materiality. In some cases, revise the amount used for materiality when evaluating audit misstatements. Consider if additional procedures are required to support the changed materiality. 8. Reconsider the assessments of internal control at the entity level and the risk of fraud. Their conclusions about the effectiveness of internal control could be affected by control exceptions found during testing. Consider whether any material misstatements indicate fraud. 9. Revisit planning documentation to determine that all significant issues identified during the planning phase have been addressed. 10. Perform subsequent events procedures. The engagement-wrap up process is important because it ensures that the auditor considers all matters that are relevant to finalising the documentation on the audit and ensuring enough evidence is held to support the audit opinion. 12.12 What is the accounting assumption of ‘going concern’? Why is it of interest to auditors? Going concern is an assumption that the entity will remain in business for the foreseeable future. The entity has neither the intention nor the need for liquidation, ceasing trading or seeking protection from creditors pursuant to laws or regulation. The going concern assumption supports the recording of assets and liabilities on the basis that the entity will be able to realise its assets and discharge its liabilities in the
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normal course of business. An auditor must consider the entity’s ability to continue as a going concern as part of an audit (ASA 570 Going Concern). The auditor must also consider the financial reporting framework when performing an audit. AASB 101 (Presentation of Financial Reports) requires management of the entity to make an assessment of the entity’s ability to continue as a going concern. If management is aware of material uncertainties related to events or conditions that may cast significant doubt upon the entity’s ability to continue as a going concern those uncertainties shall be disclosed. Therefore, the auditor has a specific requirement to consider management’s assessment of the going concern basis, and the relevant disclosures, because of AASB 101.
12.13 Explain the difference between the two types of subsequent events. AASB 110(Events after the Reporting Period) and ASA 560 (Subsequent Events) both explain that there are two types of subsequent events. The difference between the two types of events is the impact on the financial statements. Type 1 events requires adjustment to the amounts recognised in the accounts or disclosure in the Notes to the Financial Report, however, Type 2 events will require disclosure in the Notes only. Type 1: events that provide additional evidence with respect to conditions that existed at year-end. These events can affect the estimates inherent in the financial report or indicate that the going concern assumption is not appropriate. Where appropriate, the financial report should be amended to recognise the event. For example, the entity had made an insurance claim which was still in negotiation at year end. Subsequent to the year-end, the claim was settled. The settlement provides a certain amount that can be recognised in the accounts. In some cases, the subsequent event provides additional evidence about a matter that was disclosed in the Notes to the Financial Report rather than the accounts. In these cases, the Note is updated to reflect the new information. Type 2: events that provide evidence with respect to conditions that developed subsequent to year-end. These events do not result in changes to amounts in the financial report because they are new events. However, they may be of such significance as to require disclosure in the financial report. An example of this is an uninsured loss of plant or inventories as a result of a fire or flood subsequent to yearend. This event does not affect the value of the asset at year-end, but it would be important to users of the financial report to know that the asset has been destroyed. The disclosure is made through a Note to the Financial Report. 12.14 Discuss the auditor’s responsibility for detecting subsequent events (a) prior to the completion of field work, (b) prior to signing the audit report, and (c) between the date of the audit report and the issuance of the financial report. The auditor’s responsibility for detecting these events is explained in ASA 560 (Subsequent Events). Prior to completing field work the auditor the auditor shall consider their risk assessment relating to identifying subsequent events. The risk assessment shall include obtaining an understanding of any management procedures to identify subsequent events.
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a) Auditor’s Responsibility Prior to the Completion of Field Work Prior to signing the audit report the auditor will perform procedures to gather evidence to cover the period from the date of the financial report to the date of the auditor’s report. These procedures include enquiring of management as to whether any subsequent events have occurred, and reading relevant minutes of meetings held after the date of the financial report and latest interim financial results. b) Auditor’s Responsibility after Signing of Audit Report After the date of the auditor’s report, the auditor has no obligation to perform any audit procedures regarding the financial report. However, the auditor could become aware of a fact that if it had been known to the auditor at the date of the auditor’s report, may have caused the auditor to amend the auditor’s report. In this case the auditor shall discuss the matter with management, determine whether the financial report needs amendment, and if so, enquire how management intends to address the matter in the financial report. If the financial report is amended, the auditor could carry out the necessary audit procedures on the amendment and extend the subsequent event procedures to the date of the new auditor’s report and provide a new auditor’s report. If management do not amend the report, the auditor would take action to prevent the release of the report or to prevent reliance on the auditor’s report c) Auditor’s Responsibility between Signing of Audit Report and Issuance of Financial Report After the financial report has been issued, the auditor has no obligation to perform any audit procedures. However, as per Para 10 ASA 560, if a fact becomes known to the auditor that, had it been known to the auditor at the date of the auditor’s report, may have caused the auditor to amend the auditor report, the auditor follows the procedures outlined above. If management do not amend the report, the auditor would take action to prevent the release of the report or to prevent reliance on the auditor’s report. In both cases, the auditor should include an Emphasis of Matter Paragraph in the new auditor’s report referring to the subsequent event matter disclosure in the financial report. 12.15 What is the difference between current year misstatements and prior year misstatements?
A misstatement is a difference between the amount, classification, presentation or disclosure of a reported financial report item. The amount, classification, presentation or disclosure that is required for the item to be in accordance with the applicable financial reporting framework. A current-year misstatement arises because there is difference between the actual treatment and the required treatment, and identified and not corrected by the client during the audit year. The auditor considers aggregate and individual effect of the current-year misstatements.
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Chapter 12: Completion and reporting on the audit
When evaluating materiality of the current year misstatements, the auditor takes in to consideration the cumulative effect of the misstatements at the end of the current year on the net income, equity and working capital. The auditor also considers whether the current year misstatement will have a material effect on the future year’s financial report if it is not corrected. As per Para 10 ASA 450 (Evaluation of Misstatements Identified during the Audit), prior to evaluating the effect uncorrected misstatements, the auditor shall reassess materiality determined in accordance with ASA 320(Materiality in Planning and Performing an Audit) to confirm whether if remains appropriate in the context of the entity’s actual financial results A prior- year misstatements arises when there are misstatements in the previous audit year which were identified. These misstatements may have corrected in the prior year because it did not cause the financial report for that period to be materially misstated. Sometimes, a misstatement is not detected in the year it occurs or it is not regarded as sufficiently material in that year to warrant an adjustment. If the misstatement is not corrected in the year it arises, it becomes a prior –year misstatement in the following audit year. As per Para 11b ASA 450, the auditor determines whether uncorrected misstatements are material by considering the effect of uncorrected misstatements related to prior year on the relevant classes of transaction, account balances, disclosures and the financial report as a whole.
12.16 Why do audit reports contain paragraphs outlining (1) management’s responsibility for the financial report and (2) the auditor’s responsibility for the financial report? What is contained in these paragraphs? ASA 700 Forming an Opinion and Reporting on a Financial Report (ISA 700) requires the auditor to prepare an auditor’s report including these two paragraphs. The first paragraph outlines to the reader that management is responsible for establishing and maintaining internal controls relevant to the preparation and fair presentation of the financial report which is free from material audit misstatement, selecting and applying appropriate accounting policies and making reasonable accounting estimates. The second paragraph explains that the auditor’s responsibility is for expressing an opinion on the financial report based on the audit, that the audit was conducted in accordance with auditing standards and ethical requirements, describe the audit and state that the auditor believes that the audit evidence obtained is sufficient and appropriate to provide a basis for the auditor’s opinion. The requirement to include both these paragraphs is designed to inform readers of the differences in responsibility and to reinforce the concept that the auditor is not responsible for preparing the financial reports. The auditor is able to explain the scope of the audit and the limitations of the audit process. 12.17 What is ‘modified wording’ in an audit report? What are the different types of modified wording and when are they used?
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Solutions manual to accompany Auditing: a practical approach 2e
ASA 705 Modification to the Opinion in the Independent Auditor’s Report (ISA 705) and ASA 706 Emphasis of Matter Paragraph and Other Matter Paragraph in the Independent Auditor’s Report (ISA 706) outline the modified wording to be included in an auditor’s report when the opinion is not unqualified and/or there are circumstances which the auditor would like to emphasise to readers of the report. A qualified, adverse, or disclaimer of opinion is issued when the auditor has a disagreement with those charged with governance regarding the application of accounting policies or the adequacy of financial report disclosures (qualified or adverse) or when there is a limitation of scope of the engagement (qualified or disclaimer). In both cases the audit opinion is qualified if the matter is material but not pervasive. An adverse opinion or disclaimer of opinion is used when the matter, disagreement or limitation of scope respectively, is material and pervasive. The auditor adds an explanatory paragraph prior to expressing the modified opinion. An emphasis of matter does not affect the auditor’s opinion and applies where the resolution of a matter is dependent on future actions or events not under the direct control of the entity, but that may affect the financial report, and the matter is disclosed in the financial report. The paragraph is added to the audit report following the audit opinion to draw readers’ attention to the appropriate disclosure in the financial report. 12.18 Explain the difference between limitation of scope and disagreement with those charged with governance. A limitation of scope of an audit occurs when the auditor is unable to obtain the necessary evidence to resolve a significant uncertainty. The auditor is unable to perform procedures due to the circumstances (such as a natural disaster or the passage of time) or due to an imposition by the entity (such as not making certain records, documents, or personnel available to the auditor). A disagreement with those charged with governance occurs when the auditor has a different view about matters such as acceptability of accounting policies selected, the method of their application, or the adequacy of disclosures in the financial report. If the client’s management will not change the financial report to resolve the disagreement, the auditor will consider qualifying the audit opinion (either qualified or adverse opinion depending on the pervasiveness of the issue). The difference between these circumstances is that the auditor is unable to obtain sufficient appropriate evidence in the case of a limitation of scope, but has sufficient evidence on which to base a conclusion that the financial report is misleading where there is a disagreement with those charged with governance. 12.19 What are the auditor’s responsibilities under the Corporations Act to report breaches of the Act? Who does the auditor report to?
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Chapter 12: Completion and reporting on the audit
Section 311 of the Corporations Act requires auditors to report any actual or suspected contraventions of the Act to ASIC within 28 days of an event. The responsibility applies to any contravention of the Act, and the auditor is expected to be alert to matters that come to their attention that may indicate such a contravention. For example (see also ASIC Regulatory Guide 34) • Insolvent trading • Breaches of accounting standards • Fraud by officers or employees of the entity • Continual late lodgement or non-lodgement of annual statements and financial reports. 12.20 ASA 260 stresses the importance of communication with ‘those charged with governance’. Who are these people and why is it important that the auditor communicate with them (and not others)? Those charged with governance is defined in Para 10 ASA 260 (Communication with Those Charged with Governance) as: “The person(s) or organisation(s) with responsibility for overseeing the strategic direction of the entity and obligations related to the accountability of the entity”. This includes overseeing the financial reporting process. The identity of the people will depend on the jurisdiction and the entity. For example, in some cases it could be a corporate trustee. In other cases it will be the management personnel, the executive members of a governance board or an owner-manager. The auditor could communicate with a sub-group of those charged with governance, for example an audit committee that is a sub-group of the board of directors. The auditor has to decide with whom to communicate each matter, based on the topic of the matter and the structure of the entity. The auditor communicates with those charged with governance to assist those charged with governance to understand better the consequences of the auditor’s work, to discuss issues of risk and the concept of materiality with the auditor, and to identify any areas in which they may request the auditor to undertake additional procedures, and to assist the auditor to understand better the entity and its environment (Para A11 ASA 260). The communication of findings may include requesting further information from those charged with governance in order to complete the audit evidence obtained (Para A16ASA 260). In general, the communication is for the purpose of assisting an effective, efficient audit and clear communication of the audit outcome, and to ensure that the entity’s representatives understand the nature of their responsibilities and the auditor’s responsibilities. It is important, therefore, that the communication be with senior members of the entity who can make decisions on behalf of the entity and resolve issues brought to their attention by the auditor. If the communication is with management, and not those charged with governance, there is a risk that the matter is not properly resolved. For example, the auditor could be concerned about management override of controls. Reporting such a matter to management, who are
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breaching the controls, is less likely to result in change than reporting it to the board of directors who are in a position to direct management to stop overriding controls.
12.21 What matters does an auditor communicate at the end of the audit to those charged with governance? Why are these matters important? Matters communicated by the auditor at the end of the audit to those charged with governance include: • General approach and overall scope of the audit, including any limitations or additional requirements • Selection of, or changes in, significant accounting policies and practices that could have a material effect on the entity’s financial report • Potential effect on the financial report or any material risks and exposures, such as pending litigation, that are required to be disclosed in the financial report • Misstatements, whether or not recorded by the entity that have, or could have, a material effect on the entity’s financial report • Material uncertainties related to events and conditions that may cast significant doubt on the entity’s ability to continue as a going concern • Disagreements with management about matters that, individually or in aggregate, could be significant to the entity’s financial report or the audit report, including whether the matter has, or has not, been resolved and the significance of the matter • Expected modifications to the audit report. The auditor discusses any expected modifications to their audit report on the financial report with those charged with governance to confirm that: o those charged with governance are aware of the proposed modification and the reasons for it before the report is finalised o there are no disputed facts in respect of the matter(s) giving rise to the proposed modification (or that matters of disagreement are confirmed as such) o those charged with governance have an opportunity, where appropriate, to provide further information and explanations in respect of the matter(s) giving rise to the proposed modification • Any practical difficulties encountered in performing the audit • Any irregularities or suspected noncompliance with laws and regulations that came to the auditors attention during the audit • Comments on the design and operation of the internal controls and suggestions for their improvement, particularly if the auditor has identified material weaknesses in internal control during the audit. • Any other matters agreed upon in the terms of the audit engagement. • Uncorrected misstatements aggregated by the auditor during the audit that were determined by management to be immaterial, both individually and in the aggregate, to the financial report taken as a whole. These matters are important because the auditor has determined that they are relevant to those charged with governance in their governance duties. For example, they may
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Chapter 12: Completion and reporting on the audit
wish to make changes to the internal controls to improve the entity’s ability to achieve its goals more effectively or efficiently. 12.22 Explain the likely action taken by an auditor for (a) current-year misstatements and (b) prior year misstatements? If a misstatement relates to the current year, the auditor will prepare a working paper for all misstatements uncorrected by the client to consider the aggregate effect, and whether the misstatement is material in isolation or in aggregate. The auditor will consider both qualitative and quantitative considerations. If a misstatement has been identified as relating to the prior year(s), the auditor should consider whether the misstatement ‘turns around’ For example, if there is a purchases cut-off error in prior year that causes the balance of purchases balance to be overstated, the misstatement is considered to “turn around” in the following period and therefore causes the purchases balance to be understated in the current period. If the problem is due to judgemental differences between the client and the auditor, it may not turnaround. For example, the over valuation of an asset due to a judgement about fair values would persist if the asset was still held and valued in the same way. The auditor is required to use professional judgement in this case to determine the appropriate response.
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PROFESSIONAL APPLICATION QUESTIONS 12.23 Events after balance date Required How should this information be reflected in the financial report? The cash receipts in July provide evidence of the account balance of debtors at 30 June. Subsequent payments from debtors show that the debt is not bad, and should not be written off at 30 June. Therefore, the auditor would agree to their valuation at the full amount to be reflected in the financial report.
The information received about the customer with a large balance and who declared bankrupt on 10 July is the basis of making an adjustment to the financial report. The remaining account balance of the bankrupt customer will unlikely be paid. The event is a Type 1 subsequent event. The information about the bankruptcy is relevant to 30 June because the debtor was unable to pay its debt as it fell due, but the audit client was not aware of it. It is not a new event post 30 June; rather it is an event that provides information about a circumstance existing at 30 June. If management had better knowledge at June 30 of the financial circumstances of all debtors with balances at that date (or their conditions existing at June 30) they would have made better assessments about the ‘doubtful’ status of the debtor’s balances. The appropriate treatment is to include in the provision for doubtful debts the amount which are unlikely be paid (amount approximately to be written off) by the bankrupt debtors. Except for the bankrupt debtor, the remaining debtor’s balances as of 30 June but were subsequently paid in the next period must show the full debt in the debtors’ balance as at 30 June.
12.24 Going concern Required Identify any significant events or conditions that individually or collectively may cast significant doubt on WW’s ability to continue as a going concern The events or conditions are: - Paying suppliers late- This suggests cash flow problems and/or poor management of creditors -
Demands from suppliers for cash on delivery- This creates additional cash flow problems because WW does not have the ability to receive and sell goods before paying suppliers. The additional cash flow problems will require WW to raise or source cash (probably at a cost) from a bank (i.e. requesting bank overdrafts or increasing it) or by delaying payments to other parties and/or accelerating cash receipts by discounting goods. These actions are likely to increase costs and reduce profits.
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Chapter 12: Completion and reporting on the audit
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Correspondence between WW and the bank- The cash flow problems appear to be ongoing since 2013. WW’s cash position appears to be deteriorating, with no positive action taken.
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Change of auditor- A change in auditor is not by itself a sign that there are going concern problems. However, one possible reason for the change in auditor is difficulties between the client and the previous auditor about the appropriate treatment of certain items and/or audit report qualifications. The change in auditor might be late in the year, hampering the audit firm’s ability to conduct appropriate procedures for client acceptance (such as conversations with WW’s bank and previous auditor).
12.25 Emphasis of matter paragraph Required Was the opinion in the auditor’s report appropriate? Explain. An emphasis of matter paragraph is “a paragraph included in the auditor’s report that refers to a matter appropriately presented or disclosed in the financial report that, in the auditor’s judgement, is of such importance that it is fundamental to users’ understanding of the financial report.” (See Para 5 ASA 706 Emphasis of Matter Paragraph and Other Matter Paragraph in the Independent Auditor’s Report) ASA 570 (Going Concern) requires the use of an emphasis of matter paragraph with an unmodified opinion if the auditor concludes that the use of the going concern assumption is appropriate in the circumstances but a material uncertainty exists. This is on the assumption that on the Notes to the Financial Report, the client has disclosed adequately and/or highlighted the following (see Para 18 & 19 ASA 570): a) the principal events or conditions that significant doubt on the entity’s ability to continue as going concern b) management’s plans to deal with those events and conditions c) the material uncertainty related to the events If the client’s disclosures are inadequate, the auditor will provide a modified opinion (a qualified or an adverse opinion) as per Para 20 ASA 570, If however, the financial report has been prepared on a going concern basis but according to auditor’s judgement, the management use of the going concern assumption in the financial report inappropriate, the auditor will issue an adverse opinion The key factors to consider in this case are: a) whether a material uncertainty exists about the client’s ability to continue as a going concern considering the fact that Eastcoast Bank appeared unwilling to extend further finance to Springsteen Ltd, the client; b) whether the disclosures by the client about the principal events or conditions and their plans to deal with them are appropriate
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The client did not make disclosures about the debt refinancing matter in its financial report. This suggests that their disclosures were not adequate, therefore, the auditor will issue a modified audit opinion (qualified report) In addition, it appears that the bank was unwilling to refinance which raises considerable doubt about the entity’s ability to continue as a going concern. As the report had been prepared on a going concern basis, the auditor should have issued an adverse opinion.
12.26 Audit documentation for going concern Required Given the history of the bank loan, outline two types of documentation you would expect to see included in the audit file to provide audit evidence that this year’s financial report can be prepared on a going concern basis. The extension of the loan in September for another 12 months means that the client was a going concern during the year. However, the going concern issue is now due to be considered again for the next year because the loan will be due 3 months after the year end. One reason the bank is renewing the loan for a 12- month term (short term) in each case because it may have some doubts on the capacity of Springsteen Ltd to service the loan therefore it is hesitant to provide the loan for a longer period. Another reason is that the client is seeking renewal for 12 months each time because it plans to find another source of finance at a cheaper cost, or has plans to sell some assets & etc. on the short term. This situation is creating ongoing difficulties for the audit because of the constant need to gather evidence on the going concern. The auditor would seek the following type of documentation in the current year to gather sufficient appropriate evidence that this year’s financial report can be prepared on a going concern basis: (1) Loan Documentation from the bank regarding renewal of the existing loan to another 12 months from September 2012. If this is not provided by the current bank( Eastcoast Bank) (2) Loan application documentation from another financial institution whom Springsteen Ltd has recently applied for loan (3) Other documentation may be minutes of management/directors discussion regarding: • plans to obtain a more secure source of finance • business strategies to reduce their reliance on debt funding (bank loans); • other business strategies to increase cash flow such as disposal of idle assets, reduction operating costs and raising funds through equity funding
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Chapter 12: Completion and reporting on the audit
12.27 Audit wrap-up Required (a) What additional attention would open matters require? (b) Explain why documents on a client’s audit files would be ‘unnecessary’. Give examples. (a) Open matters are those matters that are not yet finalised to the auditor’s satisfaction. These require audit attention because they not been resolved to the auditor’s satisfaction. The auditor may be waiting for evidence to be received (e.g. waiting for receipt of a solicitor’s representation letter), a procedure to be completed (e.g. an audit assistant has not completed testing the sample of documents), or the auditor has not yet made a decision on whether further evidence is required. The open matters could need attention such as a follow-up letter to be written to an external party, additional staff assigned to complete a procedure, or a decision to be made to complete additional procedures. In some cases, the auditor decides that no further action is required and closes the matter. (b) Lucy’s reference to a famous case in the US is a reference to the Arthur Andersen audit firm. The firm was prosecuted for destroying files relating to the audit of Enron (although the prosecution was later overturned on appeal). Para 5 and Para 7 of ASA 230 Audit Documentation (ISA 230) requires auditors to prepare audit documentation on a timely basis that provides a sufficient appropriate record of the basis for the auditor’s report and evidence that the audit was planned and performed in accordance with the standards and law. It also requires the auditor to adopt procedures to maintaining the confidentiality, safe custody, integrity, accessibility and retrievability of audit documentation (see Para Aus 16.1 of ASA 230) Para 14 and Para 15 of ASA 230 requires the auditor to assemble the audit documentation, and to not delete or discard audit documentation of any nature before the end of its retention period. However, the auditor is not required to include superseded drafts of working papers and financial reports, notes that reflect incomplete or preliminary thinking, previous copies of documents corrected for typographical or other errors, and duplicates of documents (see Para A4). In assembling the final audit file could involve making administrative changes to the documentation and example of such changes are: discarding or deleting superseded documentation, sorting, collating and cross-referencing working papers, signing off on completion checklists relating to the file assembly process, documenting audit evidence that the auditor has obtained, discussed and agreed with the relevant members of the engagement team before the date of the auditor’s report. (Para A22) Therefore, it is clear that some papers are not required to be kept. Unnecessary documents include superseded drafts, notes from early stages of work, corrected documents and duplicates.
12.28 Reporting subsequent events
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Required (a) Is the event material? (b) What is the appropriate treatment of this item in the financial report? (c) What audit report would be appropriate if the directors of DelRay refuse to change the financial report? (a) The amount of the deposits is $340,000, which is material compared with the $3m purchased annually from this supplier (but there is an unknown amount purchased from all suppliers). If there are many other suppliers, the loss of the deposit amount is not likely to be material given that it is below materiality level set by the auditor. However, if the supplier is not able to supply the goods, DelRay could be without supplies, consequently, disrupting its business. (b) The deposit was paid in May, the supplier closed in late May, and the order remained unfilled at year-end. The information about the likely non-recovery of the deposit was an opinion obtained in July (post yearend). This means that the opinion obtained in July was providing additional information about a condition that existed at year end. This is a Type 1 subsequent event. The auditor should consider an adjustment to the accounts for the year ended 30 June to reflect the non-recoverability of the deposit. The client is likely to provide additional information in Notes to the Accounts to explain the loss and quantify the impact of the problem on the business. (c) If DelRay provides the appropriate adjustments to the financial report as recommended, the auditor should consider an audit opinion which will reflect their disagreement with those charged with governance (directors). The loss to the business of the non-recovery of the deposit can be quantified and the effect on the financial statements limited to specific accounts, so the item is material, but not pervasive, therefore a qualified opinion is appropriate.
12.29 Assessing going concern Required (c) Identify the factors that would raise questions about the going concern assumption for MMF. Are there any mitigating factors? (d) What reporting options are available to the auditor of MMF? Discuss. (a)
• • • •
Factors indicating a going concern issue: Drop in demand for products based on general economic conditions and increased competition High gearing (high debt/equity ratio) means little capacity for further borrowing Recent borrowings due for renewal 3 months after year-end, but no agreement reached with the bank Potential difficulties borrowing from other banks because of economic conditions and fall in demand for entity’s products
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Chapter 12: Completion and reporting on the audit
Mitigating factors: • High expertise within the company suggesting ability to make new sales contracts despite economic conditions and competition • Borrowings were used to purchase assets which have potential resale value • Ongoing negotiations with another bank to refinance debt • Possible cost-cutting (e.g. staff layoffs could be explored) (b) Audit reporting options are detailed in ASA 570 Going Concern – See the flowchart in Appendix 1 (Linking going concern considerations and types of audit opinion). Essentially, the auditor must consider the degree of uncertainty surrounding the going concern and assess the adequacy of management’s disclosures in the financial report. The greater the degree of uncertainty around the going concern assumption and the less satisfactory the management’s disclosures, the more likely that the auditor will qualify the audit report. An emphasis of matter paragraph could be added to draw the reader’s attention to the doubts and mitigating factors if the auditor believes that the management has made sufficient disclosure. The flowchart in ASA 570 could be summarised as follows: • If there is not sufficient appropriate audit evidence on which to base an opinion o Express a qualified opinion or disclaimer of opinion due to limitation of scope • If the doubts about entity’s ability to continue as a going concern are not significant, the audit report would be unqualified. • If the doubts are significant but the additional audit procedures confirm the appropriateness of the going concern assumption, then if the mitigating factors are o adequately disclosed, the audit report is unqualified o not adequately disclosed, the audit report is qualified for inadequate disclosure • If the doubts are significant and the additional audit procedures do not confirm the appropriateness of the going concern assumption, o if there is adequate disclosure of all material uncertainties in the financial report, the audit report is unqualified with an emphasis of matter paragraph o if there is not adequate disclosure of all material uncertainties in the financial report, the audit report is ▪ qualified for inadequate disclosure if the matter is not pervasive ▪ adverse opinion for inadequate disclosure if the matter is pervasive • If there is significant doubt the entity will continue as a going concern o Adverse opinion for inadequate disclosure
12.30 Subsequent events procedures Required
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(a) Explain the difference between the two types of subsequent events. Give an example of each type and explain the type of adjustment (if any) that would be required to the financial report for each. (b) List some audit procedures that should be in the audit plan for this company for the detection of subsequent events occurring prior to the date of the audit report. (c) Explain the auditor’s responsibilities for subsequent events that arise after the date of the audit report (either before or after the date the financial report is issued). What is the difference in the auditor’s responsibilities between these events and those arising before the date of the audit report? (a) AASB 110 (Events after the Reporting Period) and ASA 560 (Subsequent Events) both explain that there are two types of subsequent events. Type 1: events that provide additional evidence with respect to conditions that existed at year-end. These events can affect the estimates inherent in the financial report or indicate that the going concern assumption is not appropriate. Where appropriate, the financial report should be amended to recognise the event. For example, the entity had made an insurance claim for damage to property because of a fire during the year, which was still in negotiation at year end. Subsequent to the year-end, the claim was settled. The settlement provides a certain amount that can be recognised in the accounts. The adjustment that would be made in this case is to recognise the amount of the insurance claim as a receivable from the insurance company (debit) and as a credit to offset the loss on the property damage (i.e. credit to income statement). Type 2: events that provide evidence with respect to conditions that developed subsequent to year-end. These events do not result in changes to amounts in the financial report because they are new events. However, they may be of such significance as to require disclosure in the financial report. An example of this is an uninsured loss of plant or inventories as a result of a fire or flood subsequent to yearend. This event does not affect the value of the asset at year-end, but it would be important to users of the financial report to know that the asset has been destroyed. The disclosure is made through a Note to the Financial Report, not by an accounting entry. (b) Audit procedures normally used for the detection of subsequent events include: • gaining an understanding of, and evaluating processes that management has established to, determine that subsequent events are identified and dealt with • reading minutes of meetings of the board of directors and executive committees held after the reporting date and inquiring about matters discussed at meetings for which minutes are not available • reading and analysing the latest available interim financial report and, as considered necessary and appropriate, budgets, cash flow forecasts and other related management reports for events such as changes in accounting principles, significant changes in results or working capital, noncompliance with loan terms, and reviewing sales, receipts, journals and other accounting
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• • • • • •
records relating to transactions that have occurred subsequent to the date of the financial report. extending any analytical procedures performed during the audit to include the period up to the date of the auditor’s report inquiring, or extending previous oral or written inquiries of the entity’s legal counsel concerning litigation and claims assessing continued compliance with borrowing limits and loan covenants inquiring of those charged with governance as to whether any subsequent events have occurred that might affect the financial report inquiring of management as to whether any subsequent events have occurred that might affect the financial report, or (an experienced member of the engagement team) reviewing management reports. obtaining written representations from management as part of the management representation letter confirming oral representations made in respect of subsequent events and that they are not aware of other relevant subsequent events.
c) Prior to the date of the audit report, the auditor is required to perform specific procedures to detect subsequent events (as outlined in part b above). After the date of the auditor’s report, the auditor is not required to perform these procedures, but the auditor should consider taking action if they become aware of facts that may have caused them to qualify the audit opinion if they had been aware of these facts prior to signing the audit report. The auditor should consider discussing the matter with management or those charged with governance and whether the financial report needs amendment. If management amend the financial report, the auditor has to continue the audit procedures required to be able to form an audit opinion and write a new audit report. If management refuse to amend the financial report, the auditor should consider whether they should take action to prevent reliance on the audit report. The difference in the auditor’s responsibilities between after date of audit report and those arising before the date of the audit report is that the auditor has a responsibility to discover and evaluate only the event that come to his attention after he has signed the report. Prior to signing the report, the auditor has a responsibility to discover and evaluate all subsequent events that possibly have a material effect on the financial statement. 12.31 Reporting subsequent events Required For each item above: (a) What type of subsequent event is it? (b) What is the appropriate treatment in the financial report? The board is planning to issue shares in a private placement on 15 August. This is a Type 2 event – evidence of conditions that arose after the date of the financial report, because the private placement is to occur after June 30. The appropriate treatment is to make a note disclosure of the details of the private placement. The share issue is to fund the purchase of a 60 per cent stake in another company.
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This is a Type 2 event – evidence of conditions that arose after the date of the financial report, because the purchase is to occur after June 30. The appropriate treatment is to make a note disclosure of the details of the purchase. A writ was lodged in the Supreme Court in the week after year-end claiming damages for illness allegedly caused by chemicals used at a subsidiary company’s manufacturing plant in the 1990s.This is a type 1 event – evidence of conditions that existed at the date of the financial report, because the events that gave rise to the writ occurred prior to June 30 and is a further case of a continuing series of writs being lodged for the same reason. The appropriate treatment is to make a Disclosure of the writ and the reasons the company is defending the writ and believes it will win the case. Normally, type 1 events give rise to amendments to the accounts, and it could be argued that the company should recognise the cost of the claim as a loss and a liability. However, the company believes that it has sufficient evidence to defeat the case and will not be required to pay the claim. The company is asserting that the obligation is not probable and will not exist unless the court case goes against the company. The correct accounting treatment is to make a note disclosure of the contingent liability (AASB 137 Provisions, Contingent Liabilities and Contingent Assets). The review of subsequent cash receipts has revealed that several of the trade receivables that were considered doubtful have now been paid. However, the audit procedures have shown that a large debtor that was considered safe at 30 June was unexpectedly declared bankrupt on 20 July. This refers to a Type 1 event - evidence of conditions that existed at the date of the financial report. In this case some doubtful debts have been paid, and another debt is now known to have been doubtful at June 30. If management had better knowledge at June 30 of the financial condition of all debtors with balances at that date (i.e. the conditions existing at June 30) they would have made better assessments about their ‘doubtful’ status. The appropriate treatment is to write off the bad debts and to show the full debt of those that subsequently paid in the debtors’ balance. 12.32 Audit reports and other communication at the end of an audit Required (a) Discuss Sven’s audit report options and recommend the appropriate wording for the audit report. (b) What matters would Sven include in the letter to those charged with governance at Kingston Catering? (a) The missing files create a limitation on the scope of the audit. There is the possibility that the auditor is not able to gather sufficient appropriate evidence on which to base his audit opinion. It appears that the circumstances were beyond the control of the client and mainly affect sales revenue and debtors receivables. The reporting possibilities in these circumstances are: - Unqualified report if the lack of evidence affecting sales revenue and debtor is not material
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Qualified report if the loss of sales records and debtors receivables records cause the auditor not to be able to obtain sufficient appropriate evidence and the effect is material but not pervasive Disclaimer of opinion report if the loss of sales records and debtors receivables records cause the auditor not to be able to obtain sufficient appropriate evidence and the effect is material but pervasive.
Critical issues considered for the audit opinion decision include: - Evidence that the problem was confined to a defined period- The information is that the problem began four months into the year, and appears to be corrected. - Ability to perform alternative procedures, such as using subsequent cash receipts to verify sales for the period. - Confidence in the value of debtors at the end of the financial period – This is if the problem has corrected the debtors at the end of the period, then should be unaffected by problems which occurred at the start of the year. Given the circumstances of Kingston Catering, the most likely audit opinion is qualified because of the above reason The audit report would contain the usual paragraphs identifying the subject of the audit, management and auditor’s responsibilities, then the following: Basis for qualified opinion As disclosed in Note xx to the financial report, the entity’s sales for the eight months to the end of the year are stated at $xxx and for the first four months of the year are stated at $xxx. We were unable to obtain sufficient appropriate audit evidence about the sales for the first four months of the year because we were unable to gain access to the financial records for this period. Consequently, we were unable to determine whether any adjustments to these amounts were necessary. Qualified opinion In our opinion, except for the possible effects of the matter described in the Basis for Qualified Opinion paragraph, the financial report of Kingston Catering is in accordance with the Corporations Act 2001, including: (a) giving a true and fair view of the company’s financial position as at 30 June 20XX and of its performance for the year ended on that date; and (b) complying with Australian Accounting Standards and the Corporations Regulations 2001 Auditor’s Signature and other auditor’s details are the last items found at the bottom of the Independent Auditor’s Report (b) As per Para 19 ASA 260 (Communication with Those Charged with Governance), the auditor shall communicate in writing with those charged with governance regarding significant findings from the audit. The letter to those charged with governance would contain a full description of the matter giving rise to the audit qualification and explain reasons for the modification of audit opinion.
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The auditor would also communicate deficiencies from the previous internal controls (i.e. such lack of IT General and Application Control) and make a recommendation for improvements to internal control. Deficiencies on efficient and effective back up system consequently loosing important company’s business information is a significant matter which needs to be communicated. As per ASA 265(Communicating Deficiencies in Internal Control to Those Charged with Governance and Management), the auditor communicates appropriately to those charged with governance and management the deficiencies in the internal control that the auditor has identified during the audit Other matters would include the usual explanation of other significant audit findings, views on appropriateness of accounting policies, independence issues if any, and other supplementary matters (see Para A24 ASA 260) that are relevant to current and future conduct of audits.
12.33 Misstatements and the audit report Required (a) Discuss the ethical issues Katrina faces and explain what she needs to do to comply with APES 110. (b) Explain Katrina’s audit report options. (c) Recommend a course of action for Katrina. (a) Katrina has a duty under APES 110 (Code of Ethics for Professional Accountants) to comply with the fundamental principles: integrity, objectivity, professional competence and due care, confidentiality, and professional behaviour. As per Para 100.10 APES 110, compliance with the fundamental principles may potentially be threatened by a broad range of circumstances and may fall into categories like self-interest threat, self-review threat, advocacy threat, familiarity threat and intimidation threat. As with Katrina’s case, the threats to these principles include: • self-interest threat, where Katrina may not wish to upset the CEO any further in case the audit firm loses the audit work with Champion Securities. • intimidation threat, where the CEO appears to be intimidating Katrina in an effort to get her to agree to his valuations. The CEO’s statement ‘I think we need an auditor who is a bit more realistic’, could be interpreted as a threat to replace Katrina, and her firm, with another auditor who would agree with his valuations. These threats could result in Katrina losing her objectivity and complying with the CEO’s request. Katrina must consider the seriousness of the threats and how she can safeguard the principles. Possibilities include: • Ensuring all audit documentation is complete and referring it to her audit firm’s ethical committee with a request for guidance
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• • • • • • (b)
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Asking another partner at the audit firm to review the case and join her in dealing with the CEO Referring the matter formally to the client’s board and/or audit committee Requesting another independent valuation of the assets in question from an expert Asking to be heard at the client’s AGM to explain the problem to the company’s shareholders Referring the matter to ASIC Resigning from the audit Katrina’s report options are: Unqualified Report if she is able to reach an agreement with the CEO on the appropriate valuation of assets Unqualified Report With Emphasis of Matter Paragraph if an agreement on the asset valuations is reached and as a result a significant going concern uncertainty is raised which is adequately disclosed Qualified Report if the misstated valuations do not have a pervasive effect on the financial reports This is unlikely because of the given information about the critical nature of the valuations to the assessment of profitability and solvency of the company Adverse Report if the misstatement in the valuations have a pervasive effect on the financial reports. This is particularly likely given when the misstatement in the valuation of assets will cast significant doubt that the company will continue as going concern
(c) Katrina should attempt to resolve the issue, with the help of the client’s board and other partners at her audit firm, and ensure that correct valuations for these assets are disclosed in the financial report. The second reporting option in (b) is then most likely. Issuing an adverse report, reporting the matter to ASIC and resigning from the audit are last resort options if the relationship breakdown between the auditor and the client. Katrina should not comply with the CEO’s ‘request’ to overvalue the assets because this would appear to be against professional ethics.
12.34 Subsequent events Analyse the events surrounding the sale of land and buildings. Is it a subsequent event? If so, which type? The sale of the land and buildings is a subsequent event because it occurred in the month following the end of the financial year. It is a Type 2 event because it provides evidence of conditions that arose after the date of the financial report. The sale of the land and buildings was not contemplated at 30 June because the offer which made in July 2014 was unexpected. It could be argued that the unexpected offer of $24.5m was evidence that the asset had a fair value of greater than the stated $20.8m at balance date, and thus the sale provides evidence of conditions that existed at the date of the financial report (i.e. a Type 1 event). However, if the auditor has
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conducted the usual audit procedures to test the fair value of the land at buildings at 30 June, and has evidence to support the valuation of $20.8m as being reasonable, it would not be appropriate to recognise the higher value in the accounts at 30 June. The offer price was higher than fair value because that particular buyer wanted the asset and was prepared to pay a higher price.
12.35 Audit reports and subsequent events Based on your answer to the question 12.34, explain what type of audit opinion you would issue. Why? As a Type 2 event, the sale should be disclosed by Note in the Financial Report for the year ended 30 June 2014. Provided that there is a disclosure made in regards to the significant sale of property, the audit report issued would be unqualified. The auditor would also consider whether an emphasis of matter paragraph would be included in the audit report to draw the reader’s attention to the relevant Note in the Financial Report. An inclusion of an emphasis of matter paragraph would be appropriate in the unqualified audit report if the sale of property had a material effect on the financial report. It is unlikely to have such a significant effect on overall entity’s financial position. If the disclosure is not made, the audit report would be qualified for material nondisclosure. 12.36 Final review issues — subsequent events (a) Explain your responsibilities with respect to the cafeteria fire. (b) How will this event be handled in the financial report and the audit report? (a) The cafeteria fire took place ‘last week’. As today’s date is 13 July, the date of the fire must have been post 30 June, making it a subsequent event. The auditor is required by ASA 560 Para 6 (Subsequent Events) to perform audit procedures to obtain sufficient appropriate audit evidence that all events occurring between the date of the financial report (30 June) and the date of the auditor’s report (in three weeks’ time) that require adjustment of, or disclosure in, the financial report have been obtained. Therefore, the auditor has a duty to plan and execute procedures designed to detect a subsequent event such as a fire on the premises. The auditor must then determine whether the event is appropriately reflected in the financial report in accordance with the standard. Also, as per Para 9 ASA 560, the auditor shall request management and those charged with governance to provide written representations that the fire which occurred subsequent to the date of financial report and for which it requires disclosure have been disclosed in the financial report as at 30 June. (b) The fire would be disclosed by way of Note to the Financial Report. The accounts would not be adjusted because the event is a Type 2 Event (those which provides evidence of conditions that arose after the date of the financial report. If the event is properly disclosed, the auditor would issue an unqualified audit report. The auditor would consider whether an emphasis of matter paragraph would be included
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in the audit report to draw the reader’s attention to the relevant Note in the Financial Report. An unqualified report with emphasis of matter paragraph would be appropriate if the fire was considered to be a major catastrophe that has, or would have, a significant effect on the entity’s financial position. The fire damage is not covered by insurance, but it is unlikely to cause such damage that the event has a significant effect on the entity’s financial position on its own. However, in combination with other events, such as those casting doubt on the entity’s ability to continue as a going concern, it could have such an effect. 12.37 Final review issues — going concern and reporting (a) Are there any going concern issues for HCHG? Explain. If so, what are the mitigating circumstances? (b) How will you recommend the issue be handled in the financial report and the audit report? (a) -
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The factors indicating a going concern issue are: post balance date fire in the cafeteria which was uninsured, creating a substantial loss for the company major borrowings due for refinancing, but the refinancing is not yet arranged, and poor economic conditions increasing the likelihood that refinancing will not be possible significant changes in senior personnel making it difficult to conclude the refinancing arrangements suppliers are requesting cash on delivery rather than the usual credit terms, suggesting that they are experiencing difficulty in being paid in a timely manner by the client lawyers for HCHG reveal that the hospital is unlikely to have adequate professional indemnity insurance to meet the current risks of several malpractice cases that have been brought against the hospital in the last 12 months
Mitigating factors: - New senior finance controller appointed who has been renegotiating with some key HCHG suppliers regarding payment terms - Consider if HCHG has any plans to cut costs - Lawyers may suggest that the client has sufficient grounds for defending malpractice claims - Suppliers are still making deliveries, even though they are demanding cash on delivery, therefore , business is able to continue to get sufficient supplies - Any idle assets may be sold to generate cash (b) The mitigating factors appear to be relatively weak compared with the factors indicating doubt about the going concern assumption. The auditors must perform procedures to test the strength of the mitigating factors and discuss with management their plans to deal with the issue.
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If management recognise the issues with the going concern assumption and make adequate disclosure of all factors (including mitigating factors) the auditor would issue an unqualified audit report with emphasis of matter paragraph to draw reader’s attention to the relevant note disclosures in the financial report. However, if the auditor decided that despite the disclosures that management was willing to make, the business is not a going concern, the financial report should be prepared on a liquidation basis. If management do not agree to make the relevant disclosures, the auditor would issue an adverse audit opinion for inadequate disclosure, unless they thought the matter was not pervasive, in which case they would issue a qualified opinion for inadequate disclosure. If the management refuse to cooperate and extend their assessment of the company’s ability to continue as a going concern to cover the period when the debt is due for refinancing, the auditor could issue a disclaimer of opinion due to limitation of scope.
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RESEARCH QUESTION Students are required to conduct and write up a literature search for all cases against auditors for issues related to the global financial crisis. This would be a search of newspapers and online press. Students could include reports of investigations made by regulatory authorities, such as ASIC in Australia or the PCAOB in the US, of audit firms during the period. For example, ASIC released a report in January 2010 ( see ASIC media release: 10-04MR ASIC's review of 30 June 2009 accounts and areas of focus for 31 December 2009 accounts) suggesting that valuation issues were not being adequately assessed and documented following the Global Financial Crisis (GFC). Below are other resources which students may refer to for their literature search. These are ASIC media releases and information for 2012 (go to http://www.asic.gov.au/asic/asic.nsf/byheadline/Releases-aboutauditing?openDocument: • ASIC's audit inspection findings for 2011-12, 12-301MR, 4 December 2012 • Former Centro auditor suspended, 12-288MR, 19 November 2012 • Former ABC Learning Centres auditor prevented from auditing companies for five years, 12-186MR, 8 August • • •
Perth auditor charged by ASIC for failing to be independent, 12-124MR, 12 June 2012
ASIC accepts enforceable undertaking from auditor for breaching the rotation requirements, 12-75MR, 20 April 2012 Astarra Strategic Fund auditor prevented from auditing companies for three years, 12-22MR, 10 February 2012
Students are required to evaluate the evidence they discover in the context of the merit of the case against auditors or evidence of poor quality auditing, as opposed to searching for scapegoats.
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Case Study Cloud 9 Based on everything you know about the audit of Cloud 9 Pty Ltd, finalise the audit by preparing the audit report and the letter to those charged with governance of the company.
Solution Prepare audit report and letter. Use audit report examples in ASA 700 (and 705, 706 if applicable). Letter to those charged with governance (management letter) could include paragraphs: • • •
Summarising general approach and overall scope of the audit, including any expected limitations thereon, or any additional requirements Comments on the design and operation of the internal controls and suggestions for their improvement, particularly if the auditor has identified material weaknesses in internal control during the audit. Any other matters agreed upon in the terms of the audit engagement.
Major issues arising during the course of the audit, including practical difficulties, suspected non-compliance with laws and regulations found during the audit, management’s inappropriate decisions regarding accounting standards or estimates, modifications to the audit report would also be included in the letter, but there is unlikely to be any evidence of these in the case of Cloud 9. The auditor also informs those charged with governance of those uncorrected misstatements aggregated by the auditor during the audit that were determined by management to be immaterial, both individually and in the aggregate, to the financial report taken as a whole.
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