Title: Corrections Technology Association Sixth Annual Conference
1Corrections Technology AssociationSixth Annual
Conference
Sarbanes-Oxley Act andImpact of Noncompliance
- Presented by
- Mr. Robert E. Kaelin, Partner
May 3, 2005
2Agenda
- Background
- Sarbanes-Oxley (SOX) Overview
- Impact on Vendors
- Impact on Agencies
- Future Impact
- Conclusion
3Background
- Why Do I Care About Sarbanes-Oxley?
4BackgroundThe Problem
- SOX was a reaction to corporate scandals and lack
of investor confidence - Enron.
- Arthur Andersen.
- MCI.
- Intense competition and pressure, conflicts of
interest, and poor practices led to poor
reporting and mismanagement. - Criminal activities also contributed to the
problem. - Many other smaller examples of dot com booms
that turned out to be investor busts all combined
to prompt congressional action. - Source Bauer College of Business
5BackgroundThe Problem Continues Today
- A May 2, 2005 headline stated Audit flaws wipe
2.7bn from AIG. - Discoveries of improper accounting at American
International Group (AIG) are to knock 2.7
billion off the value of the world's biggest
insurer. - AIG said it would restate its accounts for each
of the last 5 years from 2000 onwards, lowering
the companys value by 3.3. - It said it had found material weaknesses in its
control systems and postponed filing its 2004
accounts. - Source http//news.bbc.co.uk/1/hi/business/45048
65.stm
6BackgroundLearning About SOX
- Business Relationship
- Advise clients on business process and
implementation issues. - Project issues.
- Client accountability.
- Manage and run our company.
- My role on the IJIS Institute Board of Directors
- Serve as chair of the Governance Committee.
- Responsible for the overall impact of SOX on the
institute. - Controls.
- Reporting.
7BackgroundLearning About SOX (continued)
- To understand SOX
- Conducted Web research and evaluated SOX
presentations. - Conferred with compliance auditor.
- Disclaimer
- I am a Management consultant not an auditor.
- I understand SOX but do not want to know it!
- SOX focuses on doing what is right.
- Contact your legal adviser and auditor for
specific analysis. - Rules are still being defined and refined.
8Sarbanes-Oxley Overview
Sarbanes-Oxley Overview
9Sarbanes-Oxley OverviewThe Act
- The act was signed into law on July 30, 2002.
- It includes regulations regarding
- Public Company Accounting Oversight Board
(PCAOB). - Auditor independence.
- Corporate responsibility.
- Enhanced financial disclosures.
- Corporate and criminal fraud accountability.
- It applies primarily to publicly traded
companies. - SOX is actually a combination of
- Sarbanes Oxley Act of 2002 (H.R. 3763).
- Rules of the PCAOB.
- Rules of the SEC.
10Sarbanes-Oxley OverviewThe Scope of the Act
- The scope of the act focuses on
- Internal controls.
- Process.
- Policies.
- Activities.
- Compliance and reporting.
- Transparency.
- Accuracy.
- Governance.
- Accountability.
- Responsibility.
- Avoidance of conflict of interest.
11Sarbanes-Oxley OverviewThe Details of Act
- Title I Public Company Accounting Oversight
Board - Title II Auditor Independence
- Title III Corporate Responsibility
- Title IV Enhanced Financial Disclosures
- Title V Analyst Conflicts of Interest
- Title VI Commission Resources and Authority
- Title VII Studies and Reports
- Title VIII Corporate and Criminal Fraud
Accountability - Title IX White-Collar Crime Penalty Enhancements
- Title X Corporate Tax Returns
- Title XI Corporate Fraud and Accountability
12Sarbanes-Oxley OverviewPublic Company Accounting
Oversight Board
Title I
- Established by SOX.
- Nonprofit agency.
- Responsibilities
- Register and inspect public accounting firms.
- Establish standards for public accounting firms.
- Enforce compliance with the act and rules of the
board. - Investigate firms and impose sanctions.
- Source for all title details Bauer College of
Business.
13Sarbanes-Oxley OverviewCorporate Responsibility
Title III
- Assigns the responsibility to the audit committee
to appoint, compensate, and oversee the public
accounting firm that performs the audit. - Requires CEO and CFO to
- Certify fairness of financial statements.
- Take responsibility for disclosure controls.
- Makes it unlawful to fraudulently influence,
coerce, or mislead an auditor. - Provides for the forfeiture of certain
compensation following the issuance of a
non-compliant financial document. - Provides the SEC with greater flexibility to
remove management or board members. - Requires attorneys to report evidence of material
violations.
14Sarbanes-Oxley OverviewCorporate Responsibility
(continued)
Title III
- Section 301 Public Company Audit Committees
- Companies that are not compliant with SEC audit
committee requirements are subject to delisting. - Audit committees are responsible for oversight of
auditors including the resolution of
disagreements between management and auditors. - Audit committees must set up procedures to
receive and address whistle-blower complaints. - Employees and others may take concerns directly
to the audit committee. - Audit committee members are required to be
independent, and a disclosure is required in
proxy statements.
15Sarbanes-Oxley OverviewEnhanced Financial
Disclosures
Title IV
- Requires disclosure of material off balance sheet
arrangements. - Prohibits companies from making loans to
directors or executives. - Requires management to establish and maintain
adequate internal controls and procedures for
financial reporting. - Requires disclosure of a code of ethics for
senior financial officers. - Requires companies to disclose whether at least
one of the audit committee members is a financial
expert. - Requires rapid disclosure of changes in financial
condition.
16Sarbanes-Oxley OverviewEnhanced Financial
Disclosures (continued)
Title IV
- Section 404 Management Assessment of Internal
Controls - Requires management to establish and maintain
adequate internal controls and procedures for
financial reporting. - Requires that each annual report includes a
statement - Describing managements
- Responsibility for internal controls and
procedures for financial reporting. - Assessment of the effectiveness of the controls
and financial reporting procedures. - Incorporating the independent auditors review of
managements assessment of internal controls and
financial reporting procedures.
17Sarbanes-Oxley OverviewEnhanced Financial
Disclosures (continued)
Title IV
- Related SEC releases define internal controls and
procedures for financial reporting as controls
that provide reasonable assurances that - Transactions are properly authorized.
- Assets are safeguarded against unauthorized or
improper use. - Transactions are properly recorded to permit the
preparation of financial statements that are
presented in a manner consistent with GAAP. - To meet the assessment requirement, management
must select a suitable, recognized framework for
assessing the effectiveness of internal controls.
18Impact on Vendors
Impact on Vendors
What Do Vendors Have to Do About SOX?
19Impact on VendorsSOX Is About Business Practices
- SOX has implications for most business practices
and processes of publicly traded companies. - Any errors or misstatements that could cause a
company to have to restate its financials are
areas that require focus. - Systems and processes must be in place to
administer the pricing, services, and discounts. - Visibility and control must ensure that pricing
and costs are captured accurately and on a timely
basis. - Pricing services and discount processes often
have the most people involved and represent the
largest risk area. - Combined implications create a very large
potential for misstated financial results and SOX
scrutiny, sanctions, and bad press.
20Impact on VendorsSOX Impact
- Skyrocketing SOX implementation costs
- Have put high-tech companies in the position of
having to delay major projects. - Force companies to struggle to compete with
low-cost competition from Asia. - The SOX impact is more than technical, more than
analytical, more than financial - SOX places a burden of responsibility on all
employees, not just the accountants. - SOX impacts IT priorities and To do list.
- SOX will impact the role of IT in its users
business and data. - SOX will challenge any IT organization whose
culture is one of containment.
21Impact on VendorsSOX Requirements
- Companies must ensure that
- Bad news is reported upwards.
- IT project definitions include potential
financial impact. - Ignoring problems is not allowed under SOX.
- Different sections of the act are driving or will
drive changes in the financial organization. - Sections 302 and 404.
- Process mapping.
- Systematic remedies.
- Process changes.
- Collaboration and teaming.
- Section 409.
- Systematic remedies.
- Major process changes.
22Impact on VendorsCompliance Process
- Control Activities
- Policies/procedures that ensure management
directives are carried out. - Range of activities including approvals,
authorizations, verifications, recommendations,
performance reviews, asset security and
segregation of duties.
- Monitoring
- Assessment of a control systems performance over
time. - Combination of ongoing and separate evaluation.
- Management and supervisory activities.
- Internal audit activities.
- Control Environment
- Sets tone of organization-influencing control
consciousness of its people. - Factors include integrity, ethical values,
competence, authority, responsibility. - Foundation for all other components of control.
- Information and Communication
- Pertinent information identified, captured and
communicated in a timely manner. - Access to internal and externally generated
information. - Flow of information that allows for successful
control actions from instructions on
responsibilities to summary of findings for
management action.
- Risk Assessment
- Risk assessment is the identification and
analysis of relevant risks to achieving the
entitys objectives-forming the basis for
determining control activities.
All five components must be in place for a
control to be effective.
Source Pricewaterhouse Coopers
23Impact on Agencies
How Does This Apply to a Corrections Agency?
24Impact on AgenciesThe World Has Changed
- Agencies may experience direct impact.
- Correctional industries that are public
organizations are directly impacted. - These organizations must comply.
- Titles I, III, and IV establish practices and
standards that most auditing organizations,
including government auditors, follow. - Agencies will experience indirect impact
- Contractors working with agencies will be
required to comply. - Internal reporting will increase.
- Time to complete and project status are
significant elements in contractor risk
management efforts. - Payment and contract issues will center on SOX
compliance and may limit previous flexibility. - Costs will go up as companies cope with SOX costs.
25Impact on AgenciesAudit Guidance
- The implication of Title I is that now there are
three audit standards-setting bodies in the
United States. - PCAOB, which sets audit standards for publicly
traded companies. - Auditing Standards Board of the American
Institute of Certified Public Accountants, which
sets standards for privately held companies and
not-for-profit organizations. - U.S. General Accounting Office, which sets
standards for federal, state, and local
governments through the Yellow Book.
26Impact on AgenciesGovernment Auditors
- Although SOX affects corporate auditing and
internal controls, the impact on government
auditors is as follows - Government auditors should encourage good
governance practices with the entities they
audit. - Government auditors have a unique responsibility
to ensure accountability for public resources and
government services. - The fundamental role of government auditors
should remain clear and unchanged provide
assurance.
27Impact on AgenciesNoncompliance
- While most corrections agencies and their
activities do not fall directly under SOX,
reasonable effort should be made to modify
processes to comply. - Where compliance is required, noncompliance can
result in criminal investigation to determine
whether - Information was transmitted by mail.
- Information was withheld from investigators.
- In these cases, felony charges can be brought.
- In other cases, agencies may be ordered to comply
with auditor statements and requirements that - Add expensive processes with no additional
funding source. - Add reporting requirements not otherwise
necessary.
28Future Impact
Future Impact
Will This Go Away?
29Future ImpactSOX Is Likely to Grow
- The results of SOX, both positive and negative,
have led to several discussions on expanding the
scope of SOX. - Congress is reviewing options to expand to
nonprofits to reduce scandals like that of the
United Way several years ago. - Congress is also examining the reporting of
privately held companies. - The Government Accounting Office is reviewing
procedures for government agencies. - Additional rules in support of SOX and auditing
process are under review or in draft form. - State and local governments are revising policies
and in a few cases, legislation, to require
SOX-like activity reporting.
30Future ImpactNew York State Strengthens SOX
- Attorney General Eliot Spitzer has proposed a
series of reforms to strengthen New York's
corporate accountability laws. He stated - Unfortunately, many of New York's laws are
outdated and contain major loopholes. - For these reasons, we must act to strengthen
state laws to protect investors and donors. - Mr. Spitzer's proposals cover the following
areas - Protecting honest employees who report illegal
activities. - Protecting against fraud relating to nonprofit
corporations. - Preventing securities fraud.
- Preventing cover-ups of corporate crimes.
- Addressing misconduct by corporate officers.
- Improving oversight of the accounting industry.
- Consumer advocates have applauded Mr. Spitzer's
efforts.
31Future ImpactGetting a Handle on SOX
- Many auditors and accounting professionals offer
programs to assess SOX compliance that provide - Reports on areas of concerns.
- Recommended changes.
- Programs that align an organizations practices
to comply with SOX. - All CFOs and agency budget officers should
conduct reviews of internal governance and
compliance. - Focus on financial and audit process
understanding. - Whistler-blower protections.
- Key leaders should monitor SOX as well as state
and local policy changes.
32Conclusion
Conclusion
What Are the Key Points?
33ConclusionKey Points
- Understand that SOX is the model for legislative
initiatives aimed at both public and private
companies in a number of states. - Maintain a strong and independent audit committee
(where used). - Keep any arrangements for the auditor to provide
non-audit services independent of audit
services. - Ensure executives understand the financial,
compliance, and other external information
reporting. - Establish, maintain, and document significant
financial and compliance controls. - Maintain and archive all appropriate entity
records. - Remember SOX is the benchmark against which every
companys financial and corporate governance
practices will be measured.
34ConclusionSOX Improvement Areas
- Remediation efforts should focus on
- Financial processes.
- Computer controls.
- Internal audit effectiveness.
- Security controls.
- Audit committee oversight.
- Fraud programs.
- Process improvements for future compliance should
focus on - Financial reporting.
- Risk identification and assessment.
- Risk mitigation.
- IT security strategy and implementation.
- Internal audits.
- Compliance management.
- IT oversight and operations.
35ConclusionResources
- www.aicpa.org
- www.findlaw.com
- www.pcaobus.org
- www.sec.gov
- www.sec.gov/rules/final.shtml
- www.isaca.org
- Contact information rkaelin_at_mtgmc.com or
206-442-5010 - www.mtgmc.com