Title: Management
1(No Transcript)
2(No Transcript)
3(No Transcript)
4(No Transcript)
5(No Transcript)
6(No Transcript)
7(No Transcript)
8Chapter 1 Managements Assertions
9PCAOB RELEASE NO. 104-2005-119
- When auditing the completeness, existence and
valuation assertions for deferred revenue, the
sample of items tested by the Firm was inadequate
because the Firm used the wrong method of
sampling.
10PCAOB RELEASE NO. 104-2005-119
- The issuer accounted for lease incentives
received from landlords as a reduction of
depreciation expense, rather than as a reduction
of rental expense as is required by EITF No.
88-3, Rental Concessions Provided by a Landlord
and FASB Technical Bulletin No. 88-1, Issues
Relating to Accounting for Leases. This treatment
resulted in an understatement of depreciation
expense and an overstatement of lease expense, as
well as an understatement of deferred liabilities
and fixed assets.11/ The Firm should have
identified and addressed the incorrect accounting.
11(No Transcript)
12Chapter 2 Generally Accepted Auditing
Standards GAAS Auditing Standards of the Public
Companies Oversight Board Auditing Standards of
the PCAOB
13PCAOB RELEASE NO. 104-2005-119
- On the audit of this issuer, the Firm represented
that it relied on the work of internal audit
related to the portion of the issuer's loan
portfolio that is serviced by third parties
however, the Firm failed to perform, or failed to
include evidence in the work papers that it had
performed, the following procedures to
understand and evaluate the internal controls at
the service organizations,
Chapter 2 GAAS
14PCAOB RELEASE NO. 104-2005-119
- In this audit, the Firm failed in several
respects to obtain sufficient competent
evidential matter to support its audit opinion
Chapter 2 GAAS
15PCAOB RELEASE NO. 104-2005-119
- . the Firm failed in several respects to obtain
sufficient competent evidential matter to support
its audit opinion
Chapter 2 GAAS
16PCAOB RELEASE NO. 104-2005-119
- the Firm failed in several respects to obtain
sufficient competent evidential matter to support
its audit opinion
Chapter 2 GAAS
17(No Transcript)
18Chapter 12 Reports on audited Financial Statements
19PCAOB RELEASE NO. 104-2005-119
-
- The Firm's evaluation of the issuer's ability to
continue as a going concern was inadequate. The
Firm's conclusion that the issuer had the ability
to do so was based, in part, on the availability
of the issuer's revolving credit facility. As a
result, the Firm did not include a going-concern
paragraph in its report on the issuer's 2003
financial statements. The issuer's access to the
revolving credit facility, however, was dependent
on the issuer's compliance with all the debt
covenants, and the Firm failed to assess
adequately the likelihood that the issuer would
be able to meet one of these covenants, the
12-month trailing revenue covenant, for the first
quarter of 2004. Specifically, although actual
revenues for 11 of the 12 months to be used for
measuring compliance with this covenant were
available before the end of field work, and these
amounts appeared to indicate that revenues for
the 12 months would fall short of the amount that
would allow the issuer to meet the covenant at
the end of the first quarter, the Firm did not
specifically evaluate the issuer's ability to
meet this covenant for the first quarter, nor did
it evaluate how the issuer would be able to
continue as a going concern should it not meet
the covenant.13/ In addition, the Firm did not
obtain a management representation covering
projections and assumptions related to the
covenant.
Chapter 12 Reports
20(No Transcript)
21Chapter 5 Internal Control Evaluation
22PCAOB RELEASE NO. 104-2005-119
-
- The Firm relied on certain controls, in
particular general computer controls, automated
application controls and security controls,
without performing, or without documenting in the
work papers the performance of, sufficient
testing to support reliance on those controls.
Deficiencies included (1) the Firm's documented
testing of certain controls only covered
activities occurring outside the audit period,
(2) the Firm's work papers indicated that it used
reports generated by the payroll department to
perform certain tests of controls, but the Firm
did not document any test work over the
completeness of those reports, (3) the Firm did
not document the sample sizes, or how they were
determined, for the testing of certain controls,
Chapter 5 Internal control evaluation
23PCAOB RELEASE NO. 104-2005-119
-
- the Firm assessed control risk for revenue as
below the maximum, without having performed
sufficient tests of the issuer's general computer
controls to support that assessment. The issuer's
information system processing environment relies
heavily on processing of orders through an
electronic data interchange that links with an
enterprise system that interfaces with a separate
accounts receivable system. The Firm failed to
perform tests of the electronic data interchange
system or the financial statement system. In
addition, for the controls that the Firm did
test, the work papers did not provide evidence
that the systems tested and relied upon during
the audit continued to operate effectively
throughout the period of intended reliance.
Chapter 5 Internal control evaluation
24PCAOB RELEASE NO. 104-2005-119
-
- the Firm assessed control risk in one area as
"low" without having performed sufficient tests
of controls to support that assessment. The
Firm's controls testing relied on
system-generated reports, without the Firm having
tested the underlying data, general IT controls,
or related system application controls to gain
assurance that the reports were accurate and
complete.
Chapter 5 Internal control evaluation
25PCAOB RELEASE NO. 104-2005-119
-
- There was also no evidence in the work papers to
indicate that the Firm (1) audited the income tax
provision beyond comparing the issuer's tax
schedules to the financial statement disclosures
(2) obtained testing results that supported the
Firm's assessment of control risk as below the
maximum (3) considered the effects of
distributor agreements on revenue recognition,
even though sales to third-party distributors
contributed 64 percent of net sales in 2003 or
(4) performed required journal entry testing or
look-back testing of significant estimates.
Chapter 5 Internal control evaluation
26PCAOB RELEASE NO. 104-2005-119
-
- PCAOB standards require the auditor to test
internal controls before relying on them for the
purpose of designing and performing the
substantive audit procedures. In 13 instances
involving the audits of 10 issuers, the Firm
failed to test, or failed to perform sufficient
tests of, controls that the Firm relied on in
designing and performing its substantive audit
procedures. The instances included the following
Chapter 5 Internal control evaluation
27PCAOB RELEASE NO. 104-2005-119
-
- The Firm relied on information technology
("IT") application controls that had not been
tested for several years.
Chapter 5 Internal control evaluation
28PCAOB RELEASE NO. 104-2005-119
-
- The Firm relied on IT system-generated data
without testing the IT general computer and/or
application controls.
Chapter 5 Internal control evaluation
29PCAOB RELEASE NO. 104-2005-119
-
- ... the Firm inappropriately relied on the IT
general controls at a service organization that
managed and operated the infrastructure for the
issuer's centralized general ledger system,
without sufficient testing of those controls.
Chapter 5 Internal control evaluation
30PCAOB RELEASE NO. 104-2005-119
- The Firm assessed control risk as "high" for
expenses, but ....., failed to perform sufficient
substantive procedures on expense balances.
Chapter 3 audit risk model
31(No Transcript)
32PCAOB RELEASE NO. 104-2005-119
- the Firm failing to obtain, or failing to
document in the work papers that it had obtained,
sufficient competent evidential matter to support
its audit opinion. Those deficiencies included
the following.
Chapter 4 work paper documentation
33Chapter 11 Completing the Audit
34(No Transcript)
35PCAOB RELEASE NO. 104-2005-119
On this audit, the Firm used the issuer's internal auditors to assist in auditing cash at an interim date. The Firm, however, failed to perform, or failed to have the internal auditors perform, audit procedures on the activity in the cash accounts between the interim date and year end.
Chapter 11 completing the audit
36PCAOB RELEASE NO. 104-2005-119
the Firm audited certain accounts receivable balances at an interim date, but did not audit the issuer's analysis of the roll-forward of these balances to the year end.
Chapter 11 completing the audit
37PCAOB RELEASE NO. 104-2005-119
the Firm tested the operating effectiveness of the controls over certain processes as of interim testing dates, but the work papers do not evidence any procedures to roll forward these tests to the balance sheet date, and the Firm therefore lacked a reasonable basis for extending its conclusions to the balance sheet date.
Chapter 11 completing the audit
38PCAOB RELEASE NO. 104-2005-119
.. the Firm used analytical procedures as alternative procedures. The Firm, however, did not perform certain required steps, such as developing expectations and defining a significant difference threshold, when performing the analytical procedures.
Chapter 11 completing the audit
39PCAOB RELEASE NO. 104-2005-119
, the Firm failed to obtain sufficient evidence, or failed to include sufficient evidence in its work papers, that the unallocated component of the allowance represented a supportable estimate of probable losses inherent in the issuer's loan portfolio. The Firm's documented testing specific to this aspect of the banks' ALL was limited to certain high level analytical procedures that were not substantive tests .
Chapter 11 completing the audit
40PCAOB RELEASE NO. 104-2005-119
the Firm was aware of indications of deficiencies in the operating effectiveness of the issuer's controls over the allowance for loan losses. Particularly in light of the highly judgmental nature of the area, the Firm's knowledge of such indications rendered its assessment of the control risk with respect to the allowance for loan losses as "minimum" inappropriate. (Issuers D, E, F, and G)
Chapter 11 completing the audit
41PCAOB RELEASE NO. 104-2005-119
.. the Firm apparently did not reconsider its assessment of risk and materiality or revisit its audit scope in light of the known and likely errors ... and did not reconsider its fraud risk assessment related to an issuer that is unwilling to correct known errors.
Chapter 11 completing the audit
42PCAOB RELEASE NO. 104-2005-119
The work papers did not document the Firm's threshold for posting errors to the Score Sheet of Unadjusted Audit Difference, and several uncorrected errors noted in the work papers were not posted to the Score Sheet of Unadjusted Audit Difference, were not evaluated for materiality in the aggregate,
Chapter 11 completing the audit
43PCAOB RELEASE NO. 104-2005-119
During the issuer's first quarter of fiscal 2005, it reached a settlement with a customer that it included in net sales and did not disclose. As a result of including the entire settlement amount in net sales, the issuer's net sales increased from the first fiscal quarter of 2004 to the first fiscal quarter of 2005. If the entire settlement had been omitted from net sales, net sales would have decreased. The Firm failed to consider the appropriateness of including the settlement in net sales and not disclosing that fact.11/
Chapter 11 completing the audit