Description

Book Synopsis
Ease the transition to the new COSO framework with practical strategy

Internal Control Audit and Compliance provides complete guidance toward the latest framework established by the Committee of Sponsoring Organizations (COSO). With clear explanations and expert advice on implementation, this helpful guide shows auditors and accounting managers how to document and test internal controls over financial reporting with detailed sections covering each element of the framework. Each section highlights the latest changes and new points of emphasis, with explicit definitions of internal controls and how they should be assessed and tested. Coverage includes easing the transition from older guidelines, with step-by-step instructions for implementing the new changes. The new framework identifies seventeen new principles, each of which are explained in detail to help readers understand the new and emerging best practices for efficiency and effectiveness.

The revised COSO

Table of Contents

Preface xi

Acknowledgments xv

Chapter 1: What We All Share 1

Need for Control Criteria 1

Overview of the COSO Internal Control Integrated Framework 2

Holistic, Integrated View 3

Revised COSO Internal Controls Framework 6

What We Must Do 8

Basic Scoping and Strategies for Maintenance 11

Where We Depart 12

Triangle of Efficiency 13

Controls versus Processes 14

The Debate Continues 18

Organization of This Book 18

Appendix 1A: COSO 17 Principles 20

Chapter 2: Setting the Scope of Your Documentation Project: Identifying the Core 21

Start with Business Objectives 21

After the Initial Year 24

Mapping the Entity to the Financial Statements: Ins and Outs 25

Consider Risks, Not Just Quantitative Measures 27

Inherent and Control Risk 28

Overstatement and Understatement 28

Does “In Scope” Imply Extensive Testing? 37

A Consolation 39

Be Careful Out There! 40

Appendix 2A: Summary of Scoping Inquiries 42

Chapter 3: The Risk Assessment Component 45

Risk Assessment Principles in COSO 46

Cost Control 46

Basics 47

Likelihood, Magnitude, Velocity, and Persistence 48

Separate Assessments of Inherent and Control Risks 50

Role of Assertions 51

Assertions 52

Principles 6 and 7: Specify Suitable Objectives; Identify and Analyze Risk 56

Identifying Risks 59

External Sources of Risk Information 60

Internal and External Reporting Risks 61

Compliance Risks 61

Disclosed Material Weaknesses in Risk Assessment 62

Principle 8: Assess Fraud Risk 62

Auditor Responsibility to Detect Fraud 65

Antifraud Controls for Management to Consider 66

Ties to Other Principles and Components 66

Principle 9: Identify and Assess Significant Change 66

Gathering Information to Support the Risk Assessment and Consider Change 68

Appendix 3A: SAS No. 99 Exhibit: Management Antifraud Programs and Controls 72

Attachment 1: AICPA “CPA’s Handbook of Fraud and Commercial Crime Prevention” Code of Conduct 87

Attachment 2: Financial Executives International Code of Ethics Statement 91

Appendix 3B: Understanding Fraud Risk Assessment 93

Chapter 4: Control Environment 99

Principle 1: Commitment to Integrity and Ethical Values 100

Principle 2: Board of Directors (Governance) Demonstrates Independence from Management and Exercises Oversight of the Development and Performance of Internal Control 104

Principle 3: Management Establishes, with Board Oversight, Structures, Reporting Lines, and Appropriate Authorities and Responsibilities in the Pursuit of Objectives 109

Principle 4: Commitment to Attract, Develop, and Retain Competent Individuals in Alignment with Objectives 110

Principle 5: The Organization Holds Individuals Accountable for Their Internal Control Responsibilities in the Pursuit of Objectives 113

Appendix 4A: Understanding and Awareness of Control Responsibilities 117

Chapter 5: Control Activities 120

Principle 10: Selects and Develops Control Activities to Mitigate Risk and Achieve Objectives 120

Principle 11: Selects and Develops General Controls over Technology 132

Principle 12: Deploys through Policies and Procedures 141

Summing Up 143

Appendix 5A: Linking Common Control Activities and Assertions 146

Appendix 5B: Linkage of Principles to Controls, Policies, and Procedures 158

Chapter 6: Information and Communication 165

Principle 13: Generates Relevant Information 166

Principle 14: Communicates Internally 168

Principle 15: Communicates Externally 170

Chapter 7: Monitoring 173

Principle 16: Select, Develop, and Perform Ongoing and/or Separate Evaluations 174

Principle 17: Evaluate and Communicate Deficiencies as Appropriate 176

Chapter 8: Evidence and Testing 179

Sufficient Evidence 179

Gathering Information 187

Testing and Sampling 194

Nonsampling Situations 202

Confusion of Sample Size Guidance in Practice Today 203

Information Technology General Controls 204

Testing Security and Access 205

Appendix 8A: Sample Size Tutorial 211

Chapter 9: Developing Questionnaires and Conducting Interviews 217

Surveys of Employees 219

Conducting Interviews 224

Management Inquiries: Sample Questions 234

Appendix 9A: Sample Practice Aids 239

Chapter 10: Assessing the Severity of Identified Controls Deficiencies 248

It’s Inevitable 248

Alignment of Public and Private Company Standards for Assessing Deficiency Severity 251

Control Deficiencies and Definitions 252

Key Factors When Assessing the Severity of a Deficiency 263

Conditions Indicating Control Deficiencies 270

Examples of Evaluating the Severity of Deficiencies 277

Overall Assessment 281

Appendix 10A: A Framework for Evaluating Control Exceptions and Deficiencies 283

Appendix 10B: Assessing the Potential Magnitude of a Control Deficiency 299

Chapter 11: Reporting Requirements 302

Nonpublic Entity Reporting 302

Public Company Annual and Quarterly Reporting Requirements 304

Reporting on Management’s Responsibilities for Internal Control 309

Required Company and Auditor Communications 312

Reporting the Remediation of Weaknesses 314

Coordinating with the Independent Auditors and Legal Counsel 315

Appendix 11A: Illustrative AICPA Report on Internal Controls 316

Chapter 12: Project Management and Tools Assessment Design 318

Project Management 318

Structuring the Project Team 319

Tools Assessment Design 325

Features of a Good Tools Solution 326

Value of a Pilot Project 331

Coordinating with the Independent Auditors 334

Chapter 13: Illustrative Forms and Templates 337

Historical Perspective 338

2013 Framework Examples 340

Appendix 13A: Information-Gathering Form—Principle Focused 348

Appendix 13B: Information Gathering Form—Revenue 350

Appendix 13C: Walk-through Documentation Form 353

Appendix 13D: Information Technology General Controls Assessment Form 355

Appendix 13E: Documentation of Financial Reporting Software and Spreadsheets 364

Appendix 13F: Sampling Form for Tests of Controls 368

Appendix 13G: Summary of Internal Control Deficiencies 371

Appendix 13H: Control Environment Component Evaluation Summary 372

Chapter 14: Summing Up 373

About the Author 375

Index 377

Internal Control Audit and Compliance

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    A Hardback by Lynford Graham

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      Publisher: John Wiley & Sons Inc
      Publication Date: 20/03/2015
      ISBN13: 9781118996218, 978-1118996218
      ISBN10: 1118996216

      Description

      Book Synopsis
      Ease the transition to the new COSO framework with practical strategy

      Internal Control Audit and Compliance provides complete guidance toward the latest framework established by the Committee of Sponsoring Organizations (COSO). With clear explanations and expert advice on implementation, this helpful guide shows auditors and accounting managers how to document and test internal controls over financial reporting with detailed sections covering each element of the framework. Each section highlights the latest changes and new points of emphasis, with explicit definitions of internal controls and how they should be assessed and tested. Coverage includes easing the transition from older guidelines, with step-by-step instructions for implementing the new changes. The new framework identifies seventeen new principles, each of which are explained in detail to help readers understand the new and emerging best practices for efficiency and effectiveness.

      The revised COSO

      Table of Contents

      Preface xi

      Acknowledgments xv

      Chapter 1: What We All Share 1

      Need for Control Criteria 1

      Overview of the COSO Internal Control Integrated Framework 2

      Holistic, Integrated View 3

      Revised COSO Internal Controls Framework 6

      What We Must Do 8

      Basic Scoping and Strategies for Maintenance 11

      Where We Depart 12

      Triangle of Efficiency 13

      Controls versus Processes 14

      The Debate Continues 18

      Organization of This Book 18

      Appendix 1A: COSO 17 Principles 20

      Chapter 2: Setting the Scope of Your Documentation Project: Identifying the Core 21

      Start with Business Objectives 21

      After the Initial Year 24

      Mapping the Entity to the Financial Statements: Ins and Outs 25

      Consider Risks, Not Just Quantitative Measures 27

      Inherent and Control Risk 28

      Overstatement and Understatement 28

      Does “In Scope” Imply Extensive Testing? 37

      A Consolation 39

      Be Careful Out There! 40

      Appendix 2A: Summary of Scoping Inquiries 42

      Chapter 3: The Risk Assessment Component 45

      Risk Assessment Principles in COSO 46

      Cost Control 46

      Basics 47

      Likelihood, Magnitude, Velocity, and Persistence 48

      Separate Assessments of Inherent and Control Risks 50

      Role of Assertions 51

      Assertions 52

      Principles 6 and 7: Specify Suitable Objectives; Identify and Analyze Risk 56

      Identifying Risks 59

      External Sources of Risk Information 60

      Internal and External Reporting Risks 61

      Compliance Risks 61

      Disclosed Material Weaknesses in Risk Assessment 62

      Principle 8: Assess Fraud Risk 62

      Auditor Responsibility to Detect Fraud 65

      Antifraud Controls for Management to Consider 66

      Ties to Other Principles and Components 66

      Principle 9: Identify and Assess Significant Change 66

      Gathering Information to Support the Risk Assessment and Consider Change 68

      Appendix 3A: SAS No. 99 Exhibit: Management Antifraud Programs and Controls 72

      Attachment 1: AICPA “CPA’s Handbook of Fraud and Commercial Crime Prevention” Code of Conduct 87

      Attachment 2: Financial Executives International Code of Ethics Statement 91

      Appendix 3B: Understanding Fraud Risk Assessment 93

      Chapter 4: Control Environment 99

      Principle 1: Commitment to Integrity and Ethical Values 100

      Principle 2: Board of Directors (Governance) Demonstrates Independence from Management and Exercises Oversight of the Development and Performance of Internal Control 104

      Principle 3: Management Establishes, with Board Oversight, Structures, Reporting Lines, and Appropriate Authorities and Responsibilities in the Pursuit of Objectives 109

      Principle 4: Commitment to Attract, Develop, and Retain Competent Individuals in Alignment with Objectives 110

      Principle 5: The Organization Holds Individuals Accountable for Their Internal Control Responsibilities in the Pursuit of Objectives 113

      Appendix 4A: Understanding and Awareness of Control Responsibilities 117

      Chapter 5: Control Activities 120

      Principle 10: Selects and Develops Control Activities to Mitigate Risk and Achieve Objectives 120

      Principle 11: Selects and Develops General Controls over Technology 132

      Principle 12: Deploys through Policies and Procedures 141

      Summing Up 143

      Appendix 5A: Linking Common Control Activities and Assertions 146

      Appendix 5B: Linkage of Principles to Controls, Policies, and Procedures 158

      Chapter 6: Information and Communication 165

      Principle 13: Generates Relevant Information 166

      Principle 14: Communicates Internally 168

      Principle 15: Communicates Externally 170

      Chapter 7: Monitoring 173

      Principle 16: Select, Develop, and Perform Ongoing and/or Separate Evaluations 174

      Principle 17: Evaluate and Communicate Deficiencies as Appropriate 176

      Chapter 8: Evidence and Testing 179

      Sufficient Evidence 179

      Gathering Information 187

      Testing and Sampling 194

      Nonsampling Situations 202

      Confusion of Sample Size Guidance in Practice Today 203

      Information Technology General Controls 204

      Testing Security and Access 205

      Appendix 8A: Sample Size Tutorial 211

      Chapter 9: Developing Questionnaires and Conducting Interviews 217

      Surveys of Employees 219

      Conducting Interviews 224

      Management Inquiries: Sample Questions 234

      Appendix 9A: Sample Practice Aids 239

      Chapter 10: Assessing the Severity of Identified Controls Deficiencies 248

      It’s Inevitable 248

      Alignment of Public and Private Company Standards for Assessing Deficiency Severity 251

      Control Deficiencies and Definitions 252

      Key Factors When Assessing the Severity of a Deficiency 263

      Conditions Indicating Control Deficiencies 270

      Examples of Evaluating the Severity of Deficiencies 277

      Overall Assessment 281

      Appendix 10A: A Framework for Evaluating Control Exceptions and Deficiencies 283

      Appendix 10B: Assessing the Potential Magnitude of a Control Deficiency 299

      Chapter 11: Reporting Requirements 302

      Nonpublic Entity Reporting 302

      Public Company Annual and Quarterly Reporting Requirements 304

      Reporting on Management’s Responsibilities for Internal Control 309

      Required Company and Auditor Communications 312

      Reporting the Remediation of Weaknesses 314

      Coordinating with the Independent Auditors and Legal Counsel 315

      Appendix 11A: Illustrative AICPA Report on Internal Controls 316

      Chapter 12: Project Management and Tools Assessment Design 318

      Project Management 318

      Structuring the Project Team 319

      Tools Assessment Design 325

      Features of a Good Tools Solution 326

      Value of a Pilot Project 331

      Coordinating with the Independent Auditors 334

      Chapter 13: Illustrative Forms and Templates 337

      Historical Perspective 338

      2013 Framework Examples 340

      Appendix 13A: Information-Gathering Form—Principle Focused 348

      Appendix 13B: Information Gathering Form—Revenue 350

      Appendix 13C: Walk-through Documentation Form 353

      Appendix 13D: Information Technology General Controls Assessment Form 355

      Appendix 13E: Documentation of Financial Reporting Software and Spreadsheets 364

      Appendix 13F: Sampling Form for Tests of Controls 368

      Appendix 13G: Summary of Internal Control Deficiencies 371

      Appendix 13H: Control Environment Component Evaluation Summary 372

      Chapter 14: Summing Up 373

      About the Author 375

      Index 377

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