Engagements under Government Auditing Standards

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1 Engagements under Government Auditing Standards Diane Edelstein, CPA Flo Ostrum, CPA Presenter Diane Edelstein, CPA Diane is a partner at Maher Duessel, CPAs in Pittsburgh, PA. She is a graduate of George Mason University in Fairfax, VA and has worked in non-profit and government auditing for over 20 years. Diane was a member of the Executive Committee of the AICPA Governmental Audit Quality Center from She is also a member of the Steering Committee for the AICPA NPO conference held each June in Washington, DC. Diane is a member of the AICPA Practice Monitoring Task Force A-133 Subgroup and has lectured for the AICPA and other organizations on the topics of Single Audit. 2 1

2 Presenter Flo Ostrum, CPA Flo is a partner and National Professional Practice Director Government and Not-for-Profit at Grant Thornton. She serves as a technical accounting and auditing resource specializing in not-for-profit accounting, performing audits in accordance with Government Auditing Standards and conducting OMB A-133 audits. She is a member of the AICPA Practice Monitoring Task Force- A-133 Subgroup. Flo performs technical reviews of public and private clients. She also acts as the liaison to the not-for-profit, health-care, Public Sector, and Financial Services industry groups. Flo s industry experience includes not-for-profit organizations, consumer industrial products companies, and governmental entities as well as various other industries. She is a frequent presenter at AICPA and state society conferences on Government Auditing Standards, OMB A-133 and general auditing and accounting matters. 3 Topics to cover today Revisit of 2011 Yellow Book Independence Peer Review matters and revised A-133 checklist Revised Data Collection Form Emphasis Areas Frequent Findings of Technical Reviewers GAO New OMB Changes Uniform Guidance 4 2

3 Revisit of 2011 Yellow Book Independence Yellow Book Peer Review Changes Revised Peer Review Engagement Profiles and Yellow Book Supplemental Audit and AUP Checklists Trigger questions on the profile Independence questions in the checklists Supplemental Guidance PRP Section 3100 for evaluating noncompliance with Yellow Book 6 3

4 Engagement Profile Trigger Questions 7 Yellow Book Independence Engagement Checklist Questions PRP Section 22110/22120, questions GA101-GA115 GA105- Has the auditor listed all nonaudit services provided to the auditee? GA108- If the auditor is performing the preparation of the financial statements, if significant threats were not identified, does this seem reasonable? GA113- If the auditor has not documented independence in accordance with Interpretation and GAGAS, did firm otherwise provide convincing evidence that independences was not impaired? 8 4

5 Peer Review Matters and Revised A-133 Checklist 9 Peer Review Matters: Common Governmental MFCs Reporting Failure to include all of the required elements of professional standards in the Auditor s Report on Internal Control and Compliance Failure to include all of the required elements of professional standards in the Auditor s Report SINGLE AUDIT: Failure to properly report information on the Schedule of Expenditures of Federal Awards 10 5

6 Peer Review Matters: Common Governmental MFCs Documentation Failure to properly document the evaluation of management s skills, knowledge and experience SINGLE AUDIT: written management representations an understanding of internal control over compliance of federal awards testing of controls and compliance for the relevant assertions related to each compliance requirement with a direct and material effect for the major program. Improper identification of an auditee as low-risk 11 Peer Review Matters: Common Governmental MFCs General Clarity: Failure to update the audit report to conform to the clarity standards Failure to document a sufficient audit plan to consider fraud risk and comprehensive risk assessment procedures, including failure to link the risk assessment to the audit procedures performed Failure to adequately document procedures performed over balances and transactions 12 6

7 Revised A-133 Checklist Section 22,100 Part A and B Issued in April 2014 Instructions clarified as to completion of Part B 13 Revised A-133 Checklist 14 7

8 Data Collection Form 15 Federal Audit Clearinghouse 2013 Form Changes 2013 Form SF-SAC The new form and instructions will be applicable for audit periods ending in 2013, 2014 and 2015 More significant changes this time around 16 8

9 Federal Audit Clearinghouse 2013 Form Changes Part I General Information Beginning with 2013 audits, all audit firms must report their Employer Identification Number (EIN) Secondary auditors must report their EIN on the secondary auditor contact information page Part III: Federal Programs Identify Loan/Loan Guarantee Standardized Audit Finding Reference Numbers: YYYY-###, (ex ) 17 Federal Audit Clearinghouse 2013 Form Changes New Items in Part III: Federal Programs 18 9

10 Federal Audit Clearinghouse 2013 Form Changes New Part III, Item 7: Federal Awards Findings Summary Audit findings must be listed once for each Federal award affected by that finding Auditor must report the Type of Compliance Requirement (moved from Part III: Federal Programs) using letters A-N or P from the annual Circular A-133 Compliance Supplement. O (for None ) will no longer be needed as it was only used when there was no finding Type of finding to be indicated Report questioned costs related to the finding See next slide for example Part III, Item 7 19 Federal Audit Clearinghouse 2013 Form Changes New Part III, Item 7: Federal Awards Findings Summary 20 10

11 Federal Audit Clearinghouse 2013 Form Changes Personally Identifiable Information Certification (PII) Auditors and auditees will be required to certify that their reporting package does not contain Personally Identifiable Information (PII) Unlocked, unencrypted, and at least 85% textsearchable PDFs. (2014 YE for < $50 million) 21 Federal Audit Clearinghouse 2013 Form Changes For 2013 Audits due before the 2013 Form is ready, OMB has added the following guidance to the FAC home page regarding extension: If a single audit for a fiscal period ending in 2013 is due before the 2013 Form is available, auditees will not be able to meet the thirty-day deadline for submission prescribed by OMB Circular A-133 _.320(a). Therefore, OMB has granted an extension until March 2014 for reporting packages due to the Clearinghouse before that date. The extension is automatic and there is no approval required. The extension applies only to single audits for the fiscal periods ending in

12 Federal Audit Clearinghouse 2013 Form Changes New Submission Process New user profiles For 2013 audits with cognizant agency (and remaining audits in 2014), all reporting package uploads must be text searchable, unlocked, and unencrypted PDF files (FAC provides instructions when filing reports this year) FAC working towards making all reporting packages transparent to the public Financial statements, SEFA Auditor reporting Schedule of Findings and Questioned Costs 23 Emphasis Areas 24 12

13 Current Environment Financial Statement Audits Consider effect of current environment on the financial statement audits Continued fiscal stress Going concern/fiscal uncertainty Client revenue recognition issues? Public pension challenges (funding issues, new GASB standards, SEC interest in municipal issuer disclosure) Don t ignore fraud risk Continued fee pressure 25 GASB's New Pension Standards Peer reviewers to understand implementation issues associated with the GASB s new pension standards April 2014 Reviewer Focus GASB s employer standard GASB Statement No. 68, Accounting and Financial Reporting for Pensions an amendment of GASB Statement No. 27 is not required until June 30, 2015 year-ends Potential for employer auditors to issue modified opinions 26 13

14 GASB's New Pension Standards The AICPA State and Local Government Expert Panel (SLGEP) was charged with addressing the various accounting and auditing implementation issues that have resulted from the new GASB standards. SLGEP Pension Whitepaper on Employer and Related Auditor Issues: Agent Plans SLGEP Pension Whitepaper on Employer and Related Auditor Issues: Cost-Sharing Plans SLGEP Pension Whitepaper on Census Data Related to Single-Employer and Cost-Sharing Plans 27 GASB's New Pension Standards Interpretation to auditing standards AICPA Audit and Attest Team website: Recently Issued Audit Interpretations The following includes a brief summary of the agent interpretations and provides direct links to each interpretation: Interpretation No. 3, "Auditor of Participating Employer in a Governmental Agent Multiple- Employer Pension Plan Interpretation No. 2, "Auditor of Governmental Agent Multiple-Employer Pension Plan 28 14

15 GASB's New Pension Standards - Resources April 2014 AICPA Peer Reviewer Focus Publications/DownloadableDocuments/ReviewerFocus04 14.pdf AICPA GAQC GASB Matters Page lity/resources/gasbmatters/pages/default.aspx 29 Current Environment Compliance Audits Documentation of the effect of current environment on the compliance audit Continued fiscal stress - Allowable use of grant funds? Subrecipient Monitoring Designing/Updating Controls Don t Ignore Fraud Risk - Employee Defalcation - Journal Entries Create Risk 30 15

16 Group Audits in a Governmental Audit Peer Review Engagement Profile Is this engagement part of a group audit? If a group audit, describe the level of reliance on the work of component auditors PRP Section 20500, questions G122-G AICPA Auditing Standards Clarity One-Year Later - Group Audits Challenges Areas IDENTIFYING COMPONENTS CAN BE CHALLENGING DETERMINING SIGNIFICANCE OF COMPONENTS MATERIALITY DECISIONS SUBSEQUENT EVENTS COMMUNICATIONS WITH COMPONENT AUDITORS, GROUP GOVERNANCE AND MANAGEMENT Governmental Audit Quality Center 32 16

17 AICPA Auditing Standards Clarity One-Year Later Auditor Reporting Challenge Areas Ensure that all clarity reporting changes were incorporated into the auditor report templates How is the Firm addressing compliance audits for States or federal regulators that have outdated report examples? 33 AICPA Auditing Standards Clarity One-Year Later Auditor Reporting Challenge Areas Current questions on audit reports Confusion over terminology (e.g., modified versus qualified) Reporting on state and local government opinion units when unmodified opinions and also modified opinions Reporting on compliance when have unmodified opinions and modified opinions Referencing the management letter in Government Auditing Standards report (not required) Restricted use alerts versus purpose alerts 34 17

18 AICPA Auditing Standards Additional GAQC/AICPA Guidance GAQC Archived Web Event titled, Group Audits: A Look Back One Year Later and Lessons Learned (held 2/14) GAQC Archived Web Event titled, Understanding the Potential Impacts of the New Group Audits SAS on Your Governmental and Not-For-Profit Audit Engagements (held 12/11 but still relevant) Technical Questions and Answers on Group Audits (located in TIS Section 8800, Audits of Group Financial Statements and Work of Others on AICPA Website) AICPA Audit Risk Alert - Understanding the Responsibilities of Auditors for Audits of Group Financial Statements AICPA Audit and Accounting Guide, State and Local Governments (SLG Guide) AICPA Audit Guide, Government Auditing Standards and Circular A-133 Audits (GAS-A133 Guide) 35 Common Quality Issues Found in Peer Reviews and Ethics Referrals 36 18

19 Common Audit Quality Issues The examples of single audit errors found on an engagement profile are the following: Incorrectly computed Type A threshold Misidentification of Type A programs Missed clusters Not selecting appropriate programs (i.e. Type A program not identified as low risk not audited in prior 2 years) 37 Common Audit Quality Issues Most Common Yellow Book and A-133 Clarified Reporting Questions Where are the Yellow Book report illustrations for NFP entities? Why did you add the title Independent Auditor s Report to the Yellow Book reports? Why was the reference to management responsibility for internal control over financial reporting in the Yellow Book report removed? 38 19

20 Common Audit Quality Issues Most Common Yellow Book and A-133 Clarified Reporting Questions Why was the reference to management letter removed from the Yellow Book report? Why was the "restricted use alert" replaced with a "purpose alert and why only in internal control section in A-133 report? Do I have to follow these formats exactly for my A- 133 reports? 39 Common Audit Quality Issues Missed major programs Documentation of internal control over compliance understanding Testing and documentation of compliance testing Sampling adequacy and documentation Schedule of Expenditures of Federal Awards (SEFA) Issues GAQC Web Event: How to Avoid Common Audit Quality Issues: Compliance Audits, Governmental Audits, and Not-for-Profit Audits 40 20

21 Common Audit Quality Issues More federal focus on findings Be sure findings include all required elements Remember ensure that you have no PII in findings Tell the whole story in your findings Helps avoid follow-up after the fact by a federal agency trying to resolve the finding 41 Common Audit Quality Issues Findings Reminder Tell the whole story: Frequency What was wrong Magnitude Good finding 42 21

22 Audit Quality Issues and non conforming engagements When does a 'no' answer result in a nonconforming engagement? What if there is a nonconforming engagement in an Engagement review? What if there is a nonconforming engagement in a System Review? What are the reviewed firm's responsibilities? How to remediate? What is the reviewer's responsibilities? Evaluate the response Should there be monitoring 43 Common Audit Quality Issues for SLG Audits Management s Discussion and Analysis Issues Defining the Reporting Entity Disclosures (for example, component units, transfers) Reporting Units and Opinion Units GASB 54, Fund Balance Reporting & Governmental Fund Type Definitions More details available in GAQC Archived Web Event How to Avoid Common Audit Quality Issues: Compliance Audits, Governmental Audits, and Not-for-Profit Audits - Member Web Event 44 22

23 Use the Federal Audit Clearinghouse as a Tool to Identify Audit Quality Issues Consider using the database to perform a few quality checks Check type A program thresholds for your audits (if you find $500,000, you probably have a problem) See if doing any program-specific audits; if so, look at the data collection form (DCF) to determine if only one program or cluster noted Randomly drill down into some of your organization s DCFs to see if any other trends noted 45 QCR and Desk Review Checklists Inspector General community has issued the following checklists for use by federal agencies: Guide for Quality Control Reviews of OMB Circular A-133 Audits Guide for Desk Reviews of OMB Circular A-133 Audit Report Both can be found at: (look under Single Audit Guides) Consider using these checklists as an additional QC tool 46 23

24 Case Study 1: Low Risk Auditee You are reviewing the engagement profile of an OMB A-133 engagement and note that the auditee is a low risk auditee. What procedures do you think you should perform as the reviewer to establish that the determination is correct? 47 Case Study 1: Low Risk Auditee Review responses with firm to ensure they understood the question on profile sheet Reviewer to recompute info on profile sheet 48 24

25 Case Study 1: Low Risk Auditee What are peer reviewers doing about checking DCF filing dates? What are reviewers doing about comparing the DCF to the A-133 reports? 49 Case Study 2: Control testing and evaluation You are evaluating an A-133 engagement and completing Part A of the checklist. In evaluating the engagement s risk assessment workpapers, the firm has indicated control risk as high for the applicable, direct and material compliance requirements for the particular major program tested. There was no testing performed on internal controls. The A-133 report on internal control and compliance over major programs has no findings. Further review of the compliance testing indicates no deviations on the compliance testing. Documentation of the compliance testing performed is in compliance with the Yellow Book documentation standards. Does this work appear acceptable or do you need to make further inquiries? 50 25

26 Case Study 2: Control testing and evaluation How was control risk determined to be high? Firm responsibilities? Reviewer? 51 Case Study 2: Control testing and evaluation A-133 internal control over federal programs Internal control pertaining to the compliance requirements for federal programs (internal control over federal programs) means a process effected by an entity's management and other personnel designed to provide reasonable assurance regarding the achievement of the following objectives for federal programs

27 Government Accountability Office (GAO) 53 Yellow Book: The Next Revision We are working towards a 2015 Yellow Book. Revise and modernize CPE. Make some refinements to Independence based on user experience with the conceptual framework and SKE. Consider how the report on internal control and compliance can be made more relevant. Incorporate the 2013 peer review guidance. Clarity format? 54 27

28 Yellow Book: The Next Revision 2013 Peer Review Guidance Explicitly draws parallels between: Unmodified Opinion (2007) and Pass rating (2011). Modified Opinion and Pass with Deficiencies rating. Adverse Opinion and Fail rating. Incorporates the AICPA peer review definitions of Matter, Finding, Deficiency, and Significant Deficiency. 55 Yellow Book: The Next Revision We are working towards a 2015 Yellow Book. What can we change or add that would help peer reviewers do their work more effectively? 56 28

29 Where to Find the Yellow Book The Yellow Book is available on GAO s website at: For technical assistance, contact us at: yellowbook@gao.gov or call (202) New OMB Changes - Uniform Guidance 58 29

30 Sources AICPA GAQC COFAR Training held January 27, New Uniform Guidance In late December 2013, the U.S. Office of Management and Budget (OMB) issued Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Grant Guidance or Guidance) 2 CFR 200. This 103 page document combines eight existing OMB Circulars (A-21, A-87, A-89, A-102, A-110, A-122, A- 133 and sections of A-50). 26/pdf/ pdf 60 30

31 Replaces prior Circulars Streamlining of Related Circulars and Guidance A-21, Cost Principles for Educational Institutions A-50, Audit Follow-Up, related to Single Audit A-87, Cost Principles for State, Local, and Indian Tribal Governments A-89, Federal Domestic Assistance Program Information A-102, Awards and Cooperative Agreements with State and Local Governments A-110, Uniform Administrative Requirements for Awards and Other Agreements with Institutions of Higher Education, Hospitals, and Other Nonprofit Organizations A-122, Cost Principles for Non-Profit Organizations A-133, Audits of States, Local Governments and Non-Profit Organizations 61 Prior Circulars The original circulars are available on the OMB website at:

32 Important Dates The Uniform Guidance will be implemented one year from publication: December 26, OMB and the COFAR will continue to engage Federal and Non- Federal stakeholders over the next year to facilitate a smooth implementation process. Please submit any comments or questions to cofar@omb.eop.gov. Single Audits beginning December 31, 2015 yearend No early implementation permitted 63 COFAR Presentation On Monday, January 27th COFAR, held a training webcast on the major updates to OMB s recently reformed guidance on Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Grant Guidance or Guidance)

33 COFAR Presentation Links to the Uniform Guidance Training Webcast: COFAR Training Intro COFAR Training Administrative Requirements COFAR Training Cost Principles COFAR Training Audit Requirements Administrative Requirements Reforms to A-102, Circular A-110, and Circular A

34 Procurement Five prescriptive procurement methods: Micro-purchase supplies or services with aggregate amount does not exceed $3K, or $2K in case subject to Davis-Bacon Act Small purchase procedures subject to Simplified Acquisition Threshold (currently $150K) Sealed bids (formal advertising) Competitive proposals Noncompetitive proposals OMB Circular A-110 is arguably more simple and allows more flexibility in selecting procurement method. 67 Procurement Must perform cost or price analysis in connection with every procurement action in excess of Simplified Acquisition Threshold, including contract modifications As starting point, must make independent estimate before receiving bids or proposals 68 34

35 Procurement Must negotiate profit as a separate element of price for each contract where no price competition and in all cases where cost analysis is performed Competition provisions of section prohibit use of statutorily imposed state or local geographic preferences in procurement 69 Cost Principles Reforms to Circulars A-21, A-87, and A

36 Compensation Personal Services Significant differences in time and effort documentation requirements under the three existing cost circulars A-21 is based on estimates that produce a reasonable approximation of the activity A-87 and A-122 are based on periodic (at least monthly) time and effort reporting of employees Many commenters of NPG requested additional flexibility, while others requested stricter uniformity in the provision of specific certification language to better prevent and facilitate prosecution of fraud. 71 Compensation Personal Services Uniform Guidance loosely based on concepts from all three circulars Increases emphasis on internal controls Provides less prescriptive guidance on documentation Many commenters of NPG requested additional flexibility, while others requested stricter uniformity in the provision of specific certification language to better prevent and facilitate prosecution of fraud

37 Compensation Personal Services (continued) Charges to Federal awards for salaries and wages must be based on records that accurately reflect the work. They must: Be incorporated into official records of non- Federal entity Be supported by a system of internal control which provides reasonable assurance that charges are accurate, allowable, and properly documented. Comply with established accounting policies of non-federal entity Encompass both federally assisted and all other activities Support distribution of employee s salary or wages among activities or cost objectives Reasonably reflect the total activity for which employee is compensated The standards for documentation contain several references to entity s written policy. 73 Compensation Personal Services (continued) Budget estimates alone do not qualify as support, but may be used for interim charges provided that: System for establishing the estimate produces reasonable approximations of the activity actually performed Significant changes in corresponding work activity are identified and entered into records on a timely basis - Short term (such as one or two months) fluctuations between workload categories need not be considered as long as distribution reasonable over long term Entity s system of internal controls include process to review after-the-fact interim charges based on budget 74 37

38 Compensation Personal Services (continued) Charges for salaries and wages of nonexempt (hourly) employees must also be supported by records indicating total hours worked each day maintained in accordance with Department of Labor regulations Salaries and wages of employees used in meeting cost sharing or matching requirements must be supported in same way as if claimed for reimbursement Most time and effort reporting systems for NFP and SLG entities are based on time actually incurred (allocated to Federal awards each period based on actual hours incurred for each activity). In near term, it is likely these entities will not revise IT systems because of cost. 75 Compensation Personal Services (continued) For non-federal entity that do not meet these standards, the Federal government may require personnel activity reports For states, local governments, and Indian tribes, substitute process or systems for allocating salaries may be used if approved by cognizant agency for indirect costs Most time and effort reporting systems for NFP and SLG entities are based on time actually incurred (allocated to Federal awards each period based on actual hours incurred for each activity). In near term, it is likely these entities will not revise IT systems because of cost

39 Written Policies Written Policy reference in Uniform Guidance (25 times) Financial management section Payment section Procurement sections , , Compensation sections and Relocation costs section Travel costs section Audit Requirements Reforms to Circulars A-133 and A

40 Targeting Audit Requirements on Risk of Waste, Fraud, and Abuse The final guidance right-sizes the footprint of oversight and Single Audit requirements to strengthen oversight and focus audits where there is greatest risk of waste, fraud, and abuse of taxpayer dollars It improves transparency and accountability by making single audit reports available to the public online, and encourages Federal agencies to take a more cooperative approach to audit resolution in order to more conclusively resolve underlying weaknesses in internal controls 79 Revisions Focus Audit On Risk Increases audit threshold Strengthens risk-based approach to determine Major Programs Provides for greater transparency of audit results Strengthens agency use of the single audit process Provides for public outreach to focus Compliance Supplement on requirements of highest risk 80 40

41 Basic Structure of Single Audit Process Unchanged Audit threshold ( ) Subrecipient vs. Contractor ( (f) & ) Biennial ( ) & Program-specific ( ) audits Non-Federal entity selects auditor ( ) Auditee prepares financial statements & SEFA ( ) Audit follow-up & corrective action ( & ) 9-month due date (set in law) ( (a)) Reporting to Federal Audit Clearinghouse ( ) Major programs determined based on risk ( ) Compliance Supplement overall format 81 Audit Threshold ( ) The COFAR considered that raising the threshold would allow Federal agencies to focus their audit resolution resources on the findings that put higher amounts of taxpayer dollars at risk, thus better mitigating overall risks of waste, fraud, and abuse across the government Further, the COFAR notes that provisions throughout the guidance, including pre-award review of risks, standards for financial and program management, subrecipient monitoring and management, and remedies for noncompliance provide a strengthened level of oversight for non-federal entities that would fall below the new threshold 82 41

42 Audit Threshold Increases audit threshold from $500,000 to $750,000 Maintains oversight over 99.7% of the dollars currently subject to Single Audits and reduces audit burden for approximately 5,000 entities Increase of $250,000 is in line with previous threshold increase in Impact of Threshold 2010 FAC Total # of Audits 2010 FAC Total Dollars 6,115 14% 0.3% 38,704 86% <$750k >$750k 99.7% <$750k >$750k 84 42

43 Single Audits by Agency Agency As Cognizant As Oversight > $750 < $750 Education 508 8,936 1,601 HUD ,383 1,588 HHS 239 6,368 1,028 Transportation 69 1, Labor Agriculture 9 2, Energy Homeland Security NSF Major Program Determination Major Program Determination focuses audits on the areas with internal control deficiencies that have been identified as material weaknesses. Future updates to the Compliance Supplement will reflect this focus as well 86 43

44 Type A/B Threshold (Step 1) Programs are grouped based on dollars Type A programs are those above the threshold Type B are those below the threshold Type A/B threshold is a sliding scale with minimum Minimum increases from $300,000 to $750,000 Threshold presented in table to be more easily understood. Audit threshold and Type A/B minimum threshold will be the same at $750, Type A/B Threshold Table ( (b)(1)) Type A/B Threshold Total Federal Awards Expended (FAE) $750,000 Equal to $750,000 but LT or EQ to $25 M Total FAE times.03 Exceed $25M but LT or EQ to $100M $3,000,000 Exceed $100M but LT or EQ to $1B Total FAE times.003 Exceed $1B but LT or EQ to $10B $30M Exceed $10B but LT or EQ to $20B Total FAE times.0015 Exceed $20B M means Million Dollars and B means Billion Dollars LT means Less Than EQ means Equal To 88 44

45 High-Risk Type A Program ( (c)) (Step 2) Current A-133 criteria: Not audited as major program in 1 of 2 most recent audit periods In most recent period had ANY AUDIT FINDING Provided for auditor judgment in limited cases, e.g., very small questioned costs Other Auditor judgment - Oversight exercised by Federal agencies or passthrough entities, audit followup, or changes in personnel or systems which significantly increased risk Uniform Guidance: SAME In most recent period had a HIGH RISK AUDIT FINDING Modified opinion Material weakness in internal control Known or likely questioned costs exceeding 5% of total program expenditures Other Auditor judgment - Basically unchanged Key An entity with strong internal controls and few audit findings will have less high-risk Type A program 89 High-Risk Type B Program ( (d)) (Step 3) Current A-133 criteria: Currently there are two Type B risk assessment options: Option 1 Perform risk assessments on ALL Type B programs and select at least 50% of Type B programs identified as high risk up to number of low-risk Type A programs Option 2 Perform risk assessments on all Type B programs until as many high-risk Type B programs have been identified as there are low-risk Type A programs New criteria: Perform risk assessments on Type B programs until high-risk Type B programs have been identified UP TO at least 25% of number of low-risk Type A programs 90 45

46 Percentage of Coverage Rule ( (f)) (Step 4) Guidance reduces the minimum coverage as follows: Type of Auditee Current New Not low-risk 50% 40% Low-risk 25% 20% 91 Low-Risk Auditee Criteria for a Low-Risk Auditee Members of the audit community and states commented on the criteria for a low-risk auditee that includes whether the financial statements were prepared in accordance with GAAP. Members of the audit community note that GAAP is the preferred method, and states note that state law sometimes provides for other methods of preparation. The COFAR considered this and recommended revised language to allow for exceptions where state law requires otherwise

47 Low-Risk Auditee ( ) Current (2 prior years) Annual single audits Unmodified opinion on financial statements in accordance with GAAP Unmodified SEFA in relation to opinion No GAGAS material weaknesses In either of preceding two years, none of Type A programs had: Material Weakness Material noncompliance Questioned costs that exceed 5% Timely filing with FAC Auditor reporting going concern not preclude low-risk Waivers New (2 prior years) SAME Unmodified opinions on statements in accordance with GAAP or basis of accounting required by state law SAME SAME SAME SAME No Audit reporting of going concern No waivers 93 Single Audit Report Submission (Cont d) All auditees must submit the reporting package and the data collection form electronically to the Federal Audit Clearinghouse (FAC) ( (d)) FAC responsible to make the reports available on a Web site ( (g)) Exception for Indian tribes will be discussed later 94 47

48 Single Audit Reports on the Web - PPII Auditors and auditees must ensure reports do not include protected personally identifiable information (PPII) ( & (a)(2)) Auditee must sign statement that ( (b)(1)): Reports do not include PPII Authorizes FAC to make reports publically available on a Web site - Exception for Indian tribes as defined in No exception for tribal organization not meeting the definition 95 Exception for Indian Tribes ( (b)(2)) Tribal reports may include confidential business information that would be redacted under the Freedom of Information Act May elect to not authorize the FAC to make reporting package publically available on the Web site If elected, Indian tribe must: Submit reporting package directly to pass-through entities Make reporting package available for public inspection as required by the Single Audit Act 96 48

49 FAC Repository of Record for Reporting Packages ( & (b)) Federal agencies, pass-through entities, and others obtain copies by accessing FAC website Subrecipient only required to submit report to FAC and no longer required to submit to pass-through entity Pass-through entity no longer required to retain copy of subrecipient report as available on the Web 97 Single Audit Accountable Official Responsibilities Requires Federal awarding agencies to designate a Senior Accountable Official who will be responsible for overseeing effective use of the Single Audit process and implementing metrics to evaluate audit follow-up

50 Single Audit Accountable Official ( (c)(5)) Ensure agency effectively uses the single audit process Develop a baseline, metrics, and targets to track, over time, the effectiveness of: The agency s process to follow-up on audit findings Single Audits in: - Improving non-federal entity accountability for Federal awards - Use by the agency in making award decisions Designate the agency s Key Management Single Audit Liaison 99 Agency Key Management Single Audit Liaison ( (c)(6)) Agency management s point of contact for single audit Promote interagency coordination Oversee training for agency s program management personnel related to the single audit process Promote use of cooperative audit resolution Coordinate agency s audit follow-up to ensure timely corrective action on audit findings Organize cognizant agency for audit follow-up Ensure agency provides annual updates to the Compliance Supplement Support the Senior Audit Accountable Official

51 Cooperative Audit Resolution (c)(3)(iii) Responsibilities Encourages Federal awarding agencies to make effective use of cooperative audit resolution practices in order to reduce repeat audit findings. 101 Cooperative Audit Resolution (200.25) Cooperative audit resolution means the use of audit follow-up techniques which promote prompt corrective action by improving communication, fostering collaboration, promoting trust, and developing an understanding between the Federal agency and the non-federal entity. This approach is based upon: a) A strong commitment by Federal agency and non- Federal entity leadership to program integrity b) Federal agencies strengthening partnerships and working cooperatively with non-federal entities and their auditors; and non-federal entities and their auditors working cooperatively with Federal agencies

52 Cooperative Audit Resolution (200.25) c) A focus on current conditions and corrective action going forward; d) Federal agencies offering appropriate relief for past noncompliance when audits show prompt corrective action has occurred; and e) Federal agency leadership sending a clear message that continued failure to correct conditions identified by audits which are likely to cause improper payments, fraud, waste, or abuse is unacceptable and will result in sanctions. 103 Appendix XI - Compliance Supplement While most commenters were in favor of the proposed reduction of the number of types of compliance requirements, many voiced concern about the process to implement such changes. Comments questioned whether Federal agencies adding back provisions under special tests and provisions would result in increased administrative burden. Since the Supplement is published as part of a separate process, the COFAR recommended that any future changes to its structure be based on available evidence of impact on past findings and include further public outreach to mitigate potential risks of an inadvertent increase in administrative burden

53 Compliance Supplement Supplement is published as separate process so the final changes are not included in the Guidance Future changes will be based on available evidence of past audit findings & potential impact of noncompliance Further public outreach will be conducted prior to making structural changes to Supplement format 2014 Supplement will preview the implementation of changes Changes will not be effective until the 2015 Supplement 105 Audit Findings ( ) Increases the threshold for reporting known and likely questioned costs from $10,000 to $25,000 ( (a)(3) & (4)) Requires that questioned costs be identified by CFDA number and applicable award number ( (b)(6)) Requires identification of whether audit finding is a repeat from the immediately prior audit and if so the prior year audit finding number ( (b)(8)) Provides that audit finding numbers be in the format prescribed by the data collection form ( (c))

54 Finding Elements Views of Responsible Officials Program Information Criteria Recommendation Cause & Effect Finding Elements Condition Found Context Repeat Finding from Prior Year Whether Sampling was Statistically Valid Questioned Costs 107 Single Audit Reporting Face of schedule of expenditures of federal awards (SEFA) must include all Federal awards expended including: Noncash assistance Loan programs (beginning balance of outstanding loans plus loans disbursed during period plus interest subsidy, cash, or administrative cost allowance) Loan guarantee programs Amounts in data collection form should be same as SEFA Reports submitted to FAC will be publically available except for Indian tribes We recommend including rollforward of loan and loan guarantee programs in the notes to the SEFA

55 Additional Audit Requirements List of program specific audit guides will be provided beginning with the 2014 Supplement including ( (a)): Agency contact information Web site where copy of guide is available Clarified that if report due date is on a Saturday, Sunday, or Federal legal holiday, report submission is due the next business day ( (a)) Provides for a government-wide audit quality project once every 6 years beginning in 2018 ( (a)(3)(ii)) Made technical edits to align with current auditing standards 109 Effective Date for Audit Requirements ( (b)) Subpart F will be effective for non-federal entity Fiscal Years (FY) or biennial periods beginning on or after December 26, 2014 First year examples: FY beginning January 1, 2015 and ending December 31, 2015 Biennial period beginning January 1, 2015 and ending December 31, 2017 Early implementation of Subpart F is not permitted

56 Reaching COFAR Please submit questions to All questions will be reviewed and some may be included in a frequently asked questions document that will be posted on the COFAR website, COFAR Frequently Asked Questions The Council on Financial Assistance Reform (COFAR) released on February 12, 2014 an FAQ document titled, Frequently Asked Questions for New Uniform Guidance at 2 CFR 200, covering certain aspects of the Uniform Grant Guidance. To date, COFAR has received over two hundred questions from grant stakeholders. This FAQ issuance is the first attempt by COFAR to respond to those questions and it plans to release additional FAQs in the future. Therefore, continue to send any questions or comments that you have to cofar@omb.eop.gov

57 Next Steps Read Uniform Guidance Attend COFAR webcast (8 hours) Jan. 27, 2014 Develop implementation plan Identify changes to policies and procedures Develop training plan 113 OMB - Uniform Grant Guidance Client Education: Concern that auditees not paying attention; consider using fear factor that is, non-action could result in material weakness or significant deficiency findings Need to start now! Ask clients: - Have you read the new guidance? - Do you have a plan to become compliant? - How are you going to be addressing the new rules for procurement, allocating indirect costs, time and effort reporting, subrecipient monitoring, and internal control? - Is senior management involved? - Are you aware of available resources? - How do you plan to train your staff?

58 OMB - Uniform Grant Guidance Client Education - Internal Control Clarification Internal controls. The non-federal entity must: (a) Establish and maintain effective internal control over the Federal award that provides reasonable assurance that the non-federal entity is managing the Federal award in compliance with Federal statutes, regulations, and the terms and conditions of the Federal award. These internal controls should be in compliance with guidance in Standards for Internal Control in the Federal Government [Green Book] issued by the Comptroller General of the United States and the Internal Control Integrated Framework, issued by the Committee of Sponsoring Organizations of the Treadway Commission (COSO). OMB has stated that the should is meant to be a best practice and not a presumptively mandatory requirement 115 Resources and Tools Available from the GAQC and AICPA gaqc@aicpa.org

59 AICPA Audit Guides are Valuable Tools Primary Guidance for Yellow Book and Single Audit Requirements Government Auditing Standards & Circular A-133 Audits Other Industries Include: State and Local Governments Not for Profit Entities Health Care Entities Gaming Sampling Audit Risk Alerts Checklists & Illustrative Statements 117 GAQC Resources GAQC Web site (

60 GAQC Mission and History Overall mission to improve governmental audit quality and to be a resource to members Why Center launched? Indicators of problems with these audits from federal agencies (e.g., PCIE study), peer reviews, and ethics referrals Proactive launch in light of expected federal study on single audit quality which began in 2005 (report issued in 2007) Milestones Council approved concept in 2003 Board approved GAQC membership requirements in 2004 Center launched September 2004 Board approved state audit organization membership in th year anniversary GAQC Member Firm Coverage of Single Audits Dollar Coverage GAQC member firms Non-GAQC member firms Number of Single Audits GAQC member firms Non-GAQC member firms 8% 92% 36% 64%

61 Member Value and Improving Quality Technical guidance Communication (Alerts and Web events) Resources and Practice Aids Advocacy GAQC Members GAQC Web site 121 Questions?

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