Ideal for self-study or on-site training!
Change is inevitable and at times overwhelming if you are unprepared. Ensure that you are current in governmental and not-for-profit accounting and auditing. This course is designed to help you understand the latest accounting and auditing developments affecting governments and not-for-profits.
Objectives:
Prerequisite: Basic knowledge and experience in governmental and nonprofit accounting and auditing
Videocourse Details:
In the video,W.A. Broadus Jr., CPA, CGFM, President of W.A. Broadus Jr., CPA, PC, a respected
consultant in the governmental and nonprofit area, employed for several years with the GAO, and author of
many AICPA professional development courses, interviews David R. Bean, CPA, Director of Research and
Technical Activities of the Governmental Accounting Standards Board in Norwalk, CT; Peter B. Bell, CPA,
CGFM, consultant and trainer in Washington, DC, employed for several years with the Department of
Housing and Urban Development; Marcia Buchanan, CPA, CGFM, Assistant Director, GAO; Allen L.
Fetterman, CPA, lecturer and retired partner of Loeb & Troper; Paul V. Fite, project manager of the
Federal Audit Clearinghouse of the U.S. Bureau of the Census in Washington, DC; Mary Foelster, CPA,
AICPA Director – Governmental Auditing and Accounting; Charles Landes, CPA, AICPA Vice President –
Professional Standards; Hugh M. Monaghan, CGFM, Director, Non-Federal Audits of the U.S. Dept. of
Education in Philadelphia, PA, and James S. Remis, CPA, partner, Federman, Lally & Remis LLC, in
Farmington, CT.
Important Note: This course is a combination of the self-study courses Governmental Accounting and
Auditing Update (2009-2010 Edition) and Nonprofit Auditing and Accounting Update (2009-2010 Edition).
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Please note: The following content is from the previous edition and will be updated shortly. Please check back at a later date.
Misreporting of Audit Coverage of Major Federal Programs
In 8% of the audits reviewed in the sample, one or more major programs were incorrectly
identified in the Summary of Auditor’s Results section of the Schedule of Findings and
Questioned Costs (SFQC) as having been audited as a major program.
OMB Circular A-133 states that the Summary of Auditor’s Results section of the SFQC shall include an identification of major programs. The AICPA Audit Guide’s1 illustrative Report on Compliance with Requirements Applicable to Each Major Program and on Internal Control Over Compliance in Accordance with OMB Circular A-133 states in the second sentence “Example Entity’s major federal programs are identified in the summary of auditor’s results section of the accompanying schedule of findings and questioned costs.” This type of error is particularly significant to the federal agencies that rely on the listing in the summary of auditor’s results section of the SFQC to be accurate. If it is not accurate, the agencies may erroneously rely on opinions that major programs have been audited as major when they have not.
By incorrectly identifying a program as major in the Summary of Auditor’s Results section of the SFQC, the auditor erroneously expresses a compliance opinion on a program that was not audited.
Unreported Audit Findings
In 11% of the audits reviewed in the sample, the report found audit documentation or
management letter content that included matters that the reviewers concluded either should have
been reported as audit findings or the audit documentation should have explained why they were
not reported as findings.
OMB Circular A-133 Section .510 describes the kinds of audit findings that the auditor shall report for federal awards. If the audit work indicates these kinds of audit findings exist, they should be reported. If the auditor concludes that a matter that could appear to be a reportable finding is not, the auditor should document that conclusion.
Findings relating to the financial statements which are required to be reported in accordance with the Yellow Book shall also be reported. The report found deficiencies in this reporting as well.
Compliance Testing Not Documented as Performed or Not Applicable
To varying degrees, in 54% of the audits reviewed in the sample, the reviewers found that the
audit documentation did not include evidence that the auditor tested major program compliance
requirements or explain why certain generally applicable requirements identified in the OMB
Compliance Supplement were not applicable to the audit.
The report found that in some cases the lack of documentary evidence for compliance testing was substantial with audit documentation lacking for all or most applicable compliance requirements pertaining to one or more major programs. In other cases the problem existed to a lesser degree. In these cases, some compliance requirements were not documented as having been tested or documentation to support why the requirements were not applicable was lacking, but for a fewer number of compliance requirements.
The report found that in some cases the auditor documented that types of compliance requirements identified as generally applicable to the major program per the Part 2 matrix of the OMB Compliance Supplement were not applicable (e.g., by only marking “N/A” next to the item in an audit program) but did not explain why. Both SAS No. 103 and the Yellow Book require audit documentation of conclusions reached on significant matters. The reviewers believe determining that a requirement identified in the OMB Compliance Supplement as generally applicable for a major program is “not applicable” is a significant conclusion of judgment that warrants documentation.
When a program is not included in the OMB Compliance Supplement, the auditor must apply the procedures in Part 7 of the supplement to identify applicable compliance requirements. For these programs, the reviewers determined whether the audit documentation included evidence that the Part 7 procedures were properly applied to identify compliance requirements that should be tested. The report found deficiencies related to this.
Deficiencies in Understanding\Testing Compliance Internal Controls
The report segregated the deficiencies noted in this area as reflected below:
| Deficiencies in understanding and testing of internal control over compliance | |
Testing In 49% of the audits reviewed in the sample, reviewers found that the auditors did not document that they tested internal controls over compliance as required by A-133 |
Understanding In 43% of the audits reviewed in the sample, reviewers determined that auditors did not document their understanding of internal controls over compliance required in OMB Circular A-133 in a manner that addresses the five elements of internal control |
In addition to the requirements of the Yellow Book, OMB Circular A-133 requires the auditor to perform procedures to obtain an understanding of internal control over federal programs sufficient to plan the audit to support a low assessed level of control risk for major programs.
OMB Circular A-133 also requires2 the auditor to
Deficiencies in Risk Assessments as Part of Major Program
Determination
In 20% of the audits reviewed in the sample, the report found deficiencies in risk assessments as
part of major program determination. The risk analyses must be conducted per procedures set
forth in OMB Circular A-133 Sections .520, .525, and .530.
The report found the following kinds of deficiencies in risk assessments of programs:
1 The AICPA Audit Guide Government Auditing Standards and Circular A-133 Audits is available at www.cpa2biz.com.
2When internal control over some or all of the compliance requirements for a major program are likely to be ineffective in preventing or detecting noncompliance, the planning and performing of testing are not required for those compliance requirements. However, the auditor shall report a significant deficiency (including whether any such deficiency is a material weakness) in accordance with Section .510 of OMB Circular A-133, assess the related control risk at the maximum, and consider whether additional compliance tests are required because of ineffective internal control. For more information see Section .500(c) of OMB Circular A-133.
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Governmental & Nonprofit Annual Update (2009-2010 Edition) On-Demand Series (151936)
NASBA FIELD OF STUDY: Governmental Accounting, Governmental Auditing
Recommended CPE Credit: 24
Regular: $273.75
AICPA Member: $219.00
2009-2010 Federal Government Update: National Single Audit Sampling Project; Federal Audit Clearinghouse (151950)
NASBA FIELD OF STUDY: Governmental Auditing
Recommended CPE Credit: 5
Regular $148.75
AICPA Member $119.00
2009-2010 Federal Government Update: HUD; OMB; GAO; AICPA (151960)
NASBA FIELD OF STUDY: Governmental Accounting, Governmental Auditing
Recommended CPE Credit: 8 (Governmental Accounting- 5, Governmental Auditing-3)
Regular: $173.75
AICPA Member: $139.00
2009-2010 FASB Update (151970)
NASBA FIELD OF STUDY: Governmental Accounting
Recommended CPE Credit: 3
Regular $111.25
AICPA Member: $89.00
2009-2010 Not-for-Profit A&A Guide; Self-Regulation of the Non-Profit Sector (151980)
NASBA FIELD OF STUDY: Governmental Accounting, Governmental Auditing
Recommended CPE Credit: 3 (Governmental Accounting-2, Governmental Auditing-1)
Regular: $111.25
AICPA Member: $89.00
2009-2010 GASB Update (151990)
NASBA FIELD OF STUDY: Governmental Accounting
Recommended CPE Credit: 2.5
Regular: $73.75
AICPA Member: $59.00
2009-2010 AICPA Update (152000)
NASBA FIELD OF STUDY: Governmental Auditing
Recommended CPE Credit: 2.5
Regular: $73.75
AICPA Member: $59.00
