| This article
discusses SAS no. 96s major requirements
and how they affect auditors. Among these changes
are factors the auditor should consider in
determining the nature and extent of
documentation for a particular audit procedure.
In addition, the statement requires the auditor
to document certain types of audit evidence and
significant audit findings or issues. The exhibit
compares the major requirements of SAS no. 96
with those of the superseded SAS no. 41, Working
Papers. SAS no. 96s provisions address
peer reviewers concerns about the quality
of documentation of audit evidence and
significant conclusions. As a result of the SAS
no. 96 guidance, auditors may be able to better
demonstrate compliance with GAAS. SAS no. 96 also
responds to some of the issues and
recommendations the Public Oversight Boards
Panel on Audit Effectiveness raised in its August
2000 Report and Recommendations (See Front
Line Views, JofA, Dec.00,
page 20).
AUDIT DOCUMENTATION
Supports the auditors
report.
Helps the auditor conduct
and supervise an audit. |
AUDIT DOCUMENTATION
OBJECTIVES
SAS no. 41 said that audit
documentation serves mainly to provide the
principal support for the auditors
report and to help the auditor conduct and
supervise the audit. SAS no. 96 reaffirms these
objectives.
Its not feasible for
auditors to document all the evidence they obtain
and conclusions they reach on an engagement.
Therefore, the board carried forward a SAS no. 41
footnote that stated there is no intention to
imply the auditor would be precluded from
supporting his or her report by other means
in addition to [audit documentation].
This enables auditors, when necessary, to
supplement or clarify information in the audit
documentation, which itself must meet all the new
statements requirements.
A CPA firm may want to use
audit documentation for purposes other than those
stated in SAS no. 96. For example, it
understandably may choose to examine audit
documentation to determine whether an engagement
complied with the firms quality control
policies and procedures. Also, certain third
parties may want to use the documentation for
other purposes. But given the overall objective
of a GAAS auditto express an opinion on the
fairness with which the financial statements
present, in all material respects, the financial
position, results of operations and cash flows in
conformity with GAAPthe ASB developed
guidance that would satisfy the needs of those
parties involved in the performance, supervision
and review of the audit.
DOCUMENTATION
OF AUDIT EVIDENCE
Under the new guidance, the
documentation should be sufficient to
Enable engagement team
members with supervision and review
responsibilities to understand the evidence
obtained and the nature, timing, extent and
results of auditing procedures performed.
Indicate the engagement
team member(s) who performed and reviewed
the work.
For the purposes of these
requirements, the ASB intendedalthough the
statement does not specifically say sothat
auditors consider any applicable second-partner
reviewer a member of the engagement team.
SAS no. 96 introduces factors
the auditor must consider in determining the
nature and extent of documentation for a
particular audit area or procedure. Although the
auditor exercises professional judgment in making
this determination, he or she must take into
account each of the factors, which are
Risk of material
misstatement associated with the assertion or
with the account or class of transactions.
Extent of judgment the
auditor exercises in performing the work and
evaluating the results.
Nature of the auditing
procedure.
Significance, to the
assertion being tested, of the evidence the
auditor obtains.
Nature and extent of
exceptions the auditor identifies.
The need to document a
conclusion or the basis for a conclusion not
evident from the documentation of the work the
auditor performed.
SAS no. 96 includes two
requirements dealing with certain types of audit
evidence. The ASB developed these in response to
comments practitioners involved in the peer
review process made about the quality of audit
documentation and to the concerns of the Panel on
Audit Effectiveness. One requirement is that the
documentation must include abstracts or copies of
significant contracts or agreements the auditor
examined to evaluate the accounting for
significant transactions. The other is that audit
documentation for tests of operating
effectiveness of controls and substantive tests
of details involving inspection of documents or
confirmation should include an identification of
the items tested.
How the auditor identifies the
tested items depends on how he or she selected
them. For example, if the auditor selected from a
particular accounting record all items meeting
certain criteria (for instance, items that are
over a specified dollar amount), he or she can
simply identify that record and those criteria.
In other situationsfor example, when an
auditor uses statistical samplingthe
documentation may need to include identifying
characteristics (such as the specific invoice
numbers) of the selected items. The key question
auditors should ask themselves is whether another
auditor on the engagement team would be able to
identifyby reviewing the audit program and
related documentationthe particular items
the original auditor selected for testing.
The board considered it
impractical to develop specific documentation
guidance for substantive tests of details that
involve procedures other than inspection of
documents and confirmation. This is because
auditors can use these other types of procedures,
such as observation, for a variety of purposes
and can execute them in a number of different
ways. The board, however, soon will issue an
audit interpretation that will clarify how the
audit documentation requirements in SAS no. 96
apply to observations of inventory counts.
Other standards, laws and
regulations also may include specific
documentation requirements applicable to an
engagement. Auditors therefore will need to
consider them in addition to the ones in SAS no.
96. Some, such as the ones in Government
Auditing Standards (also known as the yellow
book), may be more rigorous than the requirements
in SAS no. 96.
DOCUMENTING
SIGNIFICANT AUDIT FINDINGS OR ISSUES
SAS no. 96 requires the auditor
to document certain audit findings or issues he
or she considers significantan existing
best practice among firms of many sizes.
Generally, these findings or issues are so
important that they would affect the
auditors report if not resolved. They
include the following:
Matters that are
significant and involve issues regarding
the appropriate selection, application and
consistency of accounting principles pertaining
to the financial statements, including related
disclosures. Such matters often relate to
accounting for complex or unusual transactions or
to estimates and uncertainties and any applicable
management assumptions.
Results of auditing
procedures that indicate the financial statements
or disclosures could be materially misstated or
that the auditing procedures need to be
significantly modified.
Circumstances that cause
the auditor significant difficulty in applying
auditing procedures he or she considers
necessary.
Other findings that could
result in modification of the auditors
report.
DEVELOPING
RETENTION PROCEDURES
SAS no. 96 stresses that the
auditor owns the audit documentation. It also
requires an auditor to adopt reasonable
procedures to retain such documentation long
enough to meet the needs of his or her
practice and to satisfy any applicable legal or
regulatory requirements for records
retention.
Because laws and regulations
vary by jurisdiction and the nature of the
engagement, SAS no. 96 does not say how long the
retention period should be. It simply requires
the auditor to adopt procedures that enable him
or her to gain access to the documentation
throughout that period. One way for auditors to
accomplish this is by creating a policy to
maintain electronic documentation in a format
that ensures its compatibility with newer
versions of audit software or by retaining older
versions of such software and, if necessary, the
hardware on which it runs.
AMENDMENTS
TO OTHER SASs
SAS no. 96 includes amendments
that add documentation requirements to three
other statements: SAS no. 47, Audit Risk and
Materiality in Conducting an Audit, SAS no.
56, Analytical Procedures, and SAS no.
59, The Auditors Consideration of an
Entitys Ability to Continue as a Going
Concern.
Audit risk and
materiality. The amended SAS no. 47
requires an auditor to document the nature and
effect of aggregated misstatements and his or her
conclusion as to whether they cause the financial
statements to be materially misstated. This
facilitates compliance with the requirement in
SAS no. 89, Audit Adjustments, that a
summary of uncorrected financial statement
misstatements aggregated by the auditor be
included in or attached to managements
written representation regarding its belief that
the uncorrected misstatements are immaterial,
both individually and in the aggregate.
Substantive
analytical procedures. The
amendment to SAS no. 56 responds to a
recommendation by the Panel on Audit
Effectiveness; it requires auditors to document
certain aspects of substantive analytical
procedures they perform as a principal audit test
of a significant financial statement assertion.
Three requirements apply.
First, auditors now must
document the factors they considered in
developing the expectation for a particular
analytical procedure. They also have to document
the expectation if it is not apparent from the
documentation of the work they performed. To
illustrate this requirement, assume that auditors
perform a substantive test of sales and accounts
receivable by developing an expectation of the
number of days sales in accounts receivable
based on relationships in prior years. The
documentation should include the number
ofor range ofdays sales
expected for the current year and the factors,
such as current economic conditions, considered
in developing this expectation.
The amended SAS no. 56s
other two requirements will oblige auditors to
document
The results of their
comparison of the expectation with the recorded
amounts or the ratios the auditors develop from
those amounts.
Any additional auditing
procedures they perform in response to
significant unexpected differences arising from
analytical procedures and those additional
auditing procedures results.
These requirements add more
structure to situations in which analytical
procedures provide substantial evidence about a
significant balance or class of transactions.
This amendment to SAS no. 56
applies only to substantive analytical procedures
that an auditor performs as a principal audit
test of a significant financial statement
assertion. For all other analytical procedures,
auditors should refer to the general
documentation guidance in SAS no. 96.
Going concern
considerations. The Panel on Audit
Effectiveness called for improvement in the
documentation of the auditors consideration
of an entitys ability to continue as a
going concern, especially as it relates to his or
her evaluation of prospective financial
information that is significant to management
plans.
SAS no. 96s amendment to
SAS no. 59 addresses the panels
recommendation and requires the auditor to
document
The conditions or events
that led him or her to believe there is
substantial doubt about the entitys ability
to continue as a going concern.
The work performed in
connection with the auditors evaluation of
managements plans.
The auditors
conclusion as to whether substantial doubt
remains about the entitys ability to
continue as a going concern for a reasonable
period of time.
The consideration and
effect of that conclusion on the financial
statements, disclosures and the audit report.
MOVING
IN THE RIGHT DIRECTION
SAS no. 96 provides overall
documentation requirements for GAAS audits. The
ASB will use the statements documentation
concepts and guidance when developing more
specific requirements in future SASs.
Because some of the content in
SAS no. 96 is relevant to practitioners
performing attest engagements, in January the ASB
issued Statement on Standards for Attestation
Engagements (SSAE) no. 11, Attest
Documentation, which incorporates SAS no.
96s concepts and terminology and
consolidates all documentation guidance in the
attestation standards. (See Official Releases,
page 105.)
SSAE no. 11 is effective for
attest engagements when the subject matter or
assertion is as of, or for a period ending on or
after, December 15, 2002. The ASB does, however,
permit earlier application. 
| Comparison
of Audit Documentation Requirements |
| SAS
no. 41, Working
Papers |
SAS
no. 96, Audit
Documentation |
| Nature
and extent of documentation |
|
| Provides no explicit
guidance other than a mention of
some factors at the engagement
level that affect the auditors
judgment regarding the quantity,
type and content of working
papers. |
Identifies six
factors the auditor should
consider in determining the
nature and extent of the
documentation for a particular
audit area or auditing procedure. Requires
audit documentation to include
abstracts or copies of
significant contracts or
agreements that auditors examined
to evaluate the accounting for
significant transactions.
Requires
documentationfor tests of
operating effectiveness of
controls and substantive tests of
details that involve inspection
of documents or confirmationto
include an identification of the
items tested.
|
| Sufficiency of audit
documentation |
|
| Says that working
papers should be sufficient to
show that the accounting records
agree or reconcile with the
financial statements or other
information reported on and that
the applicable standards of
fieldwork have been observed. |
Incorporates the
guidance in SAS no. 41 and
expands it by also requiring that
audit documentation be sufficient
to Enable
members of the engagement team
with supervision and review
responsibilities to understand
the evidence obtained and the
nature, timing, extent and
results of the auditing
procedures performed.
Indicate
the engagement team member(s) who
performed and reviewed the work.
|
| Documentation of
significant findings or issues |
|
| Has no equivalent
requirement. |
States the auditor
should document audit findings or
issues that in his or her
judgment are significant, actions
taken to address them (including
any additional evidence obtained)
and the basis for the final
conclusions he or she reached. |
| Retention of audit
documentation |
|
| Says the auditor
should adopt reasonable
procedures for safe custody of
his or her working papers and
should retain them for a period
sufficient to meet the needs of
his or her practice and to
satisfy any pertinent legal
requirements of records
retention. |
Says the audit
procedures should enable the
auditor to access electronic
audit documentation throughout
the retention period. Requires
the auditor to adopt reasonable
procedures to maintain the
confidentiality of client
information in audit
documentation.
Requires
the auditor to adopt reasonable
procedures to prevent
unauthorized access to the audit
documentation.
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