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SECURITIES
AND EXCHANGE
REPORT
COMMISSION
TO CONGRESS
THE ACCOUNTING
PROFESSION
COMMISSION'S
July
OVERSIGHT
I, 1978
ON
AND THE ROLE
~I~'/~
SECURITIES AND EXCHANGE COMMISSION
Y
WASHINGTON,
D.C.
20549
OFFICE OF THE CHAIRMAN
June
30,
1978
The H o n o r a b l e W a l t e r F. M o n d a l e President United States Senate Washington, D.C. 20510
Dear
Mr.
President"
I am p l e a s e d to t r a n s m i t h e r e w i t h the "Report of the S e c u r i t i e s and E x c h a n g e C o m m i s s i o n on the A c c o u n t i n g P r o f e s s i o n and the C o m m i s s i o n ' s Oversight Role." The r e p o r t c o n s i s t s of three parts:
(1)
The Commission's expectations.
(2)
The staff's description and of the profession's progress the past year.
(3)
Documentary exhibits the foregoing.
conclusions
and analysis during
relevant
to
This report, the first of its kind prepared by the Commission, fulfills a commitment which I made in testimony before the Subcommittee on Reports, Accounting and Management of the Senate Committee on Governmental Affairs on June 13, 1977. Sincerely,
'~
~aro l~d~,l. Williams Chairman
@
SECURITIES AND EXCHANGE COMMISSION WASHINGTON, D,C.
20549
OFFICEOF THE CHAIRMAN
30,
June
The Honorable Thomas P. O'Neill, Speaker U . S. House of Representatives Washington, D.C. 20515 Dear
Mr.
1978
Jr.
Speaker"
I am pleased to transmit herewith the "Report of the Securities and Exchange Commission on the Accounting Profession and the Commission's Oversight Role." The report consists of three parts:
(1)
The Commission's expectations.
conclusions
(2)
The staff's description and of the profession's progress the past year.
(3)
Documentary exhibits the foregoing.
relevant
and analysis during
~o
This report, the first of its kind prepared by the Commission, fulfills a commitment which I made in testimony before the Subcommittee on Reports, Accounting and Management of the Senate Committee on Governmental Affairs on June 13, 1977. Sincerely,
TABLE
OF C O N T E N T S
INTRODUCTION
. . . . . . . . . . . . . . . . . . . . . .
1
INDEPENDENCE
. . . . . . . . . . . . . . . . . . . . . .
8
Introduction
. . . . . . . . . . . . . . . . . . .
8
• Audit
Committees
. . . . . . . . . . . . . . . . .
i0
• Scope
of
. . . . .
12
REGULATION
Services
~D
OVERSIGHT
• Introduction • Peer THE
Review
ACCOUNTING •
,
. . . . . . . . . . .
. . . . . . . . . . . . . . .
.
15
. . . . . . . . . . . . . . . . . . .
15
. . . . . . . . . . . . . . . . . . . .
21
STANDARD-SETTING
Introduction
PROCESS
. . . . . . . .
. . . . . . . . . . . . . . . . . . .
• Recommendations of Structure Committee • FASB
Conceptual
• The and
Concepts of Comparability
the FAF . . . . . . . . . . . . . . . .
Framework
Project
. . . . . . . . .
Uniformity, Preferability . . . . . . . . . . . . . . . .
27 27
29 30
31
• Development of Accounting Standards for Small Businesses . . . . . . . . . . . . . . . . .
32
• Accounting Companies
by Oil . . . . .
and Gas Producing . . . . . . . . . . . . . . . .
33
• Accounting Industries Executive
Matters and the Committee
Related to P a r t i c u l a r Accounting Standards . . . . . . . . . . . . . . . .
36
-
THE
AUDITING •
STANDARD-SETTING
Introduction
. Assessment ° The CONCLUSION
Foreign
of
2
-
PROCESS
. . . . . . . . .
38
. . . . . . . . . . . . . . . . . . .
38
Structure
. . . . . . . . .
40
of
41
Corrupt
of
AudSEC
Practices
Act
1977
. . . . .
. . . . . . . . . . . . . . . . . . . . . . .
44
INTRODUCTION
During sional
the past several years,
attention
has been focused to an unprecedented
degree on the accounting promoting
The Federal
in the aftermath have authorized accountants
in
laws,
since their
of the economic crisis of the early the Commission
to require
audit the financial Thus,
ant unique and
important
processes
and on its role
in the integrity of financial
securities
corporations.
the proper
profession
public confidence
reporting.
public and Congres-
those
functioning
that
1930's,
independent
statements of publicly-held
laws have placed
responsibilities
of this nation's
and, more broadly,
enactment
upon the account-
in facilitating
capital
of our economic
formation
system as a
whole. Further,
the
ures by major questionable
incidence of significant
corporations payments
other events,
and the disclosure
and illegal
acts
have raised concerns
and credibility
unexpected
of financial
of widespread
in the 1970's,
about the
fail-
among
integrity
controls and reporting of
publicly-owned
companies
and, consequently,
responsibility
of the accounting
profession
the role and has come under
-
careful
scrutiny.
structure
A broad
of the accounting
examination
began
on Oversight
John Moss.
which
by the staff
and That
of the Subcommittee
of the House Committee chaired
a little
chaired
held public
over
by Congressman one year
Accounting
and
on Governmental
Affairs
by the late Senator
hearings
("Metcalf
profession.
Those
hearings") hearings
were
report of the Senate Subcommittee
by the Senate
Subcommittee
report
issued
and in
1977.
The Subcommittee the House Committee held public accounting
on Oversight
on Interstate
hearings
in February
profession's
latory program.
efforts
Recently,
tee, Congressman Moss, a self-regulatory after
the report
Committee
the accounting
followed
November
has resulted.
on Reports,
of the Senate
Metcalf,
were
profession
It was continued,
Subcommittee"),
preceded
of the nature
and Foreign Commerce,
("Senate
concerning
examination
in 1976 with
by the Subcommittee
Management
-
and Investigations
on Interstate
ago,
2
the National
and Investigations and Foreign Commerce
and March,
introduced
Association
1978 on the
to develop a self-regu-
the Chairman
organization
of
of that subcommit-
legislation
to create
for accountants of Securities
patterned
Dealers
("NASD").
-
The been
responsibilities
transferred
Thomas
Williams
that,
to continue tion
Williams
Eagleton
as Chairman
and to expand
concern.
subcommittee,
Senator
the work
-
of the Senate S u b c o m m i t t e e
to a n e w
Eagleton.
3
has
of this
begun
chaired
by Senator
informed
Chairman
subcommittee,
he intends
under
Senator
Metcalf's
it to include
various
other
He concluded
a recent
letter
have
direc-
areas of
to Chairman
by stating:
Appropriate committees of Congress have recently spent substantial time and effort developing sound public policies for improving the accountaDility of p u b l i c l y - o w n e d corporations and their auditors. We are serious about seeing them implemented. I look forward to working with the SEC toward meeting tbat objective in a timely manner. The Metcalf expectation
hearings
and urgency
for
Commission
to take action
confidence
(i) in the
(ii)
a viable
self-discipline accounting
also
a sense
the profession
and the
which
will
resolve
system
(iii)
and auditing
The hearings many people
and
clearly
independence
in the p r o f e s s i o n ' s
and main£ain
conveyed
in public
of accountants,
and ability
to develop
of self-regulation
in the processes
standards
conveyed
result
and
by which
are promulgated.
a second
in and out of Congress
of
message
-- that
are critical
of the
-
Commission charge
of
for what
its oversight
to the auditing held
is not,
doing
responsibilities
in the dis-
with
financial
reporting
The Commission
undertook
at the Metcalf
respect
of p u b l i c l y -
companies.
1977
to report
the p r o f e s s i o n ' s and others
such The
which
on
Congress
it and on the C o m m i s s i o n ' s
in this area.
issues which
This document
the accounting
and complex.
the Commission
report
to the Congress
to the challenges
before
hearings
is the
report.
are numerous picture,
periodically
response
had placed
initiatives
first
this
-
and
in June
own
it is, or
4
into three
In order
has
found
profession
is facing
to give a c o m p r e h e n s i v e it necessary
to divide
parts:
. The C o m m i s s i o n ' s conclusions concerning the profession's progress during the past year and its expectations concerning the objectives t o w a r d which the profession must work in the coming months• • The Commission staff's d e s c r i p t i o n and analysis of the profession's progress. The staff's presentation is divided into four specific topics -independence, regulation and oversight, and the accounting and auditing s t a n d a r d - s e t t i n g processes -- and two appendices. The staff report also contains an issues summary which for the convenience of the Senate Subcommittee is keyed to the recommendations in its report• A volume material
of exhibits containing d o c u m e n t a r y relevant to the staff's analysis•
-
The Commission its conclusions and
has
5
set forth
concerning
its expectations
-
in this overview
the profession's
concerning
the profession
should
be working.
range
and complexity
of the
issues
the staff's comprises
description
factual
predicates
are embodied that
The
reader
in the accounting
issues
summary
reader
with
keyed
profession.
which
the
and
is essential which
to the
provide
the
view of the developments assessment
to
are taking
Reference
recommendations
lengthy
conclusions
report will
and the staff's to the
that
and analysis
of the changes
in the staff
a condensed
the past year ments,
recognize
of that material
evaluation
accountants,
-- is necessarily
in the staff description
a meaningful
of the
-- the section
for the Commission's
an understanding
place
should
toward
Because
facing
and analysis
the body of this report
and detailed.
initiatives
the objectives
which
report
during
of these
develoo-
of the Senate
Subcommittee. The
central
ing profession's should
continue
disciplined should
issue future
in the debate is whether
to be primarily
and self-regulated
become
more directly
over
the account-
the profession
and essentially or whether
involved
self-
government
in its regulation
-
and
in the setting
standards report that
under
6
of the accounting
which
of the Senate
the profession Subcommittee
" . . . the existing
and the SEC should
to fulfill
their
"self-initiated
cooperation ferred both
pledges
with
. . . "
the SEC Chairman
the Metcalf
of the Commission Commission
would
accounting
profession.
During Certified tain
it created and,
a new Division
within
("Section") ("Board"),
which
a Public
composed
believe
that
the p o t e n t i a l l y
mechanisms
best
to enable
the of the
has taken
of cer-
1977,
("Division") Section
Oversight
Board
individuals
The Commission
at
support
Institute
Practice
of d i s t i n g u i s h e d
the profession.
that
in September,
an SEC
outside
governance
("AICPA")
that Division,
the
oversight"
of CPA Firms
includes
in
of reform pre-
indicating
Specifically,
sector
expressed
the American
Public A c c o u n t a n t s
concluded
in his testimony
an "active
the past year,
its belief
It further
hearings,
this goal,
The
an o p p o r t u n i t y
by the private
Williams,
exercise
initiatives.
be given
is the method
and Moss for
operates.
of the accounting
promptly."
action
and auditing
indicated
framework
profession
that
-
continues
approach
from to
to developing
the profession
to meet
-
the challenges
facing
is for the profession direction,
but with
The Commission fession's early
to remain
active
efforts
over
of events
during
be a superior
and
the pro-
it is too
will prove
initiatives
be-
show suffi-
to continue
to evolve.
at the present
governmental
of ensuring
responsibilities
with
the Commission
has not concluded, direct
private
but based on its review
to be permitted
means
essentially
those efforts
the past year,
that comprehensive
in the future
from the Commission.
at self-regulation
the long-run,
The Commission
under
satisfied
that the profession's
cient promise
today and
oversight
is not wholly
effective
their
-
accountants
to assess whether
lieves
7
regulation
that accountants
with proper
time,
regard
would discharge
for the public
interest. As articulated the Commission
in the staff
in overseeing
sector
has been extensive
year.
In that
a synopsis tives
regard,
pendence
the efforts
the Commission
it must work
of accountants,
self-regulation
the role of of the private
and active during
of the profession's
toward which
report,
has set forth below
progress
in establishing
the accounting
and auditing
in the ensuing
months.
and of the objec-
in assuring
and self-discipline
the past
the
inde-
meaningful
and in improving
standard-setting
processes
-
8
-
INDEPENDENCE
Introduction The
critical
pendence"
importance
to the public
auditor
has been
Federal
securities
cept
in referring
accountants"
and
accountant
recognized laws
of the concept
in his role
specifically
this
to "independent
the Commission
"independence".
Independence
attribute
of the auditor.
Absent
and services
has
lost
stances
sight which
of the
reasonable
or,
at least,
utilization
in turn
factor
which
which
the auditor
and
likely
threatening
management, is expected
erodes
-- is that
of the auditor's
the company's
circumto
the
function.
its appearance
upon
of avoiding
is seen as en-
the role of the auditor
obvious
the p r o f e s s i o n
This
dangering
The most
value.
believe
independence.
of his attest
his
people might
influence
utility
authority
is the essential
its critics,
importance
con-
public
independence,
are of little
In the view of many of
The
important
to define
skills
as an
for many decades.
recognize
in giving
of "inde-
services the
independence
--
the continued
is largely
same group
dependent
toward
to be independent.
The
-
ultimate
test of
that management the ability
dual
can bring
fessional
responsibility
be mandated however, can
for,
their
some
profession
profession. must work
In considering three major
(i) prohibitions
against
fact,
the auditors'
jeopardize
pendence conduct bility more
in performing which would
and respect
broadly
(iii)
the part of both will
enhance
corporate
depreciate
There
and
respect
which
may,
and
in the eyes of the public;
of these
goals
in
indeof credi-
and,
of conduct,
and managements,
reporting.
on
which
and credibility
While,
the
objectives:
the profession's
integrity
are,
as a
(ii) avoidance
the encouragement
can
such actions,
objectivity
the audit;
the overall
implementation
relationships
accountants
financial
of,
Pro-
which
accountants,
the caliber
toward
indepen-
activities.
by statute.
steps which
take to enhance
and
only by indivi-
is not an attribute
by rule or compelled
clearly
body,
day-to-day
and
that pressure.
professionalism
can be addressed
in their
of pressure
on an auditor
to withstand
sense,
are goals which
is the amount
to bear
of the auditor
accountants
-
independence
In a fundamental dence
9
in general,
is a task highly
of the
appro-
- i 0
priate
to the profession,
establishment
of
there
independent
scope of services to perform
-
which
for their
audit
issues
committees
accountants
audit
analysisappropriately
are two
should
for
and the
be p e r m i t t e d
clients -- which
highlights
--
the staff's
immediate
attention.
Audit C o m m i t t e e s The
formation
tees composed keys where tee,
of
by public
companies
of audit
independent
directors
is one of the
to s t r e n g t h e n i n g the auditors a potentially
accountants strengthen
from
auditor
report
nis
commit-
to insulate
pressures
suggestion,
and to
with m a n a g e m e n t
the New York
adopted a requirement
have an audit
specified
criteria
currently
considering
mulgate
is provided
in his r e l a t i o n s h i p
companies
committee
by June
that
and
certain
30, 1978 and the NASD
a rule proposal
in what
is
in this area.
form the A I C P A
a standard which would
Stock
listed
which meets
the A I C P A has formed a special
to study whether
audit
independence.
recently
In addition,
buffer
inordinate m a n a g e m e n t
At the C o m m i s s i o n ' s Exchange
In c o m p a n i e s
to an independent
important
the auditor
-- and hence
independence.
commit-
committee should
pro-
r e q u i r e that an audit
r
committee
be e s t a b l i s h e d
accountant's
accepting
as a condition
to an independent
an audit engagement.
While
the
-Ii
Commission questions fession end,
recognizes
it believes
initiative
that
snould
to it to ensure
is beyond
sufficiently
to mandate and
time which
meet
addressing significant issues.
for
Should
resolution
importance
take whatever
that an audit
the
actions Therefore,
committee
the burden
initiative
the Commission
believes
is on
not be effective
has the authority
in appropriate
circumstances,
to do so. to be given
resolution
appropriate many
to the
establish
This
the Commission
its capability,
committees
priority
frame
area.
its independence.
conclude
timely,
audit
is prepared The
contribute
should
this
can and should
important
to the profession,
it to so d e m o n s t r ate. or
in this
itself
the pro-
for accomplishing
the profession
the profession
requirement
whether
In view of the critical
the profession
are available
legitimate
concerning
of the AICPA will
questions.
are
instrument
requirements
independence
that
there
to be considered
appropriate
of
that
is the proper
of these
-
is short.
criteria
independence
value
this
issue
is high and the
Audit
appear
committees
to b e
related matters
in determining
the approach
central
to
and of to other
-
12
-
Sco~e__oof_Services Another tion
important
is the question
vices -- other self offer
-- which
which
and,
audit
except
limitations
should meet
have
the p e r f o r m a n c e
of the audit
firms should
clients.
This
in general
not yet been this
three basic
it-
be p e r m i t t e d
issue
terms,
atten-
range of ser-
to
is e x c e e d i n g l y
the o b j e c t i v e s
on the scope of auditors'
In c o n s i d e r i n g to resolve
immediate
of the appropriate
accounting
to their
complex
than
issue requiring
services
fully articulated•
issue,
it will
be n e c e s s a r y
questions:
• Are there s i t u a t i o n s in which the m a g n i t u d e of the p o t e n t i a l fees from m a n a g e m e n t a d v i s o r y s e r v i c e s are so large as to affect a d v e r s e l y an a u d i t o r ' s o b j e c t i v i t y in c o n d u c t i n g an audit? • Are there some services which are so u n r e l a t e d to t h e normal expertise and e x p e r i e n c e of a u d i t o r s that it is inconsistent with the concept of being an auditing p r o f e s s i o n a l for auditors to perform those services? • Are there, conversely, some services so c l o s e l y linked to the accounting function that, for the auditor to perform those services for his client means that, the auditor will, in c o n d u c t i n g the audit, be in a position of r e v i e w i n g his own work? A further is whether certain
consideration a prohibition
services
for
underlying against
their
audit
these overall
auditors
issues
performing
clients will
have
- 13-
a disproportionately panies
and smaller
comments
1977,
of
the Commission
independence
should
Commentators services such
stated
services
in depth
who opposed
that there
performed
Commentators
such
who
services
requested
public
and,
offered
audit
clients.
proscribing
the client's
and that there
supported
impairs
from having who have business
their
of certain
certain
actuarial
services)
auditing
their
own work,
that some may result
interest
that performing pairment
of
While
such
(e.g.
services
independence that
the SEC Practice
request Section
result
executive
for comments
non-
of these
in a c c o u n t a n t s in
recruiting),
may result
in fact and
and
independence.
(e.g.
of
an
is no evidence
proscription
that performing
non-audit
services
conflicts
in
accordingly,
are benefits
services
stated
services
by the auditors
with
operations
that providing
audit
for their
familiarity
accounting
issued
the fact or appearance
of accountants
be prohibited
com-
5869,
the non-audit
f i r m s affect
on smaller
firms.
Act Release No.
on whether
by accounting
effect
accounting
In Securities September
adverse
and
in an im-
in appearance. was outstanding,
of the AICPA Division
of
-
CPA Firms proposed requirement
to establish
that would
performing
services
or are not
accounting
the services a manner
the adequacy extensive ment
public
has
indicated on the
that
tunity
its views
rules which other
things,
independent 1978,
have
of the fees pressed
issue
clients,
to question
should
5869
holding
an opporprocess.
also proposed
disclosure
of,
among
by a company's fees.
a rule
rendered
the ad-
The Commis-
be given
In June
requiring
disclosure
by auditors
the percentage
as a percentage
requested
this summer.
and the related
the non-audit
for clients
on the matter.
provided
adopted
After
it is considering
required
of services
for
Board
in
as to what manage-
to the deliberative
services
the Commission
audit
that
the Board
auditor
of the nature their
the
staff
be performed
Act Release No.
would
However,
are defined
the AICPA has
Oversight
from
independence
related.
the staff
should
auditors,
Securities
their
be offered
with
sion believes to add
impair
firms
of the prohibition.
services
hearings
member
the Commission
discussions
of the Public
a membership
or auditing
and scope
advisory
The Board
which
caused
by independent vice
prohibit
that cannot
which
14-
relationship
services
of the audit
to
rendered
ex-
fee and a state-
-15-
ment of whether
an audit committee,
an audit committee,
or in the absence of
the board of directors
all services provided by auditors, giving consideration
to their
effect on auditor
REGULATION
AND
had approved appropriate
independence.
OVERSIGHT
Introduction As mentioned
above,
created a new Division Division, intended
1977,
an SEC Practice Section.
self-regulation.
the structure important
The Section
limitations.
creation
and as a potentially viable program of self-regulation. ment of the Section which for the Commission's
voluntary
the Commission
believes
of the accounting
both contain
accomplishment
for a meaningful
it is the establish-
forms the primary basis that there
self-regulation. that
it would
to recommend
to impose comprehensive
as a major
Indeed,
is
the Commission
foundation
conclusion
for successful
for the Commission
of the Section
Nonetheless,
that
for pro-
As set forth below,
and the operations
the Section's
the AICPA
of CPA Firms and, within
to serve as the primary vehicle
fessional
regards
in September
Therefore,
be inappropriate
legislation
direct governmental
profession
is promise
at this time.
designed regulation
-
The Commission structure First,
accountancy
that the self-regulatory
three objectives
the regulation
and auditing
involved
the public
with
be left exclusively because
interest,
is continually
structure
must have available
resources
necessary
accounting quality
must be firm,
timely,
its administration As noted, significant fession ever,
to meet
The first achievement
even-handed
to assure
procedures.
and one for which There
which may threaten
structure
in both
of the Section
credit.
and
and resolve
and fair
its disciplinary
substantial
factors
address
the self-regulatory
the establishment
deserves
the profession
the self-regulatory
issues needed
Third,
accomplishment
several
ability
and
which
to it the capability
to anticipate,
performance.
not
in the profession.
within
changing,
and professional
are so thoroughly
they should
to those engaged
the environment
of public
for formulation
standards
practices
to be effective.
of the practice
and the responsibility
of accounting
Second,
-
believes
must meet
because
16
was a
the proare,
how-
the Section's
these objectives. uncertainty
which may impair
is the effectiveness
the Section's
of the Public Oversight
-
Board. public
Although
any
the Board
perspective
not afforded direct
Instead,
control
authority
over
to conclude
of the profession,
formal
is not p r e p a r e d
authority will
to the Board's effectiveness.
is not responsive
--
comprised
has
The Commission
that this lack of "line"
sought
of the Section.
E x e c u t i v e Committee,
the Section.
rily be fatal the Section
members
the activities
a broad
the A I C P A has
-- nor has the Board
the S e c t i o n ' s
over
is capable of bringing
to the S e c t i o n ' s work,
the Board
of p r a c t i c i n g
1 7 -
necessa-
However,
to the Board's
if,
recommenda-
\
tions,
the C o m m i s s i o n
the s e l f - r e g u l a t o r y
will
effort
be forced should
to conclude
be m o d i f i e d
that
or termi-
nated. The competence,
commitment,
dence of the Board will an overseer sufficient at their
disposal
sibilities. plinary
and
The Board members
have adequate
to perform
their
of the program.
involved
its results.
in an open and e f f e c t i v e
indepenas
must d e v o t e
funds and staff
functions involved
Similarly,
in overseeing
Finally,
and
its e f f e c t i v e n e s s
They must be actively
process
be actively
determine
of the program. time and must
dedication
the peer
and responin the d i s c i the Board must review process
the Board must c o m m u n i c a t e
manner
with
the profession,
the
-
public
and,
Commission
of course, can,
18
-
the Commissio n so that
in turn,
fulfill its
the
own oversight
responsibilities. The AICPA has a p p a r e n t l y in filling
the Board m e m b e r s h i p
of the magnitude and,
experienced
of the r e s p o n s i b i l i t y
accordingly,
its work.
the Board
Despite
active during Another the Section
-- perhaps
this
the past
has been
fact,
in concept
is that,
while
is voluntary,
is to be successful
all accounting
firms
members joined and
will
do so.
investment
auditors selves
auditing larger
and the AICPA
sibilities.
bankers
Closely
of this program disciplinary
has been very
will
it should
adequately associated
exert
is the uncertainty
become
audit
committees
pressure
on
them,
their
respon-
the v o l u n t a r y
over
The Section's
companies.
to assure
fulfilled with
embrace
firms who have not
matter
probably
that
firms have
that
of the Section
mechanism.
m e m b e r s h i p in
it is clear
accounting
As a practical
they have
in b e g i n n i n g
publicly-owned
anticipates
to be members
that
slow
--
few months.
uncertainty
all of the
because
involved
the Board
if the program
Virtually
difficulty
aspect
the Section's
sanctioning
power
-
is still
untested,
handedness, Questions
1 9 -
a n d thus
its timeliness, •fairness,
and effectiveness
have been
disciplinary
raised
remain
to b e
concerning
-- r e g a r d l e s s o f the quality can be effective. in the Section
or revoked
to withdraw
would make
its o w n independent i n q u i r y
appeared
reality nization
could
toe make
if any.
sufficient
Committees
of the Section
is whether
the Section
and
through
sanctions
even
a
the Commission
and take whatever This practical
authority
following
the P e e r
to the orga-
should
proceed
a particular is involved
as contemplated
these
cases
f r o m the examination.
nizes
the complexities
be found
are studying
peer
audit
reviews failure,
or threatened.
presently
of this
and Executive
with d i s c i p l i n a r y
of special
The program
must
Review
and the Board
the conduct
t h o u g h litigation
some approach
--
it effective.
A c o r o l l a r y ~issue which
action,
or should
from the Section,
appropriate,
"lend"
organization
firm's m e m b e r s h i p
firm elect
action
the
of those mechanisms
However, s h o u l d a
be suspended
demonstrated.
whether
mechanlisms of a voluntary
even-
permits
excluding
The Commission
issue,
but believes
to deal with
recogthat
such situations.
-
The Commission's
20
-
support
regulatory
efforts
is premised
AICPA that
it can,
in fact,
tion.
The procedures
of the profession's on representations
institute
followed
have been challenged
suit
by certain
questions
have also been
of the anti-trust These
challenges
will evaluate need
could
of present
in the scope, statements gative tration
include
activities,
and
The Commission '
including
the
consideration
or legislation. or legislation
(i) an expansion including
an increase
and depth of its review of financial it and an expansion
with
of accountants
including
action,
forms of regulation
filed with
activities
law
of the Section.
in determining
forms of regulation
nature
in establish-
of the AICPA,
are as yet unresolved.
Commission
self'regula-
in a pending
laws to the activities
be considered
by the
as to the applicability
future developments
Alternative which
members
raised
to take appropriate
of alternative
viable
by the AICPA
ing the Section instituted
self-
a requirement
respect
of its investi-
to accountants;
practicing for peer
before review;
(ii)
regis-
the Commission, and
(iii)
the
-
creation
of a comprehensive
If the profession's fail,
then
reasons
ing an appropriate to determine
sight,
issue
rights
should
accountants
body.
self-regulation
efforts
need
to understand
the failure
alternative what
have
before
approach.
recommend-
It is difficult
that approach,
related
also been under
be expanded,
if needed,
affected
important represent
by them.
raised
and over-
as to whether
the Federal
actions
the
securities
liability
should
only one category issues,
are therefore
which
of
be limited.
issues of legislative
These
consideration,
to regulation
and whether
in such private
are broad,
separate
somewhat
of action
and accountants sons
self-regulatory
will
for
currently
questions
private
These
-
be.
As an
laws
present
the Commission
the underlying
should
21
policy,
of perare under
not addressed
in this report. Peer Review In the Commission's element proposed peer
in the AICPA's peer
review
view,
the single most
self-regulatory
review program.
is to provide
initiative
The underlying
a regular
important is the
concept
examination
of
and eval-
-
uation
of the work
publicly-held firm's work those
who
of each
clients
conforms
assume under
successful,
the peer
objectives.
First,
-
accounting
in order
responsibilities
the Federal
it must
incorporate
of quality
of the
reviewers
and of the reviewed
be structured
pendence
in fact
the c r e d i b i l i t y peer
review
tion
by both
in such
and
to promote
must
the Board
organizational,
conceptual,
key questions the program above.
which
is to meet
as to assure confidence
it
indein
Third,
open
the
to examina-
so that each
entails
and legal to date
review
must
Second,
that the e s t a b l i s h m e n t
review program
deliberations
the work
responsibilities.
recognizes
of the peer
firm.
and the Commission
peer
structure
to both
public
three
and apply mean-
be sufficiently
of a meaningful
of
To be
satisfy
review process.
its oversight
The Commission
profession's
a manner
of the p e e r
process
may discharge
control
expected
laws.
must
standards
that
of independent
securities
review program
audits
whether
standards
ingful
must
firm which
to assess
to the high
the
accountants
22
system
a host of
problems.
concerning leave open
be satisfactorily
the objectives
The
the several
resolved
articulated
if
-
First, e f f e c t i v e review process
23
-
Board oversight
reguires
of the peer
that the Board
have an
adequate iopportunity to observe
peer
field
the overall
as well
and specific sion must permit
as to review both findings.
have
adequacy.
The proposed
be accorded
While
the C o m m i s s i o n
of the peer
of the process Second, peer
fession
of
to
its
of the peer
Other
can depend on the Board's to a great degree,
for the C o m m i s s i o n
judgment
review be persons
a n d the Board's
the o b j e c t i v i t y Reliance
clearly
of the
the q u a l i t y
supervision.
is c o n s i d e r i n g
in which one accounting
of reviewing
is seeking.
to sample
supervision
to arrive
as to the adequacy
the o p p o r t u n i t y
review program
can achieve
evaluation
information.
the p r o f e s s i o n
in the position
the Commis-
access only as required by law.
not be possible
p r o g r a m without
program
that only the Board would
review process
at an independent
in the
to the process
structure
a c c e s s to certain
would
it would
access
an objective
program c o n t e m p l a t e s accorded
Correspondingly,
sufficient
it to make
reviews
whether firm
the work of another and c r e d i b i l i t y
a
is firm
the oro-
on that concept
would
-
clearly
require
be instituted.
review
the performance acceptability
issue
of utilizing
would
benefit
the resources of
the peer
review.
is to be credible
review panel
safeguards
But,
should determine
of the reviewing
firm,
reliance
final
the
take steps
the review.
review panel
on its own developed
and
by the firm engaged
Stated differently,
report
independent
ideally should
evaluation
the perfor-
be based
of the materials
in the peer review process
conducting
to
report without merely expressing
on a report prepared
to perform
if
and acceptable,
itself as to the quality of the review,
its own
mance
corresponding
Such a review process
firm in performing
firm-on-firm
satisfy
-
that certain
from the efficiencies a single
24
and the firm
the review should be limited
to a "staffing"
function. Third,
credibility
depends on affording of the process. peer
the public
The Commission
review process
cannot
degree of credibility tions"
setting
and suggestions
of the peer
access
to the results
believes
attain
that the
the desired
if the "letter of recommenda-
forth the reviewers' for
review program
improvement
recommendations
in the reviewed
firm's
-
system and the reviewed not available Finally, bitrarily
25
-
firm's
response
thereto
are
to the public. the peer
restricted
review process must
in scope.
not be ar-
Among possible
limita-
tions on the scope of reviews which have been d i s c u s s e d are the exclusion exclusion
of e n g a g e m e n t s
the reviewed may exist
of cases
in litigation
at the request
firm or its client.
for certain
limitations,
these e n g a g e m e n t s
reviewers,
under Board oversight,
on whether
they are satisfied
engagements
peer
reviews
is the extent
can
investors
and should
the same
of the audit.
outside
Where A m e r i report
they are e n t i t l e d
based
to expect,
level of p r o f e s s i o n a l i s m
in both the foreign While
ways.
on the scope of
to rely on an audit
overseas,
and judgment
in other
be encompassed.
upon work performed receive,
bearing
in those
to which work performed
should
are asked
the
reviewed
utilized
examined
important q u e s t i o n
decision
and should depend
and the p r o c e d u r e s
of the United States
rest with
that the
Another
reasons
the ultimate
should
can be a d e q u a t e l y
of either
While valid
to exclude
firm's personnel
and the
recognizing
and the d o m e s t i c
phases
that there may be legal
-
and other
outside
easily
resolved,
of engagements
early
wrote
this
study
Committee McCloy
for
some definitive regarding
in July
stated
that each problem
1978.
formed
and an
review
panel,
and those
letter,
confident
John
that
on q u e s t i o n s functions
review p a p e r s available
The Commission
the Board
that
to the E x e c u t i v e
firms, peer
Board,
indicating
In that
to be made
area entails
realize
Oversight
review p r o g r a m
can be reached
of reviewing
Nonetheless, must
peer
that he is rather
solutions
public
16, 1978
be submitted
review by the Commission."
Committee
complex
of the Public
on June
and will
of the performance
issues.
States.
this has been
of the proposed
"selection
to be made
to
as to the quality
is extremely
Chairman
action
further
the Board
the United
to consider
Williams
revisions
under
outside
issue
not be
has urged
itself
per-
is not expected.
McCloy,
Chairman
specific are
force
resolution John
to satisfy
reviews
that will
the Commission
performed
a task
by the AICPA,
to peer
of this country
this need
Although
-
difficulties unique
formed
address
26
difficult
for
recognizes
and sensitive
and the Executive
that a s e l f - r e g u l a t o r y
effort
-
which
27
-
fails
to incorporate
a system of peer
which meets
the objectives
described
the Commission
to withdraw
review
above would
its support
compel
for the profession's
program. THE ACCOUNTING
STANDARD-SETTING
PROCESS
Introduction The roles of the Financial Board
("FASB")
promulgating
and the Commission
accounting
received an increasing government question
is where
sector
with this basic questions
should
community.
initiative
accounting
whether
be governed
belongs
sector.
of the FASB
have
from both
for establish-
-- in the In connection
have raised
the timeliness,
of
The primary
standards
issue, observers
concerning
standards
amount of attention
or the public
and effectiveness standards,
the
Standards
in the process
and disclosure
and the business
ing and improving private
Accounting
other
openness,
in setting
structure
accounting
public and non-public ~companies by the same set of accounting
disclosure
standards,
how standards
to achieve
uniformity
and comparability
and
can be developed in financial
-
statements
for
similar
how accountants under more
which
facts
-
and circumstances
can determine
one particular
appropriate
28
and
the c i r c u m s t a n c e s
accounting
principle
to use than an alternative
is
accounting
principle. The Commission, No. tive
4 was
issued
since Accounting
in 1938,
for e s t a b l i s h i n g
belongs
in the private
oversight, greater
principally
resources,
emerging
accounting
and
has believed improving
of the ~rivate
its expertise, problems
in the private
Commission generally
believes has been
responsive
that
In that
satisfactory
and procedures.
role
remain
sector's to detect
stage
and
to all companies continues
for s t a n d a r d - s e t t i n g
the performance
to r e c o m m e n d a t i o n s
standards
The Commission
sector.
performance should
its ability
can be applicable
initiative
initia-
to Commission
at an earlier
or not publicly-owned.
belongs
accounting
because
whether
the
the
subject
its standards
that
that
Release
sector,
because
to believe
Series
and that
for
regard,
of the FASB it has b e e n
improvement
The C o m m i s s i o n ' s
one of oversight,
the
to ensure
in its primary that
-
the private a manner
sector
which
and harmonizes under
This
addresses
facing
it in
of self-governance
with
the Commission's
responsibilities
securities
laws,
including
the
setting
standards.
reasonably
ship
is the ability
FASB
to consider
of the FASB and the Commission well.
A part of that
of the Commission
adopting
as the Commission for the gain
the challenges
the objectives
relationship
has worked
-
meets
the Federal
of accounting
29
standards
did when
to request
the
in particular
the appropriate
or loss on early
relation-
areas,
accounting
extinguishment
of debt was
at issue. Recommendations
of the FAF Structure
In December
1976
Financial
Accounting
Structure
Committee
the Board of Trustees Foundation
to review
FASB and the Financial Council
("FASAC").
Committee opening ing
issued
all
involvement
broad
("FAF")
constituency,
established
Standards
1977,
which
of the FASB to public from all
strengthening
a
the Advisory
the Structure
its recommendations
in the FASB
of the
comprehensively
Accounting
In April
aspects
Committee
included view,
segments
increas-
of
the organization
its
-
30
-
of the FASB and accelerating planning
goals,
issuing documents
standards
in layman's
are held,
systematically
and broadening
its work pace,
language
explaining
before
reviewing
the base of FASB
have created
financial
ness
recommendations.
a greater
in the process
FASB Conceptual
action
The structural
standards.
the efforts for
of the FASB
financial
enterprises.
ious and careful
thought to the theoretical
conceptual
framework
accounting
problems
ter confronting reporting. for
increased
in financial
credence
The FASB project
the profession
statements
the most
must give
ser-
underpinnings a
emerging
important
mat-
in the area of financial
framework
would
also provide
of the
information
contained
and foster
consistency
of treat-
facts or transactions,
to financial
to
reporting
to develop
to address
is possibly
comparability
ment of similar
Accountants
from which
A conceptual
changes
and effective - ~
accounting
framework
reporting.
standards,
to implement
of profit-making
of financial
hearings
Pro~ect
supports
a conceptual
proposed
support.
of openness
of setting
Framework
The Commission establish
degree
public
existing
The FASB has taken expeditious the Committee's
establishing
reporting.
thereby
adding
-
The ment draft
FASB
is actively
of a conceptual in late
issues
that
final
to issue
forms
of supplemental
memorandum
a final
thrust
supports
reporting among
major
in 1979.
issued
a discussion
of financial
framework
of uniformity draft
reporting
to the concept
of standard
project
and comparability.
on objectives
of financial
of financial
The work product
The Commission concepts
quarter
Preferability
for comparability
adherence
goal
of chang-
in the fourth
to be adopted
of the conceptual
enterprises.
strates
alternative
organizations.
exposure
calls
with
The FASB
of the effects
the objectives
the concepts
The current
and elements
in 1978.
the FASB has recently
The Concepts of Uniformit[, and Com~a__[ra__b_~Tit~ The
It is expected
dealing
enterprises statement
concerning
for nonbusiness
be issued
disclosures
Reporting"
1978 on the measure-
objectives
draft
an exposure
of Financial
in early
will
an exposure
In addition,
It issued
concerning
on business
with
on the develop-
in such a framework.
statements
hopes
of 1978,
forward
"Objectives
statements
ing prices
moving
hearing
involved
of financial
-
framework.
1977 on
and held a public ment
31
reporting
of the FASB demon-
of comparability
as a
setting.
has traditionally
of preferability
supported
and comparability
and
the
-
currently
requires
to the Securities
a letter
from their
tants
simply
accounting
approach.
for a given
will
When
accounting
be adopted
The
Advisory
reporting
accounting Council
of FASAC,
of small
businesses process.
to its technical
shifts
cease
in
in accoun-
that
is preferable the
use of alterna-
since only one method
Standards
substantive problems
for Small steps
of small
practitioners.
to be responsive
agenda
also
to consider
businesses Business
as a permanent to the needs
and p r a c t i t i o n e r s
The FASB has
Businesses
in a d d r e s s i n g
A Small
has been established
committee
setting
changes
as the standard.
FASB has taken
and small
require-
the FASB d e t e r m i n e s
standard
of A c c o u n t i n g
financial
princi-
of an alternative
set of circumstances,
in that area will
Development
the
approval
it
discussing
in accounting
arbitrary
with
of 1934 to file
accountants
to discourage
to obtain
a particular
tives
and
Act
reports
The C o m m i s s i o n ' s
to prevent
methods
file
Exchange
of any change
are designed
accounting
which
independent
ples made by the company. ments
-
companies
pursuant
the p r e f e r a b i l i t y
32
in the
standard-
added a project establishing
-
guidelines
33
-
for distinguishing
that all enterprises that only certain
should
between
disclose
enterprises
(e.g.
information and
information
large businesses)
should disclose. The Commission the disclosure concluded rules
has also taken
problems
public
hearings
and regulations
to raise capital disclosure
reviewed should
concerning
of small
of the Federal
received ~ at these hearings to determine
It has just
the effects
and the impact on small
and analyzed
to recognize
companies.
on the ability
requirements
The comments
of small
steps
what
of its
businesses
business
of the
securities
laws.
are now being actions,
if any,
be taken.
Accounting__by Oil and Gas Producing In 1975 Congress Conservation
Act
("EPCA"),
developing
a reliable
Commission
to assure
of accounting
enacted
the Energy Policy
which,
the development
the issue of accounting
and of
required
the
and observance
for oil and gas producers.
to Congressional
the FASB undertook
for purposes
energy data base,
practices
In response
Companies
consideration
of
for oil and gas producers,
a project
to develop
financial
-
accounting December
6, 1977,
Accounting scribing engaged
standards
issued
a single
requiring
tentative
rules
and,
issuance
accounting
issued
itself
the FASB's
in proposing that
1977
by that date.
19 in December
it should
it could
the accounting
by December
practices
this
its
the Commission
reflected
be developed
to extend
whether
by
the delibera-
took action
of FAS No.
was able
to determine
1977,
to assure
the FASB promulgated
companies
costs.
of the EPCA that
it required
Commission
efforts"
essentially
comment
pre-
activities
the FASB
in July
19")
for all
followed
The Commission
the provisions
the
method
after
and on
of Financial
19 ("FAS No.
closely
which
for public
practices
With
Statement
and development
conclusions
conclusions.
unless
industry
a form of "successful
tions of the FASB
meet
this
accounting
The Commission
rules
No.
-
and gas producing
for exploration
proposed
for
Standards
in oil
34
statutory
1977
the
deadline
rely on the FASB's
determinations. In addition, 1977 ments
the Commission
to supplement prescribed
proposed
the disclosures
by the FASB with
rules
in financial
in state-
the presentation
-
of information revenue gas
reserves.
This proposal
economic
in understanding
value
production
tion of the C o m m i s s i o n ' s
conditions
-
on the present
from estimated
of current
35
information
and followed
of proved
represented
efforts
the effects
of future
oil
and
a continua-
to achieve to assist
of changing
a year-long
net
reporting
investors economic
joint
effort
i
between
the Commission
Following announced on the take
that
issues
an
of FAS NO.
it would
solicit
and,
tions.
After
ducting
extensive
19,
assessment
its staff
public
comments
hearings are now
in the process
issues
ceeding.
The
of these deliberations
proceeding unique
in the near
on this
to the oil
legislative
relationship
issuereflects and gas
requirements
distinguishable
involved
future.
of
will
The C o m m i s s i o n ' s circumstances
industry,
primarily
of the EPCA,
the FASB.
the
in this pro-
and
from the usual Commission
with
determina-
on this matter
the complex
be published
under-
and con-
analyzing
results
comment
by the EPCA,
Of the FASB's
written
public
the C o m m i s s i o n
further
as contemplated
receiving
and
industry.
issuance
independent
Commission
and the
the
is thus oversight
-
36
-
A c c o u _ n n t i n ~ Matters Related to Particular Industries a n d _ t h e A_cccountin ~ Standards Executive Committee
The Commission current
technical
priority
and have
to address
other
recognizes
agenda
that
an impact issues.
on the resources
The Commission
in most
respects
work
product
of the FASB during
that
resources
to particular associated
mechanism
this
accounting
principal
function,
("SOPs")
concerning
in specialized recommendations judgment
areas
and the
available
agenda year,
satis-
and but
notes
for the d e v e l o p m e n t matters
basis.
unique
Closely
of the AICPA
standards.
reporting issuance
to the FAS8,
has,
and
SOP's
and represent
profession
the
respect
of Statements
accounting
("AcSEC")
AcSEC,
matters,
industries.
of the accounting
a high
has been
of the AICPA with
financial or
on the
is the role of the A c c o u n t -
Committee
committee
financial
available
on a timely
of accounting
technical
the past
for addressing
issue
Executive
in the setting senior
the technical
have not been
with
ing Standards
with
industries
issues
of the FASB all have
fied
of an effective
the
as
to its
of Position
reporting
are
issued
as
the c o n s i d e r e d
as to the pre-
-
ferable method particular
a significant
required
increase
and
in
increase
being devoted
framework.
FASB undertakes
a program
set forth
steps
that there
forces
of the private of financial
Until
unless
action.
in its task
its staff
such
in this area,
has taken other to ensure
since
the
are c u r r e n t l y
time as the accounting
considered
to be
the FASB or the C o m m i s s i o n
Therefore,
AcSEC ~ should
is adequate
and s u b c o m m i t t e e s
sector
research
might not be readily available
in SOPs will b e
accounting,
staff
require
issues such as the e s t a b l i s h m e n t
of a conceptual
preferable
in its own
of the FASB and
to broader
for dealing
probably would
in the use of outside
industry expertise
and the efforts
take
representation
from all e l e m e n t s
including preparers
and users
statements.
It is n e c e s s a r y accepted
issues
by the FASB of a m e c h a n i s m
industry matters
and some
practices
on narrow
industries.
particular
resources
-
of accounting
Establishment with
37
accounting
circumstances and particular
to be realistic alternatives
concerning industries
for
particular
as to how q u i c k l y similar
facts a n d
accounting
can be eliminated.
matters Establish-
-
ment of a framework to all a
industries
long-run
setting
38
-
of accounting
is a project
objective,
bodies must
of major
it is a goal
strive
framework
is established,
[eporting
practices
interim
applicable
proportions.
that
Until
refinements continue
STANDARD-SETTING
As
the standard-
to achieve.
are and will
THE AUDITING
standards
such a to current
to be necessary.
PROCESS
Introduction One of the most auditor the
important
professionalism
issuance
Auditors'
culminated
of the final
final
report
included
and recommendations
accountability
and the audit
the
bility
identified
for particular
matters
generally
in the Cohen Commission
Commission
1978,
function.
a broad
in
recommendations
The range
The AICPA has virtually
committees raised
on
at improving
by the Cohen Commission
or newly established
The Commission tions
aimed
to that report by assigning
issues
existing
in March
("Cohen Commission").
of conclusions
responded
regarding
report of the Commission
Responsibilities
Cohen Commission's
initiatives
with
all of
to various responsi-
in the report.
endorses
the recommenda-
report.
A few of the Cohen
have already
been
addressed
-
by the profession, implemented
others
and still
consideration.
to the Auditing
for most
other
particular
been
satisfied
on whether matters,
with
by Clients",
of Errors
sector
ing standards example,
with
standards
(which were evenadequately
authorized
Responsibility
or Irregularities",
Series
has
to AudSEC on such
Auditor's
and procedures
has
of that
the Commission
Report
"Illegal
When There
the Commission
role where
at times
the Commission
Acts
Are
that
appropriate
in a timely manner. Release No.
for
has
it believed
was not developing
in Accounting
traditional
Although
AudSEC dealt
In addition,
its oversight
the private
matters. ~
and the "Auditor's
Contingencies". exercised
("AudSEC"),
in general,
m a t t e r s as "The Independent the Detection
Committee
auditing
of comment
satisfactory. principally
the final work product
of letters
of
fallen
committee
years,
to being
stages
has been
has
Executive
auditing
way
in the early
to date
technical
In recent
issuance
are
on their
has had d i s a g r e e m e n t s
with
the
Standards
resolved)
committee.
others
for establishing
the Commission tually
are w e l l
of these issues
senior
responsiDility and
-
Theprogress
Consideration
the AICPA's
39
177,
the
auditFor
-
Commission
indicated
rules relating followed
40
-
its intention
to standards
by independent
interim
financial
adopted
acceptable
fied date. concerning financial
to finalize
and procedures
accountants
to be
in the review of
data unless the accounting
AudSEC
rules of its own prior subsequently
the involvement data closely
proposed
profession
to a speci-
adopted procedures
of auditors with
paralleling
interim
those proposed
by the Commission. Assessment
of Structure of AudSEC
One of the principal Cohen Commission itself.
related
In response
issues
identified
to the structure of AudSEC
to the recommendations
C o m m i s s i o n and the concerns of various AICPA formed
a special
recommendations
recommendations modifications,
to evaluate
the AICPA Council
but rejected
committee,
the proposal
that a full-time
of the Cohen
persons,
the structure
of the special
Cohen Commission established.
committee
concerning
At its May 1978 meeting
by the
the
and p r o p o s e
of AudSEC. adopted
the
with certain of the
paid body be
-
The
special c o m m i t t e e
be reduced
to fifteen
to any AICPA member, in auditing
inclusion
public
that
which would
hearings,
from outside does
not necessarily
sion
to reject a full-time
enough with
the newly
the enhanced
standards
staffed
supported
board
of persons
the Commission
the committee's their
structure
to
and lend en-
reasons
appears
necessary to Provide
need
for
an annual
involvement
board,
adopted
provide
issue
Although
objectivity
board will
forces
process
agree with
of the attributes
be desighated
the Commission
the
the profession.
engaged
of AudSEC.
appropriately
through
be open
and that an advisory
the standard-setting
credibility
and
task
on the activities
full-time,
streamline
merit
or not currently
of non-AICPA members;
At the Metcalf
that AudSEC
that membership
that one member
director;
report
hanced
recommended
whether
be established
a small,
-
members;
practice;
as a research
council
41
it needs.
concluhave
to have the process
The new auditing
to demonstrate
that
it can perform
effectively. The Foreign
Corrupt
On December Act was
signed
19,
into
Practices 1977, law,
Act of 1977
the Foreign
and
Corrupt
its requirements
Practices became
-
effective panies with
upon
signing.
from engaging
respect
Section
to require
of t h e
reporting
books and records
officials,
Securities companies
accounting
Commission
is likely
accounting
the provisions
the Act amends
Exchange Act of 1934 to make
and keep accurate
and maintain
a
controls which meet
to require,
controls
of the Act.
set out
opinion
independent
accounting
in the Act,
from the issuer's
representation
to the Commission's
to such reports.
controls meets
together
or through
independent
has formed a task force
with
that the
public accountant
representation
to management's
is in compliance
from management
the objectives
management's
filed with
This could be accomplished
issuer's system of internal
of the
in reports
the
that an issuer's system of
t~rough a representation
addition
practices
rules have not yet been proposed,
it, a representation
similar
com-
objectives.
Although
internal
in certain corrupt
and to establish
system of internal certain
-
Along with prohibiting
to foreign
13(b)
42
public
as to
an opinion, described
accountant.
considerations,
to study the
with an
above, In
the AICPA
issues related
-
It can be expected will
look
to their
concerning
their
systems of
such
objective
systems.
Although
of such criteria the
issuer
of the Act.
supplement
Act.
These
rules,
for any person
with
statements. proposals manner
best
to m e a s u r e
the requirement
compliance
that
are expected
with
the o b j e c t i v e s
is m o n i t o r i n g
these efforts.
has pending
rule p r o p o s a l s
certain of the provisions
director,
would make
predate
books
and
of corporate to act on
the Act's
in
financial
the Act's enactment
to furthering
records
of a
an accountant
intends
of the
it unlaw-
or shareholder
to mislead
The C o m m i s s i o n
suited
auditors,
or n o n - e x i s t e n c e
the criteria
his examination
-- which
internal
to falsify corporate
company
control.
consisting
against which
the Act,
if adopted,
and for any officer, publicly-owned
and
issuers
for g u i d a n c e
accounting
the existence
the Commission
would
connection
criteria
The C o m m i s s i o n
which
ful
internal
executives
in assuring
Finally,
accountants
does not affect
comply with
to be helpful
of many
an advisory committee,
of financial
to recommend
that managements
independent
The AICPA has formed primarily
43 -
its rule -- in the
objectives.
-
44
-
CONCLUSION
The C o m m i s s i o n the past year tunity
has been
regulation to reach future
legislation
legislation.
tiative
be required.
it will,
legislation
in a g e n e r a l l y
in the r e g u l a t o r y
dence
the structure,
system.
in t h e
hand,
self-
topossible
alternative
direct would
ini-
may
the p r o f e s s i o n ' s
be given
as we
to any need
a more
for
adequate
or to confirm
its p l a c e ~
time,
however,
g o v e r n m e n t a l ~r e g u l a t i o n afford t h e
or a more meaningful
work of public
responsi-
the p r o f e s s i o n ' s
We are not at this
or a c c o u n t a n t s
protection
respect
of providing
that c o m p r e h e n s i v e
of accounting increased
for
cannot
satisfactory manner/
should
the purpose
foundation
convinced
If, on the other
oppor-
It is too early
a legislative
consideration
for
with
during
at self-
or control
time.
for example,
is not successful,
program develops
legal
at this
continued
its efforts
the C o m m i s s i o n
conclusions If,
to merit
to supersede
of a c c o u n t a n t s
any d e f i n i t e
that the p r o g r e s s
to pursue
Consequently,
bly recommend
hope
sufficient
for the p r o f e s s i o n
regulation.
well
has concluded
accountants.
public
basis
ei£her
for confi-
-
The Commissioh
legislation
statutory
Although,
forth herein,
the Commission
on the bill. matter, ensure
that Congress its technical
possible
legislation
with
methods. Commission
the enactment
it will provide
comments
of the subject
responsibility
the Commission
profession
proposed
program,
to define
to
range any
As described
has worked the objectives
to assure
implementation
that the
is consistent
and t o s u g g e s t
the objectives without
ways
in which
imposing
specific
in the staff report,
has monitored
the profession's
in this area closely.
In addition,
has been active during
the past year
the profession's
set
in this area.
with those objectives, to achieve
for
and policy views concerning
of the self-regulatory profession's
support
has a special
the past year,
the accounting
scheme
has the benefit of the full
of both
During
cannot
of the importance
the Commission
create
based on the conclusions
at this time,
Because
Moss very
which would
self-regulatory
accountants.
of such legislation
-
is aware that Congressman
recently has introduced a comprehensive,
45
initiatives
the
efforts
the Commission in overseeing
concerning
the
indepen-
-
dence
of auditors
and
46
-
the accounting
standard-setting
processes.
does
that ~ it is necessary
not believe
all of
its i n i t i a t i v e s ,
maintaining
committees,
tors,
and the work
Commission
its views effort
scope
and
that
and
concerning
the profession
this
in such areas
performed
the profession
deserved,
insights
on which
in
where
in general,
is not
The
necessary, has offered
the s e l f - r e g u l a t i o n
has embarked.
h o w e v e r , that accountants
report
as
by audi-
of the FASB and of the AICPA.
it when
It is crucial, stand
of services
to catalogue
instrumental
for Progress
has criticized
complimented
the Commission
it has been
the m o m e n t u m
audit
While
and auditing
in any sense
under-
the termi-
\
nation
of the process
committee, have
Congressman
directed
the process
begun
by Senator
Moss'
attention
Subcommittee,
to the profession.
of d e m o n s t r a t i n g should
rity
to regulate
profession,
still
confidence
(iii)
maintain
in their
control
the p r o f e s s i o n ' s
over
members
(ii) ensure
the quality
and discipline
who
On the contrary, themselves
(i) r e t a i n primary
professionalism
Sub-
and others
that accountants
r a t h e r than government their
Metcalf's
autho-
and
in,
and objectivity,
of the work t h o s e who
of
fail
-
to adhere accounting demand
erally
-
to its standards, and auditing
the profession's
for many years mission
47
to come.
and
(iv) formulate
standards,
is one which will
and the Commission's If the profession
lose sight of these objectives, and accountants
run, be the losers.
specifically
appropriate
commitment
or the Com-
the public
will,
gen-
in the long