New Related Party Definition Significant Features of New

International Auditing and Assurance

Standards Board

Related Parties

ISA Implementation Support Module

Prepared by IAASB Staff

October 2009

Overview

Introduction

Significant Features of New Standard

– New Related Party Definition

– A Risk-Based Approach

– Identifying Undisclosed RPs or Significant RPTs

– Significant Transactions Outside Normal Business

– Fraud Risk Factors

– Related Party with Dominant Influence

– Discovery of Undisclosed RPs or Significant RPTs

– Additional Aspects

• Practical Considerations

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Introduction

The Context for ISA 550

Rationale for disclosure requirements under most financial reporting frameworks

– Related parties (RPs) are not independent of each other

– Disclosure of RP relationships and related party transactions (RPTs) necessary for a proper understanding of financial results and position

RPTs often part of normal business

Audit significance of RPs and RPTs

– Risks from inappropriate accounting

– Risks from non-identification or non-disclosure

– Risks of fraud

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Introduction

The Context for ISA 550

Inherent difficulty in identifying undisclosed RPs/RPTs

– E.g., management itself may be unaware of RPs and

RPTs (especially if framework does not require disclosure)

Heightened risk of fraud

– RPs present greater opportunities for collusion, concealment, or manipulation by management

– RPs involved in a number of corporate reporting scandals in recent times

New standard provides robust basis for identifying risks of material misstatement from RPs

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Significant Features of New Standard

New Related Party Definition

• Frameworks that require RP disclosures generally define meaning of a RP

• For frameworks that contain minimal or no RP requirements

– Standard provides a RP definition and related guidance

– Definition not for accounting purposes but for complying with requirements of the ISA

Effect of new RP definition

– Ensures minimum audit work with regard to RPs, even if framework contains no RP requirements

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Significant Features of New Standard

A Risk-Based Approach

Risk-based approach requires a thorough understanding of RPs and RPTs to identify and assess risks

– Consider RPs in engagement team discussion

– Inquire into changes in RPs from prior period, nature of

RP relationships, and type and purpose of RPTs

– Understand controls to identify, account for, and disclose

RPs and RPTs; and to authorize and approve significant

RPTs

Determine whether any of the assessed risks are significant risks

Respond appropriately to assessed risks

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Significant Features of New Standard

Identifying Undisclosed RPs or Significant

RPTs

Searching for unidentified or undisclosed RPs or

RPTs can be an onerous task

Standard takes a robust but practicable approach

– Mandatory document inspection limited to a few document types

Bank and legal confirmations and minutes

– However, required to consider which other records or documents should be inspected in the circumstances

– Required to remain alert to undisclosed RPs or RPTs

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Significant Features of New Standard

Significant Transactions Outside Normal

Business

Standard places specific focus on significant transactions outside normal course of business

– As a means to help identify undisclosed RPs

No requirement to search for these transactions but understand how they are authorized and approved

Probe into the transactions when identified

– Make specific inquiries of management

– Understand nature of the transactions

– Determine whether RPs are involved

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Significant Features of New Standard

Significant RPTs Outside Normal Business

Treated as significant risks

If these are identified

– Understand controls over them

– Obtain substantive audit evidence about them

Inspect supporting contracts or agreements

Does business rationale of the RPTs suggest possibility of fraud?

 Are their terms consistent with management’s explanations?

Have they been appropriately accounted for and disclosed?

Have they been appropriately authorized and approved?

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Significant Features of New Standard

Fraud Risk Factors

Be especially alert to fraud risk factors from RPs

Standard directs auditor in various ways on this, e.g.,

– Consider fraud potential of RPs in engagement team discussion

– Consider features of the control environment that may deter or facilitate fraud

– Consider fraud implications if non-disclosure of RPs or RPTs by management appears intentional

– Evaluate business rationale of significant RPTs outside normal business

Emphasis on fraud applies even if framework does not deal with RPs

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Significant Features of New Standard

Related Party with Dominant Influence

• “Dominant influence” introduced as a new term

– A RP with dominant influence is a fraud risk factor

– Indicator approach to recognizing dominant influence

Significant risks of material misstatement due to fraud when other risk factors are also present

– E.g., the RP is unduly involved in the determination of accounting estimates

If significant risk of material misstatement due to fraud is assessed, take appropriate action in accordance with ISA 240

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Significant Features of New Standard

Discovery of Undisclosed RPs or Significant

RPTs

• Treated as a red flag

– Probe the underlying circumstances

– Communicate newly identified RPs to the team

– Ask management to identify all transactions with the newly identified RPs

– Perform substantive procedures in relation to newly identified RPs/RPTs

– Reassess risk that other unidentified or undisclosed

RPs or RPTs may exist

– If non-disclosure appears intentional, evaluate audit implications

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Additional Aspects

Forming an Opinion on the Financial

Statements

Evaluate whether

– Accounting and disclosure of RP relationships and transactions comply with framework requirements

– The effects of the RPs and RPTs

Prevent the financial statements from achieving fair presentation (for fair presentation frameworks) or

Cause the financial statements to be misleading (for compliance frameworks)

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Additional Aspects

Other Requirements

• Obtain audit evidence about arm’s-length assertions

Obtain written representations that

– All RPs and RPTs have been disclosed to auditor

– RP relationships and transactions have been appropriately accounted for and disclosed

Communicate significant RP matters with TCWG

• Document

– The names of identified RPs

– The nature of the RP relationships

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Practical Considerations

Practical Considerations

Integrate work required by new standard with other risk assessment procedures

Open and timely communication on RP matters within engagement team is vital

– RPs can have pervasive effects throughout the entity

– Share knowledge and insights about entity’s RPs

– Agree on approach to inspecting records and documents

– Share relevant RP information obtained from risk assessment process

– Promptly communicate newly identified RPs to team

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Practical Considerations

Practical Considerations

Given potential for unidentified/undisclosed RPs/RPTs

– Maintain attitude of professional skepticism

– Be alert to significant transactions outside normal business

RP disclosures may require special attention

– Disclosures may be complex and are often a source of material misstatement

– Complexity and excessive detail may obscure substance of RPTs

– Evaluate disclosures for adequacy and understandability

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Practical Considerations

Practical Considerations

Include relevant RP considerations in early communications with TCWG

– Input from TCWG feeds into risk assessment process

– Early dialogue helps avoid later surprises

Discuss significant RP matters arising during audit with TCWG

– Reach common understanding of facts and circumstances

– Helps to address RP issues on a timely basis

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Note

This set of support slides does not amend or override the ISAs, the texts of which alone are authoritative.

Reading the slides is not a substitute for reading the

ISAs. The slides are not meant to be exhaustive and reference to the ISAs themselves should always be made. In conducting an audit in accordance with

ISAs, the auditor is required to comply with all the

ISAs that are relevant to the engagement.

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