Engagement Quality Control Review (EQCR) Evaluation


Advisory Evaluation for Private Company Auditors

Engagement Quality Control Review (EQCR) Evaluation

If you have concerns over the effectiveness of your EQCR program, we can help you evaluate and determine if your concerns are justified. 


Experienced in AICPA QC section 10, A Firm’s System of Quality Control, and AU-C sec. 220, Quality Control for an Engagement Conducted in Accordance with Generally Accepted Auditing Standards, we help firms to design, implement, and troubleshoot EQCR effectiveness. Our significant experience from an oversight, root cause diagnostic, and monitoring perspective helps firms achieve and maintain compliance with AICPA standards by evaluating your firm’s design and execution of engagement quality control reviews.


Our evaluation is tailored to your needs, but generally follow critical evaluation of the design of the firm’s policies and procedures related to: 


  1. Qualifications of the engagement quality reviewer, including new partner promote assignments; 
  2. The review process, with special emphasis on the evaluation of significant judgments and responses to significant risks; and 
  3. The documentation of procedures performed to support the review and concurring approval of report issuance. 


In addition, we make recommendations to firm management on the operation of EQCR policies and procedures, and assist our clients in taking remedial actions. This is achieved through: 


  1. Monitoring the implementation and effectiveness of the Firm’s policies and procedures over the performance of EQCRs;
  2. Performing root cause analyses on the EQCR’s role in audit deficiencies identified through various internal and external inspections. 
  3. Providing training and support to EQCRs, including technical training over complex audit, accounting, and IT / audit integration issues.
By Jackson Johnson 10 Mar, 2022
There are so many quotes and sayings about planning and timing. Failing to plan is planning to fail. Timing is everything. An hour of planning can save hours of doing. I know, it’s all so cliché, but is it not true? The classic and timeless Jane Austen once wrote: “It is a truth universally acknowledged, that a quality audit in possession of a good engagement team must be in want of a well-planned audit timeline.” Maybe I’m paraphrasing here, but if Jane Austen wrote it, indeed, it must be true. In the past few years, working with JGA, I have performed numerous root cause analyses looking at both firm and engagement deficiencies. While most deficiencies are the result of multiple contributory root causes, there is one root cause that seems to be pervasive: timing . Countless times I have reviewed audit files where the partner and EQR sign-offs are just days before the opinion. Sometimes planning for a 12/31 audit isn’t prepared until January or February or planning is prepared in October but isn’t reviewed until the year-end audit is well underway. How can an engagement team successfully execute a quality audit if the planning and risk assessment hasn’t been finalized and/or reviewed until half-way through the year-end audit? If partner and EQR reviews occur the day before (or even sometimes the day of) the audit opinion, what ability does the audit team have to feasibly address comments or perform additional procedures based on those reviews? We get it. Audits are fast-paced. And with so many regulatory reporting requirements, inevitably, no matter how hard we try, there is always a fire drill to complete the work. But that doesn’t excuse the lack of sufficient planning and timely execution of audit procedures. On numerous pre-issuance reviews, often, I am surprised to find teams still auditing a Q1 acquisition almost a year later. Yes, the measurement period remains open for a year, but that doesn’t mean that it takes a year to perform audit procedures. Management has to report the acquisition in the proceeding 10-Q to the best of its ability. Therefore, engagement teams could be performing audit procedures over the acquisition accounting and fair value measurements right after the acquisition. But let’s not focus solely on engagement teams. Firms continually approach us to assist with various aspects of quality management, whether performing monitoring procedures, such as post-issuance reviews, or assisting with PCAOB remediation, including drafting the response to the PCAOB as well as designing and implementing remedial actions. Often, firms are coming to us at the eleventh hour asking for help. While this is what we are here for, quality takes time. Anything done at the last minute inherently has a greater risk of errors and mistakes. As an industry, we don’t give proper weight to planning and timing. So what exactly does it mean to plan effectively? Better Project Management Traditionally, there are two types of partners in the accounting industry: technical partners and relationship partners. Technical partners are specialists in audit and accounting. We call them in when we have specific questions about an embedded derivative in a complex debt-equity financing and they’re the ones who will quote the codification in their response. The relationship partners, however, manage client relationships and land new business. But what about the partners who execute strong, quality audits? In the audit profession, auditors are promoted to senior associate and eventually to manager. We expect them to take over audits and manage these “projects”. Project management is a specific skillset that is not specifically linked to audit skills. Perhaps firms could provide training for managers on project management to help facilitate this new role as manager. Defining the Process Within an audit specifically, I would break down the timeline into three distinct phases: planning, interim and year-end fieldwork. While planning and risk assessment is an iterative process, the bulk of planning can be done early (e.g. Q2 or Q3). Interim can be built into quarterly reviews for public clients or can be planned around hard closes, such as a 9/30 close, enabling some year-end audit work to be brought forward to October or November. Yes, certain accounts can only be tested at year-end, such as estimates for inventory reserves, but there is plenty of other work that can be done at interim such as revenue, inventory pricing, and PP&E testing. And then finally, there is year-end testing leading up to the audit opinion. To plan for various phases, teams need to create detailed budgets that align with the timeline. I say this, fully realizing, budgets are a source of much contention. Managers feel pressure from firm leadership and the engagement partners to maintain and/or improve realization year over year while trying to make a realistic budget with appropriate staff and hours to execute the audit correctly. Having worked with the PCAOB and focusing now on audit quality as opposed to profitability metrics, I challenge the idea that audits in subsequent years will always be more efficient. Certainly, a second-year audit will be more efficient than a first-year audit and over time, some advancements bring efficiencies such as new software or audit technologies. But what about the loss of knowledge and experience from turnover of staff? Or incremental time for new auditing standards such as CAMs, or for new firm practice aids rolled out as part of PCAOB remediation? Are firms adjusting for these areas in the budget? The point is to be realistic. A budget typically starts with the prior year actuals. Let’s not pretend that those hours are entirely realistic. Firms preach that staff should never eat hours, but then get upset with managers when realization goals aren’t met. There are too many conflicts of interest here. So be realistic. If a firm expects an improvement in realization year over year, have an honest dialogue about where that realization is going to come from? Once the budget is finalized, then it is time to start allocating those hours between planning, interim and year-end. So far, this all makes sense and many teams do have early planning and interim phases. But, when all the work is documented and prepared, who performs the review? Effective planning means doing real-time reviews as the work is being performed. This also allows for practical coaching of younger staff as they perform audit work and allows for course correction before it’s too late to change an audit approach. Resource Management Once budgets and timelines are laid out, the next challenge is to plan resources. Resource management is already embedded in the PCAOB QC standards. However, it will become an even more important component once firms adopt the new AICPA, PCOAB and IAASB standards on quality management. Speaking purely of human resources, firms need to consider first and foremost, do we have enough staff? Resource shortages create a struggle of prioritization where firms play “catch-up” focusing on the most urgent clients (usually based on deadlines) and thus, planning and interim for other clients is delayed and the cycle perpetuates. While I can’t claim causation, I can say there is a correlation between staff workloads and audit quality. The greater the workload (especially factoring in concurrent year-ends), typically the lower the audit quality. In addition to figuring out if you have enough resources (staff), firms then need to think through resource allocation considering strengths, skillsets, etc. In other words, do we have the right resources with technical and/or industry knowledge? Do we have the right staff-level mix? And do we have a project manager to ensure the process is moving along efficiently? The new quality management standards have an entire component designated to resource management and actually expands from just human resources to incorporate both technology and intellectual resources. Firms will be forced to implement policies to provide the right resources and to monitor the effectiveness of those policies. In other words, if engagement teams are overworked or don’t have the right technological or intellectual resources, firms will need to remediate this deficiency. This requires early planning. Client Management While I might advise firms as a consultant and preach “early timing,” I haven’t forgotten the complications of client management. Many delays can be traced, in part, back to client delays. Part of project management is working with the client on timelines that are reasonable. I encourage teams to have these discussions early (e.g. Q1 or Q2 of the fiscal year) so that both the client and the engagement team can plan accordingly. Equally important is holding both parties accountable to agreed-upon timelines. Engagement teams must meet planning, interim and year-end deadlines. Clients need to be held to agreed deadlines. If the client is delayed by a week, then the logical response is that the opinion will need to be delayed a week as well. The client can’t just expect that the audit team will make up one week of time without some impact on quality. I realize it’s more complicated than this. However, it’s either a tough conversation with the client or risk a potentially poor-quality audit and a tough conversation with the PCAOB during an inspection. Firm Leadership Management Finally, these same concepts apply to firm management. One of the main components of quality management is tone at the top. If firm management doesn’t adequately plan for the design, implementation and execution of quality management practices, then how can it hold engagement teams to this same expectation? Under the current QC standards, there are firm programs that require significant time and planning. Take for instance practice monitoring , which can be a huge time commitment. Despite that, I don’t know of many firms who create a budget or establish timelines to complete these reviews. Even if it’s not client-facing, firms need to understand the nature of the various projects, create budgets, layout timelines and then appropriately staff the programs. Similarly, PCAOB remediation, depending on the number of QC criticisms, can be a huge undertaking. Many firms are not budgeting for the design and implementation of the remedial actions as well as the actual remediation submission to the PCAOB. Although firms have one year to respond, many wait until the last couple months to initiate remedial actions. Specific to this concern, the PCAOB is now asking firms to engage in a dialogue within 60 days of receiving the report. Early planning leads to effective and quality remediation. Early planning trickles down into other aspects of quality management, such as releasing new guidance and templates early in the year so that engagement teams have the most updated methodology prior to commencing audit procedures. Similarly, firms that plan training well in advance allow for quality content to be created and can ensure staff reserve the time to participate live. With the new quality management standards coming down the pipeline , I cannot emphasize enough the importance of planning early for this undertaking. There’s nothing new here. The point is, in a time where resources are tight and we are attempting to do more with less, it’s critical firms and engagement teams plan early and accelerate timing to facilitate quality both at the audit engagement level as well as the firm quality management level. If that isn’t happening, consider hiring project managers or reach out earlier to consultants to assist. While the industry may preach best practices, we need to start holding ourselves accountable. After the new quality management standards are implemented, firms won’t have a choice, because once the root cause for deficiencies is linked to timing, they’ll have to implement new controls and policies to ensure adequate and early planning. To keep with my theme of timeless literature, the Ancient Greek poet, Hesiod, once said (and this time, I’m not paraphrasing), "Observe due measure, for right timing is in all things the most important factor." Dane Dowell is a Director at Johnson Global Accountancy who works with PCAOB-registered accounting firms to help them identify, develop, and implement opportunities to improve audit quality. With over 12 years of public accounting experience, he spent nearly half of his career at the PCAOB where he conducted inspections of audits and quality control. Dowell has extensive experience in audits of ICFR and has worked closely with attorneys in the PCAOB’s Division of Enforcement and Investigations. Prior to the PCAOB, he worked with asset management clients at PwC in Denver, Singapore, and Washington, DC.
By Sara Trifiro 03 Feb, 2022
Register today for the "simulated live" recording of our Busy Season Reminders for Auditors co-sponsored with Johnson Global Accountancy. This webinar is a MUST for auditors going into busy season this year. It’s a “greatest hits” list of our A&A Update that we facilitate for accounting firms around the world. In this webinar we cover: Impairment reminders Auditing accounting estimates and the use of specialists Highlights of ASUs effective for private entities in 2021 Risk assessment and its impact on your audit procedures Preparing for ASC 842 Leases Audit integration (between IT and financial auditors) to improve audit quality Although we can't issue CPE credits for the recording, you can still get all the great content anywhere and anytime!
By Geoffrey Dingle 17 Dec, 2021
Last week, the annual AICPA National Conference on Current SEC and PCAOB Developments was held in-person in Washington D.C. (as well as virtually for those who could not attend). Most of my conversations started with a reflection of how nice it was to connect with peers face-to-face. In addition, Johnson Global Accountancy was proud to underwrite this event. It was truly gratifying to catch up with so many clients with whom we have only had the pleasure of working with over Zoom. As always, there were updates provided from a wide variety of speakers covering many accounting and auditing-related topics. If you were not able to join the event, here are a few important SEC and PCAOB-related topics that were discussed by the various presenters. Inspection Program Updates: Inspection Focus, Reverting Back to In-person Inspections and Continued Unpredictability Although the PCAOB Board members did not speak at this year’s convention, PCAOB staff provided updates as follows: Areas of inspection focus – Based on 2021 being the first full year of the pandemic, inspectors focused their reviews on impairments, going concern assessments, allowance for loan losses, and fraud risks. For 2022, the PCAOB sees the audit risks being driven by IPOs, disruption in supply chains, continued negative effects from COVID-19 on certain industries, and the focus on audits of SPAC and de-SPAC transactions. Confirmations – George Botic, Director - Division of Registration and Inspections, spoke at some length about the sufficiency of procedures related to confirmations. During the process of supporting our clients on inspections, we have noticed an increase in inspectors’ questions around the confirmation process, especially when firms use a confirmation service provider to facilitate their confirmation process. Are firms doing enough to maintain control over the confirmation process when they use a service provider? In-person inspections – In all likelihood, starting early 2022, PCAOB inspectors will be headed back out to firm offices to conduct their inspections in-person. Pre-COVID, the PCAOB did perform a small number of inspections remotely, but personally, I believe the inspection process is much more efficient when inspections are being performed face-to-face. Unpredictability – The PCAOB will continue to increase the percentage of random selections and review non-traditional focus areas such as cash and cash equivalents. This is consistent with last year’s comments at the conference and is meant to encourage firms to perform quality audits across all audits and all areas of each audit. Our belief is that all firms should be reflecting on the selection process of their monitoring programs for their pre- and post-issuance reviews. Firms should not focus their monitoring entirely on their larger, “riskier” clients under a traditional risk assessment model but should consider adding a level of randomness in their selection process. In addition, we encourage firms to consider including some non-traditional focus areas in your monitoring reviews. Independence: Continuing Violations Firms continue to struggle to comply with independence standards. With the increasing complexity of client relationships in a truly global economy, auditors need to pay extra attention to evaluate whether they are truly independent of their clients, especially with firm offices and client subsidiaries located all over the world. The message relayed to attendees was that auditor independence must be a shared responsibility – between the auditor, management, and the audit committee. While firms often do their own assessment, they should be asking, “Is the audit committee involved? What is the audit committee’s conclusion?” During the SEC Enforcement session, it was stated that the SEC has little patience for firms that notify the SEC of an independence violation that came about out of their own making. Identifying independence violations isn’t sufficient … preventing them is more important. Enforcement staff also mentioned that penalties may need to be ratcheted up as it seems like the punishments are not severe enough to change behavior. Materiality: Incorrect Application of Staff Guidance Although not a new concept, materiality was also discussed in a number of sessions. The point was raised that oftentimes engagement teams are misapplying the guidance of SEC Staff Accounting Bulletin No. 99, Materiality (“SAB 99”) – which basically requires that even if an error or misstatement is quantitatively immaterial, from a qualitative point of view, such an error or misstatement could ultimately be concluded as being material. The SEC has noted that some teams are applying this approach, but in the inverse direction. The SEC challenged and inherently asserted that it is not appropriate (at least, not often) to argue that a quantitatively material error or misstatement is immaterial because the engagement team concluded the error or misstatement to be qualitatively immaterial. Additional points raised by the speakers that auditors should consider as they are concluding on materiality include: Disclosures must be accurate and cannot be misleading – don’t walk right up to the line. All information needs to be considered, not just the information that supports your preconceived conclusion. What that means is try to resist the tendency to use the guidance to get to a pre-determined judgment. Do not look at SAB 99 as a checklist that can be added up and scored. The criteria listed in the staff guidance is not an exhaustive list and engagement teams are strongly encouraged to read the staff guidance in its entirety. Lastly (and this is key ) – a material accounting error should generally equate to an auditor concluding that there is a material weakness that should be disclosed. It takes a lot to conclude that a material error in the financial statements, is something less than a material weakness . ESG: Increasing Transparency and Investor Confidence One of my biggest takeaways from the conference was how rapidly ESG has moved to the forefront of the profession. In fact, the CAQ stated that its own research has found that 95% of S&P 500 companies are currently reporting some ESG information. Many speakers from different interest groups (including the SEC), discussed how investors and users are looking for some sort of approach or standard that ensures that ESG information is comparable, consistent, and reliable from company to company. It is clear that ESG is going to continue to gain prominence as the CAQ reported that 91% of stakeholders would like to see ESG information assured over time. Quality Control Standard Update In last year’s conference recap, we reported that it had been exactly a year since the PCAOB released the Quality Control Concept Release for comment (in December 2019). Now another full year has passed and there has been no noticeable movement on the new QC standard from the PCAOB. Both the IAASB and AICPA have made great strides and are much further along than the PCAOB. Although undoubtedly the PCAOB sees the revised QC standard as a high priority, the fact that the majority of the Board is new to their roles cannot be good for a timely issuance of the standard. However, as both the IAASB and AICPA guidance is out there, firms should already be planning for this eventual PCAOB QC standard and seeking out resources and tools to get ahead of the eventual requirements . Looking Ahead In summary, the conference did not disappoint. Clearly there are new considerations bubbling up (namely ESG, digital assets, and cybersecurity), but there are still old established topics that have been around for a while that are resurfacing again (think independence and materiality). The auditing profession is continually evolving. As we continue to cope with COVID-19 and the advent of remote work, as we navigate the great recession, as ESG rises in prominence, as QC standards are reshaped, as technology continues to permeate issuer and auditor systems and processes, and as regulators continue to “keep up” with the developments, in the words of Heraclitus, “The only constant in life is change.” Rest assured, at JGA we will continue to monitor and communicate these updates as they develop.
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