The SEC’s recent approval of PCAOB’s QC 1000 standard marks a significant shift for accounting firms. QC 1000 aims to enhance the quality control (QC) systems of registered firms, with scalability based on firm size and complexity. The response from the industry, including our team at JGA, highlights both the challenges and opportunities that this change will present. This Alert outlines JGA's reaction to QC 1000 and discusses what it means for our clients.
JGA commented on the proposal; you can read our position on the proposal here.
During the SEC Open Commission Meeting on September 9, 2024, several notable points were raised regarding QC 1000. JGA’s review of the meeting and our team’s subsequent discussions focused on key risks with this change, such as the implementation challenges and effort, but also noted some positives regarding the potential for improved audit quality and opportunities to improve processes and managements insights.
Our Main Takeaways
Implementation Challenges
QC 1000 requires all registered firms to design a system for compliance, even if they do not perform audits of issuers or broker-dealers. This is a significant concern, as firms may need to design systems for hypothetical scenarios, leading to confusion and unnecessary costs. Around 60% of firms will need to design frameworks they may not use.
The standard imposes a higher level of rigor compared to existing QC standards, and firms may face difficulties aligning their systems with the new prescriptive requirements. Hester Peirce, one of the SEC Commissioners, cited these challenges as reasons for her opposition, echoing concerns from many smaller firms.
Considerations Regarding Effort
The design-only requirement (without immediate operational implementation) introduces additional costs for firms, particularly in smaller firms or those that do not handle issuer audits. Paul Munter, SEC’s Chief Accountant, acknowledged that firms could face increased costs, particularly those related to additional personnel, training, and system design.
Scalability and Continuous Improvement
On the positive side, JGA sees QC 1000 as a framework that, while complex, offers scalability based on firm size. This presents an opportunity for firms to improve audit quality continuously, which is likely to enhance their standing in the marketplace.
While some firms might not feel immediate benefits, especially those focusing on non-issuer audits, the overall emphasis on audit quality in capital markets aligns with the long-term interests of many firms.
Confidentiality Concerns
The content of the new QC forms required under QC 1000 may raise concerns about confidentiality. While some protections are in place, firms must remain cautious about the sensitivity of the information included in these forms.
What This Means for Our Clients
For our clients—primarily accounting firms that must adopt QC 1000—the implications are multifaceted.
Conclusion
QC 1000 represents both a challenge and an opportunity for our clients in the accounting sector. While the increased costs and implementation challenges are concerning, the scalability and focus on audit quality could yield long-term benefits. JGA recommends that firms take a strategic, proactive approach to compliance, balancing the immediate burdens with the potential to improve service quality and client satisfaction. As the landscape evolves, we will continue to monitor developments and provide guidance to ensure our clients remain compliant and competitive in this changing regulatory environment.
Please reach out to your JGA audit quality expert, or contact:
Joe Lynch, CPA, CITP
Managing Director & Shareholder
Shanett Edwards-Morton, CPA
Director
Johnson Global Advisory
1717 K Street NW, Suite 902
Washington, D.C. 20006
USA
+1 (702) 848-7084