Title: SarbanesOxley
1Sarbanes Oxley Act of 2002
Verification vs. Validation
2Todays Objectives
- Provide a high-level overview of Sarbanes-Oxley
and the internal control certification
requirements - Discuss the importance of information technology
in internal control over financial reporting - An overview of the importance ITIL and Cobit IT
frameworks in Sarbanes Oxley Compliance - Summarize the importance and impact of IT
controls when dealing with the SEC -
3The Sarbanes-Oxley Act of 2002 was written and
enacted in response to some rather large and
public failures of corporate governance. Enron.
WorldCom, and Tyco became well known brand names
for all the wrong reasons. Scenes of C level
executives being arrested and perp-walked in
handcuffs became common TV news fare.
Sarbanes-Oxley was fashioned to protect
investors by requiring accuracy, reliability, and
accountability of corporate disclosures. It
requires companies to put in place controls to
inhibit and deter financial misconduct. And it
places responsibility for all this
unambiguously in the hands of the CEO.
4Sarbanes-Oxley Act of 2002
- What is internal control?
- Internal control is broadly defined as a process,
effected by an entity's board of directors,
management and other personnel, designed to
provide reasonable assurance regarding the
achievement of objectives in the following
categories - Effectiveness and efficiency of operations
- Reliability of financial reporting
- Compliance with applicable laws and regulations
5Sarbanes-Oxley Act of 2002
Internal control is now the Law The
Sarbanes-Oxley Act of 2002 was created to restore
investor confidence in the public
markets Section 404 of the Act requires
management to establish and maintain internal
control and requires the independent auditors
to evaluate Compliance deadline Year-ends on or
after November 15, 2004 Preparing for
Sarbanes-Oxley compliance is a significant and
challenging task There are many requirements,
including the identification of significant
financial statement accounts, processes and
systems that support them and then documenting
and testing them
6Overview of Internal Control Certification
Requirements
- Section 302 Certification Overview
- CEO and CFO to make specific certifications as of
the end of each quarterly and annual reporting
period, including - Report contains no untrue statements
- Report is fairly presented in all material
respects - Responsibility for design and maintenance of
disclosure controls and procedures as well as
internal controls over financial reporting
- Section 404 Certification Overview
- CEO and CFO to certify as of the end of every
annual reporting period - Their responsibility for establishing and
maintaining effective internal controls over
financial reporting - Their assessment of internal controls,
accompanied by the independent auditors
attestation report
7The Importance of Information Technology in
Internal Control over Financial Reporting
8The Importance of Information Technology (IT) in
Internal Control over Financial Reporting
- For most organizations, IT critical to the
financial reporting process - Financial and routine business applications are
commonly used to initiate, authorize, record,
process and report transactions - Relevant IT controls include
- application controls - those that are embedded in
financial and business applications - general computer controls underlying
infrastructure components that support the
applications - Statements made by the Public Company Accounting
and Oversight Board (PCAOB) on the impact of IT
(paragraph 75) - The nature and characteristics of a company's
use of information technology in its information
system affect the company's internal control over
financial reporting
9CobiT IT Control Framework Overview
10Control Objectives for Information and related
Technology
CobiT
- The IT Governance Institute (www.ITGI.org) has
recently published revised guidance for IT
professionals on how to address Sarbanes-Oxley
from an IT perspective April 2004 - Sarbanes-Oxley The importance of information
technology in the design, implementation and
sustainability of internal control - The publication is the result of a joint effort
of industry and auditors, with leadership from
the Big 4 PWC, DT, EY, KPMG - The ITGI is a recognized global leader in IT
governance, control and assurance with members in
more than 100 countries
11Top 5 List 404 IT Controls Requirements
- Security
- Application and platform based
- Focused on applications that may impact
financials and supporting infrastructure - Requires secure operating systems, database,
network, firewalls and infrastructure - Auditors will look for excessive access lack of
segregation of duties inadequate approval of
access they will be testing key processes to
determine that they are effective - Change Control
- Need to ensure that procedures are in place to
control and ensure proper approval of changes to
production - Technical controls must tightly limit and control
developer access to production - Disaster Recovery
- Focus will be on basic backup and recoverability
of financial data - IT Governance
- Focus will be on determining of there are clear
policies, procedures, and communications within
IT - Are there clear segregation of duties?
- Is there the appropriate tone at the top of the
IT organization? - Development And Implementation Activities
- Proper controls need to be built in before a new
system or system changes go in the production
environment - Auditors may evaluate new financial systems data
conversion and testing are critical
12IT Control Readiness Roadmap
13Sarbanes Oxley Readiness Roadmap
- Preparing for SOX 404 requires a structured and
measured approach, otherwise you will find
yourself doing too much or too little - The current PCAOB rules require auditors to
attest on management assessment process - As such, the readiness roadmap that many
organizations are following demonstrates the
assessment process through a series of steps and
activities that align to the PCAOB rules
14SOX Readiness Roadmap
- 8. Document Process Results
- Coordination with Auditors
- Internal sign-off (302, 404)
- Independent sign-off (404)
- 9. Build Sustainability
- Internal evaluation
- External evaluation
- 5. Evaluate Control Design
- Mitigates control risk to an acceptable level
- Understood by users
- 3. Identify Significant Controls
- Application controls - over initiating,
recording, processing reporting - IT General Controls
- 2. Perform Risk Assessment
- Probability Impact to business
- Size / complexity
- 7. Identify Remediate Deficiencies
- Significant deficiencies
- Material weakness
- Remediation
- 1. Plan Scope
- Financial reporting process
- Supporting systems
Business Value
- 6. Evaluate Operational Effectiveness
- Internal audit
- Technical testing
- Self assessment
- Inquiry
- All locations and controls (annual)
- 4. Document Controls
- Policy manuals
- Procedures
- Narratives
- Flowcharts
- Configurations
- Assessment questionnaires
Sarbanes-Oxley IT Compliance
Deloitte Touche
15A Readiness RoadmapPlan Scope
- Understand the financial reporting process and
identify the information systems and related
resources that are used.
- Key Considerations
- In-scope vs. out-of-scope systems
- Opportunities for improvement
- Prevention, identification and detection of fraud
- Key Components
- Financial reporting processes
- Initiating
- Recording
- Processing
- Reporting
- Classes of transactions
- Non-routine and systematic
16A Roadmap for CompliancePerform Risk Assessment
- Identify risks associated with the information
systems and related IT resources (what could go
wrong?)
- Key Considerations
- Specific risk areas
- Data validation
- Data conversion
- Interfaces
- Management reports
- Complex or critical calculations
- Spreadsheets
- Key Components
- IT Risks
- Quality and Integrity failure
- Security failure
- Availability failure
- Risk assessment
- Probability of failure
- Impact to the business
17A Roadmap for ComplianceIdentify Significant
Controls
- Identify application and general controls
- Key Components
- Application controls
- Embedded within business processes
- Directly support financial assertions
- General controls
- Program development
- Program changes
- Program operations
- Access control
- Key Considerations
- Control framework - CobiT
- Revised April 2004
- 12 primary control objectives at the process
level - Control environment questionnaire for entity
level
18A Roadmap for Compliance Document Controls
- Document control processes to support
managements assessment
- Key Components
- Process description
- Risk assessment
- Control objective
- Control activity
- Test of the control
- Conclusions and remediation plans
- Key Considerations
- Include compensating controls
- Impact on overall SOA testing program
- Report gaps in documentation
- Sufficient to support management assertion
19A Roadmap for ComplianceEvaluate Control Design
- Controls should be designed to reduce the risk of
error to an acceptable level
- Key Components
- Sufficient to demonstrate
- Control designed to prevent or detect material
errors - Conclusion that tests were appropriately
conducted - Results of tests appropriately evaluated
- Key Considerations
- Preventative vs. detective
- Automated vs. manual
- People, process and technology
- Control maturity level controls
- are defined, managed, measured and repeatable
20A Roadmap for ComplianceEvaluate Operational
Effectiveness
- Test controls to ensure they are are operating as
designed and consistently over a period of time
- Key Components
- Application controls and general controls
- Reliability
- Performed by knowledgeable person
- Performed consistently
- Appropriately monitored
- Problems followed up on a timely basis
- Key Considerations
- Period of time vs. point in time
- Audit evidence inquiry alone is not enough
- Sample sizes must be adequate given frequency
of control operation - Service organizations SAS70
21A Roadmap for ComplianceIdentify Remediate
Deficiencies
- Identify weaknesses and remediate / retest prior
to compliance deadline
- Key Components
- Impact to the financial statements
- Is it more than inconsequential?
- Likelihood of occurrence
- Is there more than a remote likelihood of
occurrence? - Compensating controls
- Key Considerations
- Isolated / manual errors vs. systematic errors
- Period of effective operation
- Has impact assessment been performed to determine
the importance to the financial reporting
process? - May need to revisit control design or operation
if deficiencies are observed
22A Roadmap for ComplianceDocument Process
Results
- Maintain sufficient evidence to support
management assessment process
- Key Components
- Overall assessment process
- Consider risk assessment results
- Disclose all known control deficiencies and
weaknesses - Include assessment of control design
effectiveness
- Key Considerations
- Show-stoppers
- Material weaknesses
- Significant deficiencies
23A Roadmap for ComplianceBuild Sustainability
- Establish a Center of Excellence model to
support ongoing SOA compliance
- Key Components
- Continuous effectiveness of internal control
- Monitoring activities
- Change management
- Knowledge capture and sharing
- Key Considerations
- Continuous improvement process
- Rules, approaches and best practices are evolving
stay tuned
24In Summary
- Companies should ensure IT has an active role in
Sarbanes-Oxley efforts - Participate on the compliance steering committee
- Understand the financial reporting process and
communicate the dependency on IT (applications,
infrastructure, security, etc.) - Establish ITs role in ensuring adequate controls
over the financial reporting process - Document IT risks and controls related to the
financial reporting process - Regularly test controls and remediate significant
weaknesses - Establish monitoring activities to ensure the
effectiveness of IT controls over time
25Questions?