Title: I. Introduction to Kiodex
1I. Introduction to Kiodex
- Kiodex delivers a Web-services platform that
helps 70 corporations - Measure commodity price risk and benchmark it
against corporate objectives - Design and execute optimal hedging strategies and
reduce hedging costs - Use independent, transparent market data for
pricing, analytics and reporting - Generate internal and external reports
- Comply with FAS 133 / IAS 39 accounting standards
- Comply with Sarbanes-Oxley
- Offices in NYC and Houston
- Kiodex recently received the award for 2003
Energy Innovation of the Year by Energy and
Power Risk Management
2I. Introduction to Kiodex
3Introduction of Panel Members
PwC
Sarbanes Oxley Act of 2002 Compliance with
Section 404 for Energy Companies April
2004 The information and considerations
presented herein do not constitute legal or any
other type of professional advice. Companies are
encouraged to consult with legal counsel
concerning their responsibilities under and
compliance with the Sarbanes-Oxley Act of 2002
and related Securities and Exchange (SEC) rules
and regulations.
Insert Worlds Image / Client Specific Image Here
4Presentation Roadmap
- The Sarbanes-Oxley Act Sections 404 and 302
Overview - Observations on 404 and the Energy Industry
- System Issues Related to 404
- PwCs Approach to Preparing for Section 404
Compliance - Q A 30 Minutes
5Why Sarbanes Oxley?
6The Sarbanes-Oxley Act of 2002Sections 404 and
302 Overview
7The Need for Action? By When?
- If you have not yet started to prepare for the
internal control evaluation, begin working on it
immediately. - --Speech by Scott A. Taub, Deputy Chief
Accountant, - U.S. Securities and Exchange Commission. May
29, 2003
- 404 Deadline Most domestic issuers for fiscal
years ending after November 15, 2004
8What Is It?
- Section 404 Requires an annual report by
management regarding the effectiveness of
internal control over financial reporting, and
an attestation by the companys auditors as to
the accuracy of managements assessment. - Managements report to include
- Assessment of controls over initiating,
recording, processing and reconciling accounts,
transactions, and disclosure and related
assertions in financials the selection and
application of appropriate accounting policies
the prevention, identification, and detection of
fraud - Managements assessment of the effectiveness of
such controls - Identification of the framework used to evaluate
effectiveness. - The registered public accounting firms
attestation report must be filed as part of the
annual report. - Scope of auditors work will include independent
testing of controls as well as testing of
managements assessment process - Scope of controls testing will include testing
over areas involving judgements and estimates - COSO is an accepted standard for managements
assessment. - See graphic on next page
9The Five Components under the COSO Framework
- Control Activities
- Policies/procedures that ensure management
directives are carried out. - Range of activities including approvals,
authorizations, verifications, recommendations,
performance reviews, asset security and
segregation of duties.
- Monitoring
- Assessment of a control systems performance over
time. - Combination of ongoing and separate evaluation.
- Management and supervisory activities.
- Internal audit activities.
- Control Environment
- Sets tone of organization-influencing control
consciousness of its people. - Factors include integrity, ethical values,
competence, authority, responsibility. - Foundation for all other components of control.
- Information and Communication
- Pertinent information identified, captured and
communicated in a timely manner. - Access to internal and externally generated
information. - Flow of information that allows for successful
control actions from instructions on
responsibilities to summary of findings for
management action.
- Risk Assessment
- Risk assessment is the identification and
analysis of relevant risks to achieving the
entitys objectives-forming the basis for
determining control activities.
All five components must be in place for a
control to be effective.
10Section 404 Attestation vs. Audit of Financial
Statements
- Audit of Financial Statements
- Understanding and consideration of internal
controls only to develop the audit approach - Overall objective is the rendering of an opinion
on the financial statements, not to opine on
internal controls - Internal control reports have been very rare in
practice and are the subject of different
professional standards
- 404 Attestation
- 100 controls-based approach
- Must evaluate and test controls across business
and functional areas to opine on effectiveness
(broad and deep) over financial reporting. - Lack of errors, historically,in financial
statements is notde-facto evidence unto
itself,of an appropriate internalcontrol over
financial reporting.
11Update on 404 and the Energy Industry
12Few Companies Had Appropriate Documentation
- Although processes and controls are well
understood in many parts of the business, there
is limited documentation of - The actual processes involved policies and
procedures - The monitoring of controls to ensure that they
are in compliance - Process definitions may be inappropriate
- The actual definition of significant processes
may have been done by senior management that was
far removed from the trading business as such
many processes in trading were overlooked or not
thought to be significant. - A more logical process breakup (i.e. relevant
activities from deal execution to settlement)
would have ensured greater control coverage - Non-routine processes are poorly documented or
understood. For example - Balancing with LDCs for retail marketing and with
pipelines for the gas business these can be very
material numbers in peak seasons.
13Wholesale / Trading Activities Need Most
Remediation Documentation
- There tends to be the least up to date existing
documentation of organizational processes - Formal trading policies are not established or
do not reflect management's current risk appetite
to provide guidance regarding authorized
transactions, processing of transactions and
recording of transactions - The trading business may have many contracts
which require specialized or manual accounting
processes - companies often do not consider all types of
transactions that they may be processing,
including different commodity types or both
financial and physical transactions - Systems are typically more recent and less
reliable - Many users have short cuts around the system
- Systems may be used in such a way as to defeat
logical security or segregation of duties - Access permission tables typically are not kept
up to date with organizational changes
14Significance of Some Financial Statement
Activities Poorly Understood
- Examples of inputs to the financials that may be
overlooked are - Modeling of forward prices
- Calculation of correlations
- Extrapolation of volatility curves or surfaces
- Prices derived from third parties
- Processes impacting the financials that may be
overlooked are - Settlements of complex contracts
- ISO / RTO settlements and reconciliations
- The definition of financial risk can begin
narrowly (risk that a financial statement could
be materially incorrect), but can grown to be
more broad (company assets are adequately
safeguarded, policies and procedures are
enforced/followed, etc).
15Other Observations
- Attempting to adapt generic control objectives
for classic receivables and payables cycles is
not effective for trading businesses. - Management may determine controls to be
insignificant based on dollar values that flowed
through last year. This may work for a typical
business activity, but is less suitable for
trading related items that have variable
valuations - due to volume of trading activity,
price levels, out-of-the money options, etc - When control issues are identified, there is a
tendency to remediate with an ad-hoc control
(typically a sign-off, log, or other record kept
in a spreadsheet, etc). In many cases, a better
approach may be to use the identified control
weakness to rethink the overall process. This is
one of the areas of opportunity in the Sarbanes
Oxley compliance effort.
16Section 404 System Issues
17Legacy Systems Typically Less Reliable in the
Energy Trading Area
- Packaged Solutions
- Better change control of source code
- However user defined reports may be used to
generate FAS 133 and other accounting related
journal entries - When implementing packaged solutions, clients
need to ensure that there are strong change
control processes surrounding financial
management reports
- Custom Developed Systems
- often lack edit and validation controls to
prevent unauthorized or invalid transactions from
being entered into the system - Typically lack logical security controls used to
maintain segregation of duties
- Many users have short cuts around the system,
or the system is not fully utilized and has been
augmented with spreadsheets and manual processes - Access permission tables typically are not kept
up to date with organizational changes
18Systems Relied on to Implement Controls Require
Testing and Documentation
- Systems used informally lead to other problems
- system development methodology informal and
inconsistent with best practices - Program change management procedures informal and
inconsistent with best practices - Overall too many manual processes and manual
workarounds due to systems that do not meet
requirements - Informal approvals/review procedures and lack of
evidence to support review procedures
19PwCs Approach to Preparing for Section 404
Compliance
20Given the Requirements for Section 404, How Does
Management Ensure Readiness?
- The following is a recommended 404 readiness
approach
Continuous Improvement
Management
Auditor
Initiate Project And Assess Risk
Document and Evaluate Control Design
Prepare Report on Internal Control Over
Financial Reporting
Remediate
Test Operating Effective- ness
Attest and Report
Project Management Support
21Framework for Considering Efficiency of 404
Assessment Efforts
- High Efficiency
- Reliance on continual monitoring and review of
periodic testing - Use of dashboard for key indicators and controls
- Reliance on certifications and acknowledgements
- Management Time Commitment Moderate
- Medium Efficiency
- Some manual testing required for key activities
- Some reliance on monitoring
- Reliance on certifications and acknowledgements
- Management Time Commitment Significant
- Low Efficiency
- Substantial manual efforts
- Testing and validation required of activities
- Management Time Commitment Significant
- Monitored
- Standardized controls with periodic testing for
effective design operation w/ reporting to mgt.
- Optimized
- Integrated internal controls with real time
monitoring by mgmt. and continuous improvement
- Unreliable
- Unpredictable environment where controls are not
designed or in place
- Informal
- Controls are designed and in place but not
adequately documented
- Standardized
- Controls are designed, in place and adequately
documented
22Action Plan Timeline
Major ProjectStreams
2003
2004
2005
July-Sept
Oct-Dec
Jan-March
July-Sept
Oct-Dec
Jan-March
April-June
April-June
Companies with December 31 Year End
Initiate Project and Assess Risk
Document and Evaluate Control Design
Remediate Identified Gaps
Test Operating Effectiveness
Prepare Managements Report
Attest and Report
Companies with June 30 Year End
Initiate Project and Assess Risk
Document and Evaluate Control Design
Remediate Identified Gaps
Test Operating Effectiveness
Prepare Managements Report
Attest and Report
23Conclusion
- The Sarbanes Oxley legislation has established a
new paradigm for corporate accountability.
Responsibilities of the audit committee, CEO and
CFO have been clearly established at higher
levels than in the past. It has created a new
standard for companies regarding the reporting of
internal control effectiveness and has raised the
bar for the design, documentation, and operation
of internal control. -
Good internal controls are no longer just a best
practice Its the Law!