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1
Arresting Financial FraudThe Inside Story From
The FBI
2

Course Objectives
  • This program is designed to help you
  • Understand the U.S. Department of Justices
    three-part definition of corporate fraud
  • Understand the scope of the problem
  • Identify common accounting schemes
  • Work effectively with law enforcement and
  • Better understand the impact of recently enacted
    legislation

3
Todays Speakers
  • Grant Ashley, CPA
  • Assistant Director,
  • Criminal Investigative Division
  • Federal Bureau of Investigation
  • --------
  •  
  •  Gary Dagan, CPA
  • Chief,
  • Economic Crimes Unit
  • Federal Bureau of Investigation
  • Keith Slotter, CPA
  • Chief,
  • Financial Crimes Section
  • Federal Bureau of Investigation
  • --------
  • John F. Hudson, CPA
  • Moderator
  • Hudson Consulting Group, LLC

4
Corporate Fraud - Background
  • Following the corporate scandals of 2002, the
    Department of Justice issued a three-part formal
    definition which describes the illegal activities
    that encompass corporate fraud.
  • These three parts are
  • Accounting Fraud
  • Self-Dealing by Corporate Insiders
  • Obstructive Conduct

5
Dept. of Justice Definition Corporate Fraud
  • Part One Accounting Fraud (Cooking the Books)
  • The falsification of financial information,
    including false accounting entries, bogus trades
    designed to inflate profits or hide losses, and
    false transactions designed to evade regulatory
    oversight.

6
Restatements by Reason1997 - June 2002
Per GAO Report on Financial RestatementsFigure 3
7
Why is Revenue Recognition So Important?
  • In its October 2002 Report on Financial Statement
    Restatement, the GAO concluded that
  • Almost 38 of the 919 announced restatements
    between 1997 and June 30, 2002 involved revenue
    recognition.
  • Revenue recognition was the primary reason for
    restatements in each year.
  • Over 50 of the immediate market losses following
    restatements were attributable to revenue
    recognition related restatements.
  • Approximately 50 of the SECs enforcement cases
    have involved revenue recognition issues.

8
Why is Revenue Recognition So Important?
  • Restatements for improper revenue recognition
    also result in larger drops in market
    capitalization than any other type of
    restatement
  • 8 out of the top 10 market value losses in 2000
    related to revenue problems.
  • Of the 10 companies, the top 3 lost US20 billion
    in market value in just 3 days due to revenue
    recognition problems.

9
Some Examples of Revenue Recognition Schemes
  • Phantom Sales
  • Parked Inventory Sales
  • Swap (i.e., Round Trip) Transactions
  • Channel Stuffing
  • Accelerated Revenue
  • Undisclosed Side Deals
  • Undisclosed Contingencies
  • Backdated Contracts

10
Some Examples of Expense Liability Recognition
Schemes
  • Capitalizing Expenses
  • Deferring Expenses
  • Unrecorded Expenses
  • Big Bath Accounting
  • Cookie Jar Reserves
  • Creative Acquisition Accounting

11
Cooking The Books Selected Recipes
  • Parked Inventory Sales Recording sales for
    goods shipped to a site (warehouse, parking lot)
    controlled by the seller to provide the
    appearance a valid sale occurred.
  • Swap Transactions A scheme in which two
    conspiring companies exchange payments and
    services solely for the purpose of inflating
    revenues.
  • Channel Stuffing Overselling products to
    customers with a hidden understanding that the
    customer will receive deep discounts on the full
    invoice price at a future date.

12
Cooking The Books Selected Recipes
  • Side Deals An arrangement in which the buyer of
    goods is given the right to cancel the sales
    contract, return products or receive rebates in
    future periods. Although the sale is booked, the
    side deals are hidden from auditors.
  • Accelerated Revenue Improperly recording
    revenues in the current fiscal period which are
    applicable to future periods. Examples are
    unshipped merchandise and percentage of
    completion contracts.

13
Cooking The Books Selected Recipes
  • Capitalizing Expenses The improper
    reclassification of an expense to an asset. This
    scheme is typically conducted through a series of
    journal entries at the end of a fiscal period in
    order to inflate the financial statements.
  • Deferred Expenses Recording expenses applicable
    to the current fiscal period at some date in the
    future. Typically, this scheme continues to
    perpetuate itself in future periods.

14
Dept. of Justice Definition Corporate Fraud
  • Part Two Self-dealing by corporate insiders
    (Me First), including . . .
  • Insider trading
  • Kickbacks
  • Misuse of corporate property for personal gain
  • Individual tax violations related to self-dealing

15
The Fundamentals of Corporate Governance
  • Lessons often forgotten . . .
  • A corporation is owned and controlled by the
    individual shareholders.
  • The corporation is NOT the personal property of
    the individual executives of the company.
  • Self-dealing places the greed of individual
    executives ahead of the shareholders.

16
Examples of Self-Dealing
  • Executive loans with no intentions to ever repay.
  • Extraordinary personal expenses charged to the
    company.
  • Failure to report forgiven loans or reimbursed
    personal expenses as taxable income.

17
Examples of Self-Dealing
  • Awarding business contracts in return for
    personal compensation.
  • Receiving shares of stock in other companies in
    return for business transactions (shares are
    often placed in the name of another family member
    to avoid detection).

18
Examples of Self-Dealing
  • Insider Trading
  • Buying or selling personally owned shares of
    stock prior to a major announcement that is
    expected to affect the stock price (i.e.,
    positive or negative earnings, new products,
    change in management, mergers acquisitions).

19
Dept. of Justice Definition Corporate Fraud
  • Part Three Obstruction of Justice (The
    Cover-up)
  • Obstruction of justice designed to conceal the
    previously noted criminal conduct (accounting
    fraud self-dealing), particularly when that
    obstruction impedes the regulatory inquiries of
    the Securities and Exchange Commission or other
    agencies.

20
Obstructive Conduct
  • Shredding documents
  • Erasing computer files
  • Creating or altering documents to justify illegal
    conduct
  • Purposely failing to provide all documents and
    files requested in a subpoena

21
Obstructive Conduct
  • Providing false testimony in SEC depositions
  • Lying to criminal investigators
  • Influencing another witness
  • Threatening another witness
  • Failing to maintain records for a prescribed
    period of time

22
Record RetentionExpectations of the CPA
  • In 2002, a new criminal law (title 18, section
    1520) was enacted which requires any accountant
    who conducts an audit of a public company to
    maintain all audit workpapers from this
    engagement for a period of five years.

23
Corporate Fraud Victims
  • Individual shareholders
  • Employee pension plans
  • Mutual funds
  • Financial institutions (lenders)
  • Market stability reliance

24
Locations of Corporate Fraud Investigations
  • New York, NY
  • Chicago
  • Los Angeles
  • San Francisco
  • San Diego
  • Boston
  • Detroit
  • Houston
  • And

25
(Continued) Locations ofCorporate Fraud
Investigations
  • Birmingham
  • Charleston (SC)
  • Anchorage
  • Columbus (OH)
  • Honolulu
  • Omaha
  • Erie (PA)
  • Johnson City (TN)
  • Oklahoma City

26
Corporate Fraud
Is A National Problem
27
Industry TrendsIn Current Investigations
  • Energy
  • Telecommunications
  • Retail
  • Medical
  • Insurance
  • Software
  • Internet
  • Banking
  • Cable TV
  • Charities

28
Typical Scenario
  • In far too many cases, accounting fraud began as
    a one time act to help meet the quarterly
    revenue targets.
  • However, the just one time syndrome perpetuates
    itself into future quarters until the fraud
    becomes out of control.

29
Case Study Example
  • Corporate Fraud
  • Walter Pavlos Insider Perspective . . .

30
Case Study Example
  • Lets look at an interview with Walter Pavlo . .
    .

31
Perspective
  • Some corporate executives have compared
    accounting fraud to a gambling or drug addiction.
    Although they believe it can be stopped at any
    time, their circumstances dictate otherwise.
  • Phony accounting from prior periods combined with
    current losses has a snowball effect.

32
Motives For Corporate Fraud
  • Executive bonuses are tied to profits.
  • Executives maintain their prominent positions
    within the corporation.
  • Stock value remains artificially inflated based
    on phony financial performance indicators.
  • Personal greed is the underlying factor.

33
Impact
  • Corporate fraud has negatively impacted the
    financial services sector. Its effect on the
    banking, insurance, and securities industries
    undermines the fundamental core of the United
    States economy.

34
Overall Scope of Corporate Fraud
  • Not limited to any geographic area or market
    segment.
  • Despite media attention on several select
    companies, the FBI is currently pursuing 139
    cases of corporate fraud.
  • Many companies are lesser known but effect on
    shareholders is the same.

35
Corporate Fraud Investigations
  • At least 16 cases with losses gt 1 Billion
  • 50 cases with losses gt 100 Million
  • Since January 2002 187 executives charged with
    corporate fraud violations.
  • 3-6 new cases opened each month

36
Participants In Corporate Fraud Vary But May
Include . . .
  • Chief Executive Officer
  • Chief Financial Officer
  • Line Accountants
  • Sales Personnel
  • Shipping Personnel
  • Corporate Attorneys
  • Collusive Customers

37
A Common Myth
  • I work in a small local CPA firm. Corporate
    fraud is only a concern for the big, national
    accounting firms.
  • I have very few (or no) publicly-traded audit
    clients. Therefore, the issue of corporate fraud
    has no effect on my practice.

38
A Common Myth
  • Should You Be Concerned About Corporate Fraud . .
    .
  • Do you conduct audits?
  • Do your clients have employees?
  • Do you prepare tax returns?
  • Do you conduct forensic examinations?
  • Do outside parties rely on your clients
    financial statements?
  • Do your clients transact business with other
    companies?

39
A Common Myth
  • If you answered Yes to any of these questions,
    you can be affected by corporate fraud.
  • Because . . .

40
Why You Should Be Concerned . . .
  • As you certainly know, audited financial
    statements have end users, like investors and
    creditors, who rely on them.
  • Employee theft and self-dealing is a corporate
    fraud violation.
  • Individual tax violations from self-dealing is
    corporate fraud.
  • One company may assist another company in
    committing accounting fraud if theres an
    incentive.

41
Role of the CPA
  • Independence remains a crucial element In
    conducting effective audits
  • Objectivity and professional skepticism are also
    important
  • CPAs must avoid placing themselves in the
    position of protecting a client under
    investigation.

42
Role of the CPA
  • A major public misperception of the CPA is that
    if a CPA performs a financial statement audit,
    he or she will detect any fraud that may exist.
  • While an auditor does have responsibilities for
    detecting material fraud, audits are conducted to
    issue an opinion on the fairness of the financial
    statements.

43
Statement on Auditing Standards No. 99
Consideration of Fraud in a Financial
Statement Audit
44
Evolution of the Fraud Standard - Number of
Paragraphs
45
Whats New in the Auditors Fraud Detection
Responsibilities?
  • Evaluating how the entity responds to identified
    fraud risks
  • More emphasis on professional skepticism
  • Discussions among engagement personnel
  • Expanded inquiries of management and others
    within the entity.
  • Reorganized and modified fraud risk factor
    examples (the Fraud Triangle).
  • Expanded fraud risk assessment approach

46
Whats New in the Auditors Fraud Detection
Responsibilities?
  • Expanded guidance on revenue recognition as a
    likely risk.
  • Linkage between identified risks and the
    auditors response.
  • Responses to address the risk of management
    override of controls.
  • Documentation (expanded requirements).

47
  • The Governments Response To Corporate Fraud

48
The Sarbanes-Oxley Act Why How
  • Focused on restoring investor confidence by
  • Placing greater accountability on corporate
    officers
  • Forcing timely flow of information (both good new
    and bad news)
  • Forcing greater separation of duties between
    auditors, consulting, and management and
  • Limiting self-regulation of the accounting
    profession and standards-setting process.

49
The Sarbanes-Oxley Act Why How
  • Pursues these goals by amending existing laws, or
    creating new ones, which
  • Requires officers, under possible civil and/or
    criminal penalty, to certify accuracy and
    representation of its financial conditions,
    disclosure controls and procedures, and assess
    its effectiveness on internal control structure
    and procedures over financial reporting
  • Requires quarterly review of internal controls
  • Places limitations on audit firms ability to
    provide some services and requires board approval
    of all non-audit services and
  • Brings PCAOB into existence.

50
The Sarbanes-Oxley Act Why How
  • In essence, it endeavors to restore investor
    confidence by changing the corporate mind-set and
    actions towards controls and disclosures.

51
The Sarbanes-Oxley Act of 2002
  • Major Provisions
  • Creates a new criminal violation (18 USC 1348)
    for securities fraud schemes.
  • CEOs and CFOs must provide a Statement of
    Certification that the financial statements
    fairly present the financial condition of the
    company.
  • Provides increased jail sentences for executives
    who engage in corporate fraud.

52
The Sarbanes-Oxley Act of 2002
  • Major Provisions
  • CPAs must retain audit workpapers for 5 years.
    Failure to do so is a criminal violation (18 USC
    1520).
  • Several new amendments added to obstructive
    conduct.

53
The FBI Response
  • Corporate Fraud Hotline
  • Initiated February 2003 888-622-0117
  • 2,000 calls logged to date
  • Callers can be anonymous
  • Several new cases opened based on caller
    information
  • Several existing cases were enhanced
  • Public cooperation is essential

54
The FBI Response
  • Reserve Team
  • Consists of special agents and financial analysts
    with accounting skills.
  • Temporarily assigned to corporate fraud cases
    across the country to efficiently conduct
    investigation.
  • Emphasizes timely results through the use of
    seasoned investigators with strong interview
    interrogation skills.

55
The FBI Response
  • Accountants Are Essential
  • Currently 1,334 FBI Special Agent Accountants
  • 501 are Certified Public Accountants
  • 336 are FBI Financial Analysts
  • In the upcoming year, 15 of all new special
    agents hired will be accountants. Since its
    inception, the FBI has continuously hired
    accountants for diverse investigative roles.

56
The FBI Response
  • Corporate Fraud Investigative Partnerships
  • Securities and Exchange Commission (SEC)
  • National Association of Securities Dealers (NASD)
  • U.S. Postal Inspection Service (USPIS)
  • U.S. Department of Labor
  • Internal Revenue Service
  • Commodity Futures Trading Commission (CFTC)
  • Federal Energy Regulatory Commission (FERC)
  • Defense Criminal Investigative Service (DCIS)

57
The FBI Response
  • These investigative partnerships were formed to
    capitalize on agency expertise in areas like
  • Securities
  • Pensions
  • Taxation
  • Energy regulation and
  • Government contracts

58
My Client Is Under Investigation
  • What you should know . . .
  • CPA firms of all sizes are affected.
  • FBI CPA roles are NOT adversarial.
  • Expect subpoenas for workpapers.
  • Expect interviews of audit personnel.

59
(Continued) My Client Is Under Investigation
  • What You Should Know . . .
  • Client offices may be searched.
  • These are normal investigative procedures.
  • It is not the CPAs role to protect a client in a
    criminal investigation.
  • Remember independence still applies.

60
Criminal Justice and the CPA
  • CPAs are hired by the government in accounting
    fraud cases. Their findings are important in
    identifying the extent of the fraud.
  • CPAs are hired by the government as expert
    witnesses in criminal trials.

61
Criminal Justice and the CPA
  • When providing assistance to the Government
  • How did you document answers from key personnel
    during the audit?
  • Audit workpapers are valuable pieces of evidence.
    CPAs often document statements by corporate
    executives during an audit. These statements may
    later contradict the position of these executives
    in criminal cases.

62
  • Cooperatively . . .
  • The FBI and the CPA Profession can tackle
    corporate fraud. Its in everyones best
    interest.

63
Arresting Financial FraudThe Inside Story From
The FBI
  • Summary Questions

64
Arresting Financial FraudThe Inside Story From
The FBI
  • Thank You
  • For Participating!

65
Upcoming Webcasts
General Audit Risk Alert Update
  • November 20, 2003 1pm Eastern Time
  • Join your fellow CPAs for this live, interactive
    Webcast that will help you gear-up for the
    changes that will impact your 2003-2004 audit
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66
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  • Join the thousands of CPAs who already have
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  • Check it out at http//www.cpa2biz.com/webcasts

67
Upcoming Webcasts
SEC Quarterly Update Webcast Series Sponsored by
the AICPA and CFO.com
  • December 17, 2003
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For a complete listing and description, check
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68
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