Sarbanes-Oxley
Act of 2002
What is Sarbanes-Oxley? What do Service Organizations need to know?
In July 2002, the United States Congress passed the Sarbanes-Oxley Act ("the Act") into law. The Act was primarily designed to restore investor confidence following well-publicized bankruptcies and internal control breakdowns that brought chief executives, audit committees, and the independent auditors under heavy scrutiny. The Act is applicable to all publicly registered companies under the jurisdiction of the Securities and Exchange Commission (SEC).
The Act called for the formation of a Public Company Accounting Oversight Board (PCAOB) and specified several requirements ("sections") that include management's quarterly certification of their financial results (Section 302) and management's annual assertion that internal controls over financial reporting are effective (Section 404). In the case of Section 404, the independent auditor of the organization is required to opine on the effectiveness of internal control over financial reporting in addition to the auditor's opinion on the fair presentation of the organization's financial statements (also referred to as the "integrated audit").
Section 404 draws attention to the significant processes that feed and comprise the financial reporting process for an organization. In order for management to make its annual assessment on the effectiveness of its internal control, management is required to document and evaluate all controls that are deemed significant to the financial reporting processes. If the organization uses a service provider to process transactions, host data, or other signficant services, management may need to evaluate the design and test the operating effectiveness of the service organization's controls.
Management will either need to conduct an evaluation of the service organization's controls, or management may obtain a Type 2 SAS No. 70 service auditor's report from the service organization, if a service auditor has been engaged, to gain an understanding of the service organization's controls. The relevant audit guidance for SAS No. 70 already requires that a service auditor's report contain information on the five components of internal control as it relates to the service organization.
Service organizations that have customers who are publically registered companies should expect an increase in demand for information on the service organization's controls. Service organizations should consider the following:
The
SEC published its final rules related to
the adoption of Section 404, which can be viewed at the SEC website. Public
companies that meet the definition of an "accelerated" filer were the
first issuers who had to comply with the internal control reporting
requirements for fiscal years ending after
On
The PCAOB
is responsible for publishing the guidance that practitioners (i.e., auditors)
must follow when examining management's assertion on the effectiveness of
controls over financial reporting. On
On
Section 404 of the Sarbanes-Oxley Act is also referred to "SOX 404" in many discussion forums.
The AICPA maintains a web page dedicated to the latest developments surrounding the Sarbanes-Oxley Act. You can access this web page at: http://www.aicpa.org/sarbanes/index.asp
The IT Governance Institute has published a very handy reference guide entitled "IT Control Objectives for Sarbanes-Oxley". The guide was updated in September 2006. You can download a PDF copy of this powerful research tool which maps many of the CobIT control objectives to the widely-recognized COSO framework for internal control.
The PCAOB maintains a web site at: http://www.pcaobus.org
If you need further information, feel free to send an e-mail to: info@sas70.com .
Copyright 2002-2010