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(b) Explain the matters you should consider before accepting an engagement to conduct a due diligence reviewof MCM. (10 marks)

题目

(b) Explain the matters you should consider before accepting an engagement to conduct a due diligence review

of MCM. (10 marks)


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  • 第1题:

    (b) Explain why making sales of Sabals in North America will have no effect on Nikau Ltd’s ability to recover its

    input tax. (3 marks)

    Notes: – you should assume that the corporation tax rates and allowances for the financial year to 31 March 2007

    will continue to apply for the foreseeable future.

    – you should ignore indexation allowance.


    正确答案:
    (b) Recoverability of input tax
    Sales by Nikau Ltd of its existing products are subject to UK VAT at 17·5% because it is selling to domestic customers who
    will not be registered for VAT. Accordingly, at present, Nikau Ltd can recover all of its input tax.
    Sales to customers in North America will be zero rated because the goods are being exported from the EU. Zero rated supplies
    are classified as taxable for the purposes of VAT and therefore Nikau Ltd will continue to be able to recover all of its input tax.

  • 第2题:

    (c) During the year Albreda paid $0·1 million (2004 – $0·3 million) in fines and penalties relating to breaches of

    health and safety regulations. These amounts have not been separately disclosed but included in cost of sales.

    (5 marks)

    Required:

    For each of the above issues:

    (i) comment on the matters that you should consider; and

    (ii) state the audit evidence that you should expect to find,

    in undertaking your review of the audit working papers and financial statements of Albreda Co for the year ended

    30 September 2005.

    NOTE: The mark allocation is shown against each of the three issues.


    正确答案:
    (c) Fines and penalties
    (i) Matters
    ■ $0·1 million represents 5·6% of profit before tax and is therefore material. However, profit has fallen, and
    compared with prior year profit it is less than 5%. So ‘borderline’ material in quantitative terms.
    ■ Prior year amount was three times as much and represented 13·6% of profit before tax.
    ■ Even though the payments may be regarded as material ‘by nature’ separate disclosure may not be necessary if,
    for example, there are no external shareholders.
    ■ Treatment (inclusion in cost of sales) should be consistent with prior year (‘The Framework’/IAS 1 ‘Presentation of
    Financial Statements’).
    ■ The reason for the fall in expense. For example, whether due to an improvement in meeting health and safety
    regulations and/or incomplete recording of liabilities (understatement).
    ■ The reason(s) for the breaches. For example, Albreda may have had difficulty implementing new guidelines in
    response to stricter regulations.
    ■ Whether expenditure has been adjusted for in the income tax computation (as disallowed for tax purposes).
    ■ Management’s attitude to health and safety issues (e.g. if it regards breaches as an acceptable operational practice
    or cheaper than compliance).
    ■ Any references to health and safety issues in other information in documents containing audited financial
    statements that might conflict with Albreda incurring these costs.
    ■ Any cost savings resulting from breaches of health and safety regulations would result in Albreda possessing
    proceeds of its own crime which may be a money laundering offence.
    (ii) Audit evidence
    ■ A schedule of amounts paid totalling $0·1 million with larger amounts being agreed to the cash book/bank
    statements.
    ■ Review/comparison of current year schedule against prior year for any apparent omissions.
    ■ Review of after-date cash book payments and correspondence with relevant health and safety regulators (e.g. local
    authorities) for liabilities incurred before 30 September 2005.
    ■ Notes in the prior year financial statements confirming consistency, or otherwise, of the lack of separate disclosure.
    ■ A ‘signed off’ review of ‘other information’ (i.e. directors’ report, chairman’s statement, etc).
    ■ Written management representation that there are no fines/penalties other than those which have been reflected in
    the financial statements.

  • 第3题:

    (c) Explain the extent to which you should plan to place reliance on analytical procedures as audit evidence.

    (6 marks)


    正确答案:
    (c) Extent of reliance on analytical procedures as audit evidence
    Tutorial note: In the requirement ‘… reliance … as audit evidence’ is a direction to consider only substantive analytical
    procedures. Answer points concerning planning and review stages were not asked for and earn no marks.
    ■ Although there is likely to be less reliance on analytical procedures than if this had been an existing audit client, the fact
    that this is a new assignment does not preclude placing some reliance on such procedures.
    ■ Analytical procedures will not be relied on in respect of material items that require 100% testing. For example, additions
    to property is likely to represent a very small number of transactions.
    ■ Analytical procedures alone may provide sufficient audit evidence on line items that are not individually material. For
    example, inventory (less than 1/2% revenue and less than 1% total assets) may be shown to be materially correctly
    stated through analytical procedures on consumable stores (i.e. fuel, lubricants, materials for servicing vehicles etc).
    ■ Substantive analytical procedures are best suited to large volume transactions (e.g. revenue, materials expense, staff
    costs). If controls over the completeness, accuracy and validity of recording transactions in these areas are effective then
    substantive analytical procedures showing that there are no unexpected fluctuations should reduce the need for
    substantive detailed tests.
    ■ The extent of planned use will be dependent on the relationships expected between variables. (e.g. between items of
    financial information and between items of financial and non-financial information). For example, if material costs rise
    due to an increase in the level of business then a commensurate increase in revenue and staff costs might be expected
    also.
    ■ ‘Proofs in total’ (or reasonableness tests) provide substantive evidence that income statement items are not materially
    misstated. In the case of Yates these might be applied to staff costs (number of employees in each category ×
    wage/salary rates, grossed up for social security, etc) and finance expense (interest rate × average monthly overdraft
    balance).
    ■ However, such tests may have limited application, if any, if the population is not homogenous and cannot be subdivided.
    For example, all the categories of non-current asset have a wide range of useful life. Therefore it would be
    difficult/meaningless to apply an ‘average’ depreciation rate to all assets in the class to substantiate the total depreciation
    expense for the year. (Although it might highlight a risk of potential over or understatement requiring further
    investigation.)
    ■ Substantive analytical procedures are more likely to be used if there is relevant information available that is being used
    by Yates. For example, as fuel costs will be significant, Yates may monitor consumption (e.g. miles per gallon (MPG)).
    ■ Analytical procedures may supplement alternative procedures that provide evidence regarding the same assertion. For
    example, the review of after-date payments to confirm the completeness of trade payables may be supplemented by
    calculations of average payment period on a monthly basis.
    Tutorial note: Credit will be given for other relevant points drawn from the scenario. For example, the restructuring during
    the previous year is likely to have caused fluctuations that may result in less reliance being placed on analytical procedures.

  • 第4题:

    (b) Describe the principal matters that should be included in your firm’s submission to provide internal audit

    services to RBG. (10 marks)


    正确答案:
    (b) Principal matters to be included in submission to provide internal audit services
    ■ Introduction/background – details about York including its organisation (of functions), offices (locations) and number of
    internal auditors working within each office. The office that would be responsible for managing the contract should be
    stated.
    ■ A description of York’s services most relevant to RBG’s needs (e.g. in the areas of risk management, IT audits, value for
    money (VFM) and corporate governance).
    ■ Client-specific issues identified. For example, revenue audits will be required routinely for control purposes and to
    substantiate the contingent rents due. Other areas of expertise that RBG may be interested in taking advantage of, for
    example, special projects such as acquisitions and mergers.
    ■ York’s approach to assessing audit needs including the key stages and who will be involved. For example:
    (1) Preliminary – review of business, industry and the entity’s operating characteristics
    (2) Planning – including needs analysis and co-ordination with external audit plan
    (3) Post-Audit – assurance that activities were effectively and efficiently executed
    (4) Review – of services provided, reports issued and management’s responses.
    ■ A description of internal audit tools used and methodologies/approach to audit fieldwork including use of embedded
    audit software and programs developed by York.
    ■ A description of York’s systems-based audit, the IT issues to be addressed and the technological support that can be
    provided.
    ■ Any training that will be offered to RBG’s managers and staff, for example, in a risk management approach.
    ■ A description and quantity of resources, in particular the number of full-time staff, to be deployed in providing services
    to RBG. An outline of RBG’s track record in human resource retention and development.
    ■ Relevant experience – e.g. in internal and external audit in the retail industry. The relative qualifications and skills of
    each grade of audit staff and the contract manager in particular.
    ■ Insurance certifications covering, for example, public liability and professional indemnity insurance.
    ■ Work ethic policies relating to health and safety, equal opportunities’ and race relations.
    ■ How York ensures quality throughout the internal audit process including standards to be followed (e.g. Institute of
    Internal Auditors’ standards).
    ■ Sample report templates – e.g. for reporting the results of risk analysis, audit plans and quarterly reporting of findings
    to the Audit and Risk Management Committee.
    ■ Current clients to whom internal audit services are provided from whom RBG will be able to take up references, by
    arrangement, if York is short-listed.
    ■ Any work currently carried out/competed for that could cause a conflict of interest (and the measures to avoid such
    conflicts).
    ■ Fees (daily rates) for each grade of staff and travel and other expenses to be reimbursed. An indication of price increases,
    if any, over the three-year contract period. Invoicing terms (e.g. on presentation of reports) and payment terms (e.g. the
    end of the month following receipt of the invoice).
    ■ Performance targets to be met such as deadlines for completing work and submitting and issuing reports.

  • 第5题:

    4 (a) The purpose of ISA 250 Consideration of Laws and Regulations in an Audit of Financial Statements is to

    establish standards and provide guidance on the auditor’s responsibility to consider laws and regulations in an

    audit of financial statements.

    Explain the auditor’s responsibilities for reporting non-compliance that comes to the auditor’s attention

    during the conduct of an audit. (5 marks)


    正确答案:
    4 CLEEVES CO
    (a) Reporting non-compliance
    Non-compliance refers to acts of omission or commission by the entity being audited, either intentional or unintentional, that
    are contrary to the prevailing laws or regulations.
    To management
    Regarding non-compliance that comes to the auditor’s attention the auditor should, as soon as practicable, either:
    ■ communicate with those charged with governance; or
    ■ obtain audit evidence that they are appropriately informed.
    However, the auditor need not do so for matters that are clearly inconsequential or trivial and may reach agreement1 in
    advance on the nature of such matters to be communicated.
    If in the auditor’s judgment the non-compliance is believed to be intentional and material, the auditor should communicate
    the finding without delay.
    If the auditor suspects that members of senior management are involved in non-compliance, the auditor should report the
    matter to the next higher level of authority at the entity, if it exists (e.g. an audit committee or a supervisory board). Where
    no higher authority exists, or if the auditor believes that the report may not be acted upon or is unsure as to the person to
    whom to report, the auditor would consider seeking legal advice.
    To the users of the auditor’s report on the financial statements
    If the auditor concludes that the non-compliance has a material effect on the financial statements, and has not been properly
    reflected in the financial statements, the auditor expresses a qualified (i.e. ‘except for disagreement’) or an adverse opinion.
    If the auditor is precluded by the entity from obtaining sufficient appropriate audit evidence to evaluate whether or not noncompliance
    that may be material to the financial statements has (or is likely to have) occurred, the auditor should express a
    qualified opinion or a disclaimer of opinion on the financial statements on the basis of a limitation on the scope of the audit.
    Tutorial note: For example, if management denies the auditor access to information from which he would be able to assess
    whether or not illegal dumping had taken place (and, if so, the extent of it).
    If the auditor is unable to determine whether non-compliance has occurred because of limitations imposed by circumstances
    rather than by the entity, the auditor should consider the effect on the auditor’s report.
    Tutorial note: For example, if new legal requirements have been announced as effective but the detailed regulations are not
    yet published.
    To regulatory and enforcement authorities
    The auditor’s duty of confidentiality ordinarily precludes reporting non-compliance to a third party. However, in certain
    circumstances, that duty of confidentiality is overridden by statute, law or by courts of law (e.g. in some countries the auditor
    is required to report non-compliance by financial institutions to the supervisory authorities). The auditor may need to seek
    legal advice in such circumstances, giving due consideration to the auditor’s responsibility to the public interest.

  • 第6题:

    (b) While the refrigeration units were undergoing modernisation Lamont outsourced all its cold storage requirements

    to Hogg Warehousing Services. At 31 March 2007 it was not possible to physically inspect Lamont’s inventory

    held by Hogg due to health and safety requirements preventing unauthorised access to cold storage areas.

    Lamont’s management has provided written representation that inventory held at 31 March 2007 was

    $10·1 million (2006 – $6·7 million). This amount has been agreed to a costing of Hogg’s monthly return of

    quantities held at 31 March 2007. (7 marks)

    Required:

    For each of the above issues:

    (i) comment on the matters that you should consider; and

    (ii) state the audit evidence that you should expect to find,

    in undertaking your review of the audit working papers and financial statements of Lamont Co for the year ended

    31 March 2007.

    NOTE: The mark allocation is shown against each of the three issues.


    正确答案:
    (b) Outsourced cold storage
    (i) Matters
    ■ Inventory at 31 March 2007 represents 21% of total assets (10·1/48·0) and is therefore a very material item in the
    balance sheet.
    ■ The value of inventory has increased by 50% though revenue has increased by only 7·5%. Inventory may be
    overvalued if no allowance has been made for slow-moving/perished items in accordance with IAS 2 Inventories.
    ■ Inventory turnover has fallen to 6·6 times per annum (2006 – 9·3 times). This may indicate a build up of
    unsaleable items.
    Tutorial note: In the absence of cost of sales information, this is calculated on revenue. It may also be expressed
    as the number of days sales in inventory, having increased from 39 to 55 days.
    ■ Inability to inspect inventory may amount to a limitation in scope if the auditor cannot obtain sufficient audit
    evidence regarding quantity and its condition. This would result in an ‘except for’ opinion.
    ■ Although Hogg’s monthly return provides third party documentary evidence concerning the quantity of inventory it
    does not provide sufficient evidence with regard to its valuation. Inventory will need to be written down if, for
    example, it was contaminated by the leakage (before being moved to Hogg’s cold storage) or defrosted during
    transfer.
    ■ Lamont’s written representation does not provide sufficient evidence regarding the valuation of inventory as
    presumably Lamont’s management did not have access to physically inspect it either. If this is the case this may
    call into question the value of any other representations made by management.
    ■ Whether, since the balance sheet date, inventory has been moved back from Hogg’s cold storage to Lamont’s
    refrigeration units. If so, a physical inspection and roll-back of the most significant fish lines should have been
    undertaken.
    Tutorial note: Credit will be awarded for other relevant accounting issues. For example a candidate may question
    whether, for example, cold storage costs have been capitalised into the cost of inventory. Or whether inventory moves
    on a FIFO basis in deep storage (rather than LIFO).
    (ii) Audit evidence
    ■ A copy of the health and safety regulation preventing the auditor from gaining access to Hogg’s cold storage to
    inspect Lamont’s inventory.
    ■ Analysis of Hogg’s monthly returns and agreement of significant movements to purchase/sales invoices.
    ■ Analytical procedures such as month-on-month comparison of gross profit percentage and inventory turnover to
    identify any trend that may account for the increase in inventory valuation (e.g. if Lamont has purchased
    replacement inventory but spoiled items have not been written off).
    ■ Physical inspection of any inventory in Lamont’s refrigeration units after the balance sheet date to confirm its
    condition.
    ■ An aged-inventory analysis and recalculation of any allowance for slow-moving items.
    ■ A review of after-date sales invoices for large quantities of fish to confirm that fair value (less costs to sell) exceed
    carrying amount.
    ■ A review of after-date credit notes for any returns of contaminated/perished or otherwise substandard fish.

  • 第7题:

    (b) (i) Explain the matters you should consider to determine whether capitalised development costs are

    appropriately recognised; and (5 marks)


    正确答案:
    (b) (i) Materiality
    The net book value of capitalised development costs represent 7% of total assets in 2007 (2006 – 7·7%), and is
    therefore material. The net book value has increased by 13%, a significant trend.
    The costs capitalised during the year amount to $750,000. If it was found that the development cost had been
    inappropriately capitalised, the cost should instead have been expensed. This would reduce profit before tax by
    $750,000, representing 42% of the year’s profit. This is highly material. It is therefore essential to gather sufficient
    evidence to support the assertion that development costs should be recognised as an asset.
    In 2007, $750,000 capitalised development costs have been incurred, when added to $160,000 research costs
    expensed, total research and development costs are $910,000 which represents 20·2% of total revenue, again
    indicating a high level of materiality for this class of transaction.
    Relevant accounting standard
    Development costs should only be capitalised as an intangible asset if the recognition criteria of IAS 38 Intangible Assets
    have been demonstrated in full:
    – Intention to complete the intangible asset and use or sell it
    – Technical feasibility and ability to use or sell
    – Ability to generate future economic benefit
    – Availability of technical, financial and other resources to complete
    – Ability to measure the expenditure attributable to the intangible asset.
    Research costs must be expensed, as should development costs which do not comply with the above criteria. The
    auditors must consider how Sci-Tech Co differentiates between research and development costs.
    There is risk that not all of the criteria have been demonstrated, especially due to the subjective nature of the
    development itself:
    – Pharmaceutical development is highly regulated. If the government does not license the product then the product
    cannot be sold, and economic benefits will therefore not be received.
    – Market research should justify the commercial viability of the product. The launch of a rival product to Flortex
    means that market share is likely to be much lower than anticipated, and the ability to sell Flortex is reduced. This
    could mean that Flortex will not generate an overall economic benefit if future sales will not recover the research
    and development costs already suffered, and yet to be suffered, prior to launch. The existence of the rival product
    could indicate that Flortex is no longer commercially viable, in which case the capitalised development costs
    relating to Flortex should be immediately expensed.
    – The funding on which development is dependent may be withdrawn, indicating that there are not adequate
    resources to complete the development of the products. Sci-Tech has failed to meet one of its required key
    performance indicators (KPI) in the year ended 30 November 2007, as products valued at 0·8% revenue have
    been donated to charity, whereas the required KPI is 1% revenue.
    Given that there is currently a breach of the target KPIs, this is likely to result in funding equivalent to 25% of
    research and development expenditure being withdrawn. If Sci-Tech Co is unable to source alternative means of
    finance, then it would seem that adequate resources may not be available to complete the development of new
    products.

  • 第8题:

    (ii) From the information provided above, recommend the matters which should be included as ‘findings

    from the audit’ in your report to those charged with governance, and explain the reason for their

    inclusion. (7 marks)


    正确答案:
    (ii) Control weakness
    ISA 260 contains guidance on the type of issues that should be communicated. One of the matters identified is a control
    weakness in the capital expenditure transaction cycle. The assets for which no authorisation was obtained amount to
    0·3% of total assets (225,000/78 million x 100%), which is clearly immaterial. However, regardless of materiality, the
    auditor should ensure that the weakness is brought to the attention of the management, with a clear indication of the
    implication of the weakness, and recommendations as to how the control weakness should be eliminated.
    The auditor is providing information to help those charged with governance improve the internal systems and controls
    and ultimately reduce business risk. In this case there is a high risk of fraud, as the lack of authorisation for purchase
    of office equipment could allow expenditure on assets not used for bona fide business purposes.
    Disagreement with accounting treatment of brand
    Audit procedures have revealed a breach of IAS 38 Intangible Assets, in which internally generated brand names are
    specifically prohibited from being recognised. Blod Co has recognised an internally generated brand name which is
    material to the statement of financial position (balance sheet) as it represents 12·8% of total assets (10/78 x 100%).
    The statement of financial position (balance sheet) therefore contains a material misstatement.
    The report to those charged with governance should clearly explain the rules on recognition of internally generated brand
    names, to ensure that the management has all relevant technical facts available. In the report the auditors should
    request that the financial statements be corrected, and clarify that if the brand is not derecognised, then the audit opinion
    will be qualified on the grounds of a material disagreement – an ‘except for’ opinion would be provided. Once the breach
    of IAS 38 is made clear to the management in the report, they then have the opportunity to discuss the matter and
    decide whether to amend the financial statements, thereby avoiding a qualified audit opinion.
    Audit inefficiencies
    Documentation relating to inventories was not always made readily available to the auditors. This seems to be due to
    poor administration by the client rather than a deliberate attempt to conceal information. The report should contain a
    brief description of the problems encountered by the audit team. The management should be made aware that
    significant delay to the receipt of necessary paperwork can cause inefficiencies in the audit process. This may seem a
    relatively trivial issue, but it could lead to an increase in audit fee. Management should react to these comments by
    ensuring as far as possible that all requested documentation is made available to the auditors in a timely fashion.

  • 第9题:

    We should consider the said firm quite reliable for () engagement as you mentioned.

    Asuch an

    Bsuch as

    Csuch a

    Dsuch like


    A

  • 第10题:

    You work as the enterprise exchange administrator at Company.com.The Company.com network consists of a single Active Directory domain named Company.com.Company.com has an Exchange Server 2010 organization.Due to circumstances, Company.com has acquired a new Internet domain name.This results in that the employees cannot receive e-mail that is sent to the new Internet domain name.The new Internet domain name is set up as an e-mail address suffix.The Company.com employees need to receive e-mail sent from the new Internet domain name. What should you do?()

    • A、You should consider using an External Relay Accepted Domain.
    • B、You should consider using an Authoritative Accepted Domain.
    • C、You should consider using a remote domain.
    • D、You should consider using a new Receive connector.

    正确答案:B

  • 第11题:

    问答题
    Task I(10 marks)  You are a member of an organisation which meets regularly at a particular restaurant. The most recent meal you had there was not satisfactory, and you were very disappointed with the quality of the food and the behaviour of the staff. Write a letter to the manager of the restaurant. Explain what was wrong with the meal and the service, and suggest what he/she should do to ensure that you and your group return to the restaurant.You should write about 100 words. You do NOT need to write your own address.

    正确答案:
    Dear Manager,
    I am writing to deliver my complaint about the quality of food and the bad manners of your staff.
    I am a member of the Environment Protection Organization. We regularly meet at your restaurant to have meals. However, to my great disappointment, recently the food served in your restaurant was not as delicious and clean as before. What’s more, some of your staff were quite cold and impatient to us.
    I hope you would take it into serious consideration and take measures. I earnestly hope to see the improvement so that we could come back to enjoy your meals as used to be.
    Sincerely yours,
    Li Ming
    解析: 暂无解析

  • 第12题:

    单选题
    We should consider the said firm quite reliable for () engagement as you mentioned.
    A

    such an

    B

    such as

    C

    such a

    D

    such like


    正确答案: D
    解析: 暂无解析

  • 第13题:

    (ii) Explain how the inclusion of rental income in Coral’s UK income tax computation could affect the

    income tax due on her dividend income. (2 marks)

    You are not required to prepare calculations for part (b) of this question.

    Note: you should assume that the tax rates and allowances for the tax year 2006/07 and for the financial year to

    31 March 2007 will continue to apply for the foreseeable future.


    正确答案:
    (ii) The effect of taxable rental income on the tax due on Coral’s dividend income
    Remitting rental income to the UK may cause some of Coral’s dividend income currently falling within the basic rate
    band to fall within the higher rate band. The effect of this would be to increase the tax on the gross dividend income
    from 0% (10% less the 10% tax credit) to 221/2% (321/2% less 10%).
    Tutorial note
    It would be equally acceptable to state that the effective rate of tax on the dividend income would increase from 0%
    to 25%.

  • 第14题:

    (ii) analytical procedures, (6 marks)

    might appropriately be used in the due diligence review of MCM.


    正确答案:
    (ii) Analytical procedures
    Tutorial note: The range of valid answer points is very broad for this part.
    ■ Review the trend of MCM’s profit (gross and net) for the last five years (say). Similarly earnings per share and
    gearing.
    ■ For both the National and International businesses compare:
    – gross profit, net profit, and return on assets for the last five years (say);
    – actual monthly revenue against budget for the last 18 months (say). Similarly, for major items of expenditure
    such as:
    – full-time salaries;
    – freelance consultancy fees;
    – premises costs (e.g. depreciation, lease rentals, maintenance, etc);
    – monthly revenue (also costs and profit) by centre.
    ■ Review projections of future profitability of MCM against net profit percentage at 31 December 2004 for:
    – the National business (10·4%);
    – the International business (38·1%); and
    – overall (19·9%).
    ■ Review of disposal value of owned premises against book values.
    ■ Compare actual cash balances with budget on a monthly basis and compare borrowings against loan and overdraft
    facilities.
    ■ Compare the average collection period for International’s trade receivables month on month since 31 December
    2004 (when it was nearly seven months, i.e.
    $3·7
    –––– × 365 days) and compare with the National business.
    $6·3
    ■ Compare financial ratios for each of the national centres against the National business overall (and similarly for the
    International Business). For example:
    – gross and net profit margins;
    – return on centre assets;
    – average collection period;
    – average payment period;
    – liquidity ratio.
    ■ Compare key performance indicators across the centres for the year to 31 December 2004 and 2005 to date. For
    example:
    – number of corporate clients;
    – number of delegates;
    – number of training days;
    – average revenue per delegate per day;
    – average cost per consultancy day.

  • 第15题:

    (b) A sale of industrial equipment to Deakin Co in May 2005 resulted in a loss on disposal of $0·3 million that has

    been separately disclosed on the face of the income statement. The equipment cost $1·2 million when it was

    purchased in April 1996 and was being depreciated on a straight-line basis over 20 years. (6 marks)

    Required:

    For each of the above issues:

    (i) comment on the matters that you should consider; and

    (ii) state the audit evidence that you should expect to find,

    in undertaking your review of the audit working papers and financial statements of Keffler Co for the year ended

    31 March 2006.

    NOTE: The mark allocation is shown against each of the three issues.


    正确答案:
    (b) Sale of industrial equipment
    (i) Matters
    ■ The industrial equipment was in use for nine years (from April 1996) and would have had a carrying value of
    $660,000 at 31 March 2005 (11/20 × $1·2m – assuming nil residual value and a full year’s depreciation charge
    in the year of acquisition and none in the year of disposal). Disposal proceeds were therefore only $360,000.
    ■ The $0·3m loss represents 15% of PBT (for the year to 31 March 2006) and is therefore material. The equipment
    was material to the balance sheet at 31 March 2005 representing 2·6% of total assets ($0·66/$25·7 × 100).
    ■ Separate disclosure, of a material loss on disposal, on the face of the income statement is in accordance with
    IAS 16 ‘Property, Plant and Equipment’. However, in accordance with IAS 1 ‘Presentation of Financial Statements’,
    it should not be captioned in any way that might suggest that it is not part of normal operating activities (i.e. not
    ‘extraordinary’, ‘exceptional’, etc).
    Tutorial note: However, note that if there is a prior period error to be accounted for (see later), there would be
    no impact on the current period income statement requiring consideration of any disclosure.
    ■ The reason for the sale. For example, whether the equipment was:
    – surplus to operating requirements (i.e. not being replaced); or
    – being replaced with newer equipment (thereby contributing to the $8·1m increase (33·8 – 25·7) in total
    assets).
    ■ The reason for the loss on sale. For example, whether:
    – the sale was at an under-value (e.g. to a related party);
    – the equipment had a bad maintenance history (or was otherwise impaired);
    – the useful life of the equipment is less than 20 years;
    – there is any deferred consideration not yet recorded;
    – any non-cash disposal proceeds have been overlooked (e.g. if another asset was acquired in a part-exchange).
    ■ If the useful life was less than 20 years, tangible non-current assets may be materially overstated in respect of other
    items of equipment that are still in use and being depreciated on the same basis.
    ■ If the sale was to a related party then additional disclosure should be required in a note to the financial statements
    for the year to 31 March 2006 (IAS 24 ‘Related Party Disclosures’).
    Tutorial note: Since there are no specific pointers to a related party transaction (RPT), this point is not expanded
    on.
    ■ Whether the sale was identified in the prior year audit’s post balance sheet event review. If so:
    – the disclosure made in the prior year’s financial statements (IAS 10 ‘Events After the Balance Sheet Date’);
    – whether an impairment loss was recognised at 31 March 2005.
    ■ If not, and the equipment was impaired at 31 March 2005, a prior period error should be accounted for (IAS 8
    ‘Accounting Policies, Changes in Accounting Estimates and Errors’). An impairment loss of $0·3m would have
    been material to prior year profit (12·5%).
    Tutorial note: Unless this was a RPT or the impairment arose after 31 March 2005 a prior period adjustment
    should be made.
    ■ Failure to account for a prior period error (if any) would result in modification of the audit opinion ‘except for’ noncompliance
    with IAS 8 (in the current year) and IAS 36 (in the prior period).
    (ii) Audit evidence
    ■ Carrying amount ($0·66m as above) agreed to the non-current asset register balances at 31 March 2005 and
    recalculation of the loss on disposal.
    ■ Cost and accumulated depreciation removed from the asset register in the year to 31 March 2006.
    ■ Receipt of proceeds per cash book agreed to bank statement.
    ■ Sales invoice transferring title to Deakin.
    ■ A review of maintenance expenses and records (e.g. to confirm reason for loss on sale).
    ■ Post balance sheet event review on prior year audit working papers file.
    ■ Management representation confirming that Deakin is not a related party (provided that there is no evidence to
    suggest otherwise).

  • 第16题:

    (c) In November 2006 Seymour announced the recall and discontinuation of a range of petcare products. The

    product recall was prompted by the high level of customer returns due to claims of poor quality. For the year to

    30 September 2006, the product range represented $8·9 million of consolidated revenue (2005 – $9·6 million)

    and $1·3 million loss before tax (2005 – $0·4 million profit before tax). The results of the ‘petcare’ operations

    are disclosed separately on the face of the income statement. (6 marks)

    Required:

    For each of the above issues:

    (i) comment on the matters that you should consider; and

    (ii) state the audit evidence that you should expect to find,

    in undertaking your review of the audit working papers and financial statements of Seymour Co for the year ended

    30 September 2006.

    NOTE: The mark allocation is shown against each of the three issues.


    正确答案:

     

    ■ The discontinuation of the product line after the balance sheet date provides additional evidence that, as at the
    balance sheet date, it was of poor quality. Therefore, as at the balance sheet date:
    – an allowance (‘provision’) may be required for credit notes for returns of products after the year end that were
    sold before the year end;
    – goods returned to inventory should be written down to net realisable value (may be nil);
    – any plant and equipment used exclusively in the production of the petcare range of products should be tested
    for impairment;
    – any material contingent liabilities arising from legal claims should be disclosed.
    (ii) Audit evidence
    ■ A copy of Seymour’s announcement (external ‘press release’ and any internal memorandum).
    ■ Credit notes raised/refunds paid after the year end for faulty products returned.
    ■ Condition of products returned as inspected during physical attendance of inventory count.
    ■ Correspondence from customers claiming reimbursement/compensation for poor quality.
    ■ Direct confirmation from legal adviser (solicitor) regarding any claims for customers including estimates of possible
    payouts.

  • 第17题:

    (b) Explain the matters that should be considered when planning the nature and scope of the examination of

    Cusiter Co’s forecast balance sheet and income statement as prepared for the bank. (7 marks)


    正确答案:
    (b) Matters to be considered
    Tutorial note: Candidates at this level must appreciate that the matters to be considered when planning the nature and
    scope of the examination are not the same matters to be considered when deciding whether or not to accept an
    engagement. The scenario clearly indicates that the assignment is being undertaken by the current auditor rendering any
    ‘pre-engagement’/‘professional etiquette’ considerations irrelevant to answering this question.
    This PFI has been prepared to show an external user, the bank, the financial consequences of Cusiter’s plans to help the bank
    in making an investment decision. If Cusiter is successful in its loan application the PFI provides a management tool against
    which the results of investing in the plant and equipment can be measured.
    The PFI is unpublished rather than published. That is, it is prepared at the specific request of a third party, the bank. It will
    not be published to users of financial information in general.
    The auditor’s report on the PFI will provide only negative assurance as to whether the assumptions provide a reasonable basis
    for the PFI and an opinion whether the PFI is:
    ■ properly prepared on the basis of the assumptions; and
    ■ presented in accordance with the relevant financial reporting framework.
    The nature of the engagement is an examination to obtain evidence concerning:
    ■ the reasonableness and consistency of assumptions made;
    ■ proper preparation (on the basis of stated assumptions); and
    ■ consistent presentation (with historical financial statements, using appropriate accounting principles).
    Such an examination is likely to take the form. of inquiry, analytical procedures and corroboration.
    The period of time covered by the prospective financial information is two years. The assumptions for 2008 are likely to be
    more speculative than for 2007, particularly in relation to the impact on earnings, etc of the investment in new plant and
    equipment.
    The forecast for the year to 31 December 2007 includes an element of historical financial information (because only part of
    this period is in the future) hence actual evidence should be available to verify the first three months of the forecast (possibly
    more since another three-month period will expire at the end of the month).
    Cusiter management’s previous experience in preparing PFI will be relevant. For example, in making accounting estimates
    (e.g. for provisions, impairment losses, etc) or preparing cash flow forecasts (e.g. in support of the going concern assertion).
    The basis of preparation of the forecast. For example, the extent to which it comprises:
    ■ proforma financial information (i.e. historical financial information adjusted for the effects of the planned loan and capital
    expenditure transaction);
    ■ new information and assumptions about future performance (e.g. the operating capacity of the new equipment, sales
    generated, etc).
    The nature and scope of any standards/guidelines under which the PFI has been prepared is likely to assist the auditor in
    discharging their responsibilities to report on it. Also, ISAE 3400 The Examination of Prospective Financial Information,
    establishes standards and provides guidance on engagements to examine and report on PFI including examination
    procedures.
    The planned nature and scope of the examination is likely to take into account the time and fee budgets for the assignments
    as adjusted for any ‘overlap’ with audit work. For example, the examination of the PFI is likely to draw on the auditor’s
    knowledge of the business obtained in auditing the financial statements to 31 December 2006. Analytical procedures carried
    out in respect of the PFI may provide evidence relevant to the 31 December 2007 audit.

  • 第18题:

    (c) Lamont owns a residential apartment above its head office. Until 31 December 2006 it was let for $3,000 a

    month. Since 1 January 2007 it has been occupied rent-free by the senior sales executive. (6 marks)

    Required:

    For each of the above issues:

    (i) comment on the matters that you should consider; and

    (ii) state the audit evidence that you should expect to find,

    in undertaking your review of the audit working papers and financial statements of Lamont Co for the year ended

    31 March 2007.

    NOTE: The mark allocation is shown against each of the three issues.


    正确答案:
    (c) Rent-free accommodation
    (i) Matters
    ■ The senior sales executive is a member of Lamont’s key management personnel and is therefore a related party.
    ■ The occupation of Lamont’s residential apartment by the senior sales executive is therefore a related party
    transaction, even though no price is charged (IAS 24 Related Party Disclosures).
    ■ Related party transactions are material by nature and information about them should be disclosed so that users of
    financial statements understand the potential effect of related party relationships on the financial statements.
    ■ The provision of ‘housing’ is a non-monetary benefit that should be included in the disclosure of key management
    personnel compensation (within the category of short-term employee benefits).
    ■ The financial statements for the year ended 31 March 2007 should disclose the arrangement for providing the
    senior sales executive with rent-free accommodation and its fair value (i.e. $3,000 per month).
    Tutorial note: Since no price is charged for the transaction, rote-learned disclosures such as ‘the amount of outstanding
    balances’ and ‘expense recognised in respect of bad debts’ are irrelevant.
    (ii) Audit evidence
    ■ Physical inspection of the apartment to confirm that it is occupied.
    ■ Written representation from the senior sales executive that he is occupying the apartment free of charge.
    ■ Written representation from the management board confirming that there are no related party transactions requiring
    disclosure other than those that have been disclosed.
    ■ Inspection of the lease agreement with (or payments received from) the previous tenant to confirm the $3,000
    monthly rental value.

  • 第19题:

    (b) (i) Explain the matters you should consider, and the evidence you would expect to find in respect of the

    carrying value of the cost of investment of Dylan Co in the financial statements of Rosie Co; and

    (7 marks)


    正确答案:
    (b) (i) Cost of investment on acquisition of Dylan Co
    Matters to consider
    According to the schedule provided by the client, the cost of investment comprises three elements. One matter to
    consider is whether the cost of investment is complete.
    It appears that no legal or professional fees have been included in the cost of investment (unless included within the
    heading ‘cash consideration’). Directly attributable costs should be included per IFRS 3 Business Combinations, and
    there is a risk that these costs may be expensed in error, leading to understatement of the investment.
    The cash consideration of $2·5 million is the least problematical component. The only matter to consider is whether the
    cash has actually been paid. Given that Dylan Co was acquired in the last month of the financial year it is possible that
    the amount had not been paid before the year end, in which case the amount should be recognised as a current liability
    on the statement of financial position (balance sheet). However, this seems unlikely given that normally control of an
    acquired company only passes to the acquirer on cash payment.
    IFRS 3 states that the cost of investment should be recognised at fair value, which means that deferred consideration
    should be discounted to present value at the date of acquisition. If the consideration payable on 31 January 2009 has
    not been discounted, the cost of investment, and the corresponding liability, will be overstated. It is possible that the
    impact of discounting the $1·5 million payable one year after acquisition would be immaterial to the financial
    statements, in which case it would be acceptable to leave the consideration at face value within the cost of investment.
    Contingent consideration should be accrued if it is probable to be paid. Here the amount is payable if revenue growth
    targets are achieved over the next four years. The auditor must therefore assess the probability of the targets being
    achieved, using forecasts and projections of Maxwell Co’s revenue. Such information is inherently subjective, and could
    have been manipulated, if prepared by the vendor of Maxwell Co, in order to secure the deal and maximise
    consideration. Here it will be crucial to be sceptical when reviewing the forecasts, and the assumptions underlying the
    data. The management of Rosie Co should have reached their own opinion on the probability of paying the contingent
    consideration, but they may have relied heavily on information provided at the time of the acquisition.
    Audit evidence
    – Agreement of the monetary value and payment dates of the consideration per the client schedule to legal
    documentation signed by vendor and acquirer.
    – Agreement of $2·5 million paid to Rosie Co’s bank statement and cash book prior to year end. If payment occurs
    after year end confirm that a current liability is recognised on the individual company and consolidated statement
    of financial position (balance sheet).
    – Board minutes approving the payment.
    – Recomputation of discounting calculations applied to deferred and contingent consideration.
    – Agreement that the discount rate used is pre-tax, and reflects current market assessment of the time value of money
    (e.g. by comparison to Rosie Co’s weighted average cost of capital).
    – Revenue and profit projections for the period until January 2012, checked for arithmetic accuracy.
    – A review of assumptions used in the projections, and agreement that the assumptions are comparable with the
    auditor’s understanding of Dylan Co’s business.
    Tutorial note: As the scenario states that Chien & Co has audited Dylan Co for several years, it is reasonable to rely on
    their cumulative knowledge and understanding of the business in auditing the revenue projections.

  • 第20题:

    What should management do before accepting outside funding?

    A.Conduct an in-depth review of the proposal
    B.Grant seats on the board to the investor
    C.Discuss the deal with customers
    D.Consider the reputation of the investor

    答案:A
    解析:
    第4段第l句中的“to throughly analyze”意为“深刻全面地分析”。

  • 第21题:

    We should consider the said firm quite reliable for () engagement as you mentioned.

    • A、such an
    • B、such as
    • C、such a
    • D、such like

    正确答案:A

  • 第22题:

    You work as a network exchange administrator at company.com.the company.com network currently consists of a single active directory forest containing a single domain named company.com.the company.com organization makes use of microsoft exchange server 2008 service pack 2 (sp2) as their messaging solution.The.com, network contains a server named - sr02.during the course of the business week you receive instruction from company.com to perform an installation of microsoft exchange server 2010 on -sr02.the installation must support the mailbox, hub transport and client access server roles.What should you do?()

    • A、you should consider having the windows management framework installed.
    • B、you should consider having message queuing installed.
    • C、you consider having the web server role installed before the rpc over http proxy component is installed.
    • D、you should consider having microsoft .net framework 3.5 service pack 1 (sp1) installed.
    • E、you should consider having the windows remote management (winrm) 2.0 installed.
    • F、you should consider running the servermanagercmd.exe -ip exchange-typical.xml command.
    • G、you should consider running the servermanagercmd.exe -ip exchange-base .xml command.

    正确答案:A,D,F

  • 第23题:

    单选题
    The carrier has,before and at the beginning of the voyage,to()due diligence to make the ship seaworthy.
    A

    pay

    B

    export

    C

    import

    D

    exercise


    正确答案: C
    解析: 暂无解析