A1: Reporting

Audit Opinions & the Auditor's Report  ·  Blueprint: primarily Area IV, Forming Conclusions and Reporting; the professional-standards intro supports Area I.

Professional standards A1-M1

The Auditing Standards Board (ASB), a committee within the AICPA, issues Statements on Auditing Standards (SAS). SAS are the most authoritative guidance for the auditor of a nonissuer (a private company).

Key terms

The unmodified (unqualified) report A1-M4

An unmodified opinion states the financial statements are presented fairly, in all material respects, in accordance with U.S. GAAP. Under the current report format the sections appear in this order:

  1. Title: clearly identifies it as the report of an independent auditor.
  2. Addressee: as required by the engagement (e.g., shareholders, board).
  3. Opinion: references the financial statements and that they conform to GAAP. This section comes first.
  4. Basis for Opinion: states the audit followed GAAS (and PCAOB standards for issuers) and that the auditor is independent.
  5. Going concern: if substantial doubt exists (when applicable).
  6. Key Audit Matters: for nonissuers, only when engaged to report them (issuers report Critical Audit Matters).
  7. Responsibilities of Management: preparing FS per GAAP and maintaining internal control.
  8. Auditor's Responsibilities: obtaining reasonable assurance and following GAAS.
  9. Other Information (when relevant) and any report on legal/regulatory requirements.
  10. Signature, auditor's address, and date.
Consistency wording: Consistent application of GAAP is expressed implicitly (the report does not affirmatively state "consistent"); conformity with GAAP is stated explicitly ("in accordance with GAAP in the U.S.A.").

Modified opinions: financial-statement issues A1-M5

When the financial statements themselves are problematic (a GAAP departure), the auditor modifies the opinion based on materiality and pervasiveness:

Nature of issueMaterial but not pervasiveMaterial and pervasive
GAAP departure / misstatementQualified opinion ("except for")Adverse opinion

For a nonissuer, a qualified or adverse opinion modifies both the Basis for Opinion section (explaining the matter) and the Opinion section.

Modified opinions: audit (scope) issues A1-M6

When the auditor cannot obtain sufficient appropriate evidence (a scope limitation), the issue is the audit, not the statements:

Nature of issueMaterial but not pervasiveMaterial and pervasive
Inability to obtain sufficient evidenceQualified opinionDisclaimer of opinion

Disclaimer: what changes in the report

Disclaimer on unaudited financial statements

Common triggers for a qualified opinion

Emphasis-of-matter, other-matter & explanatory paragraphs A1-M7

These paragraphs add communication without modifying the opinion.

Emphasis-of-matter (EOM): points within the financial statements

Used to draw attention to something already presented or disclosed. Common situations:

Other-matter paragraphs: points outside the financial statements

Used to communicate something relevant to users' understanding of the audit or report, including: restricting the report's use; prior-period statements audited by a predecessor whose report is not reissued/presented; current statements presented comparatively with prior-period statements that were reviewed, compiled, or not audited; reporting on compliance within the FS report; and special-purpose statements prepared on a contractual or regulatory basis.

Acceptability of a change in accounting principle: all four must be met

  1. The new principle conforms to the applicable reporting framework.
  2. The method of accounting for the change is acceptable.
  3. Disclosures about the change are adequate.
  4. Management has justified that the new principle is preferable.
Principle vs. estimate: A change in accounting principle is applied retrospectively. A change in estimate is applied prospectively. A change in estimate that is inseparable from a change in principle is always treated as a change in estimate (prospective). An immaterial change in principle requires no EOM paragraph.

Other consistency situations requiring an EOM paragraph: change in reporting entity; correction of an error in a prior-period principle; correction of a material misstatement in previously issued statements.

Reporting with different opinions; predecessor & component auditors A1-M8

Reissuing a predecessor's report

Before reissuing, the predecessor should: read the current-period statements; compare them with the prior statements audited; obtain a letter of representation from the successor auditor; and inquire of, and obtain representations from, management near the reissuance date. Dating:

Predecessor's report NOT presented (comparative statements)

The successor's report states, in an other-matter paragraph: that a predecessor audited the prior period; the type of opinion and (if modified) the predecessor's reasons; the nature of any EOM/other-matter paragraph; and the date of the predecessor's report.

Evaluating a component auditor (group audits)

Subsequent events A1-M9

Events occurring after the balance-sheet date that may require adjustment (conditions existing at year-end) or disclosure (conditions arising after year-end).

PRIME: Auditor's subsequent-events procedures
  • P: Post-balance-sheet transactions (review changes in stock and long-term debt after year-end)
  • R: Review minutes of board/stockholder meetings
  • I: Inquire (of management and of legal counsel re: litigation, claims, contingencies)
  • M: Management representation letter
  • E: Examine the latest available interim financial statements

The dating timeline

  1. Date of the financial statements: period-end (e.g., 12/31).
  2. Date sufficient appropriate evidence is obtained.
  3. Date of the auditor's report: the date sufficient appropriate evidence supporting the opinion was obtained. The auditor has no active responsibility to make continuing inquiries after this date.
  4. Report release date: when the report is delivered to the client.

Dual dating: when a significant event occurs after the original report date but before issuance, the auditor uses two dates: the original report date for the audit generally, and a later date for the specific subsequent event (limiting responsibility for other events to the original date).

Other information & supplementary information A1-M10

TypeAuditor's workReporting
Other information (e.g., in an annual report)Read for material inconsistencies or misstatements of factSeparate "Other Information" section; no opinion
Required supplementary information (required by FASB/GASB)Limited procedures: inquire about methods, check consistency, obtain written representationsSeparate "Required Supplementary Information" section; disclaimer (no opinion) unless engaged otherwise
Supplementary information (engaged to report)Additional procedures to opine on whether it is fairly stated in relation to the FS as a wholeOpinion in relation to the FS taken as a whole

If other information contains a material inconsistency or misstatement of fact

  1. Discuss with management and request revision.
  2. If management refuses, communicate with those charged with governance.
  3. Further options: describe the inconsistency in the Other Information section, withhold use of the report, or withdraw (consulting legal counsel).

Special-purpose frameworks A1-M11

A special-purpose framework is a non-GAAP basis: cash, tax, regulatory, contractual, or other. An EOM paragraph referencing the note that describes the framework is generally required (the regulatory general-use case is the notable exception).

FrameworkOpinionDescribe purpose?EOM re: framework?Restrict use?
CashSingleNoYesNo
TaxSingleNoYesNo
Regulatory (general use)Dual (framework + GAAP)YesNoNo
Regulatory (restricted)SingleYesYesYes
ContractualSingleYesYesYes
Other basisSingleYes (if restricted)YesYes (if criteria suit only specific users)