Statement on the Proposed Framework for
Reorganization of PCAOB Auditing Standards
DATE: March 26, 2013
SPEAKER: Jay D. Hanson, Board Member
EVENT: PCAOB Open Board Meeting
LOCATION: Washington, D.C.
Good Morning.
I would like to join my fellow Board members in thanking the
staff of the Office of the Chief Auditor for their thoughtful and
thorough work on this project.
This project is intended to put PCAOB auditing standards —
including standards issued by the Board, as well as the interim
AICPA standards adopted by the Board in 2003 — into a consistent
framework with an ultimate goal to make them more user-friendly and
accessible for auditors and others. As explained by the staff,
today's action by the Board is just the first step in what will be a
multi-year effort to reorganize and, where needed, substantively
amend the auditing standards.
The framework we are voting on today is about reorganizing the
existing interim and PCAOB-issued auditing standards by topic with a
single integrated numbering system. In other words, we would
categorize the auditing standards into topic areas, generally
following the flow of a typical audit, and renumber the standards
accordingly. We are interested in comments on whether the proposed
approach makes sense, whether we should consider any changes to the
proposed categories, organization or numbering system, and whether
the end-product toward which we are aiming will be an improvement
over the current structure. Our ultimate goal, as always, is to
improve audit quality and investor protection, and it is my hope
that a more organized set of auditing standards will increase
compliance by firms and enable the overseers of audits, including
audit committees, to better understand the audit process and its
requirements.
As a by-product of the reorganization, we are proposing certain
conforming amendments to Rule 3101, Certain Terms Used in
Auditing and Related Professional Practice Standards, and Rule
3200T, Interim Auditing Standards. The Board also is
proposing certain related amendments to the PCAOB auditing standards
— including updating some cross-references — and is proposing to
rescind certain interim auditing standards that the Board believes
are no longer relevant or necessary.
But there are several important issues that today's proposal does
not address:
- First, we are proposing only the framework for the
reorganization. Before we can adopt this framework as final, we
will need to propose for comment the detailed, line-by-line
amendments that would need to be made, for example, to renumber
the standards and adjust cross-references. After considering
commenters' feedback, we likely will propose these detailed
line-by-line amendments as the next step. It is my hope that we
will be able to provide an online "pilot" version of the
reorganized standards on our website when we issue that proposal,
in order to allow potential commenters to try out the new system.
- Second, and perhaps most importantly, this project does not
involve redrafting the auditing standards or making substantive
changes to any audit requirements. Many of the interim standards,
in particular, merit close review and potential amendment by the
Board, both to improve audit quality and to reflect current
practice. A number of these standards are on our standard-setting
agenda, and others will be added as time and resources allow. The
process of substantive review and amendment, however, taking one
standard at a time, will take a number of years. Today's
reorganization project is intended solely to provide a coherent
organization of the existing standards, into which future
standards or amendments will be incorporated, not to address any
real or perceived substantive shortcomings of those standards.
- Third, we are not, at this time, proposing to evaluate or
amend the PCAOB-issued or interim standards for any references to
generally accepted accounting principles ("GAAP") or other
requirements not issued by the PCAOB that may have been superseded
or eliminated since the standards were originally drafted. In some
cases, these references would be relatively easy to eliminate or
to replace with current citations; in others, the changes may
require a substantive amendment to the auditing requirements. At
this point, the Board has not made a final decision about how
inaccurate references to GAAP or other requirements in the context
of this reorganization project will be addressed. The proposal
being issued today essentially includes these inaccuracies for now
with plans to correct them in connection with its longer term
substantive review and amendment of each individual interim
standard. We are seeking comment specifically on questions related
to this issue.
- Finally, for those familiar with the accounting standards
codification project undertaken by the Financial Accounting
Standards Board ("FASB") several years ago, I should note that the
scope of our current project is significantly narrower than the
FASB's. Like the FASB, we are moving toward a topically based
framework. Unlike the FASB, we are not proposing yet to use a
consistent numbering convention in the reorganization for the
individual sections within each standard. Nor have we included in
our current reorganization proposal relevant materials that go
beyond the PCAOB-issued or interim auditing standards, such as
requirements of the Securities and Exchange Commission, that are
applicable to audits. At this point, we are not amending the
interim standards to make the use of all terminology consistent or
to add common definitions applicable across all standards. And,
although we plan to make the reorganized standards available and
searchable on the PCAOB website along with links to the Board's
adopting releases for the respective standards, our vision
currently does not include establishing a sophisticated research
system with section-by-section links to guidance or intersecting
content links like the FASB's online codification system. We
welcome comments on all of these issues for future consideration.
In short, what we are proposing today is a starting point for a
more logical organization of the auditing standards under our
purview. I look forward to your comments about the scope and
approach of our first foray into this area. Let us know if there is
something that we appear not to have considered or where we may be
going down the wrong path.
Again, I would like to thank our staff, as well as the staff of
the SEC, for their thoughtful work and valuable
insights.