Chandra writes to SLASSB, CA Sri Lanka on regulatory reforms for good governance

24 October 2016 09:14 pm

Former Ceylon Chamber of Commerce Chairman and good governance activist Chandra Jayaratne recently wrote to the Chairman of Sri Lanka Accounting and Auditing Standards Monitoring Board and the President of Institute of Chartered Accountants of Sri Lanka over the required regulatory reforms to assure due compliance with laws , transparency and good governance. 
Following is the text of the said letter. 

It is reported by professional analysts and also commonly believed by intellectuals, that;

 

Good governance champions and investigators have reported significant deficiencies at individual entity level regard management action and regards external audit review effectiveness;

In the above context, the recently reported market issues and professional challenges, it is essential that the Sri Lanka Accounting and Auditing Standards Monitoring Board (SLAASMB) and the Institute of Chartered Accountants of Sri Lanka (ICASL), duly consider and introduce necessary regulatory reforms and oversight mechanisms, to assure upholding of professional standards, best practices, ethics and conduct by professional accountants and business undertakings. Such reforms are urgently needed to assure due compliance with laws and regulations, and in upholding transparency, good governance and anti corruption by the business undertaking and professional accountants.
The following submissions are placed before you, for your due consideration and early reform action, following stakeholder consultation;


1 Take early steps to locally adopt appropriate Auditing  Standards mirroring International Auditing and Assurance Standards Board (IAASB) issued new revised 
International Standard on Auditing (ISA 700) dealing with  the auditor’s responsibility to form an opinion on the financial statements as well as the form and content of the auditor’s report issued as a result of an audit of financial statements, and 
International Standard on Auditing (ISA701) dealing with the auditor’s responsibility to communicate key audit matters (KAM) in the auditor’s report,  and
With such new local Standards being adopted incorporating any essential local application amendments; and
Be  made applicable to all audits of complete sets of general purpose financial statements conducted by members of the Institute of Chartered Accountants  ( ie. not limited to audits of listed entities and specified business undertakings only) 


2 Take early steps to locally adopt International Ethics Standards Board for Accountants (IESB) designated, international ethics standard for auditors and other professional accountants (PA’s) ( including as appropriate Auditors, Other PAs in public practice, PAs in business who are in senior-level roles—directors, officers, or senior employees in their employing organizations and Other PAs in business ), in responding to Non Compliance with Laws and Regulations (NOCLAR)                                                                     A framework adopted to guide PAs actions to take in the public interest to disclose to appropriate public authorities, when they become aware of a potential illegal acts, known as non-compliance with laws and regulations, or NOCLAR, committed by a client or employer, (should be adopted in Sri Lanka with any essential local application amendments)


3 Take early steps to expand the scope and terms of reference of the SLAASMB as set out in the  statute, enabling it to be empowered to exercise oversight over SLSQC 1 (Sri Lanka Standard on Quality Control) https://www.casrilanka.com/casl/images/stories/content/business/mba/slsqc_1.pdf and the Code of Professional Practice, Ethics and Conduct of the ICASL.


4 Require the auditors as a part of the audit report to specify that ;
They have duly complied with the provisions of the Company Law and have no direct or indirect connections or relationships with the duly appointed Company Secretary of the entity; and
They have no conflicts of interests or related party connections what so ever with the entity and its directors and officers; and
They have declared in their report all material non compliances with laws and regulations, that have come to their attention during the course of the audit, including any suspicious transactions connected with purported acts of bribery, corruption, money laundering, terrorism financing,  tax, customs duty and excise evasion, fraud, corruption and use of proceeds of crime; as well as any assets held by nominees; assets held as bearer instruments; or investments or financial instruments registered in tax havens and or in orbit or in the cloud; and
To the best of their knowledge and belief affirm that the statements of account makes an accurate disclosure of conflicts of interests, related party transactions, ultimate parent company and going concern status; and
 To the best of their knowledge and belief affirm that the statements of account have adopted appropriate and applicable accounting policies and accounting standards and where appropriate specifically adopt standards relating to consolidation of accounts, impairment of assets and valuation of liabilities including due disclosure of contingent liabilities; and
To the best of their knowledge and belief affirm that the statements of account discloses the composition of the largest shareholders and confirm that there are no undisclosed nominee holdings and or shares of the entity held in trust offshore.


5 Expand the list of specified business undertaking under the Sri Lanka Accounting and Auditing Standards Monitoring Board Act to include, licensed Primary Dealers; licensed pawning business; any business undertaking or Trust accepting public funds by way of deposits, premiums, contributions for savings, thrift, or other designated purposes; accepting public funds locally and international fund transfers  by way of charitable donations, grants and endowments; and further clarify that any Other Company satisfying any one or more of the under noted classifications will be deemed to be a specified business undertaking; 
Which has a turnover in excess of Rupees 500 million;
Which at the end of the previous financial year, had shareholders equity in excess of Rupees 100 million;
Which at the end of the previous financial year, had gross assets in excess of Rupees 300 million;
Which at the end of the previous year had liabilities to banks and other financial institutions in excess of Rupees 100 million;
Which have a staff in excess of 1000 employees:
6 It is recommended that SLAASMB and the ICASL respectively 
Makes enhanced disclosure on effectiveness of enforcement of Sri Lanka Accounting and Auditing Standards and due compliance thereof by specified business undertaking and Auditors and Professional Accountants; with specific emphasis on public disclosure duly empowered by statute of any significant non-compliance detected ; and
Make provision in their web sites for any person or persons to submit complaints, in confidence, against any business entity or professional practitioner/accountant who may have failed in their accountability / responsibility in terms of Sri Lanka Accounting and Auditing Standards Monitoring Board Act and or the Code of Professional Practice, Ethics and Conduct of the ICASL. 
7 It is recommended that the ICASL in its web site respond to the specific observations disclosed in the web site of SLAASMB  under significant cases detected, observations following review of financial statements and audit reviews, setting out follow up action taken
8 It is essential that SLAASMB and ICASL approach enforcement and oversight of accounting and auditing standards, as well as the upholding and due enforcement of codes of professional conduct and ethics from a stand point, that they must consider and place emphasis on the collective interests of all connected stakeholders including the State, the creditors,  lenders and analysts as well as the wider society and not be restricted by a narrow definition that they owe a duty and obligations only to shareholders, being the primary party to whom the audit report addressed.
It is further stressed that the ICASL should take the leadership along with other professional groups to enhance awareness of all connected stakeholders in regard to the issues as highlighted herein.
Please note that copies of this letter will be released to the media for publication and circulated to several of the connected stakeholders.
It is the fervent hope of the undersigned that this submission will receive the priority attention of the leadership teams of SLAAMB and ICASL.