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CCP 11-28-2006
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CCP 11-28-2006
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<br />November 4, 2006 <br />Page 4 of8 <br /> <br />. <br /> <br />Our procedures will include tests of documentary evidence supporting the transactions <br />recorded in the accounts, and may include tests of the physical existence of inventories, <br />and direct confirmation of receivables and certain other assets and liabilities by <br />correspondence with selected individuals, creditors and financial institutions. We will <br />request written representations from your attorneys as part of the engagement, and they <br />may bill you for responding to this inquiry. At the conclusion of our audit, we will also <br />require certain written representations from you about the financial statements and related <br />matters. <br /> <br />Audit Procedures - Internal Controls <br /> <br />In planning and performing our audit, we will consider the internal control sufficient to <br />plan the audit in order to determine the nature, timing and extent of our auditing <br />procedures for the purpose of expressing our opinions on the City's financial statements <br />and on its compliance with requirements applicable to major programs. <br /> <br />We will obtain an understanding ofthe design of the relevant controls and whether they <br />have been placed in operation, and we will assess control risk. Tests of controls may be <br />performed to test the effectiveness of certain controls that we consider relevant to <br />preventing and detecting errors and fraud that are material to the financial statements and <br />to preventing and detecting misstatements resulting from illegal acts and other <br />noncompliance matters that have a direct and material effect on the financial statements. <br />Tests of controls relative to the financial statements are required only if control risk is <br />assessed below the maximum level. Our tests, if performed, will be less in scope than . <br />would be necessary to render an opinion on internal control and, accordingly, no opinion <br />will be expressed in our report on internal control issued pursuant to Government <br />Auditing Standards. <br /> <br />As required by OMB Circular A-133, we will perform tests of controls to evaluate the <br />effectiveness of the design and operation of controls that we consider relevant to <br />preventing or detecting material noncompliance with compliance requirements, <br />applicable to each major federal award program. However, our tests will be less in scope <br />than would be necessary to render an opinion on those controls and accordingly, no <br />opinion will be expressed in our report on internal control issued pursuant to OMB <br />Circular A-133. <br /> <br />An audit is not designed to provide assurance on internal control or to identify reportable <br />conditions. However, we will inform the governing body or audit committee of any <br />matters involving internal control and its operation that we consider to be reportable <br />conditions under standards established by the American Institute of Certified Public <br />Accountants. Reportable conditions involve matters coming to our attention relating to <br />significant deficiencies in the design or operation of the internal control that, in our <br />judgment, could adversely affect the entity's ability to record, process, summarize, and <br />report financial data consistent with the assertions of management in the financial <br />statements. We will also inform you of any nomeportable conditions or other matters <br />involving internal control, if any, as required by Government Auditing Standards and <br />OMB Circular A-133. <br /> <br />. <br />
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