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Internal Control & Fraud Risks for Entities with Limited Segregation of Duties Presented by Ken Al-Imam, C.P.A. M AYER H OFFMAN M C C ANN P.C. CONRAD GOVERNMENT SERVICES DIVISION (formerly Conrad and Associates, L.L.P.) 2301 Dupont Drive, Suite 200 Irvine, California 92612 (949) 474-2020 Ext. 273 kalimam@cbiz.com
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2 Problem Integrity is difficult to measure
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3 Identifying Persons Capable of Fraud We expect people to be like ourselves Honest and responsible Usually fraudsters are persons least expect Great actors
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4 Classic Fraudster Employed for many years Loyal dependable employee Never complains Never asks for help Works long hours (comes in early, stays late, works weekends) Never takes vacation
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5 Fraud $600 billion per year 6% of revenue lost to fraud Average scheme lasts 18 months before detected Average loss is $127,500 per entity
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6 The Perpetrators The higher the education, the higher the loss The higher the age, the higher the loss 68% done by one perpetrator, 32% involved collusion 53.5% male, 46.5% female
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7 Methods of Detection External Audit10.9% Internal Audit23.8% Internal Controls18.4% By Accident21.3% Tip39.6% Notified by Police39.6%
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8 Factors present in all Frauds Motive Opportunity Rationalization Concealment
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9 Ethics Policy Important Tone from top Emphasize policy and enforce violations
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10 Cross-training/Mandatory Vacations Important Helpful when have turnover Some frauds are difficult to conceal if someone else is doing their job
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11 Collusion Internal controls not designed to prevent Has own built-in control “No honor among thieves” Segregation between departments
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12 Segregation Between Departments Not a focal point of standards Different persons in one department still requires collusion for fraud to occur Segregation between individuals is the focus
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13 Internal Control Focus of internal control is on internal fraud Difficult to control external fraud
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14 Segregation of duties Goal is to make it difficult to both commit the fraud and to conceal the fraud Usually segregate access to assets from recordkeeping
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15 Understanding Fraud Scenarios Best way to develop alternative controls is to understand in detail how a fraud scenario for that transaction cycle would take place. Smoke out alternative control opportunities
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16 Use of auditor Consult with your auditors Challenge your auditors with a detailed discussion of the fraud scenario
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17 Revenue Fraud Checks (not just cash) are subject to theft Take money and destroy evidence of transaction Need system to ensure all money collected ends up in bank account
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18 Revenue Fraud Establish control as early as possible in process Document totality of receipts immediately upon receipt This creates controlled documentation that can be matched to bank deposit
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19 Revenue Fraud Cash register is best control Or uninterrupted sequence of receipt forms Watch for receipt substitutes (license certificates, permits, etc.) List of checks received in the mail (and what do with list)
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20 Checks Received in Mail Controlled at opening List or copy amounts received Give copy to those maintaining records Minimize number of persons handling checks received prior to deposit
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21 Revenue Controls Immediate restrictive endorsement Timely deposits
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22 Controls Over Person Preparing Bank Deposit Often funds stolen at that point are not detected Support for bank deposit can be reviewed by independent person This can be done after the fact using the deposit confirmation notice
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23 Revenues—Alternative Controls Independent review of support for deposit Can be done at the department level
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24 Accounts Receivable Those posting payments to customer records should not have access to cash/checks Only give list or copies of checks Or list created by mail opener agreed to deposit Or independent agreement of system posting report to funds deposited
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25 Control Over Adjustments Persons posting adjustments should not be handling cash/checks Independent approval of adjustments System produces report of adjustments that are reviewed
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26 Voided transactions Should be independently approved Best for approval at time of void (in presence of paying party)
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27 Cash Disbursement Frauds Fictitious Vendor Payment to “vendor” with same or similar name as real vendor Unauthorized disbursement Unsupported disbursement
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28 Alternative Controls Positive Pay Vendor set up More than one knowledgeable person involved in every transaction (usually the knowledgeable approver will be in the same department as the initiator)
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29 Duplicate Payment Schemes Multiple payments of invoices to legitimate vendors
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30 Cash Disbursement Controls Canceling invoices (“entered”, etc.) Cancellation of invoice (not just check copy) No payments from copies or statements No return to initiator (or to person with access to vendor master file)
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31 Bank Reconciliation Such a key control that it should always be segregated from access to assets
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32 Review of Bank Reconciliation Not as effective as separate preparation Must be done in conjunction with examination of original bank statement
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33 Review of Unopened Bank Statement Spot check debit memo charges Out of sequence checks Duplicate checks Trace transfers to authorizing document (with different initiator and approver)
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34 Cancelled checks Obvious forgeries Evidence of check alteration Multiple endorsements
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35 Review of Supporting Documentation “Fraud can’t happen because approval is required” But review often done before checks are printed This can’t detect unsupported checks created after this review Printed checks compared to support by someone not involved in data entry to create check
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36 Review of Supporting Documentation Traditionally performed at time of check signing Some one other than accounts payable personnel can do after checks are printed Printed checks compared to support by someone not involved in data entry to create check
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37 Review of Supporting Documentation Can be done on a spot check basis (with check register to make sure received all checks) Checks should not be returned to persons that initiated them
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38 Review of Supporting Documentation Or A/P clerks switch (don’t match support for those checks they created) Or payroll clerk print, match, and mail A/P checks and A/P clerk print and distribute payroll checks/check stubs
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39 Procurement Fraud Difficult to prevent and detect (collusion) Bid rigging Employee aids a vendor to obtain a kickback Splitting purchases to avoid threshold for competitive quotes Drafting specs so that favored vendor is advantaged Only receiving quote from favored vendor and comparing to fictitious quotes
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40 Procurement Fraud Providing advance notice to vendor and then issuing request for proposals with unrealistically short time frame Allowing favored vendor to propose late or with knowledge of other quotes
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41 Procurement Controls Emphasize in ethics policy the unacceptability of these specific employee behaviors No purchase controlled by one person
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42 Refund Schemes Controls are typically weaker than for standard vendor payments
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43 Refund Schemes Cancellation of conference or travel Cancellation of memberships or subscriptions Returns of goods purchased
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44 Expense Reimbursement Focus should be on payments prior to event Reimbursed but then not go and get refund Follow-up to received evidence trip actually taken
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45 Payroll Fraud Focus is on fictitious employees Classic control is segregate: – Access to payroll master file – Payroll processing
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46 Payroll Fraud Often overlooked Keeping an existing employee on the system
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47 Alternative Controls Review of payroll register Review of direct deposit report from bank Periodic spot-checking of a payroll register by HR
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48 Alternative controls Comparing list of terminated employees to payroll register Department review of payroll register (labor distribution run) for their department Department monitoring of budget Reviewing cancelled checks for multiple endorsements
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Questions or comments? Thank you for your attention!
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