99-25103. Interagency Policy Statement on External Auditing Programs of Banks and Savings Associations  

  • [Federal Register Volume 64, Number 187 (Tuesday, September 28, 1999)]
    [Notices]
    [Pages 52319-52327]
    From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
    [FR Doc No: 99-25103]
    
    
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    FEDERAL FINANCIAL INSTITUTIONS EXAMINATION COUNCIL
    
    Federal Financial Institutions Examination Council
    
    
    Interagency Policy Statement on External Auditing Programs of 
    Banks and Savings Associations
    
    ACTION: Notice of final interagency policy statement.
    
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    SUMMARY: The Federal Financial Institutions Examination Council (FFIEC) 
    on behalf of the Board of Governors of the Federal Reserve System 
    (FRB), the Federal Deposit Insurance Corporation (FDIC), the Office of 
    the Comptroller of the Currency (OCC), and the Office of Thrift 
    Supervision (OTS), collectively referred to as the ``banking agencies'' 
    or the ``agencies,'' is adopting an Interagency Policy Statement on 
    External Auditing Programs of Banks and Savings Associations (Policy 
    Statement). The National Credit Union Administration (NCUA), also a 
    member of the FFIEC, does not plan to adopt the policy at this time. 
    Banks and savings associations (institutions) with $500 million or more 
    in total assets must have an annual audit performed by an independent 
    public accountant under section 36 of the Federal Deposit Insurance Act 
    (FDI Act), as implemented by 12 CFR Part 363. Thus, this Policy 
    Statement applies only to institutions below that threshold that are 
    not otherwise subject to audit requirements.
        Accurate financial reporting is essential to an institution's 
    safety and soundness. To ensure accurate and reliable financial 
    reporting, the agencies recommend that the board of directors of each 
    institution establish and maintain an external auditing program. This 
    Policy Statement provides guidance regarding independent external 
    auditing programs encompassing: responsibilities of boards of 
    directors, audit committees, and senior management; attributes and 
    types of external auditing programs; special situations for 
    institutions that are part of a holding company, newly chartered 
    institutions, and institutions presenting supervisory concern; and 
    examiner guidance for the review of external auditing programs. The 
    Policy Statement also encourages institutions that are not otherwise 
    required to do so, to establish an audit committee. This committee 
    should consist entirely of outside directors, if practicable.
    
    EFFECTIVE DATE: The Policy Statement is effective for fiscal years 
    beginning on or after January 1, 2000.
    
    FOR FURTHER INFORMATION CONTACT: FDIC: Doris L. Marsh, Examination 
    Specialist, Division of Supervision, (202) 898-8905, or A. Ann Johnson, 
    Counsel, Legal Division, (202) 898-3573, FDIC, 550 17th Street, N.W., 
    Washington, DC 20429.
        FRB: Charles H. Holm, Manager, (202) 452-3502, or Arthur Lindo, 
    Supervisory Financial Analyst, (202) 452-2695, Accounting Policy and 
    Disclosure, Division of Banking Supervision and Regulation, Board of 
    Governors of the Federal Reserve System, 20th Street and Constitution 
    Avenue, N.W., Washington, DC 20551.
        OCC: Gene Green, Deputy Chief Accountant, Office of the Chief 
    Accountant, (202) 874-4933, or Bill Morris, Senior Policy Analyst/
    National Bank Examiner, (202) 874-4915, Core Policy Division, Office of 
    the Comptroller of the Currency, 250 E Street, S.W., Washington, DC 
    20219.
        OTS: Timothy J. Stier, Chief Accountant, (202) 906-5699, or 
    Christine A. Smith, Policy Analyst, (202) 906-5740, Accounting Policy 
    Division, Office of Thrift Supervision, 1700 G Street, N.W., 
    Washington, DC 20552.
    
    SUPPLEMENTARY INFORMATION:
    
    I. Background
    
        An institution's internal and external auditing programs are 
    critical to its safety and soundness. Many institutions currently have 
    independent external audits. These audits are undertaken voluntarily or 
    are required by section 36 of the FDI Act (12 U.S.C. 1831m) and its 
    implementing regulation, 12 CFR part 363; the Securities and Exchange 
    Act of 1934 (15 U.S.C. 78a); the Federal Reserve bank holding company 
    reporting requirements in the FR Y-6 Annual Report of Bank Holding 
    Companies; or other appropriate laws and regulations. When an 
    institution lacks an internal auditing program or
    
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    has weaknesses in an existing program, examiners often encourage the 
    institution to have an independent external audit 1 
    performed. However, some institutions, particularly smaller 
    institutions, still do not have an external audit for various reasons.
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        \1\ An examination of the financial statements of an institution 
    performed by an independent certified or licensed public accountant 
    in accordance with generally accepted auditing standards (GAAS) and 
    of sufficient scope to enable the independent public accountant to 
    express an opinion on the institution's financial statements as to 
    their presentation in accordance with generally accepted accounting 
    principles (GAAP).
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        The banking agencies believe that an independent external audit 
    provides reasonable assurance that an institution's financial 
    statements are prepared in accordance with generally accepted 
    accounting principles (GAAP). Accordingly, the banking agencies 
    encourage all institutions to obtain external audits. To provide 
    explicit guidance to institutions regarding external audits, the FFIEC 
    has approved a uniform Interagency Policy Statement. The FFIEC 
    recommends to the banking agencies that they individually adopt the 
    policy.
        This Policy Statement is generally consistent with the individual 
    policies of the banking agencies. The agencies have provided guidance 
    on external audits to their supervised institutions, but a uniform 
    policy does not exist. For example, the OCC discusses its policies with 
    regard to independent external audits for national banks in the 
    Comptroller's Handbook for National Banks, Section 102, Internal and 
    External Audits, and the Comptroller's Corporate Manual. The FDIC first 
    adopted guidance on this subject in its Policy Statement Regarding 
    Independent External Auditing Programs of State Nonmember Banks in 1988 
    (53 FR 47871, November 28, 1988) and amended this policy in 1996 (61 FR 
    32438, June 24, 1996). The OTS's policy on independent external audits 
    is discussed in the Thrift Activities Regulatory Handbook, Section 350, 
    Independent Audits. The FRB sets forth its policy on external audits in 
    the FR Y-6--Annual Report of Bank Holding Companies and Section 1010, 
    ``External Audits,'' of the Commercial Bank Examination Manual.
    
    II. The Proposed Policy Statement
    
        The FFIEC sought public comment on the proposed policy statement on 
    External Auditing Programs of Banks and Savings Associations in 
    February 1998 (63 FR 7796, February 17, 1998). A section-by-section 
    summary of the proposal follows:
    
    Board of Directors' Responsibilities
    
        The proposed policy statement expressed the banking agencies' 
    belief that accurate financial reporting is essential to an 
    institution's safety and soundness. To help ensure accurate and 
    reliable financial reporting, the agencies recommended that the board 
    of directors of each institution consider establishing and maintaining 
    an external auditing program. The banking agencies believe that the 
    board of directors should consider an external auditing program 
    performed by an independent public accountant to be conducive to the 
    safe and sound operation of the institution.
        The proposal also encouraged the board of each institution, that is 
    not otherwise required to do so, to establish an audit committee 
    consisting entirely of outside directors, if practicable. It stated 
    that an institution's board of directors or audit committee should 
    consider the appropriateness of an external auditing program for the 
    institution. In addition, the board of directors or audit committee 
    should consider what form of external auditing program would assure 
    that the institution's financial statements and regulatory reports are 
    prepared reliably.
    
    Alternative External Auditing Programs
    
        The proposed policy statement identified a preferred external 
    auditing program--a financial statement audit by an independent public 
    accountant. The proposal also identified two alternatives--a report on 
    the balance sheet audit and an attestation report on an internal 
    control assertion.
        The proposal also stated that an institution which is a subsidiary 
    of a holding company may express the scope of its external auditing 
    program in terms of its relationship to the consolidated group. 
    However, the board or audit committee of the subsidiary should 
    determine whether the subsidiary's activities involve unusual risks 
    that are not covered adequately within the scope of the audit of the 
    consolidated financial statements. If so, the proposal suggested that 
    the board or audit committee consider strengthening its internal 
    auditing procedures or implementing an appropriate alternative external 
    auditing program.
    
    Other Matters Concerning an External Auditing Program
    
        The proposed policy statement recommended that an institution's 
    external auditing program be performed as of a quarter-end date that 
    coincides with a regulatory report date. The proposal explained that an 
    independent public accountant should have access to examination 
    reports, other documents, and reports of action related to the 
    supervision of the institution by its appropriate federal or state 
    banking agency.
    
    Examiner Review of the External Auditing Program
    
        The proposal explained that examiners should consider an 
    institution's size, the nature and scope of its activities, and any 
    compensating controls when determining the adequacy of its external 
    auditing program and making recommendations for improvement. Examiners 
    should also consider whether the institution has undertaken a state-
    required auditing program (the scope of which differs from the 
    preferred and alternative programs set forth in the proposal) when 
    determining whether to make recommendations for improvements to the 
    institution's external auditing program.
    
    Notification and Submission of Reports
    
        In the proposal, the agencies requested that each institution 
    furnish, to its appropriate supervisory office, a copy of any reports 
    by the independent public accountant pertaining to the external 
    auditing program. The proposal also requested each institution to 
    notify its appropriate supervisory office when an independent public 
    accountant is engaged initially or when a change in, or termination of 
    the services of, its accountant occurs.
    
    Special Situations
    
        The proposed policy statement noted that the FDIC Statement of 
    Policy on Applications for Deposit Insurance (57 FR 12822) requires 
    newly insured institutions to adopt an appropriate external auditing 
    program. The proposal also listed some of the conditions that might be 
    present in a problem institution which would warrant imposing 
    requirements for specific external auditing services.
    
    Appendix A--Definitions
    
        Appendix A defined the terms used throughout the proposed policy 
    statement. The agencies intended that these definitions be consistent 
    with those used in current professional accounting and auditing 
    literature and in the report of the Committee of Sponsoring 
    Organizations of the Treadway Commission (COSO Report), ``Internal 
    Control--Integrated Framework.''
    
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    III. Discussion of Public Comments
    
    A. General Comments
    
        The FFIEC received approximately 120 letters commenting on the 
    proposed policy statement. Over 90 letters came from depository 
    institutions whose size (based on total assets) ranged from about $2 
    million to $250 million. Of those letters, 20 percent came from 
    national banks, 70 percent from state nonmember banks, and 10 percent 
    from state member banks. One savings association submitted a comment. 
    The other letters primarily came from national and state bank trade 
    associations, accounting trade associations, accounting firms, and 
    state banking departments. Other commenters included an organization 
    representing state bank supervisory authorities, an attorney, an 
    auditor, a consultant and two bank holding companies with small 
    community banks.
        Almost two-thirds of the commenters generally were opposed to the 
    proposed policy statement. They cited the cost of requiring an audit by 
    an independent public accountant as the reason for opposition. Those 
    commenters warned that the cost of a financial statement audit would 
    far outweigh its benefits for most small banks. In addition, over 40 
    percent of commenters opposed any requirement that each institution 
    have an independent public accountant perform any external auditing 
    program.
        A number of commenters suggested that only institutions over a 
    specified threshold be required to have an annual audit. The 
    recommended thresholds ranged from $50 million to $250 million in total 
    assets, with most respondents suggesting either $100 or $150 million in 
    total assets as the appropriate size.
        In contrast, most of the state banking departments that commented 
    on the proposal favored it as did three-quarters of the accounting 
    organizations, two banks, and one national bank trade association.
        Several commenters questioned the timing of this proposal. 
    Commenters suggested that the FFIEC not make it effective until after 
    institutions had dealt with their Year 2000 computer problems. One 
    state banking regulator suggested that the FFIEC phase in the proposal 
    over a three year period to give states time to make their laws and 
    regulations consistent with the proposed policy statement. Another 
    state banking department recommended that the FFIEC exempt institutions 
    in states with acceptable directors' examination requirements.
    
    B. Changes to the Proposal in Response to Comments
    
    Introduction
        Many of the commenters misinterpreted the purpose, effect, and 
    consequences of the proposed policy statement, believing that the 
    agencies were requiring external audits of all institutions. For that 
    reason, the FFIEC has expanded the Introduction to the Policy Statement 
    and revised several parts of the document to better explain the 
    recommendations.
    Overview of External Auditing Programs
        The FFIEC has revised the overview to set forth the benefits of a 
    strong external auditing program and to discuss the responsibilities of 
    the board of directors and audit committee for such a program. Because 
    of many commenters' misunderstanding that the proposed policy statement 
    requires an audit, the final Policy Statement has been clarified to 
    explain that both an institution's audit committee and the agencies' 
    examiners should consider the size of the institution and the nature, 
    scope, and complexity of its operations when evaluating its external 
    auditing program.
        Nevertheless, many institutions already have an annual audit of 
    their financial statements performed by an independent public 
    accountant. In fact, almost 65 percent of institutions with total 
    assets under $500 million either voluntarily or for other reasons have 
    such an audit. More than 85 percent of the institutions with total 
    assets under $500 million either have an audit or another type of 
    external auditing program performed annually by an independent public 
    accountant.2 Thus, the agencies do not believe that they 
    need to establish a total asset threshold (below the $500 million 
    threshold in 12 CFR 363) at which institutions would be required to 
    have audits. However, the agencies expect those institutions that 
    historically have had annual audits to continue to do so. For those 
    having another type of external auditing program performed by an 
    independent public accountant, the agencies expect them to continue to 
    obtain the same, or a more extensive, external auditing program in 
    future years.
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        \2\ Of institutions under $500 million in total assets, annual 
    audits are obtained by approximately 70 percent of national banks, 
    65 percent of state member banks, and 58 percent of state nonmember 
    banks. If other annual external auditing programs performed by an 
    independent public accountant are included, approximately 90 percent 
    of national banks, 86 percent of state member banks, and 82 percent 
    of state nonmember banks already have external auditing programs 
    that would likely meet the recommendations of the Policy Statement. 
    With regard to all thrift institutions, about 97 percent currently 
    have annual audits and 99 percent have an external auditing program 
    performed by an independent public accountant.
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        The proposed policy statement encouraged institutions that are not 
    otherwise required to do so to have an audit committee consisting 
    entirely of outside directors, if practicable. However, several 
    commenters argued that small banks in rural communities may find it 
    difficult to obtain knowledgeable persons outside of the institution 
    who are willing to sit on a bank's board of directors. The agencies do 
    not dispute this argument and for that reason, included a 
    practicability exception in the proposal. This exception remains in the 
    Policy Statement. As with the other provisions of this Policy 
    Statement, an institution's board is encouraged to establish an audit 
    committee entirely of outside directors, but is not required to do so.
    External Auditing Programs
        The final Policy Statement includes a new section which provides an 
    overview of the basic attributes of a sound external auditing program. 
    This section should assist boards and audit committees in determining 
    the type of program that is most suitable for their institution. The 
    final Policy Statement continues to identify a preferred external 
    auditing program (a financial statement audit by an independent public 
    accountant) and two alternative programs (an attestation report on 
    internal control and a report on the balance sheet audit). It includes 
    an explanation of these alternatives.
        Several commenters argued that the cost of the balance sheet audit 
    alternative was similar to that of a complete financial statement 
    audit. Others stated that the internal control attestation report 
    alternative is impractical because establishing and maintaining 
    adequate internal control is very difficult in a small bank with few 
    employees. The agencies agree that the cost of a balance sheet report 
    audit may approach the cost of a financial statement audit, but in 
    their opinion, it is a satisfactory alternative for many small banks. 
    The internal control attestation alternative is generally the least 
    costly of the three and may be the most beneficial choice for many 
    small institutions. The agencies understand that small institutions 
    will not have sufficient employees to establish as extensive an 
    internal control system as larger institutions (for example, 
    segregation of duties), but small institutions can use compensating 
    controls to lessen the internal control risk.
    
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        The final Policy Statement discusses the state-required 
    examinations and agreed-upon procedures that are performed annually for 
    some small institutions. The document does not preclude an institution 
    from selecting one of these external auditing programs. The Policy 
    Statement also describes when management should consider expanding the 
    scope of the external auditing program.
        This section also recommends that an institution schedule an annual 
    external auditing program as of year-end, or if that is not possible, 
    at a quarter-end date that coincides with a regulatory report date. To 
    minimize expense, several commenters suggested that the FFIEC recommend 
    that external auditing programs be performed every 18 months, every 
    other year, or every third year. The agencies did not change their 
    recommendation, because they believe that external auditing programs 
    are most effective if performed annually.
        The Policy Statement encourages institutions to use an independent 
    public accountant to provide a recognized standard of knowledge and 
    objectivity. It has been revised, however, to permit a person other 
    than an independent public accountant to perform agreed-upon 
    procedures/state required examinations when permitted under the 
    appropriate state law or regulations. Nevertheless, the Policy 
    Statement cautions that whoever does such work should have experience 
    with financial institution accounting and auditing and should be 
    knowledgeable about relevant laws and regulations.
    Special Situations
        This section of the Policy Statement generally is unchanged from 
    the proposal. It continues to address institutions that are holding 
    company subsidiaries, newly insured institutions, and institutions that 
    present supervisory concerns.
    Examiner Guidance
        This section has been expanded to provide general guidance to 
    examiners who will assess an institution's external auditing program, 
    and to describe the basis for evaluating the institution's performance. 
    For example, examiners are expected to evaluate whether (1) the board 
    or audit committee has reviewed at least annually an institution's 
    external auditing program; (2) the program is appropriate for the size 
    and operations of the institution; (3) the external auditor is 
    independent; (4) the board or audit committee has concluded that the 
    auditor is competent and knowledgeable about banking; and (5) the 
    external auditing program has been monitored properly. Nevertheless, in 
    the agencies' opinion, an examiner should not automatically comment 
    adversely to the board of directors of an institution with an otherwise 
    satisfactory external auditing program merely because it does not 
    engage an independent public accountant to audit its financial 
    statements.
        In addition, this section reconfirms that an auditor should have 
    access to examination reports and other communications between 
    regulators and the institution. Institutions also are encouraged to 
    submit, to their appropriate supervisory office on a timely basis, 
    reports issued by their external auditor on the external auditing 
    program. The section also states that the institution should obtain an 
    engagement letter from the auditor which states that examiners will be 
    granted immediate and full access to the external auditing reports and 
    related workpapers prepared by the auditor.
    
    Appendix A--Definitions
    
        Appendix A defines the terms used throughout the Policy Statement. 
    The agencies made revisions only when needed to be consistent with any 
    changes in the final Policy Statement.
    
    C. Other Comments
    
        The agencies encouraged comments on the proposed policy statement 
    from any institution that had its independent public accountant perform 
    one of the proposed alternative external auditing programs, i.e., a 
    report on the institution's balance sheet or an attestation report on 
    internal control over specified schedules of its regulatory reports. 
    Although many commenters objected to those alternatives, no respondents 
    from banking organizations indicated that they had experience with 
    these types of engagements.
        In addition, some states have state-required external auditing 
    programs (e.g., directors' examinations) that differ from the types of 
    external auditing programs described in the proposed policy statement. 
    Accordingly, the FFIEC requested comments on the amount of time states 
    needed to modify the agreed-upon procedures in state-required 
    examinations to be consistent with the types of programs set forth in 
    any final Policy Statement. One state suggested three years. Several 
    states indicated that the policy would have little effect because all, 
    or almost all, of the institutions within their states already obtain 
    audits. Since this Policy Statement recommends, but does not require 
    that institutions establish external auditing programs, the agencies 
    are not providing a phase-in period as suggested by some commenters or 
    a specifically defined transition period to allow states to modify 
    their requirements.
        Several other state banking departments recommended state-required 
    examinations as an alternative. Since these examinations differ among 
    the states, and the states may, at any time, amend their requirements, 
    the agencies did not believe that they should make any determination as 
    to which state requirements should be considered acceptable. The final 
    Policy Statement does not preclude an institution from using the state-
    required examination as an alternative. However, as with all other 
    external auditing programs, the institution's board or audit committee 
    should determine whether such an examination meets the institution's 
    needs, considering its size and the nature, scope, and complexity of 
    its business activities.
    
    IV. Paperwork Reduction Act
    
        In accordance with the Paperwork Reduction Act of 1995 (PRA), the 
    Agencies may not conduct or sponsor, and the respondent is not required 
    to respond to, an information collection that does not display a 
    currently valid Office of Management and Budget (OMB) control number. 
    The FFIEC's Proposed policy statement; Request for comment, which was 
    published on February 17, 1998, at 63 FR 7796, fulfilled the first 
    notice requirement required by the PRA. Four comments were received 
    relating to the information collections in the FFIEC Proposed policy 
    statement. Each Agency likely will adopt the Final FFIEC policy 
    statement for its institutions, including the information collections, 
    as appropriate. At that time, each Agency will respond to the comments 
    received and determine what changes, if any, are appropriate for its 
    supervised institutions.
    
    V. Policy Statement
    
        The text of the Interagency Policy Statement follows:
    
    Federal Financial Institutions Examination Council
    
    Interagency Policy Statement on External Auditing Programs of Banks 
    and Savings Associations
    
    Introduction
    
        The board of directors and senior managers of a banking institution 
    or savings association (institution) are responsible for ensuring that 
    the institution operates in a safe and sound manner. To achieve this 
    goal and meet
    
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    the safety and soundness guidelines implementing Section 39 of the 
    Federal Deposit Insurance Act (FDI Act) (12 U.S.C. 1831p-
    1),1 the institution should maintain effective systems and 
    internal control 2 to produce reliable and accurate 
    financial reports.
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        \1\ See 12 CFR Part 30 for national banks; 12 CFR Part 364 for 
    state nonmember banks; 12 CFR Part 208 for state member banks; and 
    12 CFR Part 510 for savings associations.
        \2\ This Policy Statement provides guidance consistent with the 
    guidance established in the ``Interagency Policy Statement on the 
    Internal Audit Function and its Outsourcing.''
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        Accurate financial reporting is essential to an institution's 
    safety and soundness for numerous reasons. First, accurate financial 
    information enables management to effectively manage the institution's 
    risks and make sound business decisions. In addition, institutions are 
    required by law 3 to provide accurate and timely financial 
    reports (e.g., Reports of Condition and Income [Call Reports] and 
    Thrift Financial Reports) to their appropriate regulatory agency. These 
    reports serve an important role in the agencies' 4 risk-
    focused supervision programs by contributing to their pre-examination 
    planning, off-site monitoring programs, and assessments of an 
    institution's capital adequacy and financial strength. Further, 
    reliable financial reports are necessary for the institution to raise 
    capital. They provide data to stockholders, depositors and other funds 
    providers, borrowers, and potential investors on the company's 
    financial position and results of operations. Such information is 
    critical to effective market discipline of the institution.
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        \3\ See 12 U.S.C. 161 for national banks; 12 U.S.C. 1817a for 
    state nonmember banks; 12 U.S.C. 324 for state member banks; and 12 
    U.S.C. 1464(v) for savings associations.
        \4\ Terms defined in Appendix A are italicized the first time 
    they appear in this policy statement.
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        To help ensure accurate and reliable financial reporting, the 
    agencies recommend that the board of directors of each institution 
    establish and maintain an external auditing program. An external 
    auditing program should be an important component of an institution's 
    overall risk management process. For example, an external auditing 
    program complements the internal auditing function of an institution by 
    providing management and the board of directors with an independent and 
    objective view of the reliability of the institution's financial 
    statements and the adequacy of its financial reporting internal 
    controls. Additionally, an effective external auditing program 
    contributes to the efficiency of the agencies' risk-focused examination 
    process. By considering the significant risk areas of an institution, 
    an effective external auditing program may reduce the examination time 
    the agencies spend in such areas. Moreover, it can improve the safety 
    and soundness of an institution substantially and lessen the risk the 
    institution poses to the insurance funds administered by the Federal 
    Deposit Insurance Corporation (FDIC).
        This policy statement outlines the characteristics of an effective 
    external auditing program and provides examples of how an institution 
    can use an external auditor to help ensure the reliability of its 
    financial reports. It also provides guidance on how an examiner may 
    assess an institution's external auditing program. In addition, this 
    policy statement provides specific guidance on external auditing 
    programs for institutions that are holding company subsidiaries, newly 
    insured institutions, and institutions presenting supervisory concerns.
        The adoption of a financial statement audit or other specified type 
    of external auditing program is generally only required in specific 
    circumstances. For example, insured depository institutions covered by 
    Section 36 of the FDI Act (12 U.S.C. 1831m), as implemented by Part 363 
    of the FDIC's regulations (12 CFR part 363), are required to have an 
    external audit and an audit committee. Therefore, this policy statement 
    is directed toward banks and savings associations which are exempt from 
    Part 363 (i.e., institutions with less than $500 million in total 
    assets at the beginning of their fiscal year) or are not otherwise 
    subject to audit requirements by order, agreement, statute, or agency 
    regulations.
    
    Overview of External Auditing Programs
    
    Responsibilities of the Board of Directors
        The board of directors of an institution is responsible for 
    determining how to best obtain reasonable assurance that the 
    institution's financial statements and regulatory reports are reliably 
    prepared. In this regard, the board is also responsible for ensuring 
    that its external auditing program is appropriate for the institution 
    and adequately addresses the financial reporting aspects of the 
    significant risk areas and any other areas of concern of the 
    institution's business.
        To help ensure the adequacy of its internal and external auditing 
    programs, the agencies encourage the board of directors of each 
    institution that is not otherwise required to do so to establish an 
    audit committee consisting entirely of outside directors.5 
    However, if this is impracticable, the board should organize the audit 
    committee so that outside directors constitute a majority of the 
    membership.
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        \5\ Institutions with $500 million or more in total assets must 
    establish an independent audit committee made up of outside 
    directors who are independent of management. See 12 U.S.C. 
    1831m(g)(1) and 12 CFR 363.5.
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    Audit Committee
        The audit committee or board of directors is responsible for 
    identifying at least annually the risk areas of the institution's 
    activities and assessing the extent of external auditing involvement 
    needed over each area. The audit committee or board is then responsible 
    for determining what type of external auditing program will best meet 
    the institution's needs (refer to the descriptions under ``Types of 
    External Auditing Programs'').
        When evaluating the institution's external auditing needs, the 
    board or audit committee should consider the size of the institution 
    and the nature, scope, and complexity of its operations. It should also 
    consider the potential benefits of an audit of the institution's 
    financial statements or an examination of the institution's internal 
    control structure over financial reporting, or both. In addition, the 
    board or audit committee may determine that additional or specific 
    external auditing procedures are warranted for a particular year or 
    several years to cover areas of particularly high risk or special 
    concern. The reasons supporting these decisions should be recorded in 
    the committee's or board's minutes.
        If, in its annual consideration of the institution's external 
    auditing program, the board or audit committee determines, after 
    considering its inherent limitations, that an agreed-upon procedures/
    state-required examination is sufficient, they should also consider 
    whether an independent public accountant should perform the work. When 
    an independent public accountant performs auditing and attestation 
    services, the accountant must conduct his or her work under, and may be 
    held accountable for departures from, professional standards. 
    Furthermore, when the external auditing program includes an audit of 
    the financial statements, the board or audit committee obtains an 
    opinion from the independent public accountant stating whether the 
    financial statements are presented fairly, in all material respects, in 
    accordance with generally accepted accounting principles (GAAP). When 
    the external auditing program includes
    
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    an examination of the internal control structure over financial 
    reporting, the board or audit committee obtains an opinion from the 
    independent public accountant stating whether the financial reporting 
    process is subject to any material weaknesses.
        Both the staff performing an internal audit function and the 
    independent public accountant or other external auditor should have 
    unrestricted access to the board or audit committee without the need 
    for any prior management knowledge or approval. Other duties of an 
    audit committee may include reviewing the independence of the external 
    auditor annually, consulting with management, seeking an opinion on an 
    accounting issue, and overseeing the quarterly regulatory reporting 
    process. The audit committee should report its findings periodically to 
    the full board of directors.
    
    External Auditing Programs
    
    Basic Attributes
        External auditing programs should provide the board of directors 
    with information about the institution's financial reporting risk 
    areas, e.g., the institution's internal control over financial 
    reporting, the accuracy of its recording of transactions, and the 
    completeness of its financial reports prepared in accordance with GAAP.
        The board or audit committee of each institution at least annually 
    should review the risks inherent in its particular activities to 
    determine the scope of its external auditing program. For most 
    institutions, the lending and investment securities activities present 
    the most significant risks that affect financial reporting. Thus, 
    external auditing programs should include specific procedures designed 
    to test at least annually the risks associated with the loan and 
    investment portfolios. This includes testing of internal control over 
    financial reporting, such as management's process to determine the 
    adequacy of the allowance for loan and lease losses and whether this 
    process is based on a comprehensive, adequately documented, and 
    consistently applied analysis of the institution's loan and lease 
    portfolio.
        An institution or its subsidiaries may have other significant 
    financial reporting risk areas such as material real estate 
    investments, insurance underwriting or sales activities, securities 
    broker-dealer or similar activities (including securities underwriting 
    and investment advisory services), loan servicing activities, or 
    fiduciary activities. The external auditing program should address 
    these and other activities the board or audit committee determines 
    present significant financial reporting risks to the institution.
    Types of External Auditing Programs
        The agencies consider an annual audit of an institution's financial 
    statements performed by an independent public accountant to be the 
    preferred type of external auditing program. The agencies also consider 
    an annual examination of the effectiveness of the internal control 
    structure over financial reporting or an audit of an institution's 
    balance sheet, both performed by an independent public accountant, to 
    be acceptable alternative external auditing programs. However, the 
    agencies recognize that some institutions only have agreed-upon 
    procedures/state-required examinations performed annually as their 
    external auditing program. Regardless of the option chosen, the board 
    or audit committee should agree in advance with the external auditor on 
    the objectives and scope of the external auditing program.
        Financial Statement Audit by an Independent Public Accountant. The 
    agencies encourage all institutions to have an external audit performed 
    in accordance with generally accepted auditing standards (GAAS). The 
    audit's scope should be sufficient to enable the auditor to express an 
    opinion on the institution's financial statements taken as a whole.
        A financial statement audit provides assurance about the fair 
    presentation of an institution's financial statements. In addition, an 
    audit may provide recommendations for management in carrying out its 
    control responsibilities. For example, an audit may provide management 
    with guidance on establishing or improving accounting and operating 
    policies and recommendations on internal control (including internal 
    auditing programs) necessary to ensure the fair presentation of the 
    financial statements.
        Reporting by an Independent Public Accountant on an Institution's 
    Internal Control Structure Over Financial Reporting. Another external 
    auditing program is an independent public accountant's examination and 
    report on management's assertion on the effectiveness of the 
    institution's internal control over financial reporting. For a smaller 
    institution with less complex operations, this type of engagement is 
    likely to be less costly than an audit of its financial statements or 
    its balance sheet. It would specifically provide recommendations for 
    improving internal control, including suggestions for compensating 
    controls, to mitigate the risks due to staffing and resource 
    limitations.
        Such an attestation engagement may be performed for all internal 
    controls relating to the preparation of annual financial statements or 
    specified schedules of the institution's regulatory reports.\6\ This 
    type of engagement is performed under generally accepted standards for 
    attestation engagements (GASAE).\7\
    ---------------------------------------------------------------------------
    
        \6\ Since the lending and investment securities activities 
    generally present the most significant risks that affect an 
    institution's financial reporting, management's assertion and the 
    accountant's attestation generally should cover those regulatory 
    report schedules. If the institution has trading or off-balance 
    sheet activities that present material financial reporting risks, 
    the board or audit committee should ensure that the regulatory 
    report schedules for those activities also are covered by 
    management's assertion and the accountant's attestation. See Note 
    above for further information.
        \7\ An attestation engagement is not an audit. It is performed 
    under different professional standards than an audit of an 
    institution's financial statements or its balance sheet.
    
        Note: For banks and savings associations, the lending, 
    investment securities, trading, and off-balance sheet schedules 
    consist of:
    
    ------------------------------------------------------------------------
                                         Reports of
                  Area                  condition and      Thrift financial
                                      income schedules     report schedules
    ------------------------------------------------------------------------
    Loans and Lease Financing        RC-C, Part I......  SC, CF.
     Receivables.
    Past Due and Nonaccrual Loans,   RC-N..............  PD.
     Leases, and Other Assets.
    Allowance for Credit Losses....  RI-B..............  SC, VA.
    Securities.....................  RC-B..............  SC, SI, CF.
    Trading Assets and Liabilities.  RC-D..............  SO, SI.
    Off-Balance Sheet Items........  RC-L..............  SI, CMR.
    ------------------------------------------------------------------------
    
    
    [[Page 52325]]
    
        These schedules are not intended to address all possible risks 
    in an institution.
    
        Balance Sheet Audit Performed By An Independent Public Accountant. 
    With this program, the institution engages an independent public 
    accountant to examine and report only on the balance sheet. As with the 
    audit of the financial statements, this audit is performed in 
    accordance with GAAS. The cost of a balance sheet audit is likely to be 
    less than a financial statement audit. However, under this type of 
    program, the accountant does not examine or report on the fairness of 
    the presentation of the institution's income statement, statement of 
    changes in equity capital, or statement of cash flows.
        Agreed-Upon Procedures/State-Required Examinations. Some state-
    chartered depository institutions are required by state statute or 
    regulation to have specified procedures performed annually by their 
    directors or independent persons.\8\ The bylaws of many national banks 
    also require that some specified procedures be performed annually by 
    directors or others, including internal or independent persons. 
    Depending upon the scope of the engagement, the cost of agreed-upon 
    procedures or a state-required examination may be less than the cost of 
    an audit. However, under this type of program, the independent auditor 
    does not report on the fairness of the institution's financial 
    statements or attest to the effectiveness of the internal control 
    structure over financial reporting. The findings or results of the 
    procedures are usually presented to the board or the audit committee so 
    that they may draw their own conclusions about the quality of the 
    financial reporting or the sufficiency of internal control.
    ---------------------------------------------------------------------------
    
        \8\ When performed by an independent public accountant, 
    ``specified procedures'' and ``agreed-upon procedures'' engagements 
    are performed under standards, which are different professional 
    standards than those used for an audit of an institution's financial 
    statements or its balance sheet.
    ---------------------------------------------------------------------------
    
        When choosing this type of external auditing program, the board or 
    audit committee is responsible for determining whether these procedures 
    meet the external auditing needs of the institution, considering its 
    size and the nature, scope, and complexity of its business activities. 
    For example, if an institution's external auditing program consists 
    solely of confirmations of deposits and loans, the board or committee 
    should consider expanding the scope of the auditing work performed to 
    include additional procedures to test the institution's high risk 
    areas. Moreover, a financial statement audit, an examination of the 
    effectiveness of the internal control structure over financial 
    reporting, and a balance sheet audit may be accepted in some states and 
    for national banks in lieu of agreed-upon procedures/state-required 
    examinations.
    Other Considerations
        Timing. The preferable time to schedule the performance of an 
    external auditing program is as of an institution's fiscal year-end. 
    However, a quarter-end date that coincides with a regulatory report 
    date provides similar benefits. Such an approach allows the institution 
    to incorporate the results of the external auditing program into its 
    regulatory reporting process and, if appropriate, amend the regulatory 
    reports.
        External Auditing Staff. The agencies encourage an institution to 
    engage an independent public accountant to perform its external 
    auditing program. An independent public accountant provides a 
    nationally recognized standard of knowledge and objectivity by 
    performing engagements under GAAS or GASAE. The firm or independent 
    person selected to conduct an external auditing program and the staff 
    carrying out the work should have experience with financial institution 
    accounting and auditing or similar expertise and should be 
    knowledgeable about relevant laws and regulations.
    
    Special Situations
    
    Holding Company Subsidiaries
        When an institution is owned by another entity (such as a holding 
    company), it may be appropriate to address the scope of its external 
    audit program in terms of the institution's relationship to the 
    consolidated group. In such cases, if the group's consolidated 
    financial statements for the same year are audited, the agencies 
    generally would not expect the subsidiary of a holding company to 
    obtain a separate audit of its financial statements. Nevertheless, the 
    board of directors or audit committee of the subsidiary may determine 
    that its activities involve significant risks to the subsidiary that 
    are not within the procedural scope of the audit of the financial 
    statements of the consolidated entity. For example, the risks arising 
    from the subsidiary's activities may be immaterial to the financial 
    statements of the consolidated entity, but material to the subsidiary. 
    Under such circumstances, the audit committee or board of the 
    subsidiary should consider strengthening the internal audit coverage of 
    those activities or implementing an appropriate alternative external 
    auditing program.
    Newly Insured Institutions
        Under the FDIC Statement of Policy on Applications for Deposit 
    Insurance, applicants for deposit insurance coverage are expected to 
    commit the depository institution to obtain annual audits by an 
    independent public accountant once it begins operations as an insured 
    institution and for a limited period thereafter.
    Institutions Presenting Supervisory Concerns
        As previously noted, an external auditing program complements the 
    agencies' supervisory process and the institution's internal auditing 
    program by identifying or further clarifying issues of potential 
    concern or exposure. An external auditing program also can greatly 
    assist management in taking corrective action, particularly when 
    weaknesses are detected in internal control or management information 
    systems affecting financial reporting.
        The agencies may require a financial institution presenting safety 
    and soundness concerns to engage an independent public accountant or 
    other independent external auditor to perform external auditing 
    services.\9\ Supervisory concerns may include:
    ---------------------------------------------------------------------------
    
        \9\ The Office of Thrift Supervision requires an external audit 
    by an independent public accountant for savings associations with a 
    composite rating of 3, 4, or 5 under the Uniform Financial 
    Institution Rating System, and on a case-by-case basis.
    ---------------------------------------------------------------------------
    
         Inadequate internal control, including the internal 
    auditing program;
         A board of directors generally uninformed about internal 
    control;
         Evidence of insider abuse;
         Known or suspected defalcations;
         Known or suspected criminal activity;
         Probable director liability for losses;
         The need for direct verification of loans or deposits;
         Questionable transactions with affiliates; or
         The need for improvements in the external auditing 
    program.
        The agencies may also require that the institution provide its 
    appropriate supervisory office with a copy of any reports, including 
    management letters, issued by the independent public accountant or 
    other external auditor. They also may require the institution to notify 
    the supervisory office prior to any meeting with the independent public 
    accountant or other external auditor at which auditing findings are to 
    be presented.
    
    [[Page 52326]]
    
    Examiner Guidance
    
    Review of the External Auditing Program
        The review of an institution's external auditing program is a 
    normal part of the agencies' examination procedures. An examiner's 
    evaluation of, and any recommendations for improvements in, an 
    institution's external auditing program will consider the institution's 
    size; the nature, scope, and complexity of its business activities; its 
    risk profile; any actions taken or planned by it to minimize or 
    eliminate identified weaknesses; the extent of its internal audit 
    program; and any compensating controls in place. Examiners will 
    exercise judgment and discretion in evaluating the adequacy of an 
    institution's external auditing program.
        Specifically, examiners will consider the policies, processes, and 
    personnel surrounding an institution's external auditing program in 
    determining whether:
         The board of directors or its audit committee adequately 
    reviews and approves external auditing program policies at least 
    annually.
         The external auditing program is conducted by an 
    independent public accountant or other independent auditor and is 
    appropriate for the institution.
         The engagement letter covering external auditing 
    activities is adequate.
         The report prepared by the auditor on the results of the 
    external auditing program adequately explains the auditor's findings.
         The external auditor maintains appropriate independence 
    regarding relationships with the institution under relevant 
    professional standards.
         The board of directors performs due diligence on the 
    relevant experience and competence of the independent auditor and staff 
    carrying out the work (whether or not an independent public accountant 
    is engaged).
         The board or audit committee minutes reflect approval and 
    monitoring of the external auditing program and schedule, including 
    board or committee reviews of audit reports with management and timely 
    action on audit findings and recommendations.
    Access to Reports
        Management should provide the independent public accountant or 
    other auditor with access to all examination reports and written 
    communication between the institution and the agencies or state bank 
    supervisor since the last external auditing activity. Management also 
    should provide the accountant with access to any supervisory memoranda 
    of understanding, written agreements, administrative orders, reports of 
    action initiated or taken by a federal or state banking agency under 
    section 8 of the FDI Act (or a similar state law), and proposed or 
    ordered assessments of civil money penalties against the institution or 
    an institution-related party, as well as any associated correspondence. 
    The auditor must maintain the confidentiality of examination reports 
    and other confidential supervisory information.
        In addition, the independent public accountant or other auditor of 
    an institution should agree in the engagement letter to grant examiners 
    access to all the accountant's or auditor's workpapers and other 
    material pertaining to the institution prepared in the course of 
    performing the completed external auditing program.
        Institutions should provide reports 10 issued by the 
    independent public accountant or other auditor pertaining to the 
    external auditing program, including any management letters, to the 
    agencies and any state authority in accordance with their appropriate 
    supervisory office's guidance.11 Significant developments 
    regarding the external auditing program should be communicated promptly 
    to the appropriate supervisory office. Examples of those developments 
    include the hiring of an independent public accountant or other third 
    party to perform external auditing work and a change in, or termination 
    of, an independent public accountant or other external auditor.
    ---------------------------------------------------------------------------
    
        \10\ The institution's engagement letter is not a ``report'' and 
    is not expected to be submitted to the appropriate supervisory 
    office unless specifically requested by that office.
        \11\ When an institution's financial information is included in 
    the audited consolidated financial statements of its parent company, 
    the institution should provide a copy of the audited financial 
    statements of the consolidated company and any other reports by the 
    independent public accountant in accordance with their appropriate 
    supervisory office's guidance. If several institutions are owned by 
    one parent company, a single copy of the reports may be supplied in 
    accordance with the guidance of the appropriate supervisory office 
    of each agency supervising one or more of the affiliated 
    institutions and the holding company. A transmittal letter should 
    identify the institutions covered. Any notifications of changes in, 
    or terminations of, a consolidated company's independent public 
    accountant may be similarly supplied to the appropriate supervisory 
    office of each supervising agency.
    ---------------------------------------------------------------------------
    
    Appendix A--Definitions
        Agencies. The agencies are the Board of Governors of the Federal 
    Reserve System (FRB), the Federal Deposit Insurance Corporation (FDIC), 
    the Office of the Comptroller of the Currency (OCC), and the Office of 
    Thrift Supervision (OTS).
        Appropriate supervisory office. The regional or district office of 
    the institution's primary federal banking agency responsible for 
    supervising the institution or, in the case of an institution that is 
    part of a group of related insured institutions, the regional or 
    district office of the institution's federal banking agency responsible 
    for monitoring the group. If the institution is a subsidiary of a 
    holding company, the term ``appropriate supervisory office'' also 
    includes the federal banking agency responsible for supervising the 
    holding company. In addition, if the institution is state-chartered, 
    the term ``appropriate supervisory office'' includes the appropriate 
    state bank or savings association regulatory authority.
        Audit. An examination of the financial statements, accounting 
    records, and other supporting evidence of an institution performed by 
    an independent certified or licensed public accountant in accordance 
    with generally accepted auditing standards (GAAS) and of sufficient 
    scope to enable the independent public accountant to express an opinion 
    on the institution's financial statements as to their presentation in 
    accordance with generally accepted accounting principles (GAAP).
        Audit committee. A committee of the board of directors whose 
    members should, to the extent possible, be knowledgeable about 
    accounting and auditing. The committee should be responsible for 
    reviewing and approving the institution's internal and external 
    auditing programs or recommending adoption of these programs to the 
    full board.
        Balance sheet audit performed by an independent public accountant. 
    An examination of an institution's balance sheet and any accompanying 
    footnotes performed and reported on by an independent public accountant 
    in accordance with GAAS and of sufficient scope to enable the 
    independent public accountant to express an opinion on the fairness of 
    the balance sheet presentation in accordance with GAAP.
        Engagement letter. A letter from an independent public accountant 
    to the board of directors or audit committee of an institution that 
    usually addresses the purpose and scope of the external auditing work 
    to be performed, period of time to be covered by the auditing work, 
    reports expected to be rendered, and any limitations placed on the 
    scope of the auditing work.
        Examination of the internal control structure over financial 
    reporting. See Reporting by an Independent Public Accountant on an 
    Institution's Internal
    
    [[Page 52327]]
    
    Control Structure Over Financial Reporting.
        External auditing program. The performance of procedures to test 
    and evaluate high risk areas of a institution's business by an 
    independent auditor, who may or may not be a public accountant, 
    sufficient for the auditor to be able to express an opinion on the 
    financial statements or to report on the results of the procedures 
    performed.
        Financial statement audit by an independent public accountant. See 
    Audit.
        Financial statements. The statements of financial position (balance 
    sheet), income, cash flows, and changes in equity together with related 
    notes.
        Independent public accountant. An accountant who is independent of 
    the institution and registered or licensed to practice, and holds 
    himself or herself out, as a public accountant, and who is in good 
    standing under the laws of the state or other political subdivision of 
    the United States in which the home office of the institution is 
    located. The independent public accountant should comply with the 
    American Institute of Certified Public Accountants' (AICPA) Code of 
    Professional Conduct and any related guidance adopted by the 
    Independence Standards Board and the agencies. No certified public 
    accountant or public accountant will be recognized as independent who 
    is not independent both in fact and in appearance.
        Internal auditing. An independent assessment function established 
    within an institution to examine and evaluate its system of internal 
    control and the efficiency with which the various units of the 
    institution are carrying out their assigned tasks. The objective of 
    internal auditing is to assist the management and directors of the 
    institution in the effective discharge of their responsibilities. To 
    this end, internal auditing furnishes management with analyses, 
    evaluations, recommendations, counsel, and information concerning the 
    activities reviewed.
        Outside directors. Members of an institution's board of directors 
    who are not officers, employees, or principal stockholders of the 
    institution, its subsidiaries, or its affiliates, and who do not have 
    any material business dealings with the institution, its subsidiaries, 
    or its affiliates.
        Regulatory reports. These reports are the Reports of Condition and 
    Income (Call Reports) for banks, Thrift Financial Reports (TFRs) for 
    savings associations, Federal Reserve (FR) Y reports for bank holding 
    companies, and the H-(b)11 Annual Report for thrift holding companies.
        Reporting by an independent public accountant on an institution's 
    internal control structure over financial reporting. Under this 
    engagement, management evaluates and documents its review of the 
    effectiveness of the institution's internal control over financial 
    reporting in the identified risk areas as of a specific report date. 
    Management prepares a written assertion, which specifies the criteria 
    on which management based its evaluation about the effectiveness of the 
    institution's internal control over financial reporting in the 
    identified risk areas and states management's opinion on the 
    effectiveness of internal control over this specified financial 
    reporting. The independent public accountant is engaged to perform 
    tests on the internal control over the specified financial reporting in 
    order to attest to management's assertion. If the accountant concurs 
    with management's assertion, even if the assertion discloses one or 
    more instances of material internal control weakness, the accountant 
    would provide a report attesting to management's assertion.
        Risk areas. Those particular activities of an institution that 
    expose it to greater potential losses if problems exist and go 
    undetected. The areas with the highest financial reporting risk in most 
    institutions generally are their lending and investment securities 
    activities.
        Specified procedures. Procedures agreed-upon by the institution and 
    the auditor to test its activities in certain areas. The auditor 
    reports findings and test results, but does not express an opinion on 
    controls or balances. If performed by an independent public accountant, 
    these procedures should be performed under generally accepted standards 
    for attestation engagements (GASAE).
    
        Dated: September 22, 1999.
    Keith J. Todd,
    Executive Secretary, Federal Financial Institutions Examination 
    Council.
    [FR Doc. 99-25103 Filed 9-27-99; 8:45 am]
    BILLING CODE 6210-01-P; 6720-01-P; 6714-01-P; 4810-33-P
    
    
    

Document Information

Effective Date:
1/1/2000
Published:
09/28/1999
Department:
Federal Financial Institutions Examination Council
Entry Type:
Notice
Action:
Notice of final interagency policy statement.
Document Number:
99-25103
Dates:
The Policy Statement is effective for fiscal years beginning on or after January 1, 2000.
Pages:
52319-52327 (9 pages)
PDF File:
99-25103.pdf