Childcare Funding Applications – Agreed-Upon Procedures Engagement

Childcare Funding Applications – Agreed-Upon Procedures Engagement

The Department of Children, Equality, Disability, Integration and Youth has recently issued a document called ‘Guidance Note for Core Funding Reporting Requirements Transitional Arrangements Year 1 and 2’ (“The Department Guidance Note”) to entities providing childcare and early education services. The document explains the transitional arrangements for the application for funding under a new funding model called ‘Together for Better’.  These transitional arrangements will be in place for the years ended 31 August 2023 and 2024.

Reporting Regime

This reporting regime includes a requirement that the childcare service providers (“client”) engage a professional accountant to submit a document called an ‘Income and Expenditure Template.

The following is important to note:

  • The report is to cover expenses incurred on a cash basis for the year ended 31 August 2023 and 1 August 2024.
  • The requirement is for expenditure incurred in the relevant period only, no accruals or prepayments.
  • Income will be pre-populated in the online platform.
  • Where your client has a different year end, time apportionment is not permitted.

 

Important considerations for Accountants

  1. The accountant relies on information provided by the Service Provider, who is responsible for disclosing all relevant information.
  2. The Service Provider/client will make an online declaration on the platform provided by the Department that they have authorised the accountant to make the submission for them.
  3. Accountants are reminded of the relevant Code of Ethics issued by their professional body as regards avoiding conflicts of interest, independence, and avoiding making management decisions (among other threats).
  4. Accountants dealing with these grant claims will need to hold a practice licence and suitable professional indemnity insurance.
  5. If the accountant is also the Statutory Auditor of the entity Section 5.129 of the Ethical Standard for Auditors (2020) (issued by the Irish Auditing and Accounting Supervisory Authority) they are prohibited from providing accounting services where the services would involve the firm undertaking part of the role of management or initiating transactions.

The accountant should also refer to the Technical Alert Guidance documents issued by Chartered Accountants Ireland at TA 06/2023 Grant Claims and the International Standard on Related Service, ISRS 4400 (Revised) Agreed-Upon Procedures Engagements, which give guidance on engagement acceptance and continuance and some general advice on arranging the terms of engagement.

Please also refer to our newly published templates in this regard for:

Both are available on our website for €60+VAT each.

For more on AML related matters go to:

For more on the whole ISQM process for audit firms, please see our ISQM 1 Toolkit on our website here.

Please go to our website to see our:

  • Anti-Money Laundering Policies Controls and Procedures Manual (March 2022) — View the table of contents
  • AML Webinar (December 2023) available here, which accompanies the AML Manual. It explains the latest legal AML reporting position for accountancy firms and includes a quiz. Upon completion you receive a CPD certificate for attendance in your inbox.
  • Letters of engagement and similar templates—Please visit our website here where immediate downloads are available in Word format. A bulk discount is available for orders of five or more items bought together.
  • ISQM TOOLKIT, or if you prefer to chat through the different audit risks and potential appropriate responses presented by this new standard, please contact John McCarthy FCA by email at john@jmcc.ie.
  • We typically tailor ISQM training and brainstorming sessions to suit your firm’s unique requirements. The ISQM TOOLKIT 2022 is available to purchase here.
Arup CIO Hopes that Others Will Learn from His Mistake

Arup CIO Hopes that Others Will Learn from His Mistake

UK engineering group Arup faced one of the world’s biggest known deepfake scams in Hong Kong last January 2024. Arup employs about 18,000 people worldwide and has annual revenues of over £2bn. The company was duped by cyber criminals who virtually cloned a CFO using video, audio, and other AI generated material. (You can read the full article by the Financial Times here.)

The scam happened after one Arup employee received a fraudulent message about a “confidential transaction” from a sender who claimed to be the UK-based Chief Financial Officer. The Arup staff member scheduled a video conference and, unbeknownst to him, met with a digitally cloned version of the CFO (and other fake employees) requesting financial transfers. After the video conference, the Arup staff member made 15 transfers to five Hong Kong bank accounts before discovering the scam. Arup suffered HK$200mn ($25mn) in losses to the cyber criminals.

Arup’s global Chief Information Officer, Rob Greig, warned that deepfake scams have been rising in both number and sophistication, and companies should learn from Arup’s experience and always be on the lookout.

In case you missed last week’s blog, the company size thresholds have been increased for accounting periods commencing on 1 January 2024, with the option to implement the increase for accounting periods commencing from 1 January 2023.

For a full list of the thresholds see our new publication here for €60+VAT.

For more on AML related matters go to:

For more on the whole ISQM process for audit firms, please see our ISQM 1 Toolkit on our website here.

Also, on our website we have:

  • Letters of engagement and similar templates (all updated since May 2024) – Please visit our website here where immediate downloads are available in Word format here. A bulk discount is available for orders of five or more items bought together.
  • ISQM TOOLKIT, or if you prefer to chat through the different audit risks and potential appropriate responses presented by this new standard, please contact John McCarthy FCA by email at john@jmcc.ie.

We typically tailor ISQM training and brainstorming sessions to suit your firm’s unique requirements.

The ISQM TOOLKIT 2022 is available to purchase here.

Increase to Audit Exemption Thresholds

Increase to Audit Exemption Thresholds

On 19 June 2024 the Minister for Enterprise, Trade and Employment, Peter Burke TD, signed into law the European Union (Adjustments of Size Criteria for Certain Companies and Groups) Regulations 2024 which increases the balance sheet and turnover thresholds for ‘micro’, ‘small’, ‘medium’ and ‘large’ companies in the Companies Act 2014 by 25 per cent.

For a full list of the thresholds see our new publication here for €60+VAT.

This means that more companies will become ‘micro’ and ‘small’ categories and qualify for audit exemption and the ability to abridge their financial statements.

The regulations apply to financial years commencing on/after 1 January 2024, with the option to apply them to financial years commencing on/after 1 January 2023.

For more on AML related matters go to:

For more on the whole ISQM process for audit firms, please see our ISQM 1 Toolkit on our website here.

Also, on our website we have:

  • Letters of engagement and similar templates (all updated since May 2024) – Please visit our website here where immediate downloads are available in Word format here. A bulk discount is available for orders of five or more items bought together.
  • ISQM TOOLKIT, or if you prefer to chat through the different audit risks and potential appropriate responses presented by this new standard, please contact John McCarthy FCA by email at john@jmcc.ie.

We typically tailor ISQM training and brainstorming sessions to suit your firm’s unique requirements.

The ISQM TOOLKIT 2022 is available to purchase here.

Ten Red Flag Questions for Private Schools and Universities

Ten Red Flag Questions for Private Schools and Universities

A 2022 article warning private schools and universities that appeared on the law firm website Withersworldwide is worth noting. It warns private schools and universities that they are at particular risk of receiving the proceeds of bribery and corruption and legitimising them. These warnings also extend to the possibility of financing terrorism.

Anyone in a senior management position and, in particular, responsible for the financial side of a private school or university should ask themselves the following (non-exhaustive list of) ‘red flag’ questions about a payment:

  1. Is the payer native to, or resident in, a high-risk country?
  2. Are the funds coming from a foreign bank account?
  3. Is the payer a Politically Exposed Person (see Section 37 (10) of the Criminal Justice (Money Laundering & Terrorist Financing) Acts 2010 to 2021), subject to sanctions or designated as (or associated with) a proscribed organisation?
  4. Are the funds part of a complex or illogical arrangement, such that it is unclear who is making the payment, e.g. from an offshore company?
  5. Has the payer taken steps to conceal their identity? Has anyone in the organisation ever met the payer in person?
  6. Are the payer’s assets inconsistent with their known legitimate income?
  7. Is the payment made up of a disproportionate amount of private funding, bearer’s cheques or cash?
  8. Are significant amounts being offered (unnecessarily) in advance or is the school or university being put under pressure to complete the transaction quickly without good justification?
  9. Is any of the information provided by the payer suspicious (e.g. falsified) or has information been withheld?
  10. Is a refund being requested for an overpayment (and if so, to different accounts)?

Sometimes the answers to these questions will be perfectly reasonable and innocent. Remain on the alert to the potential ML and terrorism risks where the source of funds is unclear or concerning, especially where a payment would tick more than one of the boxes listed above.

For more on AML please see our Anti-Money Laundering Policies Controls and Procedures Manual on our website. — View the table of contents here.

Please go to our website to see our:

  • Anti-Money Laundering Policies Controls and Procedures Manual (March 2022) — View the table of contents
  • AML Webinar (December 2023) available here, which accompanies the AML Manual. It explains the latest legal AML reporting position for accountancy firms and includes a quiz. Upon completion you receive a CPD certificate for attendance in your inbox.
  • Letters of engagement and similar templates—Please visit our website here where immediate downloads are available in Word format. A bulk discount is available for orders of five or more items bought together.
  • ISQM TOOLKIT, or if you prefer to chat through the different audit risks and potential appropriate responses presented by this new standard, please contact John McCarthy FCA by email at john@jmcc.ie.
  • We typically tailor ISQM training and brainstorming sessions to suit your firm’s unique requirements. The ISQM TOOLKIT 2022 is available to purchase here.
Changes to ISQM 1

Changes to ISQM 1

Following on from last week’s blog on cold file reviews and ISQM 1, this week we look at the various factors that can cause changes to the monitoring and remediation elements of ISQM 1.

The following variables are usually areas that need updated:

  • The quality objectives set out in the system of quality management (SoQM);
  • The quality risks of their assessments; and
  • The responses to those risks.

Changes in these areas are mainly a result of:

  • Changes in the nature and circumstances of the firm and its engagements; and
  • Remedial actions to address deficiencies in the system of quality management.

These changes can arise in a variety of ways, such as:

  • Changes to quality objectives;
  • A need for new additional quality objectives g. if the firm opens a new office, merges with another firm or starts providing a new service;
  • Additional quality objectives established by the firm may no longer be needed, or may need to be modified; and
  • Root cause analysis (RCA) may identify that previous attempts at fixing issues from past cold file reviews are no longer be needed, need to be modified, or require a new solution.

Remember that the Specified Responses prescribed by the standard (detailed here in paragraph 34) must not be modified or removed, unless one or more of them is no longer relevant to the firm. The firm may decide that it’s appropriate to modify how these Specified Responses are designed and implemented.

The types of changes that can be triggered by the cold file review process broadly fall into two categories:

  1. Changes to quality risks such as:
  • New quality risks are identified;
  • Existing quality risks no longer qualify as quality risks;
  • Existing quality risks need to be modified; and
  • Existing quality risks need to be reassessed.

 

  1. Changes to responses to quality risks such as:
  • New responses may be designed and put into action;
  • Existing responses may be discontinued and deemed no longer appropriate; and
  • Existing responses may need to be adjusted for changes in circumstances such as a new audit programme.

For more on the whole ISQM process please see our ISQM 1 Toolkit on our website here.

Please go to our website to see our:

  • Anti-Money Laundering Policies Controls and Procedures Manual (March 2022) — View the table of contents
  • AML Webinar (December 2023) available here, which accompanies the AML Manual. It explains the latest legal AML reporting position for accountancy firms and includes a quiz. Upon completion you receive a CPD certificate for attendance in your inbox.
  • Letters of engagement and similar templates—Please visit our website here where immediate downloads are available in Word format. A bulk discount is available for orders of five or more items bought together.
  • ISQM TOOLKIT, or if you prefer to chat through the different audit risks and potential appropriate responses presented by this new standard, please contact John McCarthy FCA by email at john@jmcc.ie.
  • We typically tailor ISQM training and brainstorming sessions to suit your firm’s unique requirements. The ISQM TOOLKIT 2022 is available to purchase here.