Newsflash – Government response: Restoring Trust in Audit and Corporate Governance
Today the Department of Business, Energy & Industrial Strategy (BEIS) has issued the Government’s response to last year’s White Paper ‘Restoring trust in audit and corporate governance’. This summarises the feedback that BEIS received from stakeholders on the White Paper and sets out the measures it intends to progress with.
The response is long (almost 200 pages) and covers proposals which impact a number of different market participants most notably, company directors, auditors and professional bodies. It does not set out a precise timetable, but rather outlines the actions to be taken, including what the Government intends to ask of the regulator and other stakeholders. The reforms will be delivered by a variety of mechanisms over a period of several years with a focus on targeted and proportional benefits, noting that the overall cost of implementation has been reduced from the previous White Paper. The Government has also signalled its intention to explore potential deregulatory measures. The mechanisms to be used include:
- Market developments, for example in the demand for assurance services beyond audit, from PIEs and other significant companies;
- Work by professional bodies, for example to enhance members’ training and development;
- Changes by the regulator: to the UK Corporate Governance Code that currently applies to premium listed companies, and ongoing improvements to audit standards;
- A Ministerial Direction that lays the foundation for the introduction of PIE auditor registration by the Financial Reporting Council (FRC) in the near future;
- Secondary legislation (statutory instruments), which could be used to establish new reporting requirements for PIEs (for example, a Resilience Statement and reporting on distributable profits); and
- Primary legislation (a Bill in Parliament), which the Government is preparing initially to publish in draft, for subsequent introduction when Parliamentary time allows, to establish a new regulator and set its powers, objectives and duties.
Below we have provided a high-level summary of the main policy areas indicating through which mechanism they will be taken forward. Later we set out more detail for each proposal. We do not provide a Deloitte view in this document.
Summary
Consultation on broadening PIE definition | Primary legislation |
New regulatory regime for directors | Powers to ARGA & Changes to the Code |
Attestation on internal controls | Changes to the Code |
Publication of principal risks & audit plan for engagement with shareholders | Powers to ARGA |
The Resilience Statement | Secondary legislation |
“Front Half” assurance | To be led by market developments |
Board statement on the legality of dividends | Primary legislation |
Increased directors’ obligations in relation to fraud | Secondary legislation |
Payment practices | To be considered separately |
Supervision of corporate reporting | Powers to ARGA |
Minimum standards and regulatory oversight of audit committees | Powers to ARGA |
The Audit & Assurance Policy | Secondary legislation |
A new professional body for corporate auditors | Work by professional bodies |
Principles of Corporate Auditing | Changes by the regulator |
Enhanced auditor reporting | Changes by the regulator |
Publication of Audit Quality Review (AQR) reports | Changes by the regulator |
Managed shared audits for the FTSE 350 | Powers to ARGA |
Operational separation of audit practices | Powers to ARGA |
Establishment of Audit, Reporting and Governance Authority (ARGA) | Primary legislation |
One key element of the reform package is the proposed extension of the definition of the Public Interest Entity. This proposal will be taken forward through primary legislation but the scope of the definition has been amended from the White Paper proposals so that companies with 750 or more employees and at least £750m annual turnover will be classified PIEs. The Government has decided to implement a tiered approach for the proposals as follows:
All PIEs
- Within scope of Corporate Reporting Review and Directors enforcement regime
Tiered Requirements
PIEs due to new size based criteria (>750 employees and >£750m turnover)
- Not required to have an Audit Committee, retender audit every 10 years or rotate auditor every 20 years
- Subject to new corporate reporting requirements (Resilience Statement, Audit and Assurance Policy – including disclosure of planned internal control assurance, Fraud Statements, Dividends and Distributable Reserve disclosures)
Small PIEs (<750 employees and <£750m turnover)
- Not subject to new corporate reporting requirements (relating to: Resilience Statement, Audit and Assurance Policy, Fraud statements; Dividends and disclosure of distributable reserves)
Premium Listed Companies (those reporting under UK Corporate Governance Code)
- Explicit directors statement on effectiveness of internal controls and basis for assessment
The Government has also announced today that it will review wider reporting burdens on large and small businesses including those from retained EU law. Areas such as the definition of micro-enterprises and the reporting requirements on smaller public interest entities will be reviewed.
Further information
The full paper is available to download here
The White Paper and supporting documents are available from this address.
Our library of governance publications is available to help you at www.deloitte.co.uk/governancelibrary.
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