Accountants' Handbook, Financial Accounting and General by D. R. Carmichael, Lynford Graham

By D. R. Carmichael, Lynford Graham

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In the process of reviewing filings, the DCF staff encounters questions about the suitability of the accounting principles applied to registrants’ transactions or situations. Some registrants are careful to raise these kinds of questions before they file documents in order to determine the principles that the staff believes are applicable. In either situation, the DCF staff often resolves these questions using published GAAP or precedents established in earlier cases. In more complicated or groundbreaking situations, the DCF chief accountant consults with the Commission’s OCA.

Iv) Office of the Chief Accountant. The Commission’s primary adviser on financial accounting issues and policy is the Chief Accountant, who is appointed by the Chairman and serves at his or her discretion. The OCA is supported by a professional staff, all of whom are experienced accountants, except for one attorney. 2, the OCA works with the DCF chief accountant to resolve issues raised in filings or by prefiling questions. The diagram also shows that some of these prefiling questions may come directly to the OCA.

Furthermore, their accountants (internal and external) compose the most influential and powerful segments of the profession. 2(a) of this chapter. As mentioned previously, the Sarbanes-Oxley Act of 2002 establishes a new entity, the PCAOB, to oversee the audit of public companies. S. government, its existence and statutory authority is codified in federal law. The PCAOB duties include: (1) accepting the registration of all accounting firms that audit one or more SEC registrants, (2) establishing or adopting auditing, quality control, ethics, independence, and other standards relating to the preparation of audit reports for SEC registrants, (3) conducting inspections of accounting firms that audit one or more SEC registrants, and (4) investigating and, if necessary, sanctioning accounting firms that audit one or more SEC registrants for substandard practice.

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