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07-23-12 Fiscal Affairs Committee
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07-23-12 Fiscal Affairs Committee
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La Porte TX
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7/23/2012
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City of LaPorte, Texas <br />June 6, 2012 <br />Page 4 <br />Audit Procedures — General <br />An audit includes examining, on a test basis, evidence supporting the amounts and disclosures in the <br />financial statements; therefore, our audit will involve judgment about the number of transactions to be <br />examined and the areas to be tested. We will plan and perform the audit to obtain reasonable rather than <br />absolute assurance about whether the financial statements are free of material misstatement, whether from <br />(1) errors, (2) fraudulent financial reporting, (3) misappropriation of assets, or (4) violations of laws or <br />governmental regulations that are attributable to the entity or to acts by management or employees acting <br />on behalf of the entity. Because the determination of abuse is subjective, Government Auditing Standards <br />do not expect auditors to provide reasonable assurance of detecting abuse. <br />Because an audit is designed to provide reasonable, but not absolute, assurance and because we will not <br />perform a detailed examination of all transactions, there is a risk that material misstatements may exist <br />and not be detected by us. In addition, an audit is not designed to detect immaterial misstatements, or <br />violations of laws or governmental regulations that do not have a direct and material effect on the <br />financial statements. However, we will inform you of any material errors and any fraudulent financial <br />reporting or misappropriation of assets that come to our attention. We will also inform you of any <br />violations of laws or governmental regulations that come to our attention, unless clearly inconsequential. <br />We will include such matters in the reports required for a Single Audit. Our responsibility as auditors is <br />limited to the period covered by our audit and does not extend to any later periods for which we are not <br />engaged as auditors. <br />Our procedures will include tests of documentary evidence supporting the transactions recorded in the <br />accounts, and may include tests of the physical existence of inventories, and direct confirmation of <br />receivables and certain other assets and liabilities by correspondence with selected individuals, funding <br />sources, creditors, and financial institutions. We will request written representations from your attorneys <br />as part of the engagement, and they may bill you for responding to this inquiry. At the conclusion of our <br />audit, we will require certain written representations from you about the financial statements and related <br />matters. <br />Audit Procedures — Internal Controls <br />Our audit will include obtaining an understanding of the entity and its environment, including internal <br />control, sufficient to assess the risks of material misstatement of the financial statements and to design the <br />nature, timing, and extent of further audit procedures. Tests of controls may be performed to test the <br />effectiveness of certain controls that we consider relevant to preventing and detecting errors and fraud <br />that are material to the financial statements and to preventing and detecting misstatements resulting from <br />illegal acts and other noncompliance matters that have a direct and material effect on the financial <br />statements. Our tests, if performed, will be less in scope than would be necessary to render an opinion on <br />internal control and, accordingly, no opinion will be expressed in our report on internal control issued <br />pursuant to Government Auditing Standards. <br />As required by OMB Circular A-133, we will perform tests of controls over compliance to evaluate the <br />effectiveness of the design and operation of controls that we consider relevant to preventing or detecting <br />material noncompliance with compliance requirements applicable to each major federal award program. <br />However, our tests will be less in scope than would be necessary to render an opinion on those controls <br />and, accordingly, no opinion will be expressed in our report on internal control issued pursuant to OMB <br />Circular A-133. <br />
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