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ACFE Regent Emeritus Tommy Seah FCPA,CFE,CSI,FAIA,ACIB,MSID  presents   Implementing and Improving Internal Controls
Implementing and Improving Internal Controls Articulating the increasing need for comprehensive in-house fraud control procedures •  Optimizing the accuracy and reliability of data acquired through internal inspections •  Detailing the process of applying controls inside the organization, and demonstrating the outcome
“………… .. financial institutions must have in place, all the necessary measures to deter or prevent fraud and  constantly review all its controls  and measures and also  have in place a fraud management function  to prevent loopholes that fraudsters can exploit.” ……  who (a rticulate)  said that ?
march 05, 2009 at Shangri-La hotel and the guest of honour was  Ms Teo Swee Lian, Deputy Managing Director, MAS.
Why is Internal Control Important? ,[object Object],[object Object],[object Object],[object Object],[object Object],[object Object],[object Object],[object Object]
Limitations of Internal Control ,[object Object],[object Object],[object Object],[object Object]
              The  Trinity  of  Controls Internal Audit CPA(CIA)  CSI, CISA Compliance CPA,LLB,   CSI Risk Management CPA,CFA  CSI Financial Control The Fraud Examiner CFE The Certified System Investigator CSI The Existing model
The Spectrum of Risk www.cfe-icg.com What is Risk ? Operational Risk Liquidity Risk Credit Risk Reputational Risk Market Risk B E C D A
www.cfe-icg.com Investigative auditing  ( suspicious, unusual activities, allegations) E.g.. Money Laundering penetration Test Internal audit  (COSO + COBIT+ ISO… “ External”  Audit   Forensic audit  (Specific, Post event) Eg. NKF, CAO
Fraud Control Principle
Copyright (c)2006 www.cfe-icg.com If an organisation accepts that it is exposed to fraud –  and no organisation is immune to fraud  – the next step is to apportion responsibility  for fraud risk management.
Copyright (c)2006 www.cfe-icg.com WHY is there a need for the paradigm shift ? Historically, the management of fraud risk does not lie with any one particular department or practitioner.
              Internal Audit CPA(CIA)  CSI, CISA Compliance CPA,LLB,   CSI Risk Management CPA,CFA  CSI Financial Control The CPA The Fraud Examiner CFE The Certified System Investigator CSI The Paradigm Shift Investigation Unit FRM Unit S.T.A.R Strategic Tracking and Resolution
Copyright (c)2006 www.cfe-icg.com FRM  can be handled internally or be outsourced,  and how it is handled is affected by many variables  such as organizational size, industry sector, geographical location, cultural dynamics -  and management perception of the problem.
Copyright (c)2006 www.cfe-icg.com Regardless of these variables, any fraud prevention and control model should aim to achieve one, or all, of the  five primary objectives:
Copyright (c)2006 The five primary objectives: _ Prevention  _ Deterrence  _ Disruption – _ Identification  _ Civil action/criminal prosecution  www.cfe-icg.com
The “Red Flags” of fraud www.cfe-icg.com Text Alcohol Gambling Drugs Sex Profile of A Person Who Commits Fraud Given the  “right circumstances” , almost  everyone can rationalize that it is OK to commit fraud..
www.cfe-icg.com               What type of individual commits FRAUD?    It is not limited to any one type of person. Who Commits Fraud?
The Fraud Triangle. Auditor’s Domain Fraud Risk Management Fraud Risk Management Perceived Pressure Rationalization Perceived Opportunity
Detailing the process of applying controls inside the organization, and demonstrating the outcome
STEP 1: EVALUATE THE ORGANIZATION'S FRAUD RISK FACTORS  To identify which factors increase the risk for fraud within an organization, examiners should analyze industry and business operations, hold discussions with management, review previous frauds committed against or on behalf of the company, review company performance, and evaluate similar frauds that occurred at competitors' organizations.
STEP 2: IDENTIFY POSSIBLE FRAUD SCHEMES  The ability to identify specific schemes resulting from fraud risk factors depends on the examiner's knowledge of this area. Fraud specialists, including individuals with certified fraud examiner (CFE) designations and Certified Systems Investigator (CSI) are ideal for this step of the process, as they possess specialized knowledge of fraud detection and investigation.
STEP 3: PRIORITIZE IDENTIFIED FRAUD RISKS  Fraud is not just an ordinary risk, but also an inherent and significant one. Once the fraud schemes database is populated, management and internal auditing should identify the frauds that pose the greatest risk for the organization.
[object Object],[object Object],[object Object],[object Object],[object Object],[object Object]
STEP 4: EVALUATE MITIGATING CONTROLS  Internal s Auditors with CFE qualifications are well-positioned to review and counsel on the existence and operational effectiveness of internal controls. In step four, the examiner/auditor should evaluate the high-priority frauds and determine if the necessary controls are in place to reduce the risk of occurrence. This step takes time, as the auditor should attempt to identify more than one control for each fraud scheme.
Fraud Consideration at all stages of engagement Perform Audit Plan Develop Audit Plan Perform Preliminary Planning Perform Pre-Engagement Activities Conclude & Report PROFESSIONAL SKEPTICISIM DOCUMENTATION GATHER AND ASEESS FRAUD RISKS
Questions?
Thank You ! Tommy Seah www.cfe-icg.com www.cfe-in-practice.net www.csi-worldhq.org also on Facebook Tel  +65 6222 9861 Mobile  +65 9106 9872 Contact Details:

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Improving and Implementing Internal Controls

  • 1. ACFE Regent Emeritus Tommy Seah FCPA,CFE,CSI,FAIA,ACIB,MSID presents Implementing and Improving Internal Controls
  • 2. Implementing and Improving Internal Controls Articulating the increasing need for comprehensive in-house fraud control procedures • Optimizing the accuracy and reliability of data acquired through internal inspections • Detailing the process of applying controls inside the organization, and demonstrating the outcome
  • 3. “………… .. financial institutions must have in place, all the necessary measures to deter or prevent fraud and constantly review all its controls and measures and also have in place a fraud management function to prevent loopholes that fraudsters can exploit.” …… who (a rticulate) said that ?
  • 4. march 05, 2009 at Shangri-La hotel and the guest of honour was Ms Teo Swee Lian, Deputy Managing Director, MAS.
  • 5.
  • 6.
  • 7.               The Trinity of Controls Internal Audit CPA(CIA) CSI, CISA Compliance CPA,LLB, CSI Risk Management CPA,CFA CSI Financial Control The Fraud Examiner CFE The Certified System Investigator CSI The Existing model
  • 8. The Spectrum of Risk www.cfe-icg.com What is Risk ? Operational Risk Liquidity Risk Credit Risk Reputational Risk Market Risk B E C D A
  • 9. www.cfe-icg.com Investigative auditing ( suspicious, unusual activities, allegations) E.g.. Money Laundering penetration Test Internal audit (COSO + COBIT+ ISO… “ External” Audit Forensic audit (Specific, Post event) Eg. NKF, CAO
  • 11. Copyright (c)2006 www.cfe-icg.com If an organisation accepts that it is exposed to fraud – and no organisation is immune to fraud – the next step is to apportion responsibility for fraud risk management.
  • 12. Copyright (c)2006 www.cfe-icg.com WHY is there a need for the paradigm shift ? Historically, the management of fraud risk does not lie with any one particular department or practitioner.
  • 13.               Internal Audit CPA(CIA) CSI, CISA Compliance CPA,LLB, CSI Risk Management CPA,CFA CSI Financial Control The CPA The Fraud Examiner CFE The Certified System Investigator CSI The Paradigm Shift Investigation Unit FRM Unit S.T.A.R Strategic Tracking and Resolution
  • 14. Copyright (c)2006 www.cfe-icg.com FRM can be handled internally or be outsourced, and how it is handled is affected by many variables such as organizational size, industry sector, geographical location, cultural dynamics - and management perception of the problem.
  • 15. Copyright (c)2006 www.cfe-icg.com Regardless of these variables, any fraud prevention and control model should aim to achieve one, or all, of the five primary objectives:
  • 16. Copyright (c)2006 The five primary objectives: _ Prevention _ Deterrence _ Disruption – _ Identification _ Civil action/criminal prosecution www.cfe-icg.com
  • 17. The “Red Flags” of fraud www.cfe-icg.com Text Alcohol Gambling Drugs Sex Profile of A Person Who Commits Fraud Given the “right circumstances” , almost everyone can rationalize that it is OK to commit fraud..
  • 18. www.cfe-icg.com               What type of individual commits FRAUD?   It is not limited to any one type of person. Who Commits Fraud?
  • 19. The Fraud Triangle. Auditor’s Domain Fraud Risk Management Fraud Risk Management Perceived Pressure Rationalization Perceived Opportunity
  • 20. Detailing the process of applying controls inside the organization, and demonstrating the outcome
  • 21. STEP 1: EVALUATE THE ORGANIZATION'S FRAUD RISK FACTORS To identify which factors increase the risk for fraud within an organization, examiners should analyze industry and business operations, hold discussions with management, review previous frauds committed against or on behalf of the company, review company performance, and evaluate similar frauds that occurred at competitors' organizations.
  • 22. STEP 2: IDENTIFY POSSIBLE FRAUD SCHEMES The ability to identify specific schemes resulting from fraud risk factors depends on the examiner's knowledge of this area. Fraud specialists, including individuals with certified fraud examiner (CFE) designations and Certified Systems Investigator (CSI) are ideal for this step of the process, as they possess specialized knowledge of fraud detection and investigation.
  • 23. STEP 3: PRIORITIZE IDENTIFIED FRAUD RISKS Fraud is not just an ordinary risk, but also an inherent and significant one. Once the fraud schemes database is populated, management and internal auditing should identify the frauds that pose the greatest risk for the organization.
  • 24.
  • 25. STEP 4: EVALUATE MITIGATING CONTROLS Internal s Auditors with CFE qualifications are well-positioned to review and counsel on the existence and operational effectiveness of internal controls. In step four, the examiner/auditor should evaluate the high-priority frauds and determine if the necessary controls are in place to reduce the risk of occurrence. This step takes time, as the auditor should attempt to identify more than one control for each fraud scheme.
  • 26. Fraud Consideration at all stages of engagement Perform Audit Plan Develop Audit Plan Perform Preliminary Planning Perform Pre-Engagement Activities Conclude & Report PROFESSIONAL SKEPTICISIM DOCUMENTATION GATHER AND ASEESS FRAUD RISKS
  • 28. Thank You ! Tommy Seah www.cfe-icg.com www.cfe-in-practice.net www.csi-worldhq.org also on Facebook Tel +65 6222 9861 Mobile +65 9106 9872 Contact Details: