1071 Job Rotation
Jun-2018

Overview

The objectivity of the Office may be threatened or appear to be threatened if senior engagement team staff and, in particular, senior personnel and quality reviewers, where applicable, continue to act in relation to the same entity for a prolonged time period. Staff rotation is normally accomplished automatically through promotion or staff turnover; however, the responsibilities of senior personnel with signing authority are less likely to change unless a policy requires rotation.

Significant advantages can result from periodic change of engagement leadership, including

  • a fresh, objective, and critical approach to the engagement;

  • opportunities for taking a fresh view of an entity’s mandate, issues, and problems, and the presentation of the engagement deliverables; and

  • greater challenges to senior personnel through exposure to new assignments.

This section identifies the requirements for job rotation of senior personnel, quality reviewers, and other staff (as applicable).

CPA Canada Assurance Standards

Office

Annual Audit

Performance Audit, Special Examination, and Other Assurance Engagements

CSQC 1.C25 The firm shall establish policies and procedures: (Ref: Para. A10)

C(a) Setting out criteria for determining the need for safeguards to reduce the familiarity threat to an acceptable level when using the same senior personnel on an assurance engagement over a long period of time [In ISQC 1, this paragraph states: Setting out criteria for determining the need to eliminate the circumstances that create a threat of long association with an entity to an acceptable level, when using the same senior personnel on an assurance engagement over a long period of time or criteria for applying safeguards to reduce the threat]; and

(b) Requiring, for audits of financial statements of listed entities, the rotation of the engagement partner and the individuals responsible for engagement quality control review and, where applicable, others subject to rotation requirements, after a specified period in compliance with relevant ethical requirements. (Ref: Para. CA12-A17)

CSQC 1.CA12 In Canada, relevant ethical requirements discuss the familiarity threat that may be created by using the same senior personnel on an assurance engagement over a long period of time and the safeguards that might be appropriate to address such threats. [In ISQC 1, this paragraph states: The IESBA Code discusses the threat that may be created as a result of an individual’s long association with: the entity and its operations; the entity’s senior management; or the underlying subject matter and subject matter information of the assurance engagement.]

CSQC 1.CA13 Determining appropriate criteria to address familiarity threat may include matters such as:

  • The nature of the engagement, including the extent to which it involves a matter of public interest; and

  • The length of service of the senior personnel on the engagement.

Examples of safeguards include rotating the senior personnel or requiring an engagement quality control review. [In ISQC 1, this paragraph states: The IESBA Code includes examples of factors that are relevant to evaluating the level of a threat that may arise when an individual is involved in an assurance engagement over a long period of time. The IESBA Code also provides examples of actions to address threats, including: eliminating the threat, by rotating the individual off the engagement team; or applying safeguards to reduce the threat to an acceptable level, for example by performing regular independent internal or external quality reviews of the engagement.]

CSQC 1.CA14 In Canada, the relevant ethical requirements may recognize that the familiarity threat is particularly relevant in the context of financial statement audits of listed entities. For these audits, the relevant ethical requirements may require the rotation of the lead engagement partner or the engagement quality control reviewer after a pre-defined period, normally no more than seven years, and provides related standards and guidance. [In ISQC 1, this paragraph states: The IESBA Code requires the rotation of the engagement partner, the engagement quality control reviewer, and other key audit partners in respect of certain engagements. National requirements may establish shorter rotation periods.]

Considerations specific to public sector audit organizations

CSQC 1.A15 Statutory measures may provide safeguards for the independence of public sector auditors. However, threats to independence may still exist regardless of any statutory measures designed to protect it. Therefore, in establishing the policies and procedures required by paragraphs 20-25, the public sector auditor may have regard to the public sector mandate and address any threats to independence in that context.

CSQC 1.A16 Listed entities as referred to in paragraphs C25 and CA14 are not common in the public sector. However, there may be other public sector entities that are significant due to size, complexity or public interest aspects, and which consequently have a wide range of stakeholders. Therefore, there may be instances when a firm determines, based on its quality control policies and procedures, that a public sector entity is significant for the purposes of expanded quality control procedures.

CSQC 1.A17 In the public sector, legislation may establish the appointments and terms of office of the auditor with engagement partner responsibility. As a result, it may not be possible to comply strictly with the engagement partner rotation requirements envisaged for listed entities. Nonetheless, for public sector entities considered significant, as noted in paragraph A16, it may be in the public interest for public sector audit organizations to establish policies and procedures to promote compliance with the spirit of rotation of engagement partner responsibility.

OAG Policy

Senior personnel

The assignment period for the engagement leader on listed entities shall not exceed seven consecutive years. At the end of any continuous period of seven years, an individual may not serve as either engagement leader or quality reviewer until a period of five years has elapsed. [Jun-2018]

The assignment period for the engagement leader on entities other than the ones mentioned above shall not normally exceed seven consecutive years. At the end of any continuous period of seven years, an individual may not serve as either engagement leader or quality reviewer until a period of two years has elapsed. [Sep-2015]

During the period following a rotation, the engagement leader shall not participate in any assurance engagement for the entity, provide quality control for the engagement, or otherwise directly influence the outcome of the engagement. [Sep-2015]

The Auditor General, assistant auditors general, and engagement leaders shall monitor the behaviour of staff and identify when rotation or other safeguards are needed to address a familiarity threat to independence. [Sep-2015]

At least annually, Audit Services shall identify rotation needs for engagement leaders for consideration and approval by the assistant auditors general of the applicable audit practice. [Sep-2015]

Quality reviewers

The assignment period for a quality reviewer on listed entities shall not exceed seven consecutive years. At the end of any continuous period of seven years, a quality reviewer may not serve as either engagement leader or quality reviewer until a period of five years has elapsed. [Jun-2018]

The assignment period for a quality reviewer on entities other than the ones mentioned above shall not normally exceed seven consecutive years. At the end of any continuous period of seven years, a quality reviewer may not serve as either engagement leader or quality reviewer until a period of two years has elapsed. [Nov-2011]

During the period following a rotation, the quality reviewer shall not participate in any assurance engagement for the entity, provide quality control for the engagement, or otherwise directly influence the outcome of the engagement. [Nov-2011]

At least annually, Audit Services shall identify rotation needs for quality reviewers for consideration and approval by the Auditor General. [Nov-2011]

Exceptions

Extensions to the job rotation requirements for senior engagement personnel or engagement quality control reviewers shall only be granted if appropriate safeguards exist that can be applied to eliminate or reduce the familiarity threat to independence to an acceptable level. [Nov-2011]

Exceptions to engagement leader job rotation requirements shall be approved by the assistant auditors general of the applicable audit practice. Exceptions to assistant auditors general job rotation requirements shall be approved by the executive committee. Exceptions to quality reviewer rotation requirements shall be approved by the Assistant Auditor General, Audit Services and the Auditor General. [Nov-2015]

OAG Guidance

Background

Auditors are expected to be independent and objective and apply professional judgment that is free of bias, conflict of interest, and the influence of others.

The use of the same senior personnel or quality reviewer on an assurance engagement for a long time period may give rise to a familiarity threat to independence. The job rotation policy is one of the key safeguards used to reduce the familiarity threat to independence.

This policy addresses the familiarity threat to independence by establishing rotational requirements for senior personnel and quality reviewers for all assurance engagements.

The term “senior personnel” in this policy means those individuals ultimately responsible for the conduct of the engagement and for signing the assurance engagement report, typically the engagement leader. The Auditor General of Canada, who is the signatory for performance audit reports and certain financial audits, is not subject to rotation policy due to the statutory nature of their appointment, which includes a maximum term of 10 years with no eligibility for re-appointment.

Rotation requirements for performance audit and special examinations are measured by the number of consecutive years senior personnel and quality reviewers have been associated with an entity.

Rotation, however, is not only a matter for senior personnel. All audit personnel should remain alert to familiarity threats to independence and openly discuss these threats and job rotation with their supervisor. Audit staff frequently rotate between audits and other assignments in part to ensure familiarity threats are reduced to an appropriate level. Job rotation is facilitated when it is considered and planned well in advance, both at the individual and team/group level.

Relevant ethical requirements

The ethical standard of independence and the OAG Code of Values, Ethics and Professional Conduct require the Office and its employees to be and remain free of any influence, interest, or relationship regarding the entity’s affairs that impairs the Office and its employees’ professional judgment or objectivity or that, in the view of a reasonable observer, would impair the Office and its employees’ professional judgment or objectivity.

Relevant ethical requirements of various provincial accounting bodies establish rules regarding the time period during which senior personnel and the engagement quality control reviewer may perform their duties. Following is an example from The Institute of Chartered Accountants of Ontario:

A member shall not continue as the lead engagement partner or the engagement quality control reviewer with respect to the audit of the financial statements of a reporting issuer or listed entity for more than seven years in total, and shall not thereafter participate in an audit of the financial statements of the reporting issuer or listed entity until a further five years have elapsed.

For purposes of complying with relevant ethical requirements, the Office has interpreted listed entities and reporting issuers to be those entities whose shares, stock or debt are quoted or listed on a recognized stock exchange, or are marketed under the regulations of a recognized stock exchange or other equivalent body. In addition, the Office has extended the long association of senior personnel requirements to all assurance engagements in order to demonstrate the importance it attaches to independence.

Familiarity threat to independence

A familiarity threat occurs when, by virtue of a close relationship with an entity, its directors, officers, or employees, the Office or a person on the engagement team becomes too sympathetic to the entity’s interests. Examples of circumstances that may create a familiarity threat include, but are not limited to, the following:

  • a person on the engagement team having an immediate family member who is director or officer of the entity;

  • a person on the engagement team having an immediate or close family member who, as an employee or shareholder of the entity, is in a position to exert direct and significant influence over the subject matter of the assurance engagement;

  • a former senior member of the Office being a director, officer, or employee of the entity in a position to exert direct and significant influence over the subject matter of the assurance engagement;

  • a senior person on the engagement team having a long association with the entity; and

  • the acceptance of gifts or hospitality from the entity, its directors, officers, or employees, unless the value thereof is clearly insignificant.

When a familiarity threat to independence is identified, its significance should be evaluated by senior personnel on the engagement and the Office. If the threat is other than clearly insignificant, available safeguards should be identified and, where applicable, applied to eliminate the threat or reduce it to an acceptable level.

When considering the significance of any particular matter, qualitative as well as quantitative factors should be taken into account. A matter should be considered clearly insignificant only if it is both trivial and inconsequential. Senior personnel should exercise professional judgment in assessing the significance of a threat and in determining which available safeguard to apply.

The significance of a familiarity threat will depend upon factors such as

  • the length of time that the particular individual has been on the engagement team;

  • the role of that individual on the engagement team;

  • the structure of the Office; and

  • the nature of the assurance engagement, including the complexity of the subject matter and degree of professional judgment needed.

If a familiarity threat is identified as other than clearly insignificant, the engagement leader will complete and document an engagement Exception Report, according to the requirements of OAG Audit 1031 Ethical requirements relating to an assurance engagement.

Potential Safeguards for a Familiarity Threat. Available safeguards might include

  • replacing the senior personnel on the engagement team;

  • involving an additional Office staff member who is not, and never was, on the engagement team to review the work done by the particular individual, or advise as necessary; and/or

  • assigning an engagement quality control reviewer.

Additional guidance

An individual may serve as the quality reviewer before or after service as the engagement leader; however, if the quality reviewer becomes the engagement leader, the number of years spent in the first role will reduce the number of years that the individual may serve in the second role.

If a person considered for the quality reviewer position on an engagement has previously been the engagement leader, at least two years must have elapsed before the person may be appointed as the quality reviewer, regardless of the length of timed the individual served as the engagement leader.

An individual rotated out of the role of engagement leader or quality reviewer should exercise caution in consulting with the engagement team during the period following rotation to avoid directly influencing or being seen to be directly influencing the outcome of the engagement.

Job rotation has to be considered and planned well in advance, both at the individual and team or group level. Job rotation opportunities should be openly communicated and, as a minimum, employees should discuss job rotation with their supervisors during the annual performance review process. Employees should also be assessed according to this policy if a familiarity threat is identified.

Rotations in the regions can present special challenges. As such, they may require more lead time and more consultations among senior management.

The need and decision to rotate senior personnel should be communicated to the entity.

Audit Services maintains documentation of the analysis, recommendations, and approval by the executive committee of the rotation of senior personnel and the analysis, recommendations, and approval by the Auditor General of the rotation of quality reviewers, including the documentation of exceptions to the quality reviewer rotation policy. Exceptions to the rotation requirements of this policy are expected to be rare.

In addition to being familiar with the principles and guidelines concerning job rotation, personnel share responsibilities for ensuring that these principles and guidelines are followed. Following is a list of the different personnel and how they contribute to making job rotation work:

Roles and Responsibilities

Employees

  • Openly discuss job rotation and potential familiarity threats with the engagement leader director (DX) or principal (PX) as part of the annual performance review process.

Engagement leaders, principals and directors

  • Openly discuss job rotation and potential familiarity threats with all staff as part of the annual performance review process.

  • Monitor the behaviour of their staff and identify when rotation is needed to address the threat to independence. Facilitate the movement of staff to other teams.

  • Document rotation discussions on the Annual Performance Review.

Audit Services

  • Analyzes and presents rotation needs on an annual basis for consideration by the assistant auditors general of the applicable audit practice.

Executive committee

  • Approves exceptions to rotational policies for senior engagement personnel.

AAG

  • Analyse and address rotation needs on an annual basis.

  • Facilitate the movement of staff.

AAG-Audit Services

  • Monitor the number of years that a quality reviewer (QR) has been assigned to entity engagements.

  • Plan the rotation of eligible QRs.