Peer Review – Checklist for Preliminary Review Procedures
Page Contents
Peer Review Checklist related to Preliminary Review Procedures
Sl. No. | Item | Key Checks / Clarifications | |
1 | Pre-audit meeting minutes | Available & documented | |
2 | Appointment letter with terms, resolution, and audit fees method | Mandatory review | |
3 | ADT-1 filing & NOC from predecessor auditor (for first audit) | Verify records & ROC filings | |
4 | Audit risk assessment | Using professional judgment | |
5 | Organizational understanding: AOA, MOA, structure, internal controls | Permanent file references | |
6 | Materiality assessment (entity-specific basis) | With logical rationale | |
7 | Applicability analysis: Small company, CASR, IFC, CARO, etc. | Preliminary checklist must | |
8 | Appropriate audit team deployment | Based on risk, size, nature | |
9 | Documented & communicated audit plan/strategy | Internal communication logs | |
10 | Client acceptance procedures | Especially for new clients | |
11 | Client continuation procedures | Documented re-evaluation | |
12 | Written agreement of engagement terms | In line with SAs | |
13 | Competency assessment of audit team | Before engagement | |
14 | Compliance with QC procedures (SQC-1) | Ensure applied properly | |
15 | Review of prior year’s FS, Auditor’s, Director’s, and Internal Auditor’s Reports | Also check for significant changes | |
16 | Fundamental accounting assumptions: Going concern, accrual, consistency | Document client policy | |
17 | Entity-specific ownership reviews | Company: shareholding, MCA, Board Minutes; Partnership/LLP: PSR ratio, DP details | |
18 | Journal entry testing checklist | Mandatory to address fraud risks | |
19 | Analytical procedures & substantive testing | Ensure sufficiency & reliability | |
20 | Audit programme checklist preparation | To guide execution | |
21 | Inter-team discussion checklist | Evidence of collaboration | |
22 | Statutory Audit & Accounting Standards checklist | Including Ind AS/AS applicability | |
23 | CARO & GST compliance checklists | Legal/regulatory adherence | |
24 | Disclosure of accounting policy changes | Documented with rationale | |
25 | Significant issues discussion with management & TCWG | Memos, minutes, emails |
Checklist related to Audit Planning
26 | Engagement with management & TCWG; consideration of internal audit reliance; fraud risk review |
27 | Comprehensive audit plan including assertion-level procedures |
28 | Sign-off of strategy and audit plan by partner/manager |
Checklist related to Performance & Execution
29 | Partner supervision and real-time involvement |
30 | Timely reviews and changes in audit plan |
31 | Areas requiring consultation identified and acted upon |
Checklist related to Senior Review Procedures
32 | Working papers cross-referenced and complete |
33 | Summary of procedures, issues, judgments, conclusions |
34 | In-charge senior’s review of assistants’ work and adherence to timelines |
35 | Working paper updates, including permanent files |
36 | Checklists reviewed by audit manager |
37 | Time budget vs actual with explanations for deviations |
38 | Unadjusted errors assessed for materiality |
39 | Draft FS figures reconciled with audit working papers |
40 | Draft FS reviewed for compliance with accounting principles |
41 | Draft audit opinion prepared and justified |
42 | Events after balance sheet date identified and addressed |
43 | Final deliverables checklist approved by audit partner |
44 | Next year audit planning initiated |
Checklist related to Partner Review
45 | Availability and secure storage of documents |
46 | Tax computation review clearance (if required by independent reviewer) |
47 | Partner review of final deliverables checklist |
48 | Audit report reviewed for accuracy and qualifications discussed with management |
Checklist related to Final Audit File & Closing Procedures
49 | Review of final audit files should typically include: Working papers, lead schedules, conclusions, etc. |
50 | Matters escalated to partner resolved satisfactorily |
51 | Unadjusted errors summarized and checked for materiality |
52 | Lead schedules and conclusions documented for each material area |
53 | All MOCs and audit adjustments approved and signed by TCWG |
54 | Qualifications/Emphases communicated to TCWG before final issuance |
55 | Signed closing trial balance retained in file |
Important Notes for Peer Reviewers
- Minimum 3 samples for firms <1 year old – 1-year certificate issued.
- Include highest turnover assurance engagement.
- At least 1 sample from:
- Each Clause 30 A to Q category (Part A of Questionnaire).
- Each type of assurance engagement.
- Tender-based assurance services.
- Branch with turnover > HO or > ₹25 lakhs.
- If required sample size < minimum, select 100% population & intimate Board.
- Certificate of 1-year validity to be issued for L1, L2, or new PUs not meeting criteria.
Recommended Next Steps for PU (Practice Unit):
- Immediate Implementation of SQC 1 – with comprehensive documentation of policies and procedures.
- Training and Development Programs – for all audit staff on current SAs and industry-specific knowledge.
- Strict Documentation Controls – to ensure working papers reflect planning, execution, and conclusions.
- Peer Review Remediation Plan – submit a corrective action plan to ICAI if under peer review scrutiny.
- Engagement Quality Control Review (EQCR) – for all high-risk audits
- Peer Review Process, structured clearly in three stages: Planning, Execution, and Reporting.
- Total duration: Entire process should be completed within 90 days from PU notification. Reviewer must not start the review before receiving Board’s approval and confidentiality declarations. Final Submission Includes:
- Final Report + Annexure I & II
- Sample list and selection basis
- PU’s representation + Reviewer’s verification
- Compliance confirmation (AS/SQC)
- Completed Questionnaire copy
- Peer Review fee receipt
Non-compliance with mandatory auditing & Quality control standards & corresponding implications
Non-compliance with mandatory auditing and quality control standards, particularly those issued by the Institute of Chartered Accountants of India (ICAI), such as SQC 1 (Standard on Quality Control)- Standards on Auditing (SAs) like SA 210, SA 300, SA 315, SA 320, SA 330, SA 240, SA 530, SA 570, etc. Summary breakdown of key findings of non-compliance with mandatory auditing and quality control standards and the corresponding implications:
- Absence of Quality Control Policies – SQC 1
- Issue: No documented quality control policies; rudimentary practices.
- Implication: Indicates a systemic failure in ensuring audit quality, especially in ethical requirements and client acceptance.
- Independence Not Evidenced
- Issue: No evidence that independence policies were followed or applied at the engagement level.
- Implication: Breach of Code of Ethics; may impair auditor’s independence and objectivity.
Quality control standards & implications
- Absence of Engagement Letters – SA 210
- Issue: Engagement letters not obtained.
- Implication: No formal agreement with the client; increased risk of misunderstandings on scope, fees, responsibilities.
- Inadequate Staff Training & No Review Process
- Issue: Staff lacks industry knowledge; no senior review.
- Implication: Non-compliance with SA 220 on quality control for an audit; risks improper audit execution.
- No Standard Audit Planning or Checklists – SA 300
- Issue: No documented planning or standard audit checklists.
- Implication: Weak audit planning, inconsistent quality, and non-compliance with fundamental auditing principles.
- No Risk-Based Approach – SA 315, SA 330
- Issue: No planning, audit strategy, risk assessment, or documented audit responses.
- Implication: High audit risk; failure to detect material misstatements or fraud.
- No Evaluation of Internal Controls – SA 315 & SA 330
- Issue: No control environment evaluation or testing of internal controls.
- Implication: Potential misstatement risks not identified or mitigated; undermines audit reliability.
- Non-Compliance with SA 240 – Fraud Responsibility
- Issue: No procedures relating to risk of fraud performed.
- Implication: Violates a critical audit standard; exposes auditor to liability in case of fraud.
- No Audit Sampling Methodology – SA 530
- Issue: No audit sampling plan; biased and undocumented sample selection.
- Implication: Ineffective audit conclusions; increased detection risk.
- Lack of Documentation for Testing
- Issue: Testing only evidenced via query sheets; no clear trail.
- Implication: Breach of SA 230, Audit Documentation; weakens audit defensibility and quality control.
- No Audit of Significant Estimates and Judgments
- Issue: No evidence of evaluating client estimates or judgments.
- Implication: Contravenes SA 540, risk of unchallenged bias or misstatements in financial reporting.
- No Going Concern Assessment—SA 570
- Issue: Severe financial distress indicators ignored; no going concern evaluation.
Implication: Major risk; misleading opinion issued without proper assessment.