"Sbi Mutual Fund": Project On
"Sbi Mutual Fund": Project On
"Sbi Mutual Fund": Project On
Submitted to
Year: 2016-2017
Year: 2016-2017
CERTIFICATE
This is to certify that Ms.Akruti K. Patel has worked and
completed her project work for the degree of MASTER IN
Declaration by
student
I the undersigned Ms. Akruti K. Patel
is a result of my own
research work and has not been previously submitted to any other university
for any other examination.
I here by further declare that all information of this document has
been obtained and presented in accordance with academic rules and ethical
conduct.
Place: Ahmedabad
Year: 2016-2017
Year: 2016-2017
ACKNOWLEDGEMENT
I readily acknowledge my indebt ness to my parents whose support, dedication
and honest efforts have given me an immense help in doing this project.
It gives me immense pleasure to express my deep sense of gratitude and
appreciation to my external guides, Prof. Birva Bhavsar
whom constant
encouragement and valuable suggestions gave back bone support in completing this
project.
I take the opportunity to thanks to Dr. Ajay D. Shah for motivating,
encouraging, guiding and supporting at every step and sparing his valuable time for me.
Last but not the least I record my sincere thanks to all beloved and respectable
persons who helped me and could find any separate mention.
Above all I praise GOD the most beneficial, the most merciful that I have been
able to complete my training project successfully.
(AKRUTI K. PATEL)
ABSTRACT
INDEX
Sr. No
TITLE
Pg. No
Chapter 1
Introduction
10-27
Chapter 2
Research Methodology
28-34
Chapter 3
Review of Literature
35-54
Chapter 4
55-71
Chapter 5
Conclusion
72-75
Suggestion
76-83
Bibliography
84-85
Appendix
86-89
LIST OF TABLE:
Sr. No
Title
Pg. No
Fig. 1.1
41
Fig 1.2
44
Fig.1.3
45
Fig. 1.4
46
LIST OF GRAPH:
Tab.
No.
Title
Pg.No
5.1
5.2
5.3
5.4
5.5
5.6
5.7
5.8
5.9
5.10
5.11
5.12
5.13
5.14
5.15
5.16
Management Decisions
Policies
Periodical Reviews Policies And Procedures
Banks Overall Performance
Clear Objectives
Technology Issues
Clear Understanding By Staff
Processes For Independent Verification Of Transaction
Independent Reconciliations Of Assets And Liabilities
Close Circuit Television (Cctv)
Staffs Role
Staffs Activities
Staff Accountable For Activities They Conduct
Reports On Failings Or Weakness Are Reported To Mgt
Management Approves Personnel Reviews Results Of Audit
Periodical Management Reviews Audit Or Internal Control
Systems
56
57
58
59
60
61
62
63
64
65
66
67
68
69
70
71
CHAPTER 1
INTRODUCTION
The audit committee should work with internal and external auditors to oversee
implementation of risk management policies, procedures, and limits.
Senior management should recognize that its philosophy and operating style
have a pervasive effect on an entity. For this reason, senior managers should
understand their control responsibilities, authorize use of derivatives only after
risks and expected benefits have been carefully analysed, and clearly
communicate objectives and expectations for derivative activities. Senior
managers should make a conscious decision about the extent of authority over
derivatives delegated to management. Management should have the
competence needed to understand derivative activities. Employees involved in
such activities should possess the necessary skills and experience. The training
process should develop and improve specific skills relating to responsibilities and
expectations about derivative activities. (COSO undated) Millichamp (2002)
describes control environment as the overall attitude, awareness and actions of
directors and management regarding internal controls and their importance in the
entity. The control environment encompasses the management style, and
corporate culture and values shared by all employees. The factors reflected in
this idea include the following:
- the philosophy and operating style of the directors and management
- the entitys organizational structure and methods of assigning authority and
responsibility (including segregation of duties and supervisory controls)
- the directors methods of imposing control, including the internal audit function,
the
functions of the board of directors and personnel policies and procedures.
Additionally, a reference guide for managing University Business Practices
(University of California) said, the control environment is the control
consciousness of an organization; it is the atmosphere in which people conduct
their activities and carry out their control responsibilities. It continued to say that,
an effective control environment is an environment where competent people
understand their responsibilities, the limit to their authority, and are
knowledgeable, mindful, and committed to doing what is right and doing it the
right way. They are committed to following an organisations policies and
procedures and its ethical and behavioural standards. The control environment
encompasses technical competence and ethical commitment; it is an intangible
factor that is essential to effective internal control.
A governing board and management enhance an organisations control
environment when they establish effectively communicated written policies and
procedures, a code of ethics, and standards of conduct. Moreover, a governing
board and management enhance the control environment when they behave in
an ethical manner-creating a positive tone at the top and when they require
that same standard of conduct from everyone in the organization.
Trainor (2007), declared, setting an example regarding ethical behaviour is
another strategy the board can implement. Policies outlining expected ethical
conduct of the board, administrators, and staff send a clear message especially
when specific examples are included. The policies should clearly communicate
the severe consequences of unethical or criminal behaviour. This process he said
is called, setting the tone at the top.
The students Manual of Auditing (2000) say that understanding of the control
environment helps to assess the likely effectiveness of internal controls. Effective
control environment therefore is a very important ingredient in any effective
internal control system.
1.3.2 Risk Assessment
reaching its objectives or can jeopardize its operations. Thus effective risks
assessments help determine what the risks are,what controls are needed, and
how they should be managed.
In addition to this, the Kansas State Universitys Internal Audit Manual (2005) said
a
precondition to risk assessment is establishment of objectives, linked at different
levels and internally consistent and the objectives must be established before
administrators can take necessary steps to manage risk. The process of
identifying and analysing risk is an on-going process and is a critical component
of an effective internal control system.
Because economics, regulatory and operating conditions will continue to change,
mechanisms are needed to identify and deal with the special risks associated
with change. According to the Internal Controls Guide for Directors (2001), risks
can arise or change because of circumstances such as:
- A change in the banks operating environment.
- New personnel.
- New or revamped information system.
- Rapid growth.
- New technology.
- New or expanded lines of business, products, or activities.
- Mergers or other corporate restructuring.
- Changes in accounting requirements.
Various types of risks can be identified and as stated in The Annual Internal
Control Handbook, these include inherent, control, combined, and/or fraud.
ensure that duties and control responsibilities relating to a banks activities are
understood across the organization.
Adequate systems for data capture, processing, settlement and management
reporting should exist so that transactions are conducted in an orderly and
efficient manner. Mechanisms should be in place to obtain and communicate
relevant information covering banks activities. Directors and senior management
should obtain sufficient and timely information to monitor achievement of
objectives and strategies (COSO, 1992).
The Manual of Policies and Procedures by Queensland University of Technology
(2005) indicates that, the effective and timely communication of management
information to key staff of the bank in a timely manner is essential for proper
decision-making. The dissemination of strategic goals, financial and non-financial
data, policies and procedures, management initiatives and responses to external
changes ensures effective performance.
Therefore relevant internal and external information should be identified,
captured, and communicated in a timely manner and in appropriate forms.
In addition to this, the Internal Controls Guide for Directors (2001) stated that,
accounting, information and communication systems identify, capture, and
exchange information in a form and time frame that enable bank staff to carry out
their responsibilities. Accounting systems include methods and records that
identify, assemble, analyse, classify, record and report a banks transactions.
Information systems produce reports on operations, finance, risk management,
and compliance that enable management to manage the bank.
Communication systems impart information throughout the bank and to external
parties such as regulators, customers, suppliers and shareholders. Simmons
(1995) also added his voice, when he said the following about sound information
and communications system. Information systems produce reports, containing
operational, financial and compliance related information, that make it possible to
run and control a business. They deal with internally generated data as well as
the external activities, conditions and events necessary to inform business
decision making and external reporting.
The organisation's people must be able to capture and exchange the information
needed to conduct, manage and control operations. Again, pertinent information
must be identified, captured and communicated in a form and time frame that
enables people to carry out their responsibilities. Effective communication must
flow down, up and across the organization.(This includes a clear message from
acceptable for internal control in organizations and provide the basis against
which internal control is to be evaluated.
1.6
Internal control is a process continually operating at all levels within the entity to
achieve
efficiency and effectiveness,
management
1.8 SOME
CONTROLS
EXAMPLES
OF
DEFICIENCIES
IN
INTERNAL
The job description and detailed work programmes of senior staff should
include the routine daily supervision of junior staff. This has to be done in a
sensitive but programmed way;
In most cases, the staff whose work is being supervised should be aware
that this supervision is taking place;
They should be encouraged to share difficulties, and to make suggestions
as to how their job might be carried out more effectively.
In carrying out supervisory responsibility, management should: Review
adequacy of internal control on a regular basis to ensure that all significant
controls are operating effectively.
Where the Organization has an internal audit system, entrust to it some of
its supervisory functions, especially with respect to review of internal
controls.
The internal audit, in addition to other control functions, may carry out :
Surprise cash counts,
Physical inventories of stores,
Checking vehicle log books.
Visit to Project site/area where programme activities are taking place.
1.9.8 Preventive & Detective Control Preventive
Detective
Count physical inventory - Observe payroll distribution on a test basis Trace detail.
Auditors should design the audit to provide reasonable assurance that the
financial statements are free of material mis-statements resulting from
violations of laws and regulations that have a direct and material effect on
the determination of financial statement amounts.
To meet that requirement, auditors should have an understanding of
internal controls relevant to financial statement assertions affected by
those laws and regulations.
Auditors should use that understanding to identify types of potential misstatements, consider factors that affect the risk of material mis-statement,
and design substantive tests. For example, the following control
environment factors may influence the auditors' assessment of control risk:
a) Managements awareness or lack of awareness of applicable laws and
regulations.
b) Organizations policy regarding such matters as acceptable operating
practices and code of conduct, and
c) Assignment of responsibility and delegation of authority to deal with
such matters as organizational goals and objectives, operating functions,
and regulatory requirements.
1.9.12 Governance
Inherent inability to achieve 100% control due to control risks, such as:
Judgment individual judgment and decision making can be faulty.
Breakdowns can occur because of human failures such as simple errors
or mistakes.
Management Override management can have the ability to override
controls
1.9.14.1 Detecting Fraud -- Red Flags
No Communication of Expectations.
Too Much Trust in Key Employees.
Lack of Proper Authorisation Procedures
Lack of Attention to Detail.
Changes in Organisational Structure
Tendency Toward Crisis Management
1.9.14.4 Financial Document Red Flags
Missing Documents.
Alteration of Documents
Excessive Number of Voided Documents.
Documents Not Numerically controlled.
Questionable Handwriting or Authorisation.
Duplicate Payments.
Unusual Billing Address or Arrangements.
Address of Employees Same as Vendor.
Duplicate or Home Made Photocopied Invoices.
Excessive Cheques to Cash withdrawals.
Excessive Unpaid Advances to Employees.
Excessive Spoilage / Damaged Goods.
Failure to Reconcile Bank Accounts.
Excessive Unpaid Advances to Employees.
1.9.14.5 Accountability and Control Red Flags
Inadequate Training
CHAPTER 2
RESEARCH
METHODOLOGY
2.1 INTRODUCTION
The purpose of this chapter is to present the philosophical assumptions
underpinning this research, as well as to introduce the research strategy and the
empirical techniques applied.
The study appraises the internal controls system of ARDBs. However, the validity
and reliability of every research is dependent to a large extent on the
methodology adopted for the study. The methodology for a research must
therefore be scientific. That is, the process must be systematic, rigorous and
unbiased. In order to guard against potential statistical errors, relevant and
appropriate data collection instruments and models was applied to arrive at
accurate results. This chapter therefore presents a detailed and systematic
process that the researcher adopted in order to achieve the objectives of the
study.
The main discussions in this chapter included; the study design, the study
population, the sampling technique and sample size, case studies data
methodology, data handling, data analysis and presentation, data and variables
used in the study.
Key findings and analysis will helpful to them to provide better internal
controlling.
Simple random sampling is the most basic sampling procedure to draw the
sample.
Simple random sampling forms the basis for many of the more
complicated sampling procedures.
We have used various classified datas to know the clear picture in an easy way.
So that internal control can be made effective
The result was presented using statistical tools such as charts. Descriptive
statistics were used to analyse the data. The collected data in the study has been
presented and analyzed using the various graphs for satisfaction level, score of
various factors on the particular dimensions.
2.9 SCORING:
Responses for the research questionnaire were made on a five-point Likert scale
as follows:
Strongly Agree = 5
Agree = 4
Not sure = 3
Disagree = 2
Strongly Disagree = 1
In all the constructs, high scores imply that the variables being measured are
effective.However, ineffective internal control systems and structures would be
characterized by low scores
The study was restricted to one banks, so the overall scenario could not
be studied.
Inadequate time was the major constraint during the whole project.
All the answers given by the respondents have been assumed true.
CHAPTER 3
REVIEW
OF
LITERATURE
3.1 INTRODUCTION
This chapter attempts to review literature in the area of internal control systems in
ARDBs. The literature review is discussed under various sub headings
3.2
There is currently considerable interest in the topic of internal audit and its
contribution to exact management of any business economic resources. This
developing role of the internal auditing is also reflected in its current definition, i.e.
Internal control is the system of internal administrative and financial checks and
balances designed by management, and supported by corrective actions, to
ensure that the goals and responsibilities of the organization are achieved
In accordance with the above, growth in international financial markets has given
banks the opportunity to design new products and to provide a wide range of
services, there can be noticed an increase in associated risks. Simultan1eously,
there is growing management recognition of the importance of implementing a
good internal control system as some of the recent reports on bank failures have
highlighted fraud and negligence as the major contributory factors.
In other words, the activities of internal audit are now seen as critical elements in
the assurance process. Strong internal control systems have long been seen as
particularly relevant to banks because of their vulnerability to fraud and the links
between information systems and money. Despite the afore mentioned
perspectives of the researchers regarding the crucial role of internal auditing,
there is no such a study examining the internal audit function within. In this
context, the purpose of this paper is to highlight the interaction between
components of internal audit and effectiveness of internal auditing in banks, in
particular.
Consistent with our predictions, our results indicate that the success of internal
auditing is strongly associated with the five elements of internal control system
Control environment, Risk assessment, Control activities, Information and
communication and Monitoring. The remainder of the paper is organized as
follows. The next section presents the research design by providing information
on the development of the survey and the methodology for data analysis. The
third section reviews the related literature and provides the focus of the study by
analyzing the effectiveness of internal auditing and presenting the recent
empirical literature review.
The results of the study are reported and discussed in the fourth section. Then,
the fifth section summarizes the paper, presents major findings of the study and
forwards the ensuing conclusions. Finally, the paper concludes by limitations of
the study and future research direction
The State cooperative Societies Act and Rules and Bye-law of the bank have
various attributes such as system of annual and concurrent audit, presentation of
balance sheet and profit and loss accounts, penalty for non repayment of bank
dues, penalty for employees causing loss to bank, etc.
Past experience of the bank and practice followed by other bank are also of help
for
designing an ICS for the bank. However, first of all, there should be an
organisational structure for designing/reviewing the ICS policy and undertaking
related tasks for betterment of the organisation.
3.3.4.4 Organisational Structure Of ICS :
The bank in keeping with its volume of business, staff strength and other
demands
and constraints may go for different structure. However, given the business level
of
present LT structure, other supervisory prescriptions given time to time an ICS
model is proposed. A ven-diagram of organisation structure and works to be
attended is suggested as under:
Managing Director
Concurrent/
internal Vigilance Cell
audit/ inspection cell
It should also frame a policy to take care of ICS of affiliated ARDBs through its
own machinery. The ARDBs may also go for above ICS structure.
budget.
ii. to review findings of internal inspection/audit, concurrent audit and take
suitable follow up action for rectification of irregularities.
iii. to comply with the inspection findings of NABARD and audit reports of
statutory auditors by discussing the issues with the Board of Directors. Follow
up with the targeted departments to ensure rectification.
iv. to fixing accountability for unsatisfactory or delay in compliance of inspection /
audit observations.
v. to review omission on the part of the internal inspecting official, concurrent
auditor to detect serious irregularities.
vi. to take steps for closing of books of accounts and preparation of final accounts
within stipulated time frame.
vii. to review important risk areas such as credit risk, liquidity risk and operational
3.4.1 Function And Workings Of Risk Management Cell:
The cell will make Assets Liability management by collecting data from different
sources. Funds flow analysis will be made to find out liquidity position of the bank
vis-a-vis the commitments. The section will collect information on NPA and review
it to find out reasons for sticky loans and suggest measures for recovery. It will
review the accounting policies, systems and controls of the bank to ensure
transparency. The cell will work as a coordinating agency of accounts section and
management. The cell will coordinate during conduct of inspection/audit by
external
agency and ensure compliance to their findings.
and ledgers, issuing payment order, duties of passing officer in giving payment
order for high value instruments, procedure adopted at cash section for payment
and record keeping, etc.)
_ Daily Checking of vouchers by a person not connected with the transactions
_ Daily checking of cash before it is transferred to the vault.
_ Daily reporting by BM about cash, loan and deposit position.
_ Financial returns (fortnightly, monthly, quarterly, annual etc.)
_ MIS covering other areas such as business development, Demand Collection
Balance,
_ Preparation of Trial balance
_ Balancing of subsidiary books and ledgers.
_ Bank and branch reconciliation.
_ Closing of Books of account half yearly/Annually.
_ Preparation of final accounts.
( apart from the experience of the bank, it will get certain inputs for preparing a
policy document from different functional chapters of the documents)
3.4.3 Function And Workings Of Internal Audit/ Inspection Dept.:
i) Policy on internal inspections : The department will frame policy on internal
inspections in regard to different factors . To facilitate the bank to frame its policy
some hints are given in each of the important factors :
_ Duration of inspection: No of man days required for conduct of inspection
inkeeping with the volume of business and other sensitive factors, associated
with the unit, to be determined. No of officials to be deputed for the purpose.
_ Reference date of review : Ideally two inspections in a year is required to
ensure
good governance and vigil over branch functioning. In such a case, reference
date
should be 30 September and 31 March of an year. Financial position with
reference to these cut off dates to be reviewed. Entire business conducted during
the period and ongoing accounts up to that period will come under purview of
the inspection.
_ Content of inspection report ; The department will prepare a check list of works
to be attended by the inspecting officials during the visit. A model of inspection
format is enclosed.
_ Period for drafting : Drafting period should be same as duration of on-site
inspection.
_ Finalisation and submission of report: After the drafting is over, the principal
inspecting officer will submit the draft report to the authority of inspection
department for review and finalisation. The bank has to decide the level of officer
who should finalise and send the report to the branch/ARDB. Two weeks may be
given for completion of this formality. The inspection team should take all
responsibility up to despatch of the report. Logistic support should be provided
to the team by the department.
_ Time frame for compliance: The report should be divided into two parts. Minor
defects and major defects. Time frame for rectifying minor defects should be 15
days from the date of issue of the report and major defects to be complied with
within 45 days.
_ Coverage and quality of reports: The internal audit / inspection department will
follow a format as given in Annexure II for the purpose of eliciting information
and writing the report. The format is self explanatory and contained almost all
areas of banks functioning in a questionnaire form. The inspecting officer will
give his/her observations alongside of the questionnaire. The audit committee
may award marks to the report in the following parameters in 100 marks scale :
Marks obtained
Maximum
marks
Cash retention
5
Handling of keys
5
Deposits
5
Loans
15
Operational risk management 30
Control on income leakage
20
External compliance
5
Business
strategy
and 5
customer service
Working result and net worth 10
Total
100
Marks
obtained
Remarks
The status of the ARDB/branch may be arrived at on marks it will get from the
inspection. The units may be categorised as under :
Category
A
B
C
D
_ Issue of warning signals : On the basis of the inspection findings warning signal
may be issued to the branch/ARDB. A system of critical monitoring may be
introduced to keep a vigil on the financing unit in that weak area.
_ Monitoring and follow up : The compliance by the inspected unit is important
for set right the problem if any. Care should be taken to see quality of
compliance. Compliance should be specific and verifiable. If similar type of
irregularities are noticed in the next inspection the inspecting unit may be issued
warning.
_ Internalisation of Inspection findings : The audit committee may review the
inspection reports periodically and analyse cause and effect of certain findings.
Disturbing features may be intimated to different sections dealing with the
subject. On the basis of the findings policy changes may be made.
Other issues ;
Annual budget for internal inspection, allocation of man power, fixation of visit
schedule etc., will be drawn in advance and accorded sanction of the Board
through
the Audit Committee.
3.5
FRAUDS IN ARDBs:
1.General:
Frauds are acts of criminal deception resorted to by persons singly or in collusion
with others in order to derive gains to which they are not entitled. Frauds are
perpetrated by deliberate violation of established banking system and
procedures/practices by the bank staff in connivance with the customer or in
collusion with external agencies. Some times frauds are also perpetrated by
customers/outsiders.
2. Review Of Existing Systems:
A close scrutiny of frauds perpetrated in banks would reveal that such frauds are
not
due to lack of instructions or absence of proper systems and procedures, but due
to
the flouting of established systems and procedures by the officials. To facilitate
banks to tackle fraud related issues in totality, NABARD vide circular
No.NB.DoS.HO.Pol/ 3121 / J-1 / 2006-07 dated 13 November 2006 issued
comprehensive guidelines in which emphasis was given on strengthening internal
checks and control system of the bank, monitoring of frauds and establishment of
Vigilance cell.
3. Establishment Of Vigilance Cell:
b] Punitive Vigilance:
Punitive Vigilance means initiation of disciplinary action against the delinquents.
'System failure' and 'human failure' are mainly the two factors which result in the
perpetration of a fraud. When the occurrence of an incident is the result of a
'human
failure', the Vigilance Officer should ascertain the extent of failure / lapses on the
part of dealing officials as also whether the lapses are willfully committed by the
dealing officials and it is a mere act of negligence which a man of ordinary
prudence
may commit in the ordinary course of business. Each incident having a Vigilance
angle is required to be analysed by the Vigilance Officer with an independent
mind
keeping in view the gravity of the case.
c] Preventive Vigilance:
Preventive Vigilance consists of steps taken by the organization to arrest
corruption
at the very root and takes care of the basic causes which help it to flourish. The
Vigilance Officer should pin point the defects in the systems and procedures due
to
which serious frauds are perpetrated. He should also suggest ways of
streamlining
the existing system / procedures to prevent recurrence of such incidents.
4. Usual Modus Operandi Of Frauds/Misappropriations
Some of the major areas of the bank's activities which are highly susceptible to
frauds and the safeguards for prevention of frauds have been discussed in the
following paragraphs:
a. Cash
Shortage of cash at cash counter or in the aggregate cash balances of a branch
vis-avis the balance in the cash book is termed as fraud in cash. The shortage in
the cash balances arising out of genuine mistakes like short receipts or excess
payments which are detected during the course of the day cannot be categorised
as fraud if they are reported immediately by the concerned cashiers to their
senior officials.However, it is categorised as fraud under the following
circumstances.
(illustrative)
i.If the actual cash in the safe is less than the balance held in cash book.
ii.If cash is said to be in transit or theft from counters as an explanation for cash
shortage.
iii. If there is an attempt to conceal shortage by a bogus instrument/voucher kept
along with the cash to indicate that the amount mentioned therein has been paid
out of the cash much after the cash balance was struck.
The safeguards to be observed are (i) observing the principle of dual custody, (ii)
verification of daily cash balance before its lodgment, in safe, in transit (iii)
arranging
for separate enclosures for cashiers, (iv) proper lodgment of duplicate set of
vault/safe keys and periodical rotation thereof, (v) posting of guards (vi) insurance
All the transactions between the branches are generally routed through the Head
Office account. The frauds occur by raising debit in the Head Office account for
giving credit of equivalent amount to some other account with fraudulent intention
of withdrawing such amount from the latter account subsequently.
f. Accounts with other banks
The frauds in this account are generally perpetrated when the "Bankers' Account"
is
debited in respect of transactions which are not genuine.
Following safeguards are suggested to avoid occurrence of frauds in these
accounts:
i. The cheque signed by any one of the signatories should not be kept overnight.
Leaves of the cheque books may be counted frequently.
ii. Debit advice received from the bank with whom an account is maintained ,
should not be kept Un-responded. For example, when a debit is raised in
bankers' account in respect of a returned cheque for which a credit has been
afforded earlier, the ARDB concerned should immediately respond to the
entry by debiting the account of the party concerned. If, instead, the debit
advice is deliberately destroyed or misplaced, a fraud results. It is, therefore,
suggested that the balances in the Bankers' Account should be periodically
reconciled with the balances shown in the statement of accounts received
from the concerned banks.
g.Investments
Fraud in this portfolio can be perpetrated by outsider by not handing over the
securities, siphoning of incentives in purchase or sale, stealing of liquid
instruments
etc. The preventive measures as detailed in investment chapter may be followed
by
the bank as a preventive measure.
h. Immovable property, furniture and fixtures and stationery
Frauds in these portfolios mainly involve in purchase / payment of hire charges at
rates higher than the market rates. The safeguards suggested in relevant
chapters
may be referred to .
CHAPTER 4
DATA PRESENTATION
&
ANALYSIS
4.1CONTROL ENVIRONMENT
1.Management decisions are made collectively and not controlled by one
dominant individual.
Tab. 4.1
Management Decision
35
30
30
25
20
20
20
15
15
15
Disagree
Stongly Disagree
10
5
0
Strongly Agree
Agree
Not Sure
Tab 4.2
Policies
35
35
30
25
25
20
20
15
15
10
5
0
Strongly agree
Agree
Not Sure
Tab 4.3
30
25
20
26
19
16
12
15
10
5
0
Strongly agree
Agree
Not Sure
4. The banks culture, code of conduct, human resource policies and performance
reward systems support the business objectives and internal control systems.
Tab 4.4
36
35
30
26
25
19
20
15
11
8
10
5
0
Strongly agree
Agree [
Not Sure
Disagree
Strongly Disagree
Majority of the Clear Objectives 40 % indicated that they Agree that there
is effective monitoring. Whilst 16 % Strongly Agree. A Total of 4% were in
different whilst 22% disagree and whilst 18% Strongly Disagree with the
effectiveness of monitoring as an internal control measure.
Tab 4.5
Clear objectives
18
Strongly agree
16
Agree
Not Sure
Disagree
Strongly Disagree
22
40
4
Tab 4.6
Technology issues
10
Strongly agree
10
17
19
Agree
Not Sure
Disagree
44
Strongly Disagree
7. There is a clear understanding by staff within the bank of what risks are
accepted by management.
Tab 4.7
10
14
Strongly agree
Agree
Not Sure
28
24
Disagree
Strongly Disagree
24
Tab 4.8
35
35
30
25
20
25
15
15
15
10
10
5
0
Strongly agree
Agree
Not Sure
Disagree
Strongly Disagree
Tab 4.9
35
30
26
25
20
15
17
12
10
5
0
Strongly agree
Agree
Not Sure
Disagree
Strongly Disagree
10. The bank uses Close Circuit Television (CCTV) systems to protect physical
assets.
Tab 4.10
45
45
40
35
35
30
25
20
15
10
10
Disagree
Strongly Disagree
5
0
Strongly agree
Agree
Not Sure
Majority of the Staffs Role 48 % indicated that they Agree that there is
effective monitoring. Whilst 28 % Strongly Agree. A Total of 3% were in
different whilst 15% disagree and whilst 6% Strongly Disagree with the
effectiveness of monitoring as an internal control measure.
Tab 4.11
Staff's Role
6
15
28
Strongly agree
Agree
Not Sure
Disagree
Strongly Disagree
48
Majority of the Staffs Activities 20 % indicated that they Agree that there is
effective monitoring. Whilst 30 % Strongly Agree. A Total of 15% were in
different whilst 20% disagree and whilst 15% Strongly Disagree with the
effectiveness of monitoring as an internal control measure.
Tab 4.12
Staff's Activities
15
20
Strongly agree
Agree
Not Sure
Disagree
20
Strongly Disagree
30
15
13. All staff understand that, they are accountable for activities they conduct.
Tab 4.13
Strongly agree
Agree
Not Sure
Disagree
26
Strongly Disagree
22
18
4.5 MONITORING
14. Reports on significant failings or weaknesses are reported to management on
a timely basis.
Tab 4.14
27
29
25
23
20
15
13
10
5
0
Strongly agree
Agree
Not Sure
Disagree
Strongly Disagree
Tab 4.15
Strongly agree
14
Agree
29
Not Sure
33
16
Disagree
Strongly Disagree
Tab 4.16
40
35
30
26
25
16
20
15
15
7
10
5
0
Strongly agree
Agree
Not Sure
CHAPTER 5
CONCLUSION
5.1 INTRODUCTION
This project work seeks to assess the effectiveness of internal control systems at
ARDBs. This chapter presents the summary of findings, recommendations aimed
at
addressing weaknesses in the internal control systems as well as direction for
further studies and conclusion from the findings
5.2 CONCLUSION
From the empirical research carried out, it was revealed that internal controls In
ARDBs are effective. In fact, this is evident from all the five constructs
Considered in the study as each of them namely, control environment, risk
assessment, control activity, information and communication systems and
monitoring appeared to be effective.
Majority of the respondents 62.5% indicated that they agree that there is effective
monitoring in ARDB whilst 27.5% strongly agree.A total of 8.8% were in different
whilst 1.2% disagrees with the effectiveness of monitoring as an internal control
measure.
SUGGESTIONS
SUMMARY OF FINDINGS
It was revealed from the study that, the control environment at ARDBs is very
effective as majority of the respondents (93%) agree to that assertion with a very
few not being sure of the effectiveness of Control environment.
Again, the empirical evidence from the study indicated that, majority (72%) of the
Respondents agree to the assertion that there is an effective control activity
functioning In ARDBs.
The last element of internal control considered by the study was monitoring and
this
Happened to be the most effective (90%) in the bank with nearly all respondents
showing that, they perceive monitoring to be effective
Following ways the transaction should be recorded so that internal control can be
effective through these accounting principles. A recording of transactions in books
on day to day basis, should be done having regard to basic principles of
accounting as under:-
ii. Investments must be valued only at the realisable amounts and in accordance
with regulatory norms/ guidelines.
iv. Provisions for doubtful advances must be made to the satisfaction of the
auditors
and in accordance with guidelines issued by the regulatory authority.
v. Premises and other fixed assets must be accounted for at historical cost.
vii. Provisions for gratuity and provident fund benefits to staff are to be made on
accrual basis. Separate funds for gratuity and provident fund are to be created
and should not be mixed with the funds of the ARDB.
appropriation of profits.
ix. The net profit disclosed in the Profit and Loss account must be computed after
provision for standard loans, bad and doubtful debts, provision for overdue
interest, depreciation/ erosion in the value of securities and other asset, transfers
to contingency funds and other usual or necessary provisions.
Consistent with the concepts and principles outlined in the foregoing paragraphs,
all
items of income and expenditure must be compiled under relevant heads so as to
disclose the sources of income, nature of expenditure incurred to earn it, the
composition of assets, sources from which capital has been procured and the
nature
of liabilities outstanding for payment. The accounting system in all ARDB needs
to
follow these principles and policies in the treatment and recording of all financial
transactions.
In spite of the fact that, the study found the internal control structures to be
effective, some weaknesses were however revealed which must be brought to
the attention of management for the necessary corrective actions to be taken.
These are discussed under their respective sub-headings below.
Control Environment
A closer look at the individual questions however can help improve the situation
especially if management implements the following recommendations.
It was found out from the study that the banks culture, code of conduct, human
resource policies and performance reward systems are not very effective.
Management therefore must ensure that there are clear rewards (incentives) for
doing the right things and consequences (disincentives) for doing the wrong
things. In that respect if a serious problem occurs because of a breakdown in
internal control and it is found that management did not play its part to establish a
proper internal control environment, or did not act expeditiously to fix a known
problem, then those responsible need to be held accountable and face the
consequences.
It is also recommended that management must not only do what is right in the
organization but also must be perceived to be doing what is right so that their
good examples might motivate others also to imitate them since they set the tone
at the top.
Also to ensure that, the right thing is done, management should establish an
anonymous fraud tip hotline and enact a whistle-blowers protection policy (where
a suspicion of fraud and waste is reported)
Risk Assessment
Control Activity
In ensuring effective control activity, management must enforce job rotation and
vacation policies in order to improve upon transparency and bring benefits to the
bank. This not only ensures that the bank only has someone who can step into a
job in the event of an emergency, but it also deters fraud when potential
perpetrators know that someone else will do their job for a period of time.
If fraud is occurring, another person reviewing the work is likely to expose that
fraud. Most fraud requires a great deal of attention and rarely stands up to
scrutiny by outsiders, particularly during a week or more of vacation. This is very
essential because even in medical practices where there is no fraud, this policy
helps detect on going errors and inefficiencies. Job rotation and enforced
vacation are inexpensive yet can reveal any hidden weakness in the internal
control process.
Monitoring
Though monitoring appears to be the most effective construct with about 90% of
the
respondents agreeing there is an effective monitoring, there are some few things
which mustbe brought to the attention of management.
Firstly, management must encourage all staff to report significant failings and
weakness promptly in order to ensure internal controls are working effectively.
BIBLIOGRAPHY
WEBSITES:
http://www.newpaltz.edu/internalcontrols/evaltool.pdf
http://www.studymode.com/subjects/'internal-control-as-a-tool-for-fraudmanagement
http://en.wikipedia.org/wiki/Literature_review
The FIRST BOOK: "Intelligent internal control and risk management ...
Risk Management, Assurance and Internal Control Systems
BOOK:
Management Control Systems- Sudhir Prakashan
APPENDIX
QUESTIONAIRE
This study is purely academic and respondents are assured that whatever
information is provided will be highly confidential.
Instructions: Please kindly tick the box that clearly expresses your view about a
question.
A. PERSONAL DATA
1. Sex:
Male [ ] Female [ ]
B. CONTROL ENVIRONMENT
8. The banks culture, code of conduct, human resource policies and performance
reward systems support the business objectives and internal control systems.
Strongly agree [ ] Agree [ ] Not Sure [ ] Disagree [ ] Strongly Disagree [ ]
C. RISK ASSESSMENT
9. The bank has clear objectives and these have been communicated so as to
provide effective direction to employees on risk assessment and control issues.
Strongly agree [ ] Agree [ ] Not Sure [ ] Disagree [ ] Strongly Disagree [ ]
10. Technology issues are considered and appropriately addressed.
Strongly agree [ ] Agree [ ] Not Sure [ ] Disagree [ ] Strongly Disagree [ ]
11. There is a clear understanding by staff within the bank of what risks are
accepted by management.
Strongly agree [ ] Agree [ ] Not Sure [ ] Disagree [ ] Strongly Disagree [ ]
D. CONTROL ACTIVITY
12. Processes exist for independent verification of transaction (to ensure
integrity)
Strongly agree [ ] Agree [ ] Not Sure [ ] Disagree [ ] Strongly Disagree [ ]
13. Independent reconciliations of assets and liabilities balances go on.
Strongly agree [ ] Agree [ ] Not Sure [ ] Disagree [ ] Strongly Disagree [ ]
14. The bank uses Close Circuit Television (CCTV) systems to protect physical
assets.
Strongly agree [ ] Agree [ ] Not Sure [ ] Disagree [ ] Strongly Disagree [ ]
F. MONITORING
18. Reports on significant failings or weaknesses are reported to management on
a timely basis.
Strongly agree [ ] Agree [ ] Not Sure [ ] Disagree [ ] Strongly Disagree [ ]
19. Management or approved personnel reviews results of audit
Strongly agree [ ] Agree [ ] Not Sure [ ] Disagree [ ] Strongly Disagree [ ]
20. Periodically, management reviews audit or internal control systems.
Strongly agree [ ] Agree [ ] Not Sure [ ] Disagree [ ] Strongly Disagree [ ]