Current Issues in Auditing American Accounting Association Volume7,Issue1DOI:10.2308/ciia-50446 2013
Pages P30–P35
PRACTITIONER SUMMARY
reactions to the online manageMandatory Audit Partner Rotation: Perceptions of Audit Quality Consequences Brian E.Daugherty,Denise Dickins,Richard C.Hatfield,and Julia L.Higgs
SUMMARY:This paper summarizes our study,‘‘An Examination of Partner Perceptions of Partner Rotation:Direct and Indirect Consequences to Audit Quality’’(Daugherty et al.
2012).The study examines the perceptions of practicing audit partners with respect to mandatory partner rotation and cooling-off periods,in general,and how the more stringent partner rotation rules mandated by the Sarbanes-Oxley Act may negatively impact audit partners’quality of life at the expense of audit quality.The results suggest that mandatory partner rotation increases partners’(and other engagement team members’)workloads,as well as the likelihood of partner relocation.In response to the Sarbanes-Oxley Act and the SEC’s acceleration of mandatory partner rotation and extension of cooling-off periods,t
he partners participating in this study indicate that they would rather learn a new industry than relocate.Importantly,partners perceive that audit quality suffers from retraining,but not from relocating.Taken together,the study’s results suggest that the partner rotation provisions create an unintended consequence—specifically an indirect,negative impact on audit quality.
Keywords:Sarbanes-Oxley;audit partner rotation;auditor independence;audit quality;
quality of life.
INTRODUCTION
In our paper‘‘An Examination of Partner Perceptions of Partner Rotation:Direct and Indirect Consequences to Audit Quality’’(Daugherty et al.2012),we surveyed practicing audit partners to examine their perceptions of mandatory audit partner rotation and cooling-off periods,and how the accelerated rotation and extended cooling-off periods imposed by the Sarbanes-Oxley Act(SOX, U.S.House of Representatives2002)and the SEC may have impacted auditors’quality of life and Brian E.Daugherty is an Assistant Professor at University of Wisconsin–Milwaukee,Denise Dickins is an Assistant Professor at East Carolina University,Richard C.Hatfield is a Professor at The University of Alabama,and Julia L. Higgs is an Associate Professor at Florida Atlantic University.
Submitted:January2013
Accepted:February2013
Published Online:March2013
audit quality.SOX accelerated lead audit partner rotation on U.S.public company audits from seven to five years.Further,SOX extended mandatory rotation to the engagement quality review partner.The SEC extended the mandatory cooling-off period before the lead and engagement quality review partners could return to the engagement from two to five years SEC(2003).1These legislative and regulatory changes led us to survey audit partners who practiced in both the pre-and post-SOX eras about their perceptions concerning mandatory rotation.We specifically consider how partner rotation,including SOX-mandated changes,may influence partners’perceived quality of life and how they manage potential trade-offs between quality of life and audit quality.
Mandatory partner rotation enables auditors to take a fresh look at client risk and engagement issues and,therefore,is viewed as increasing auditor independence,albeit at the expense of lost institutional knowledge related to client-specific matters.In the late2000s,the U.S.Department of the Treasury’s Advisory Committee on the Auditing Profession(ACAP)heard testimony on partner rotation,including ar
guments that the SOX-imposed partner rotation revisions negatively impacted partners’quality of life and,in turn,was detrimental to overall audit quality(U.S.Department of the Treasury,ACAP2008).Some of the testimony documented difficulties with reassignments caused by more frequent partner rotation,particularly in remote geographic regions and in small-practice offices;a growing concern about the profession’s ability to attract and retain high-caliber partners; and detrimental effects on technical and sector experience that results in diminished audit quality.
To determine whether these concerns are warranted,we distributed a survey to370practicing audit partners at14firms,representing approximately40distinct practice-office locations of various sizes.One hundred seventy surveys were returned(a46percent response rate)from Big4 firm partners(22percent),midsize-firm partners(50percent),and smaller-firm partners(28 percent).All responding partners had public company audit experience with firms subject to mandatory audit partner rotation.We developed the survey by conducting in-depth,semi-structured interviews with seven practicing audit partners in various geographic locations and practice-office sizes.We conducted these interviews to better understand the current rotation environment and how the SOX revisions were affecting practicing audit partners.Six of the interviewees were office managing partners and one was an industry expert partner.We chose this industry expert to assist in the development of the field s
urvey to better understand the role of industry expertise on audit quality.Following the interviews,we developed a model(Figure1)of the direct and indirect effects of mandatory rotation on audit quality,formed a series of related hypotheses,and developed the survey to test the model.The survey results were consistent with the various hypotheses,and thus consistent with the model.
The model predicted that partner rotation has a direct and negative effect on client-specific knowledge,and that client-specific knowledge has a direct and positive effect on audit quality.The model also predicts that partner rotation has a direct and positive effect on both auditor independence and audit quality.With respect to indirect effects,the model suggests that partner rotation influences partners’perceived quality of life with four primary potential reactions—relo-cation,retraining,resignation,and/or extensive commuting.These reactions were posited to have differential influences on audit quality.
1The lead partner on subsidiaries of a registrant whose assets or revenues constitute20percent or more of consolidated assets or revenues also is subject to the new requirements.However,partners who consult with the engagement team regarding technical or industry-specific issues are not subject to the requirements(SEC 2003).
FINDINGS
Participants were predominantly male (80percent)and 90percent were married.The audit partners reported being an expert in an average of 2.6industries,and had been lead (engagement quality review)partner on an average of 1.7(1.8)public company audits in the preceding year.They averaged 47years old,and had been an audit partner for an average of 11years.We viewed partner tenure as critical to the validity of our findings.At the time that we distributed the survey,SOX had been enacted for approximately seven years,and the revised partner rotation requirements had been in place for approximately five years.Thus,the majority of our audit partner participants had practiced in both the pre-and post-SOX environments,providing relevant experience on which to base their perceptions.
Our participants reported being employed in practice locations averaging 11audit partners,with one-third reporting five or fewer audit partners,and two-thirds reporting eight or fewer audit partners.We believe that this further contributes to the validity of our findings given that much of the ACAP testimony suggested that the SOX revisions to partner rotation were particularly difficult for smaller firms and for smaller-practice locations.The following subsections describe our findings related to the direct and indirect effects of mandatory partner rotation,including the changes mandated by the SOX legislation.2
FIGURE 1
Model of Direct and Indirect Effects of Mandatory Rotation on Audit
Quality
2All findings discussed are significant at traditional statistical levels unless otherwise indicated.Statistical significance levels are calculated by comparing means to the midpoint of a seven-point Likert scale,a meaningful midpoint separating general agreement from disagreement with the various statements included in the survey.
Direct Effects of Rotation on Audit Quality
Surveyed partners view mandatory rotation,in general,as improving auditor independence both in fact,relating to the auditor’s independent mental attitude,and in appearance,relating to others’perceptions of auditor independence,which in turn results in a positive impact on audit quality.However,our participating partners also agree that client-specific knowledge is lost because of rotation(reducing audit quality),and that longer auditor tenures yield higher audit quality.As one partner noted,‘‘audit quality can be negatively impacted when a key member of the engagement team,who has gained special knowledge of a client,is removed from the team’’(Daugherty et al.2012).
The partners do not view the acceleration of rotation,or extension of cooling-off periods, required by SOX and the implementing SEC rules as improving auditor independence in fact. Accelerated rotation is perceived to enhance independence in appearance,but extended cooling-off periods have no significant effect on perceived independence.
Effects of Rotation on Partners’Perceived Quality of Life With regard to mandatory partner rotation,in general,participating partners believe that rotation increases the workload of the incoming lead partner,the outgoing lead partner,and other engagement team members in the initial year of rotation.Th
ey also perceive that mandatory rotation increases the likelihood of being required to relocate during their career,and that the potential for relocating(or extensive commuting)discourages employees from pursuing an audit partner track career progression.The partners collectively believe that required relocation negatively impacts their quality of ,spouse career disruption,children changing schools).
With respect to the SOX and SEC implemented rules accelerating rotation and extending cooling-off periods,surveyed partners believe that these changes significantly increase the likelihood that they will be required to gain new industry expertise over the course of their careers. They do not believe that the new changes hinder their ability to attract high-caliber employees,but they are neutral on the impact of the changes on their ability to retain these types of employees. Notably,while the partners indicate that mandatory rotation(in general)increases the likelihood of relocation,the partners do not believe that accelerated rotation and extended cooling-off periods increase the frequency with which they will have to relocate.It appears that the reconciliation of these differing perceptions lies in the partners’reported behavioral responses to relocation.
Partners’Behavioral Responses to Relocation
As discussed,relocation caused by mandatory partner rotation is viewed as having a negative and significant impact on partners’quality of life.Similar results are found for partners’perceptions about serving less-prestigious clients.On average,partners are more willing to invest time gaining new industry expertise than to relocate in response to accelerated rotation and increased cooling-off periods.Surveyed partners’other responses bear out these findings as less than four percent had relocated as a result of mandatory partner rotation,while just over half report having learned a new industry as a result of rotation requirements.3
3Our survey was administered after the first round of mandatory partner rotations under the new requirements.
These percentages may well change following the second and succeeding rounds of partner rotations.
Effect of Relocating versus Retraining on Audit Quality The participating partners disagree that audit quality suffers as a result of required relocation, but agree that audit quality is diminished when engagement partners acquire new industry expertise.One partner stated,‘‘My biggest issue with the current rotation issue relates to the need to completely learn a new industry and clients to which we have little familiarity and industry knowledge’’(Daugherty et al.2012).Given that the surveyed partners
appear to avoid relocation out of concern for quality of life,and more than50percent report learning a new industry to remain in their current practice location,these findings collectively suggest that an unintended consequence of the SOX rotation mandates may be diminished audit quality—at least in the near term.
Partners report that it takes an average of2.5years to become fully effective on a new audit assignment(58percent reported needing more than two years,and93percent reporting needing at least two years).These findings are consistent with the results of prior research that suggest a two-to-three year familiarization period in the pre-SOX ,Johnson et al.2002).In written responses accompanying the survey,some partners suggested that the departing engagement partner’s effectiveness also may be somewhat diminished in their final year on an audit engagement as they are‘‘auditioning’’for their replacement engagement(s)with audit committees, senior management,etc.If true,this suggests that engagement partners only may be optimally effective during their third and fourth years of a five-year audit engagement tenure.This impact may be further compounded by the extended cooling-off period before a partner may return to the client,a time during which substantial institutional changes at the client are likely to , turnover of audit committee members and senior management,new information and risk management technologies).
PRACTICE IMPLICATIONS AND SUGGESTIONS
FOR FUTURE RESEARCH
Our survey provides evidence that unintended consequences of new regulations may occur because of strategic partner responses in a dynamic environment.That is,partners have a need for work/life balance and maintaining this balance,in this instance,may have implications for the expectation of improved audit quality brought about by SOX.Under the current rotation requirements,these findings suggest that knowledge transfer strategies between audit partners and other members of the audit engagement team are critical.As one partner noted,‘‘Coordination of outgoing,incoming partners is critical and time consuming and ultimately,is in the hands of those two partners’’(Daugherty et al.2012).A detailed discussion of examples of knowledge transfer strategies can be found in Daugherty et al.(2011).Further,audit firms need to have a robust succession-planning program so that partners have adequate time to retool in a new industry.
When we conducted interviews in late2009to help better understand the range of issues potentially created by SOX-and SEC-mandated changes to the audit partner rotation rules,one of the partners suggested that,at that time,we would likely only be seeing the‘‘tip of the iceberg’’with respect to the cha
nges’full impact on partners’quality of life and audit quality.As we are now beyond the tenth anniversary of SOX and additional rounds of rotations under the revised requirements,this observation and our findings suggest a number of opportunities for additional research,both domestically and internationally.In particular,researchers may want to examine evidence of post-SOX changes in audit and financial reporting quality.Rotation regimes vary from
版权声明:本站内容均来自互联网,仅供演示用,请勿用于商业和其他非法用途。如果侵犯了您的权益请与我们联系QQ:729038198,我们将在24小时内删除。
发表评论