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MACIAS GINI & O'CONNELL, LLP 3d -2010
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MACIAS GINI & O'CONNELL, LLP 3d -2010
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Last modified
12/8/2015 11:44:29 AM
Creation date
4/21/2010 2:33:09 PM
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Contracts
Company Name
MACIAS GINI & O'CONNELL, LLP
Contract #
A-2010-044
Agency
Finance & Management Services
Notes
Amends A-2006-108, A-2007-011, N-2008-052 Amended by A-2011-270, A-2012-081, A-2015-039
Document Relationships
MACIAS GINI & O'CONNEL, LLP (MGO) 3g -2015
(Amended By)
Path:
\Contracts / Agreements\M
MACIAS GINI & O'CONNELL LLP 3f -2012
(Amended By)
Path:
\Contracts / Agreements\M
MACIAS GINI & O'CONNELL LLP AKA MORELAND AND ASSOCIATES, INC. 3b -2008
(Amends)
Path:
\Contracts / Agreements\M
MACIAS GINI & O'CONNELL, LLP 3c -2008
(Amends)
Path:
\Contracts / Agreements\M
MORELAND AND ASSOCIATES, INC. 3 - 2006
(Amends)
Path:
\Contracts / Agreements\M
MORELAND AND ASSOCIATES, INC. 3a - 2007
(Amends)
Path:
\Contracts / Agreements\M
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Mr. Francisco Gutierrez <br />Executive Director of Finance and Management <br />City of Santa Ana <br />January 26, 2010 <br />Page 5 <br />Audit Procedures-Compliance <br />As part of obtaining reasonable assurance about whether the financial statements are free of material <br />misstatement, we will perform tests of the City's compliance with applicable laws and regulations and the <br />provisions of contracts and agreements, including grant agreements. However, the objective of those <br />procedures will not be to provide an opinion on overall compliance and we will not express such an opinion <br />in our report on compliance issued pursuant to Government Auditing Standards. <br />OMB Circular A-133 requires that we also plan and perform the audit to obtain reasonable assurance about <br />whether the auditee has complied with applicable laws and regulations and the provisions of contracts and <br />grant agreements applicable to major programs. Our procedures will consist of tests of transactions and other <br />applicable procedures described in the OMB Circular A-133 Compliance Supplement for the types of <br />compliance requirements that could have a direct and material effect on each of the City's major programs. <br />The purpose of these procedures will be to express an opinion on City's compliance with requirements <br />applicable to each of its major programs in our report on compliance issued pursuant to OMB Circular A-133. <br />Engagement Administration, Fees, and Other <br />We may from time to time, and depending on the circumstances, use third-party service providers in serving <br />your account. We may share confidential information about you with these service providers, but remain <br />committed to maintaining the confidentiality and security of your information. Accordingly, we maintain <br />internal policies, procedures, and safeguards to protect the confidentiality of your personal information. In <br />addition, we will secure confidentiality agreements with all service providers to maintain the confidentiality <br />of your information and we will take reasonable precautions to determine that they have appropriate <br />procedures in place to prevent the unauthorized release of your confidential information to others. In the <br />event that we are unable to secure an appropriate confidentiality agreement, you will be asked to provide <br />your consent prior to the sharing of your confidential information with the third-party service provider. <br />Furthermore, we will remain responsible for the work provided by any such third-party service providers. <br />We understand that your employees will prepare all cash, accounts receivable, or other confirmations we <br />request and will locate any documents selected by us for testing. <br />At the conclusion of the engagement, we will complete the appropriate sections of the Data Collection Form <br />that summarizes our audit findings. It is management's responsibility to submit the reporting package <br />(including financial statements, schedule of expenditures of federal awards, summary schedule of prior audit <br />findings, auditors' reports, and corrective action plan) along with the Data Collection Form to the federal <br />audit clearinghouse. We will coordinate with you the electronic submission and certification. If applicable, <br />we will provide copies of our report for you to include with the reporting package you will submit to pass- <br />through entities. The Data Collection Form and the reporting package must be submitted within the earlier of <br />30 days after receipt of the auditors' reports or nine months after the end of the audit period, unless a longer <br />period is agreed to in advance by the cognizant or oversight agency for audits. <br />The audit documentation for this engagement is the property of Macias Gini & O'Connell LLP and <br />constitutes confidential information. However, pursuant to authority given by law or regulation, we may be <br />requested to make certain audit documentation available to Federal Oversight Agency or its designee, a <br />federal agency providing direct or indirect funding, or the U.S. Government Accountability Office for <br />purposes of a quality review of the audit, to resolve audit findings, or to carry out oversight responsibilities. <br />We will notify you of any such request. If requested, access to such audit documentation will be provided
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