Committee of Sponsoring Organizations of The Treadway Commission
Committee of Sponsoring Organizations of The Treadway Commission
Committee of Sponsoring
Organizations of the
Treadway Commission,
Internal Control
Integrated Framework:
Volume I, Executive Summary1
EXECUTIVE SUMMARY
Senior executives have long sought ways to better control the enterprises they run.
Internal controls are put in place to keep the company on course toward prof-
itability goals and achievement of its mission, and to minimize surprises along the
way. They enable management to deal with rapidly changing economic and com-
petitive environments, shifting customer demands and priorities, and restructur-
ing for future growth. Internal controls promote efficiency, reduce risk of asset
loss, and help ensure the reliability of financial statements and compliance with
laws and regulations.
Because internal control serves many important purposes, there are increasing
calls for better internal control systems and report cards on them. Internal control
is looked upon more and more as a solution to a variety of potential problems.
1
Reprinted with permission from Internal Control-Integrated Framework, Copyright 1992 by the
Committee of Sponsoring Organizations of the Treadway Commission. It should be noted that the
three additional volumes may be obtained from the American Institute of Certified Public Accoun-
tants. See Appendix B.
499
500 Appendix I
Internal control means different things to different people. This causes confusion
among businesspeople, legislators, regulators and others. Resulting miscommuni-
cation and different expectations cause problems within an enterprise. Problems
are compounded when the term, if not clearly defined, is written into law, regula-
tion or rule.
This report deals with the needs and expectations of management and others.
It defines and describes internal control to:
They understand the extent to which the entitys operations objectives are
being achieved.
Published financial statements are being prepared reliably.
Applicable laws and regulations are being complied with.
well as how individual activities relate to the work of others. They must have
a means of communicating significant information upstream. There also
needs to be effective communication with external parties, such as customers,
suppliers, regulators and shareholders.
MonitoringInternal control systems need to be monitoreda process that
assesses the quality of the systems performance over time. This is accom-
plished through ongoing monitoring activities, separate evaluations or a com-
bination of the two. Ongoing monitoring occurs in the course of operations. It
includes regular management and supervisory activities, and other actions
personnel take in performing their duties. The scope and frequency of separate
evaluations will depend primarily on an assessment of risks and the effective-
ness of ongoing monitoring procedures. Internal control deficiencies should
be reported upstream, with serious matters reported to top management and
the board.
Internal control can help an entity achieve its performance and profitability
targets, and prevent loss of resources. It can help ensure reliable financial report-
ing. And it can help ensure that the enterprise complies with laws and regula-
tions, avoiding damage to its reputation and other consequences. In sum, it can
help an entity get to where it wants to go, and avoid pitfalls and surprises along
the way.
Internal ControlIntegrated Framework 503
Unfortunately, some people have greater, and unrealistic, expectations. They look
for absolutes, believing that:
Internal control can ensure an entitys successthat is, it will ensure achieve-
ment of basic business objectives or will, at the least, ensure survival.
Even effective internal control can only help an entity achieve these objec-
tives. It can provide management information about the entitys progress, or
lack of it, toward their achievement. But internal control cannot change an in-
herently poor manager into a good one. And, shifts in government policy or
programs, competitors actions or economic conditions can be beyond man-
agements control. Internal control cannot ensure success, or even survival.
Internal control can ensure the reliability of financial reporting and compli-
ance with laws and regulations.
This belief is also unwarranted. An internal control system, no matter how
well conceived and operated, can provide only reasonablenot absoluteas-
surance to management and the board regarding achievement of an entitys
objectives. The likelihood of achievement is affected by limitations inherent
in all internal control systems. These include the realities that judgments in
decision making can be faulty, and that breakdowns can occur because of sim-
ple error or mistake. Additionally, controls can be circumvented by the collu-
sion of two or more people, and management has the ability to override the
system. Another limiting factor is that the design of an internal control system
must reflect the fact that there are resource constraints, and the benefits of
controls must be considered relative to their costs.
Thus, while internal control can help an entity achieve its objectives, it is not a
panacea.
This report is in four volumes. The first is this Executive Summary, a high-level
overview of the internal control framework directed to the chief executive and
other senior executives, board members, legislators and regulators.
Internal ControlIntegrated Framework 505
The second volume, the Framework, defines internal control, describes its
components and provides criteria against which managements, boards or others
can assess their control systems. The Executive Summary is included.
The third volume, Reporting to External Parties, is a supplemental document
providing guidance to those entities that report publicly on internal control over
preparation of their published financial statements, or are contemplating doing so.
The fourth volume, Evaluation Tools, provides materials that may be useful in
conducting an evaluation of an internal control system.
What to Do
Actions that might be taken as a result of this report depend on the position and
role of the parties involved:
system, and may wish to compare their evaluation materials to the evaluation
tools.
Legislators and RegulatorsGovernment officials who write or enforce laws
recognize that there can be misconceptions and different expectations about
virtually any issue. Expectations for internal control vary widely in two re-
spects. First, they differ regarding what control systems can accomplish. As
noted, some observers believe internal control systems will, or should, prevent
economic loss, or at least prevent companies from going out of business. Sec-
ond, even when there is agreement about what internal control systems can
and cant do, and about the validity of the reasonable assurance concept,
there can be disparate views of what that concept means and how it will be ap-
plied. Corporate executives have expressed concern regarding how regulators
might construe public reports asserting reasonable assurance in hindsight
after an alleged control failure has occurred. Before legislation or regulation
dealing with management reporting on internal control is acted upon, there
should be agreement on a common internal control framework, including lim-
itations of internal control. This framework should be helpful in reaching such
agreement.
Professional OrganizationsRule-making and other professional organiza-
tions providing guidance on financial management, auditing and related top-
ics should consider their standards and guidance in light of this framework. To
the extent diversity in concept and terminology is eliminated, all parties will
benefit.
EducatorsThis framework should be the subject of academic research and
analysis, to see where future enhancements can be made. With the presump-
tion that this report becomes accepted as a common ground for understanding,
its concepts and terms should find their way into university curricula.
We believe this report offers a number of benefits. With this foundation for
mutual understanding, all parties will be able to speak a common language and
communicate more effectively. Business executives will be positioned to assess
control systems against a standard, and strengthen the systems and move their
enterprises toward established goals. Future research can be leveraged off an es-
tablished base. Legislators and regulators will be able to gain an increased under-
standing of internal control, its benefits and limitations. With all parties utilizing
a common internal control framework, these benefits will be realized.