Internal Audit Program
Internal Audit Program
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4. Revenues and Accounts Receivable Credit and Collection 4.1 There is a documented credit policy which covers:1. Standard terms and conditions of payment 2. Levels of authority to vary policy terms and under what conditions terms may be altered 3. how prospective customers are assessed for credit 4. who has the authority to set and amend credit limits 5. how overdue accounts are controlled and followed up. Testing 1. Ensure that a documented credit policy exists. 2. review this to ensure that the above areas are adequately covered Results 4.2 High risk accounts are not approved unless security is provided, such as:1. Guarantees 2. Letters of credit 3. Retention of title clauses (capable of being implemented effectively). Testing 1. ascertain whether any high risk accounts exist (if no consider this answer against the aged debt profile) 2. if yes enquire what measures are taken to ensure that payment is received Results 4.3 The opening of new accounts and amendment to credit limits and credit terms are closely co-ordinated with the credit control function. Testing How is the credit control function involved in the opening of accounts and amendment of credit limits and credit terms. Results 4.4 Individual orders that would cause the total outstanding balance to exceed the credit limit are rejected and flagged for attention. To be fulfilled, they need approval by higher-level management. Testing Document the process for dealing with situations where customer credit limits are/will be exceeded Results 4.5 Reports are prepared and reviewed monthly detailing:1. Aged analysis of debtors, including significant overdue balances, accounts in dispute and claims by customers 2. Customer balances exceeding credit limits 3. Overdue customer accounts 4. Credit balances 5. Unallocated cash. Testing
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