Turnover certificate by the Chartered Accountants
Turnover certificate by Chartered Accountants as per the Guidance Note by ICAI
Chartered Accountants in practice are often called upon to issue reports/certificates for special purposes e.g. reports/ certificates required under the tax laws or for Government welfare schemes, tenders or registrations.
CAs, we frequently see social media discussions about issuing specific certificates. These discussions often involve confusion about permissible ones and questions regarding the value of certain documents. Can we issue X Certificates? Why "Y" authority asking?
It's crucial to remember that CAs can issue various certificates and reports, but only when following relevant ICAI guidance notes. These readily available, high-quality materials provide a clear framework for our professional practice. By diligently adhering to these guidelines, we ensure our safety and the profession's integrity.
Therefore, let's not shy away from these opportunities. Do not create unnecessary debates on social media on such matters. Instead, let's actively engage and use our expertise within established guidelines. This benefits our clients and strengthens the CA designation's value and reputation. Remember, if we don't step up, someone else will.
- Sometimes, the respective authority prescribes format of certificate to be given by CA. The wordings of such formats often requires the use of word or phrase like “certify” or “true and correct” to indicate absolute level of assurance expected to be provided by the practitioner on the subject matter. As per GN on Reports or Certificates for Special Purposes (Revised 2016) (“The guidance note”) Absolute assurance indicates that a practitioner has performed procedures as considered appropriate to reduce the engagement risk to zero.
- As per the Guidance note a practitioner is expected to provide either a reasonable assurance (about whether the subject matter of examination is materially misstated) or a limited assurance (stating that nothing has come to the practitioner’s attention that causes the practitioner to believe that the subject matter is materially misstated). A practitioner is not expected to reduce the engagement risk to zero. This is because there are inherent limitations attached to the procedures which a practitioner may perform in relation to issuance of a report or certificate, as the case may be.
- Due to such limitations, depending upon the nature, timing and extent of procedures that can be performed based upon the facts and circumstances of the case, a report or certificate issued by a practitioner can provide either reasonable or limited level of assurance.
- Therefore, whenever a practitioner is required to give a “certificate” or a “report” for special purpose, the practitioner needs to undertake a careful evaluation of the scope of the engagement, i.e., whether the practitioner would be able to provide reasonable assurance or limited assurance on the subject matter.
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