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TORONTO — TICO has put together an FAQ for the new amendments announced March 30, to Ontario Regulation 26/05, aimed at the reduction of administration and other overhead expenses associated with financial reporting for TICO registrants.
The amendments are as follows …
“Although the timing of this burden reduction is reflective of the severity of the COVID-19 pandemic, the regulatory amendments with respect to financial documents are not time-limited. The new requirements will apply moving forward,” says TICO.
Here’s a list of FAQs that TICO has put together to help registrants understand the changes:
Q. What if a Registrant already completed a Review Engagement or Audit report?
A. The amendments are effective March 30, 2020. For the Verification Statement click here.
Registrants have the option of providing annual financial statements, that meet the requirements of the Regulation for reporting to the Registrar, if they prefer, rather than a Verification Statement.
Q. What if a Registrant already signed an Engagement Letter or is the midst of completing the Review Engagement Report or Audit for year-ends prior to March 30?
A. TICO suggests reviewing options with a Licensed Public Accountant (“LPA”) to find the least costly solution to existing arrangements. This may include reducing the work to providing a Review Engagement Report if sales are over $10 million instead of an Audit; a Notice to Reader, or alternatively, internal financial statements for sales below $2 million per year. There is no change to reporting requirements for Registrants with annual sales between $2 million and $10 million. A Review Engagement Report must be submitted to TICO.
“If this situation is applicable to you, you are encouraged to contact your LPA as soon as possible to discuss your reporting options. Please note that TICO will not accept requests for refunds of fees expended and appreciates your continued support and understanding.”
Q. What if a Registrant’s gross Ontario sales were less than $2 million in the last fiscal year and a Registrant prepares internal financial statements each year? Are they still required to provide a Verification statement?
A. As noted above, all Registrants with year-ends after March 30, 2020, have the option of providing annual financial statements, that meet the requirements of the Regulation for reporting to the Registrar, if they prefer, rather than a Verification Statement.
If Registrants also prepare accredited financial statements for other reporting requirements, not related to TICO requirements, they are encouraged to submit these additional financial statements along with the Verification Statement.
Q. What is the filing deadline for the Verification Statement?
A. The filing deadline for the Verification Statement remains the same as the Financial Statement Filing deadline (i.e. three months after the registrant’s fiscal year-end). The Verification Statement can be internally prepared by the Registrant and must be attested to by Registrant/Officer/Director/
Q. What if my gross Ontario sales are above $2 million per year?
A. Registrants with gross Ontario sales over $2 million per year are required to file Review Engagement Reports. All reporting requirements are based on the prior year’s Ontario gross sales reported.
Q. What if an agency’s year-end filing is due after March 30, 2020 and the agency hasn’t started preparing the financial statements?
A. If the year-end filing is due after March 30, 2020 the new regulations apply as per the above.
To view the full update to Ontario Regulation 26/05 click here.