HomeMy WebLinkAbout10/01/2013 - Report: Asset Management Report - City Council - Audit Committee
Performance Audit:
Asset Management
October 2013
City Internal Auditor’s Office
City of College Station
File#: 13.02
Asset Management Audit
Table of Contents
Introduction ................................................................................................................. 1
Audit Objective and Scope .................................................................................... 1
Audit Methodology ................................................................................................ 2
Findings and Recommendations ..................................................................................... 3
Capital Assets should be Recorded Timely into the City Record ......................... 3
Periodic Capital Asset Inventories should be Conducted .................................... 5
Capital Assets Records should Be Reliable ........................................................... 7
Capital Asset Useful Life should be Estimated Consistently ................................ 8
Multi-part Assets should be Capitalized Consistently .........................................10
Capital Assets Records Should Show Proper Disposal ........................................12
Management’s Response to the Audit Recommendations ..................................14
Asset Management Audit 1
Introduction
The City Internal Auditor’s Office conducted this performance audit of asset management
pursuant to Article III Section 30 of the College Station City Charter, which outlines the City
Internal Auditor’s primary duties.
A performance audit is an objective, systematic examination of evidence to assess
independently the performance of an organization, program, activity, or function. The
purpose of a performance audit is to provide information to improve public accountability
and facilitate decision-making. Performance audits encompass a wide variety of objectives,
including those related to assessing program effectiveness and results; economy and
efficiency; internal control; compliance with legal or other requirements; and objectives
related to providing prospective analyses, guidance, or summary information.
A performance audit of city assets was included in the fiscal year 2013 audit plan based on
direction given by the City’s Audit Committee.
Asset management, in its most basic form, is the proper safeguarding and recording of
assets. In the City of College Station, asset management is mostly decentralized, with each
department given primary responsibility for tracking and safekeeping their own assets.
According to city policy, Fiscal Services is responsible for keeping a city-wide record of all
capitalized assets, which is defined as an asset with ―an original cost or value of at least
$5,000 and a useful life of more than three years.‖
Audit Objective and Scope
This audit evaluated the City’s asset management policies and practices, to determine if the
City’s capital assets are being adequately recorded and safeguarded.
In July 2013, an asset management audit of the Fire Department was completed. Based on
the findings of that audit, it was decided to expand the scope of our review of the City’s
asset management practices to include all city departments. As of September 30, 2013,
there were over 6,000 assets in the City’s asset management system recorded as being still
in use. However, for most audit tests performed, we excluded assets that make up land,
infrastructure, buildings, or have an acquisition value of less than $5,000. This left about
1,300 assets that were included in the scope of at least one of the audit tests performed.
These assets were mostly vehicles or equipment.
Asset Management Audit 2
Audit Methodology
This audit was conducted in accordance with government auditing standards (except for the
completion of an external peer review),1 which are promulgated by the Comptroller General
of the United States. Audit fieldwork was conducted from July 2013 through September
2013. The audit methods included:
Reviewing the work of auditors in other jurisdictions and researching professional
literature to identify best practices regarding asset management.
Interviewing city staff responsible for performing various related duties and/or oversight
functions.
Reviewing applicable city policies and procedures, relevant state and federal laws and
regulations, and GASB and GFOA standards and best practices.
Examining the City’s asset records to identify any inaccurate records or inconsistencies
in data recording.
Evaluating the purchasing through asset disposal process to identify potential process or
procedural breakdowns.
Performing on-site inspections of city departments’ assets to determine if the asset
observed in the field corresponds to the asset information recorded in the City’s financial
records.
1 Government auditing standards require audit organizations to undergo an external peer review every 3 years.
Asset Management Audit 3
Findings and Recommendations
This audit of asset management focused on the following areas of review: recording capital
assets timely and accurately, performing periodic capital asset inventories, estimating useful
lives of capital assets consistently, recording multi-part assets consistently, and disposing of
assets properly.
Significant analysis and research support each audit finding. Although this report does not
provide these details, documentation supporting the audit findings may be provided to city
officials upon request.
Overall Recommendation: Well-written policies and procedures encourage compliance,
consistency, sound decision-making, and productivity. Therefore, Fiscal Services should
develop an accounting policy and procedures manual that is sufficiently detailed to help
ensure that capital asset records are complete, accurate, consistent, understandable,
reliable, relevant, timely, and comparable.
Capital Assets should be Recorded Timely into the City Record
Criteria: Timeliness is one of the primary principals of financial reporting. According to
the Government Accounting Standards Board (GASB), financial reporting is the
means of communicating financial information to users. For this
communication to be effective, information in financial reports must have these
basic characteristics: understandability, reliability, relevance, timeliness,
consistency, and comparability (GASB 1.62).
Accounting professionals at 16 Texas cities2 were interviewed to determine
when they record capital assets into their accounting system. Of these 16
Texas cities, 11 record capital assets into their financial system soon after they
are acquired and put into service (monthly or sooner). Two cities record capital
assets quarterly and three record capital assets at least by the end of the fiscal
year.
We also interviewed several certified public accountants (CPA)—including the
City’s external auditors at Ingram & Wallace. According to the CPAs we
interviewed, capital assets should ideally be entered into an accounting system
soon after they are placed into service.
2 Cities contacted were as follows: Beaumont, Denton, Grand Prairie, Laredo, McKinney, Mesquite, Plano, San
Antonio, Carrollton, Frisco, Killeen, Lubbock, Midland, Odessa, Round Rock, and San Marcos.
Asset Management Audit 4
Potential
Risk:
Not recording a capital asset in the fiscal year it is put into service may impact
the accuracy of financial statements. There is also a higher risk of asset
misappropriation if assets are not timely entered into the City’s record.
Scope: Capital assets currently in use (as of June 2013) that were put into service
between September 2009 and June 2013. Not including land, buildings, or
infrastructure.
Observations:
1. We were unable to identify documented policies and procedures that provided sufficient
direction regarding how and when capital assets are to be entered into the asset
management system.
2. Between September 2009 and June 2013 it took, on average, three months after a
capital asset had been received and put into service to be recorded in the City’s asset
management system. In fiscal year 2012, it took an average of five months for capital
assets to be entered into the system.
3. There are at least 17 (6%) capital assets that were not recorded in the fiscal year they
were put into service. This finding is based on the difference between the asset’s install
date and the date the asset record is created. To ensure that these dates were accurate
for our analysis, we examined other records such as invoices, checks, and purchasing
documents. For example, we found a forklift that was recorded in the asset
management system 616 days after the install date.
Recommendation:
Documented policies and procedures regarding the timing of when assets must be entered
into the asset management system should be developed. Separate procedures for capital
asset true additions (e.g. vehicles and equipment) and capital projects may be reasonable.
For example, waiting until the end of the fiscal year to ensure that all capital projects are
entered into the accounting system could be justified under some circumstances. However,
capital asset true additions should be entered into the system soon after the City takes
ownership of the asset.
Asset Management Audit 5
Periodic Capital Asset Inventories should be Conducted
Criteria: The Government Finance Officers Association (GFOA) recommends that every
state and local government periodically inventory its tangible capital assets so
that all such assets are accounted for, at least on a test basis, no less often
than once every five years. While well-designed and properly maintained
perpetual inventory systems can eliminate the need for an annual inventory of
a government’s tangible capital assets, no inventory system is so reliable
as to eliminate completely the need for a periodic physical inventory.
Potential
Risk:
According to the GFOA, it is essential that governments establish and maintain
appropriate inventory systems for their tangible capital assets. Such systems
are needed to protect tangible capital assets from the danger of loss or
misuse.
Scope: Capital assets currently in use (as of June 2013). Not including land, buildings,
or infrastructure. Excluding non-fleet Department of Information Technology
(DIT) capital assets.3
Observations:
1. External Audit: The external auditors perform an annual financial audit. This audit does
not involve a physical inspection of assets, except for some limited testing in the College
Station Utilities warehouse inventory.
2. Asset Inventory: It has been more than ten years since the last physical inventory of
capital assets has been conducted.
3. Assets not in the Records: We were unable to find asset management records for 32
(5%) capital assets within our scope. We discovered these assets by reconciling fleet
management’s records with the asset management records, interviewing knowledgeable
employees, and via physical inspection. Most of these assets would have been fully
depreciated several years ago. Therefore, regardless of whether the assets are missing
from the asset management record or not, there is likely no material impact on recent
financial statements.
4. Unverified Assets: There were 643 assets in the City’s record within our scope that
needed to be verified. We verified through physical inspection 634 (99%) of these
3 There were 328 DIT capital assets recorded as being still in use as of June 2013 (not including land, buildings,
infrastructure, or fleet vehicles or equipment). Identifying and verifying these assets, however, proved
especially difficult given the state of the records in the asset management system. To provide for a more timely
audit report, these assets were excluded from our scope.
Asset Management Audit 6
capital assets. Therefore, asset records lacked sufficient information for us to identify
and verify the remaining 9 assets (1%).
Recommendation:
A policy and procedure should be developed requiring an inventory of capital assets to be
conducted at least once every five years. Several options utilized by other government
agencies for performing periodic capital asset inventories exist. For example, requiring
departments to perform physical inventories and submit a report centrally to Fiscal Services
or the Internal Auditor’s Office. Alternatively, the physical inventory could be conducted by
Fiscal Services or the Auditor’s Office. In addition, consideration should be given to
implementing a bar code system (or some other type of inventory tracking system) to more
efficiently identify and track tangible capital assets such as vehicles and equipment.
Asset Management Audit 7
Capital Assets Records should Be Reliable
Criteria: According to GASB 1.62, reliability is one of the basic characteristics of
effectively communicating financial information to users.
According to city policy, Fiscal Services is responsible for maintaining the
permanent records of the City’s capital assets. The policy dictates that Fiscal
Services should ensure that the following information is recorded for each
asset record: description, cost, department of responsibility, date of
acquisition, depreciation, and expected useful life. In addition, we found that
recording serial or vehicle identification numbers are helpful in managing and
locating assets.
Potential
Risk:
When the City’s asset records are inaccurate, inconsistent, or missing data, it
makes asset management less effective, it makes asset inventory excessively
difficult, and increases the risk of misappropriation. In addition, when recorded
install dates do not accurately reflect the asset’s actual installation, calculations
for depreciation could be incorrect.
Scope: Capital assets currently in use (as of June 2013). Not including land, buildings,
or infrastructure.
Observations:
1. Install Dates: We found at least 12 instances (4%) where it appears that incorrect install
dates were entered into the system. For example, a Polaris ATV was entered into the
asset record in September 2013 and received and paid for in January 2013. However,
the install date entered for this asset is January 2012. Because depreciation is tied to
the install date, the life-to-date depreciation (as of October 2013) is more than double
what it would appear it should be.
2. Serial Numbers: We found 32 instances (8%) where an asset’s serial number was not
entered into the records even though a serial number was available. We also identified
96 instances (15%) where vehicle identification or serial numbers were entered
incorrectly into the asset management system.
Recommendation:
Before periodic inventories of capital assets can be efficiently and effectively performed,
asset management records need to be better maintained so that assets can be more easily
identified and found using these records. Therefore, specific policies and procedures should
be considered with this aim in mind.
Asset Management Audit 8
Capital Asset Useful Life should be Estimated Consistently
Criteria: According to GASB, capital assets should be depreciated over their estimated
useful lives unless they are either inexhaustible or capital infrastructure. For
estimated useful lives, governments can use (a) general guidelines obtained
from professional or industry organizations, (b) information for comparable
assets of other governments, or (c) internal information. In determining
estimated useful life, a government also should consider an asset’s present
condition and how long it is expected to meet service demands.
According to the GFOA, the best source of relevant information on the
estimated useful lives of a government’s capital assets normally is its own past
experience with similar assets. At the same time, a government should make
whatever adjustments are needed to estimated useful lives that were obtained
from others to ensure that such estimates are appropriate to its own particular
circumstances. Once established, estimated useful lives for major categories of
capital assets should be periodically compared with a government’s actual
experience and appropriate adjustments should be made to reflect this
experience.
The State of Texas also publishes recommended useful lives for varying types
of assets called State Property Accounting Class Codes (SPA). The SPA can be
found on the Financial Management Extranet (FMX) and is specifically designed
to give guidance to state agencies and institutions of higher education.
Therefore, it is not actually binding on cities, but can still act as useful
guidelines for assessing the reasonableness of capital asset useful lives. We
also found that some municipalities use the Modified Accelerated Cost
Recovery System (MACRS) tables described in IRS publication 946 when
determining their useful life estimates.
Potential
Risks:
GFOA states that the estimated useful life assigned to a capital asset will
directly affect the amount of depreciation expense reported each period in an
accrual-based operating statement. Therefore, it is important to the quality of
financial reporting that governments establish reasonable estimates of the
useful lives of all of their depreciable capital assets.
Scope: Capital assets currently in use (as of June 2013). Not including land, buildings,
or infrastructure.
Asset Management Audit 9
Observations:
1. The City is not consistent in assigning estimated useful lives to assets. We found
multiple occurrences of identical assets with identical uses being assigned different
useful lives. We also tested to see if the actual useful lives of city capital assets
corresponded with the criteria set out by the SPA or MACRS—and did not find a
consistent relationship.
2. Typically, the City’s useful life estimates are much shorter than the actual useful life of
the assets. Of retired assets, the average actual useful lives of these assets are 21
months greater than their estimated useful lives. Of assets recorded as still in use (as of
June 2013), the average actual useful lives of these assets are at least 52 months
greater than their estimated useful lives.
Recommendation:
A policy and procedure should be developed to ensure that capital asset useful lives are
consistently applied to asset groups. In addition, the GASB standards and the GFOA best
practices described in this report should be considered when developing this policy and
procedure.
Asset Management Audit 10
Multi-part Assets should be Capitalized Consistently
Criteria: According to GASB 1.62, consistency and comparability are two of the
basic characteristics of effectively communicating financial information to
users.
It is the auditor’s opinion that the following policies found in the Texas A&M
University Accounting Manual are good practices that should be emulated: (1)
component assets should be able to function independently or ―stand alone‖
before it is capitalized by itself and (2) when an asset is incorporated into
another asset (component asset), the asset’s value should be increased
accordingly. These policies are not unique to Texas A&M. For example, we
found that the accounting manuals of the City of Houston and University of
Texas San Antonio have similar policies.
Potential
Risk:
When assets are inconsistently capitalized, the records become more difficult
to understand, less reliable, and less comparable. When a component asset is
capitalized with another asset without increasing the other asset’s value
accordingly, the action is essentially the same as not capitalizing the
component asset.
Scope: Capital assets currently in use (as of June 2013). Not including land, buildings,
or infrastructure.
Observations:
1. Component Assets (not capitalized): There are instances in the records where
component assets have not been capitalized as their own asset (but probably should
be). For example, ambulance stretchers have not been capitalized as their own assets,
even though they meet capitalization thresholds. We were informed that the stretchers
have not been capitalized because they are component assets of ambulances. However,
we found instances where the value of an ambulance was not updated to reflect the
addition of these stretchers. Furthermore, the stretchers can operate independently of
the ambulances, have different useful lives, and are purchased and sold separately from
the ambulances.
2. Component Assets (capitalized): There are instances in the records where an asset has
a component asset that has been capitalized as its own asset (but probably should not
be). For example, the City owns two street sweeper vehicles. For both sweepers, the
front portion is a separate asset from the back portion. The sweepers cannot work
independently without the truck, and the truck cannot function without the sweeper.
Asset Management Audit 11
Therefore, these two assets work together as a single asset and cannot function
independently.
3. Inconsistent Capitalization: There are instances where the same types of assets and
their components are capitalized inconsistently. The following examples were found in
the course of the audit:
a. The City owns six hydraulic rescue tools. Five of these component assets were
capitalized with fire trucks; whereas, one was capitalized as a separate asset. It is
the auditor’s opinion that these assets can function independently of fire trucks;
therefore, they could be capitalized separately.
b. The City owns three dual loader boom trucks for refuse collection. The loader arm
and the vehicle are capitalized separately once; whereas, the other two vehicles’
loader arms are capitalized with their vehicles. The loader arm is manufactured with
the vehicle; therefore, it does not function independently of the vehicle.
Consequently, it is our opinion that the loader arm and the vehicle should be
capitalized together.
c. The City owns three large rear-load refuse collection vehicles. The rear-load
compaction unit and the vehicle are capitalized separately once; whereas, the other
two vehicles’ compaction units are capitalized with their vehicles. The compaction
unit is manufactured with the vehicle; therefore, it does not function independently
of the vehicle. Consequently, it is our opinion that the compaction unit and the
vehicle should be capitalized together.
d. College Station Utilities owns two sewer line pressure cleaning vehicles. The pressure
cleaning unit is manufactured with the vehicle; therefore, it does not function
independently of the vehicle. Consequently, it is our opinion this unit and the vehicle
should be capitalized together. However, one of the vehicles and its corresponding
compression unit were capitalized separately.
Recommendation:
Cities have a fair amount of flexibility in determining how component assets are to be
capitalized; however, no matter what policy the City chooses, it should ensure consistent
multi-part asset capitalization. Additionally, a policy and procedure should be developed that
ensures when an asset is incorporated into another asset (component asset); the asset’s
value is increased accordingly. Finally, a policy specifying that component assets should be
able to function independently or ―stand alone‖ before it is capitalized by itself should be
considered. For example, it would be more reasonable to capitalize street sweepers with
their trucks than stretchers with their ambulances.
Asset Management Audit 12
Capital Assets Records Should Show Proper Disposal
Criteria: Reliability is one of the basic characteristics of effectively communicating
financial information to users (GASB 1.62).
According to city policy, Fiscal Services is required to keep a record of each
item of surplus or salvage property sold and the sale price of each item. In
addition, the policy dictates that the record of each item disposed of must be
kept for a period of one year.
Potential
Risk:
Asset records that inaccurately indicate whether an asset is retired or still in
use increases the risk of misappropriation. In addition, if the asset is sold prior
to the end of its useful life, the depreciated value of the asset is inaccurately
reflected in the City’s financial statements until the asset is finally recorded as
retired or fully depreciated.
Scope: Capital assets recorded as retired in asset management records in 2012 or
2013. Not including land, building, infrastructure, or non-fleet DIT capital
assets.
Observations:
1. We found two assets (0.3%) that were recorded as retired even though they are still in
use in the City.
2. Many disposed assets are not being timely recorded as retired in asset management
records. We found six assets (7%) that were sold more than 10 years ago that only
recently, in 2013, had their status changed to indicate they had been retired. There
were an additional 21 assets (23%) recorded as retired between July and September
2013 that were sold or otherwise disposed of more than a year ago.
3. More than half of the assets in our scope had incorrect retirement dates recorded in the
asset management system. For many of these assets, the incorrect retirement dates
appear to be the result of entering the date the retirement was recorded as the
retirement date—rather than the date payment for the sale of the asset was received or
ownership ended. In addition, we found a few assets that were retired prior to the end
of their useful lives. Therefore, these assets erroneously appeared to still be active in
the asset management system and accumulate depreciation expense despite already
being sold.
Asset Management Audit 13
4. Of the assets included in our scope, we were unable to verify the retirement of only
three (3%) assets. These three assets may have been component parts attached to
trucks, and therefore may have been sold along with the trucks. However, due to lack of
sufficient documentation this could not be confirmed.
Recommendation:
Policies and procedures regarding the timely entry of asset disposal into the asset
management system should be developed. In addition, an asset’s recorded retirement date
should reflect the date the City receives payment for the disposed assets or when the City’s
ownership of the asset ends. Finally, if the City chooses to implement the GFOA best
practice of conducting physical inventories of capital assets at least every five years,
consideration should be given to changing its document retention policy to require asset
sale and disposal documentation be held by the City for at least five years.
Asset Management Audit 14
Management’s Response to the Audit Recommendations
To: Ty Elliott, Internal Auditor
From: Jeff Kersten, Executive Director of Business Services
Date: November 26, 2013
Subject: Management Responses to Recommendations to the Audit
The recommendations included in this audit report are in synch with the process changes
the finance department has been discussing over the last couple of years. However, the
current Enterprise Resource Planning (ERP) system has not allowed many of these changes
without costly implications.
The City is currently evaluating ERP software vendors that provide integrated solutions and
functionality the current software does not offer including notifications, alerts, and approval
capabilities to automate and streamline the process for recording the proper data elements,
capitalization, depreciation, and disposal of capital assets. Revised business processes,
policies and procedures will be created as part of the implementation of the new ERP
system.
The City hires an independent audit firm every year to audit the City’s financial records.
During the audit, they check transactions related to the recording of new assets, and the
disposal of retired assets. The City has received an unqualified opinion every year – which
means that the assets are recorded materially correct. This has allowed the City to delay the
costly implementation of these improvements until an updated ERP solution is found.
As we develop our new policies and procedures, we will review the audit recommendations,
the capabilities of a new ERP system, and weigh the costs and benefits of this
implementation including whether or not additional staffing resources should be considered.
This statement applies to all of the recommendations in the report.
Below are the audit report recommendations and management responses:
Capital Assets should be Recorded Timely into the City Record
Recommendation: Documented policies and procedures regarding the timing of
when assets must be entered into the asset management system should be
developed. Separate procedures for capital assets true additions (e.g. vehicles and
Asset Management Audit 15
equipment) and capital projects may be reasonable. For example, waiting until the
end of the fiscal year to ensure that all capital projects are entered into the
accounting system could be justified under some circumstances. However, capital
assets true additions should be entered into the system soon after the City takes
ownership of the asset.
Management Response: Management concurs that assets should be recorded in a
timely manner. Updated policies and procedures will be developed to address the
recording and tracking of capital assets. As we develop our new policies and
procedures, we will review the audit recommendations, the capabilities of a new ERP
system, and weigh the costs and benefits of this implementation including whether
or not additional staffing resources should be considered.
Periodic Capital Asset Inventories Should be Conducted
Recommendation: A policy and procedure should be developed requiring an
inventory of capital assets to be conducted at least once every five years. Several
options utilized by other government agencies performing periodic capital asset
inventories exist. For example, requiring departments to perform physical inventories
and submit a report centrally to Fiscal Services or the Internal Auditor’s Office. In
addition, consideration should be given to implementing a bar code system (or some
other type of inventory tracking system) to more efficiently identify and track
tangible assets such as vehicles and equipment.
Management Response: Management concurs that a physical inventory should be
done on a periodic basis. Updated policies and procedures will be developed to
address the recording and tracking of capital assets. As we develop our new policies
and procedures, we will review the audit recommendations, the capabilities of a new
ERP system, and weigh the costs and benefits of this implementation including
whether or not additional staffing resources should be considered.
Capital Asset Records Should be Reliable
Recommendation: Before periodic inventories of capital assets can be efficiently
performed, asset management records need to be better maintained so that assets
can be more easily identified and found using these records. Therefore, specific
policies and procedures should be considered with this aim in mind.
Management Response: Updated policies and procedures will be developed to
address the recording of capital assets. As we develop our new policies and
procedures, we will review the audit recommendations, the capabilities of a new ERP
system, and weigh the costs and benefits of this implementation including whether
or not additional staffing resources should be considered.
Asset Management Audit 16
Capital Asset Useful Life should be Estimated Consistently
Recommendation: A policy and procedure should be developed to ensure that
capital asset useful lives are consistently applied to asset groups. In addition, the
GASB standards and the GFOA best practices described in this report should be
considered when developing these policies and procedures.
Management Response: Staff will develop a policy and procedure addressing the
consistent recording of capital assets. As we develop our new policies and
procedures, we will review the audit recommendations, the capabilities of a new ERP
system, and weigh the costs and benefits of this implementation including whether
or not additional staffing resources should be considered.
Multi-part Assets Should be Capitalized Consistently
Recommendation: Cities have a fair amount of leeway in determining how
component assets are to be capitalized; however, no matter what policy the City
chooses, it should ensure consistent multi-part asset capitalization. Additionally, a
policy and procedure should be developed that ensures when an asset is
incorporated into another asset (component asset); the asset’s value is increased
accordingly. Finally, a policy specifying that component assets should be able to
function independently or ―stand alone‖ before it is capitalized by itself should be
considered. For example, it would be more reasonable to capitalize street sweepers
with their trucks than stretchers with their ambulances.
Management Response: Staff will develop a policy and procedure addressing how
component assets are capitalized. As we develop our new policies and procedures,
we will review the audit recommendations, the capabilities of a new ERP system, and
weigh the costs and benefits of this implementation including whether or not
additional staffing resources should be considered.
Capital Asset Records should Show Proper Disposal
Recommendation: Policies and procedures regarding the timely entry of asset
disposal into the asset management system should be developed. Finally, if the City
chooses to implement the GFOA best practice of conducting physical inventories of
capital assets at least every five years, consideration should be given to changing its
document retention policy to require asset sale and disposal documentation be held
by the City for at least five years.
Management Response: Staff will review the process and procedure for entering
records, and the document retention policy regarding asset sale and disposal
documentation. As we develop our new policies and procedures, we will review the
Asset Management Audit 17
audit recommendations, the capabilities of a new ERP system, and weigh the costs
and benefits of this implementation including whether or not additional staffing
resources should be considered.