click to edit master title style 1 winding-up declaration (wud) how to prepare a reliable winding-...
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Click to edit Master title styleWinding-Up Declaration
(WuD)
How to prepare a reliable winding-up declaration: Commission’s views
European CommissionClaude TOURNIER, DG Regional Policy
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• Introduction
• Legal basis
• Problems of the past period
• Do’s and don’ts (Commission services view)
• Conclusions
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Legal basis:• Art. 38 1 f) of Council Regulation (EC) No 1260/1999,
+ Art. 32 4 (final balance payment) .
• Art. 15 -17 of Comm. Regulation (EC) No 438/2001
Guidance of the Commission:• COM(2006)3424 of 1/08/2006: Guidelines on closure of
Assistance (2000-06) from the Structural Funds: esp. section 4.3, and annex 2
• Guidance note on closure of INTERREG III programmes 2000-2006 (COCOF Ref. 2008 07/0078/02 )
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What were the main points delaying acceptance of W.u. Declarations (former Art. 8 for the 1994-99 period) or inducing financial corrections?
• 5 % not reached• Spread over the years not respected• Representativity criteria not respected (IB,
beneficiaries, size and nature of projects)• No track of risk analysis followed• High error rates not analysed• No quantification of impact of irregularities
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main points delaying or … corrections ? (contd.)• Art. 8 person designated very (too) late• Art. 8 person not taking responsibility: (“xx
body confirms that….”). /No clear opinion.• Art. 8 person had no access to (part of) 5 %
checks files – including follow-up.• Inconsistency between documents• “Final statements of exp.” changed after
Winding up inspection, without reconciliation to original amount.
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Before drafting WuD
Do's DON’Ts Plan the closure process together with
all actors: MA, PA, all IBs, (for INTERREG III, JTS) precise time schedule common cut-off dates
Plan sufficient resources (time and staff) to cover all IBs and all priorities/measures under:
Art. 10 /16 systems audits (follow-up closed, otherwise: qualify your opinion), also ensure proper follow-up to all other audits
• Accept to certify a "moving target“
• Accept any "grey area", e.g. missing information on some of the IBs
• Rely on other auditors’ work without review
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Before drafting WuD
Do's DON’Ts Art. 10 sample checks (process should be
brought to an end, upstream from drafting the WuD)
• coverage 5 %, more where necessary, spread over the period and representativity criteria
• follow-up and satisfactory treatment concluded in the vast majority of the relevant cases (recovery/offsetting)
• analysis as to whether irregularities are systemic or not
• reconciliation with OLAF database on open and closed irregularity cases of the period
• Mix management verifications and independent 5 % sample checks • Exclude the systemic character of findings if you cannot support such conclusion
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Before drafting WuD
Art. 15
Do's DON’Ts
• Assess on time the sufficiency of Art. 4 and Art. 10 work to plan own work, carry out own checks where necessary.
• For INTERREG III, include time in your planning for translation, coordination and any feed back from "across the border“, e.g. through Financial Controllers Group.
• Leave to the last minute drafting a large number of Art. 15 declarations (e.g. for centralised MS or WuB covering mainstream, different funds and INTERREG programmes).
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Before drafting WuD
What to do in difficult cases?
In case of important management or control weaknesses or high frequency of irregularities:
1) Plan sufficient time either to:
• carry out or delegate further audit work, in order to “clean” the areas affected and replace with legal and regular expenditure,
• quantify the impact and make corresponding qualification in the declaration (Priorities / measures affected),
2) Conclude on a sound basis on the correctness of the certified statement of expenditure and on the legality and regularity of the underlying transactions.
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When drafting WuD
Do's DON’TsFollow the model of Annex III to Reg. 438/2001: 1) introduction: person and intervention
2) scope of work (for INTERREG III, be precise on who does what)• attach (long form) report for details ---->• observations: 3) limitations, 4) errors and irregularities, systemic? satisfactory treatment? ->
5) Conclusion: assurance on part of or all the intervention•Date and signature
• Don't forget to attach the (long form) report giving the details of the 5 points [1) to 5)] as mentioned here and in the Annex III model. Add tables in annex where necessary.
• Don't "hide" errors, or wrongly consider them immaterial or non systemic when there is contrary evidence.
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OLAF ECR
Final statement of expenditure &
application for payment
Final implementation report
Art. 15 / W. up declaration
Long form report
Ensure with PA and MA consistency between final “financial” documents:
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• Irreg. Notified to OLAF (only)• Ref. to OLAF database + MS reference• Identification of measure and operation• Amounts awaiting recovery
– EU/National/Total/Art. 5.2/Year of initiation recovery proceedings
• Amounts recovered– EU/National/Total/Year and expenditure
declaration reference of the deduction
• Comments
Closure of Structural Funds 2000-2006 AssistanceSummary table of irregularities to be attached to the winding-up declaration(based on the information in the debtor's ledger maintained under Art. 8 of Regulation (EC) No 438/2001)
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Year of the deduction
Reference number of expenditure declaration
ExampleFR/04/004/FD/0 2001-503/0064-163
EU FUND
(in EUR)ART. 5§2
YEAR OF INITITIATION OF
RECOVERY PROCEEDINGS
OLAF INTERNAL REFERNCE MS REFERENCE MEASURE
Closure of Structural Funds 2000-2006 AssistanceSummary table of irregularities to be attached to the winding-up declaration
(based on the information in the debtor's ledger maintained under Art. 8 of Regulation (EC) No 438/ 2001)
AMOUNTS AWAITING RECOVERY AMOUNTS RECOVERED
AMOUNT RECOVERABLE AMOUNT RECOVERED COMMENTS
IRREGULARITES notified to OLAF (closure declaration)
REFERENCE TO OLAF DATABASE OPERATION CONCERNED
OPERATION REFERENCE
TITLE OF THE
OPERATIONEU FUND (in EUR)
NATIONAL CONTRIBUTION
(in EUR)
TOTAL(in EUR)
DEDUCTION FROM EXPENDITURE DECLARED TO
THE COMMISSIONNATIONAL
CONTRIBUTION(in EUR)
TOTAL(in EUR)
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Conclusions
Plan all activities of all actors well ahead of closure; i.e. now at the latest
Be transparent on irregularities and errors, and formulate your analysis and conclusions in a prudent, non-ambiguous manner
Ensure with MA and PA consistency of the closure package
Give reliable assurance: assurance that you can demonstrate