A model audit is the colloquial term for the tasks performed when conducting due diligence on a financial model, in order to eliminate spreadsheet error. (Also known as Model Review in some areas). A study in 1998 concluded that even MBA students with over 250 hours of spreadsheet development experience had a 24% chance of introducing spreadsheet error.[1] Model audits are typically requested by banking organisations, in order to reassure lenders and investors alike that the calculations and assumptions within the model are correct, and that the results produced by the model can be relied upon. When a comprehensive review of the model is required, the scope of review is often extended to include tax and accounting, sensitivity testing and the checking of data contained within the model back to the original financing and legal documentation.
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The purpose of a model audit is to provide assurance that the results can be relied upon. For this reason, the party conducting the review will provide a level of reliance on the form of an amount of liability. This may range from a multiple of the fee (2×, 3×, 4× fee, etc.) to a fixed amount, often up to US$20 million. In the event an error or omission is found in the model due to the model auditor's negligence, the organisation relying on the report may choose to sue the model auditor in order to recover any loss.
The objective of the model audit should be to the reduce financial risk that is being taken on by under the transaction to which the financial model relates. As such, it is more important to ensure that the model audit has the proper scope, and is undertaken using a robust methodology, to identify material errors than to negotiate a liability cap if material errors are not identified. The model audit is not, or at least not as a primary purpose, an insurance policy, it is for reducing the financial risk that is being taken on.
For a full-scope model audit, the following elements would usually be included:
Model audit has predominately been related to Public Private Partnership ("PPP") transactions (including PFI in the UK and P3 in the USA), but is increasingly applicable to wider project finance and infrastructure finance transactions.
Model audits are applicable to any financial model that is used to support the taking on of any financial risk, e.g. valuation models, operational models [2], refinancing models, portfolio model, M&A models etc..
Most financial models are produced using Microsoft Excel. The model will routinely contain a number of pages of input data, a sheet of formulas (the 'workings') which drive the model, and the output pages, which are usually in the form of standard financial statements (balance sheet, income statement, cash flow statement, etc.).
Model auditors may undertake a detailed 'bottom-up' review (cell-by-cell checks) of each unique formula, and/or combine a 'top-down' analysis such as the reperformance of calculations based upon the project's documentation ("shadow modelling"[3]), analytical review of trends in key outputs, sensitivity analysis and commercial sense checking.[4] [5]
As noted in the citations, Andy Hucknall of PKF (UK) LLP (and many others) argues that the combination of a 'bottom up' all-cells review with 'top-down' analytical review gives the greatest assurance, whereas the alternative 'top down'-only approaches, such as shadow modelling, may provide a limited level of assurance that may be appropriate in some circumstances. An approach including an 'all cells' review will always provide more assurance as issues related to options not currently active in the Model, such as scenarios or alternative inputs, will not be identified where a reperformance only approach is used as such issues will only be identified by carefully reviewed a model's logic. That said, an 'all cells' review without 'top down' analytical review would lose context, so it is important to use both techniques.
An alternative argument, put forward by Jerome Brice of Mazars LLP, is that shadow modelling provides sufficient assurance.
Given that the concept of formal model audits is thought to have started with early UK PFIs, many of the long-standing model audit firms are based in London. Many of the newer entrants to the market are based in Australia.
Some of best known model audit firms are:
Many of the above firms, such as PwC, PKF, E&Y, Mazars and KPMG, are major accounting firms. This enables them to provide the tax and accounting reviews (usually required in a model audit) in-house or through their internationals networks, avoiding the need for separate subcontractors. It is also likely that they will be providing other services to the transaction such as tax advice or financial, commercial and operational due diligence, and the model audit is provided as part of the package.
Spreadsheet tools and software are useful to the model auditor for assessing the model, providing a work plan and for identifying potential errors, but can not replace a properly planned, scoped and undertaken model audit. Commonly used tools include OAK, SpreadsheetProfessional, SpreadsheetAdvantage and Arixcel Explorer, but there are many others.
Banks are now more risk averse. Given that they do not pay for the model audit (the sponsors do), but they rely upon the model audit report, they are able to dictate the scope of the model audit. Given that the banks will now insist on a properly scoped model audit, the model audit will finally be seen as a critical financial risk management task, rather than simply have someone to sue if things go wrong.
Procurement of public-private projects is often undertaken under a competitive dialogue regime. This requires bidders to commit earlier in the process, and the implication of not identifying errors in a financial model at any early stage could be that a bidder is unable to rectify the error.
As a result, financial models are being checked earlier in the bid process, not just at financial close - these are known as pre-preferred bidder reviews. In some cases, these will have almost the same scope as a financial close model audit (but with documentation review limited as this will still be being drafted), but in other cases, the pre-preferred bidder review will be limited to an agreed scope of procedures with the objective of maximising risk mitigation whilst minimising the fee. The benefits of a pre-preferred bidder review is that it should lead to a reduced model audit fee at financial close.
The introduction of this process to North America has been controversial. The City of Brampton, for instance, has faced lawsuits[6] and controversy[7][8] about use of the process.
A model audit may take between 1 and 5 weeks, but this does not include the time taken by the model author to rectify the errors identified by the model auditor. The fee is largely dependent upon the scope of review, and if done properly, the number of unique formulae and their complexity.
The cost will also depend on the seniority of staff undertaking the work. Planning of the model audit, as for a statutory audit, is vital to mitigating risk, and thus this needs to be undertaken by senior staff. In planning, the elements of the model audit should be allocated to staff with the appropriate level of experience, technical expertise (e.g. tax or accounting) and seniority. The senior staff needs to look at the big picture of the model to ensure that it makes sense as a whole.