“I run a small accounting firm.
We have always tried to be as BEE compliant as possible given our economic
realities. I understand that a revised BEE charter for the accounting
profession has been released for comment which introduces some key changes for
our industry. Is this true?”
You are correct in that a revised Draft Chartered Accountancy (CA) Sector Code
(“Revised Code”) was issued for public comment late in April 2019. Although the
Revised Code aligns extensively with the Generic BEE Codes of Good Practice,
the Skills Development Element has received particular attention in the Revised
Code.
In the write-up to the Revised Code it is emphasised that a shortage of black
chartered accountants exists and that the accountancy profession would need to
grow the number of black persons in the CA profession to reflect the country’s
demographic representation. To do this, the profession wished to incentivise
accountancy firms to invest in skills development and bursaries for black
chartered accountants and so help increase the number of black chartered
accountants over time.
To enforce this, the Skills Development Element has received an additional 10
points allocation under both the QSE and Generic Scorecard, making the weight
of the Skills Development Element substantial compared to the other scorecard
elements under the Revised Code. Also considering the fact that the Skills
Development Element is a Priority Element, requiring 40% of the available
points for the element to be obtained to avoid reducing a BEE level on the
scorecard, further emphasizes the weight that the Skills Development Element
now carries within the overall planning of any accountant firm’s BEE compliance.
Under the QSE scorecard the Skills Development Element is targeted to move from
25 points to 35 points with a reduction of points under the Enterprise and
Supplier Development Element. Under the Generic scorecard the Skills
Development Element is to move from 20 points to 30 points again with a
concomitant reduction in points under the Enterprise and Supplier Development
Element.
What this means is that accounting firms will have to look very carefully at
their Skills Development planning to ensure that they invest in the
appointment, funding and training of black chartered accountants at their
firms, or run a very real risk of being BEE non-compliant or at least having a
poor BEE scorecard result.
It will be interesting to see whether the Revised Code is eventually
promulgated as it now reads, although all indications are that accounting firms
should not delay but commence preparing themselves to meet the requirements of
the Revised Code in respect of Skills Development.