Companies
which process or handle larges volumes of credit card data are required to
go through an annual PCI (Payment Card Industry) assessment (i.e.,
self-assessment or independent onsite assessment depending on the
transaction volumes) to ensure that they comply with a pre-established set
of security requirements established by the PCI Security Council.
The PCI Security Council was founded by American Express, Discover
Financial Services, JCB, MasterCard Worldwide, and Visa International.
The objective of Sarbanes-Oxley is to evaluate the effectiveness of
controls over financial reporting. Section
404 of the Sarbanes-Oxley Act is comprised of
two paragraphs from the SEC that have been interpreted by all
organizations to determine the types of controls which are required to be
in place. The PCAOB has
provided additional guidance subsequent to the release of Section 404
which still does not provide a set of standards of the type of financial,
integrated and IT controls which should be established by an organization.
PCI Standards are comprised of a specific set of security requirements
which cover traditional components of an IT General Controls Audit such as
Network Security, Logon Security, Logical & Physical Access Control,
Change Control, SDLC and Security Policy.
The PCI standard also encompasses the test procedure to be used to
evaluate an organization’s compliance with the PCI standards.
This approach ensures that all organizations which are required to
be PCI compliant are evaluated in a consistent manner.
Although there is still some level of interpretation regarding the design
of the compliance test to ensure the PCI requirement is being met, it is a
far departure from the approach used in SOX.
Within SOX, it is the discretion of each organization to determine
the IT General Control Audit components included as SOX control areas
where control objectives and control activities are defined.
Although the external auditor can identify deficiencies for missing
controls during their control design evaluation, most organizations
subject to the requirements of SOX have found that external auditors will
not require additional controls to be included in the SOX control
inventory during subsequent SOX compliant years.
Most individuals involved in SOX testing have also realized that
the compliance tests established to prove that controls are effective are
solely based on the discretion of the tester.
Although it would be expected that for both SOX and PCI an organization
would require the mandated controls to be deployed in a consistent manner
across an organization, the reality is that each of these projects provide
the ability to reduce the IT processing areas which are subject to control
and security requirements which reduces the overall scope for each of
these projects.
For the SOX project, organizations
are only required to prove that controls are effective for those hosts,
applications and databases which have a material impact on the accuracy of
the financial statements. This
is the reason that the most important SOX project task is to identify
in-scope financial processes which relate to assets, liabilities and
expenses which are then traced to the associated IT applications, database
and servers. It is not
surprising that in most SOX organizations, less than 20% of the
applications which support business processing are in-scope for SOX.
For the PCI project, the host, applications and databases which are
validated against the PCI standard are only those components which contain
cardholder data. Therefore,
one of the first tasks of the PCI project is to perform a “scavenger
hunt” to locate those applications which process and those databases
that store cardholder data.
The PCI and SOX projects provide unique challenges to an organization.
Both projects require annual validations and allocation of
significant resources to maintain overall compliance. With the additional
requirements that have been recently added to the PCI standard,
organizations which were previously thought to be compliant with all
requirements are now forced to initiate projects to address these expanded
requirements.
Both
of these projects have provided audit professionals additional career
opportunities to utilize their control evaluation and testing talents.