PwC supports the FASB's proposals to expand the ability of private companies to adopt PCC alternatives.
PwC supports the FASB and IASB’s efforts to respond to concerns raised by constituents about the revenue standard.
PwC supports the GASB's proposal to provide guidance on the blending of certain component units.
PwC supports the FASB and IASB’s efforts to clarify the principal versus agent guidance in the new revenue standard.
PwC encourages alignment between the GASB's and FASB's split interest arrangement guidance.
PwC supports requiring the PCAOB report layout and wording when referring to both PCAOB and AICPA standards.
PwC supports a market-based approach to the communication of audit quality indicators.
PwC supports the proposed revisions to Trust Services Principles, and offers some recommendations for consideration.
PwC supports the SEC's proposal, but offers recommendations intended to provide additional guidance on certain aspects.
PwC is supportive of audit committees disclosing more about how they oversee auditors, under principles-based rules.