150 likes | 158 Vues
FY2006 Compliance Measurement (CM) Post Summary Only (Regulatory Imports). FY2006 CM Plan Two Entry Summary CM Programs. Revenue CM ( 63,262 Summary Lines) 65,000,000 SL annually/CM random sample = .0001% AD/CVD CM ( 6,738 Summary Lines). Overview of Compliance Measurement (CM).
E N D
FY2006 Compliance Measurement(CM) Post Summary Only(Regulatory Imports)
FY2006 CM PlanTwo Entry Summary CM Programs • Revenue CM (63,262 Summary Lines) • 65,000,000 SL annually/CM random sample = .0001% • AD/CVD CM (6,738 Summary Lines)
Overview of Compliance Measurement (CM) • Purpose of CM • Relies on thorough review of random sample; • Eliminates ineffective criteria; • Is used as risk/workload management tool. • Goal of CM • Determine Accuracy of Entries within a Given Universe; • Validation of Revenue Gap; • Increase Targeting Efficiency.
CM Review - • Classification; • Country of Origin; • Value; • Duties, Taxes & Fees; • Admissibility issues (Quota, FDA); • Applicability of Special Program Indicators; • Possible AD/CVD Merchandise.
Compliant Entry • ISDA remarks associated with All ISDA compliant findings should be indicated by an “X” in the “Is summary line compliant?” field. • Followed by sufficiently detailed remarks to convey level/type of review. • CBP Form 28 issued; • Internet Research; • Documents Reviewed and Validated.
Discrepant Entry • Determine Scope for Possible CEAR Referral; • Input findings in ISDA; • If, Revenue Impact; • Refer to PTI Working Group for Possible Enforcement Criteria creation. • If, no Revenue Impact; • Refer through QUICS to NIS; • Consider Local Criteria for Monitoring Future Entries for Compliance.
Flow of Information Field to HQ ISDA Input; QUICS to NIS; PTI referral form; Quarterly discrepancy report.
Flow of Information HQ to the Field Status of ISDA input quality; Feedback on Targeting Effectiveness from Enforcement Criteria; Provide necessary training.
Summary • CM eliminates the need to examine everything. • The goal of CM is to determine the accuracy of entries filed as well as validating focused compliance programs. • Determine Universe
Summary (cont.) • Determine priority areas • Assess risk (Lo to Hi) • Notify stakeholders of agency compliance initiatives/programs. • Informed Compliance/Shared Responsibility/Reasonable Care
Summary (cont.) • Implement voluntary or shared compliance programs. • Implement a statistically valid CM random sample. • Record findings and take action as appropriate.
Summary (cont.) • Expect 3rd part review (GAO/IG) • Assess, Change, Modify, Adapt, Refine • CM = Quality Control