SMSF Workpaper & Compliance Pre-Check
Checks each SMSF file for complete workpapers and the common contravention indicators — caps, in-house assets, related-party dealings, year-end market valuations — so the administrator fixes gaps before the file reaches the independent auditor.
The live demo, running on fabricated data. Open it to step through the full flow — every output is shown for a person to approve before anything happens.
Reconciles the fund's records, confirms every workpaper is present and sourced, and flags the common contravention indicators — each pinned to its evidence and rule — for the administrator to clear before the file reaches the independent approved SMSF auditor.
It runs the same completeness and contravention checks on every fund, every time, and shows its working.
- Best for a practice administering a book of funds — plan-day, annual accounts, pre-audit prep — where the checks repeat and consistency matters most.
- Catching a routine breach early — a missing 30 June valuation, a concessional cap over $30,000 — is worth far more than the minutes saved typing.
- At dozens of funds a year, the recaptured hours go back into the judgement calls and the audit relationship, not the workpaper tick-and-trace.
It is confidently wrong when the fund's records are stale or incomplete — and a tidy checklist hides a thin file.
- Weak where compliance turns on judgement — the sole-purpose test, whether a market valuation is reasonable, a novel related-party structure. It should flag, not rule.
- On a fund with genuinely contested or complex arrangements, the routine checks are the easy part; the administrator and auditor are still doing the hard thinking.
If you cannot say, right now, which version of the contribution caps and pension-minimum rates this is checked against, and whether every asset has a current 30 June valuation on file — this tool makes a thin file look ready, not actually ready.
It prepares the file. A person clears it, and an independent auditor audits it. That boundary is deliberate.
Every SMSF must be audited annually by an ASIC-registered approved SMSF auditor before the SMSF annual return is lodged, and APES 110 independence rules keep that audit separate from the administration work — a firm generally cannot audit a fund it does the accounting for. A wrong call on a cap, an in-house asset or a related-party dealing has consequences for the members and the fund's compliance with the SIS Act. The accountable person stays on the decision because the consequence lands on them.
Complete year-end fund records, as sourced documents, with valuations and caps current.
The weak point is almost always the year-end valuations and how fund documents are captured — a missing property valuation, a contribution record that lives in an email. Getting fund-document intake consistent across the book, and the caps and rates held as a versioned, current set, is usually the real first job — larger and more valuable than the checking layer on top. Once the inputs are clean, every fund after that is faster and right by default.
The worried-buyer questions, answered straight
Fixed scope, fixed price, fixed dates.
Considering this for your practice?
The honest place to start is a bite-sized first piece — one contained check, low risk. Tell us where the pre-audit prep hurts; we'll play it back, scope it, and show you what's possible.