Comparison of Internal Control Systems in Japan and China
Abstract
In Japan, "Corporate Law" and “Financial Instruments and Exchange Law" stipulate the internal control system. Stipulations in “Corporate Law” tend towards all levels the in the company, while stipulations in “Financial Instruments and Exchange Law” are more inclined towards the accuracy of financial reporting. Although the internal control systems stipulated by these two laws have many of differences, their essence is the same: perfecting a comprehensive internal control system. In order to safeguard the normal operation of internal control system, provisions in the law require that directors act in due diligence toward establishing an internal control system.
Full Text:
PDFDOI: https://doi.org/10.5430/ijba.v3n1p66
International Journal of Business Administration
ISSN 1923-4007(Print) ISSN 1923-4015(Online)
Copyright © Sciedu Press
To make sure that you can receive messages from us, please add the 'Sciedupress.com' domain to your e-mail 'safe list'. If you do not receive e-mail in your 'inbox', check your 'bulk mail' or 'junk mail' folders.