In this letter to the SEC, the CAQ supports the deferral of the effective date of the PCAOB’s QC 1000 from December 15, 2025, to December 15, 2026. Additionally, in connection with the deferral of the effective date, the CAQ encourages the SEC and PCAOB to gather information on certain topics which represent implementation challenges for some firms to determine whether targeted amendments would be appropriate to enhance the scalability of the standard and address unintended consequences
Read the full comment letter here.