Wirecard was not an “isolated case” – but a pattern that SMEs can recognise

If warning signs are ignored, growth turns into a total write-off.

Wirecard was a flagship company for a long time. Then the house of cards collapsed. To many small and medium-sized businesses, this sounds like something out of the financial press or a DAX drama. In reality, it is a very down-to-earth lesson: Those who do not systematically check warning signs are building their decisions on sand.

What happened – in two sentences

 

In June 2020, Wirecard announced that €1.9 billion in trust accounts likely did not exist. This was followed shortly afterwards by the filing for insolvency.

The case sparked a wide-ranging debate on supervision, statutory audit and balance sheet control.

The real lesson: ignorance often arises from ‘gaps in responsibility’

 

Many organisations fail not because of a lack of data, but because of a lack of accountability:

  • Sales relies on figures from Finance.

  • Finance relies on auditors/reports.

  • Management relies on “market confidence” and status.

 

It is precisely this chain that makes fraud – but also perfectly normal misjudgements – possible. Because no one has the task of consistently bringing together external signals and internal plausibility.

What you as an SME can learn from this

 

You don’t need a DAX-level control architecture. You need a simple, repeatable red-flag process for situations such as:

  • new major clients / large framework agreements

  • new partners (IT, platforms, sales partners)

  • Acquisitions / investments

  • International expansion

  • larger funding rounds or factoring models

 

1) “Evidence rather than assertions”

 

The most important rule: Key statements must be verifiable.

For partners, this means: cash flows, contracts, proof of delivery, references, ownership structure, hard figures. Not “slides”.

2) “External perspective” as standard

 

For sensitive decisions, you should include a fixed section:

  • Registers/publications

  • reputable media reports

  • staff/location indicators

  • customer/supplier indicators

  • Legal risks and regulatory information

 

In the Wirecard case, the debate surrounding supervision and audit standards became so intense that it even led to legislative reforms (keyword: greater powers for financial supervision).

For SMEs, the implication is: Never rely on just one perspective.

3) Define stop criteria (that’s the professional move)

 

A stop criterion is a clear rule such as:

  • “If cash flows cannot be verified, we stop the deal.”

  • “If a partner cannot provide verifiable evidence of their key figures, we reduce the risk or walk away.”

  • “If external signals are contradictory, an independent audit is carried out.”

 

Where AI makes sense – and where human involvement remains essential

 

AI can help to gather external signals more quickly, highlight contradictions and structure documents. However:

  • Validation, follow-up enquiries, accountability and consequences are human tasks.

  • AI does not replace the decision of when to stop.

 

What SMEs can take away from this

 

  • Red flags are not mistrust. They are professional risk management.

  • “We know them” is not a valid criterion.

  • External signals belong in every major decision-making process.

  • Stop criteria save money, time and stress.

 

Sources (selection): Financial Times; The Guardian; BaFin Annual Report 2020; EU Parliament Policy Briefings.