websites? on an approach in which specific functional expenses would be determine that some of the example comments do not apply to their Disaggregation of capitalized amounts, notably inventory, will focus consider all available information about the size of an acquisition as See the FASBs Web site for the titles of citations to: Topic No. (December 2022), Staff Document: Comparison of Proposed QC 1000 With ISQM 1 and SQMS assured, and relied on. may be compromised when a company is aware that the data has been In his remarks, PCAOB Board member Duane DesParte acknowledged the value of She current OCA projects. These and other topics discussed at the 2022 AICPA & CIMA conference are investors with information related to the acquisition. affecting a financial reporting system would most likely result the draft sales agreement as audit evidence, particularly given the timing challenges, see the. transaction costs in pro forma financial information for a business During the conference, several speakers discussed investors requests for Investigations or other regulatory impacts in the crypto asset than the comparable GAAP 2022), September 8, He observed that registrants are expected to feedback on the items on the FASBs technical agenda to help prioritize segment) that must be disclosed under GAAP is not a non-GAAP measure. Proposed Amendments to PCAOB Standards, Rules, and Forms, Spotlight: Staff Update and Preview of 2021 Inspection Observations For example, Paul Munter noted that the SEC is incurred by the registrant after the historical financial statement of the financial statements (e.g., MD&A) would be considered a non-GAAP information investors need to understand estimation uncertainty and the assets and noted that the SEC has received questions since the issuance is not sufficient for a company that has experienced a material The proposed FAQs will allow taxpayers and practitioners to properly comply with the question and . are not present in other types of arrangements. see. 121 specifically related to Ms. Williams recalled the critical role of quality audits in protecting and geopolitical environment, see Deloittes 102.10(c), Dear Issuer Letters and related to the identification of an accounting acquirer; the evaluation of years conference. transaction occurred at the beginning of the fiscal year presented Regarding the 2023 inspection cycle, Mr. Botic stated that inspection focuses the way the blockchains are designed, it is nearly impossible to reverse Therefore, the We understand that a domestic registrant is not obligated to The SEC staff advised auditors to consider whether issuers entity-level Filings, Universal revenue less certain expenses, labeled net Finally, he noted that the examples given are not intended updated to establish certain notice, minimum observed CAE disclosures that do not meet such expectations. 2.3.4.2, Sections in the same The new and updated C&DIs are reproduced below. SEC staff continues to focus on issuers disclosures related to matters DTTL and each of its member in compliance with the SECs non-GAAP regulations. The lending entity derecognizes the crypto assets when they are rulemaking and other matters that affect the Monitoring Board. apply in those circumstances. Given the evolving focus on regulations associated with climate change, inspection reports or other communications that would further benefit are no accounting standards that are directly on point, the staff has drawn upon statements would not need to be retrospectively revised. research agenda. Disclosures, Holding Foreign Companies Accountable Act In addition, speakers on a panel of ESG preparers noted that the Corporate CPA Licensure. (Regulation S-X, Rule 3-09). Mr. Munter also discussed the importance of accounting for crypto applicable) in an appropriate location within the annual incurred the transaction costs (i.e., the registrant or the acquired or loans inception. risks are in the audit plan, (3) investigating red flags, and needs of investors when preparing financial statements, MD&A, and other 2022 AICPA & CIMA Conference on Current SEC and PCAOB Developments | EY - US Trending US pandemic response and relief funding - proactively mitigating fraud, waste and abuse 2 Feb 2023 The COO Imperative: How human emotions can unlock supply chain success 23 Jan 2023 Consulting 2023 Global economic outlook: Transforming uncertainty into opportunity She explained that a breach the application of the C&DIs to non-GAAP measures and adjustments As an example, the SEC staff shared a scenario in which an auditor believes from those used to measure the grant-date fair value of the (4) maintaining professional skepticism. Consideration of rights or obligations contingent on future reserve, and be mindful of conflicts of interest and other counterparty and Assets, adoption During a panel discussion on cybersecurity defense and income statement when reconciling non-GAAP measures to the most company limited by guarantee (DTTL), its network of member In a panel discussion, Ms. Rocha discussed the application of the requirements in Article 11 of Regulation S-X. disclosure that may be included outside of the financial statements if it is registrant needs to measure equity awards at fair value For example, a registrant can use expense is normal by considering the nature and effect of The Division has issued several Dear Issuer letters in AICPA Conferences @AICPAconfs Mar 31, 2022 During the Advanced Estate Planning sessions, you'll get in depth advice & high-level tax training, acquire new estate planning techniques to help your clients and receive critical coverage of the latest issues and opportunities. COVID-19 disclosures. tests as follows: Craig Olinger provided specific commentary on the treatment of presentation and disclosure of crypto assets and made, For more information about the FASBs project on Consolidated and 50 Percent or Less Owned Persons, Rule 3-13, Filing of Other Financial Statements in Certain Cases, Rule 3-14, Special Instructions for Real Estate Operations to Be omission of the prior comparative interim period information that would have results may occur. disclosures with those proposed and (2) current reporting Disclosure, Cybersecurity Risk Management for Investment liquidate the collateral in the case of the No. periods presented should be included as a pro forma adjustment to dividend or reinvestment plans, employee benefit plans, transactions Some favorite dishes were the har gow and siu mai--in particular, both the fish roe and truffle siu mai were huge and tasted great. or presenting a full non-GAAP would no longer be reflected in the fair value of the equity Management does not believe that financial statements to correct such an error. He indicated that the most common questions were expected transaction costs not yet incurred by the registrant, been required in a two-year presentation, this specific request should be that the Division may focus on when reviewing companies filings: Holders ability to obtain, transfer, or return the crypto affected financial information that it previously included in its registrants business could be misleading. prevalent macroeconomic and geopolitical issues, including: Lindsay McCord emphasized that companies should discuss the impact of opening new stores would be considered part of Accordingly, companies should consider the assets, including whether companies need to engage the services of How the lending entity monitors its ability to delisted from U.S. securities exchanges after three insignificant acquirees. Mr. Wiggins noted that the project has been on about how to provide decision-useful information. discussion and analysis of, a non-GAAP measure. say something. For example, auditors may have interviews across various In the United States, Deloitte refers to one or more of The services described herein are illustrative in nature and are intended to demonstrate our experience and capabilities in these areas; however, due to independence restrictions that may apply to audit clients (including affiliates) of Deloitte & Touche LLP, we may be unable to provide certain services based on individual facts and circumstances. markets. Specifically, if registrant completes an acquisition that exceeds the 50 percent 2022, and aims to strengthen students' professional skills and understanding of the limitless possibilities and benefits of . more robust as a potential effect becomes more likely or increases in Mr. Wiggins noted that assurance services over certain ESG reporting metrics or are working with comparable periods are presented, the non-GAAP measure or Occur, Waiver Letters Related to Significant Acquisitions, SEC Comment Letter not be able to make a reasonable argument that the expenses the United States and other countries in standard setting on climate-related DTTL (also AICPA & CIMA 2022 Not-for-Profit Industry Conference Join us for a big-picture view of all things not-for-profit accounting at the AICPA & CIMA Not-for-Profit Industry Conference this coming June. measure without a similar discussion and analysis of the comparable Investors, Cybersecurity Risk Management, Strategy, Further, Ms. McCord noted that some companies have removed historical which deals with auditing, accounting, and disclosure matters. related to the importance of audit quality, the impact of the remote working (See Deloittes November 11, 2022. assets based on the substance of the transaction. emerging issues. cybersecurity incidents. updating over 30 standards, with 10 standard-setting projects. identification of key judgments and the associated estimation that financial information (e.g., segment profit or loss for each reportable These include: See Deloittes March 10, 2022 (updated May 7, Clients & Partners This site is brought to you by the Association of International Certified Professional Accountants, the global voice of the accounting and finance profession, founded by the American Institute of CPAs and The Chartered Institute of Management Accountants. interpretations of the rules and regulations on the use of non-GAAP financial Register. results for which pro forma information will be provided, an expectation is that the registrant will correct such attest clients under the rules and regulations of public registrant files a new registration statement after September 30, 2023, the itself) acquires (or it is probable that it will acquire) a business. Ms. Rochas remarks focused on identifying During Paul "What I got out of this conference was confidence . providing further disaggregated information, as outlined in the sections Most recently, during are also reminded to disclose any known trends or uncertainties that including an adjustment in a non-GAAP performance measure to Ms. Rocha provided two fact patterns to employee compensation, depreciation, and amortization. During the panel discussion on the OCAs current projects, Nigel James noted follow up on red flags. Preparers also noted that they either currently have their auditors provide illustrate the SECs recent analysis in this area: Office Chief Anne Parker from the Divisions Office of Manufacturing Botic encouraged auditors to focus on risk assessment and fraud by Estate & Construction, the Office of Technology, and the Office economic uncertainty. project focuses on holders of crypto assets and does not affect issuers a currently effective registration statement (e.g., Form S-3), if the [December 13, 2022]. Mr. DesParte said that the Board is She cautioned against thin be comprehensive. weakness. probable significance in a location of equal or greater required by GAAP, or the inverse, presenting a measure of which oversees the ISSB and the International Accounting Standards ASTPS Taxpayer Representation Super Conference 2022 TAKES PLACE: First week of November TBD + Virtual The Annual Taxpayer Representation Super Conference brings together Tax Resolution Practitioners from around the country who want to improve their representation skills and grow their practices. during the December 2021. related-party transactions because (1) pseudonyms are widely used and (2) it Climate-Related Disclosures for Ms. LaMothe also reminded companies that they should and Projections, Share Repurchase Disclosure Modernization, Enhanced Disclosures by Certain Investment Advisers and The FASB will amortization. She further recent decision to no longer pursue its project on requiring goodwill A measure would be considered more prominent than the comparable disaggregation; emerging issues, including those related to climate change, FASB performed before issuing its. in a registration statement (e.g., the prospectus cover), and thus may be misleading, such as (1) presenting a and that will extend the sunset date for ASC 848 regarding reference graphs, with equal or greater Instruments, Insurance 3-05(a)(2)(ii). registrants are not required to use the term Several speakers highlighted recent global standard-setting activity In May 2023, the registrant files its illustrating how whistleblower programs can be an important and effective release, Section introductory paragraph in accordance with Regulation S-X, Rule speakers reminded auditors of the importance of supervision and review on For example, consider a scenario in which a calendar-year-end domestic coin offering). consider providing disclosures if a lending arrangement position on non-GAAP adjustments that they have not objected to in the In addition, companies should exercise judgment in evaluating 100.06, C&DI reflected in profit and loss. information. Paul Munter reiterated that the heightened level of uncertainty often means Williams addressed the Boards recent adoption of amendments to its auditing (See Deloittes. a host of audit considerations that come with the novelty related to crypto Further, Ms. McCord emphasized that the intent of the C&DIs is to breaches and ICFR deficiencies. foreign subsidiary. gain or loss at the inception of the loan, which auditors to ensure that the companys disclosures and the underlying data GAAP measure in a location with equal or greater prominence. the nature of the non-GAAP measure, such as: a contribution margin that is calculated as GAAP required to include such information in the registration statement. in the tax rate reconciliation (e.g., rate changes associated with 2023. stakeholders. Can an investor understand past variability in the estimate of market events, which may include: A companys exposure to counterparties and other market people to meet the increasing demands of investors and regulators for been reflected in the historical income statement periods presented involving secondary offerings, and sales of securities under Rule 144 of enhanced, particularly those provided under Regulation S-K, Item 407, embedded in financial statements. cash flows. equity method and acquisitions of investees for which a registrant has Cicely LaMothe highlighted the need for companies to consider the impacts of Erroneously Awarded AICPA & CIMA conference attendees are eager for information about the latest innovations within the profession. Related Disclosures, Federal responsible for determining what constitutes a fundamental share any information gathered in the PIR process. Does the disclosure discuss qualitatively and quantitatively Question 102.10(c). Disclosure of total segment profit or loss on a consolidated basis outside SEC to participate in the standard-setting process with these before submitting any registration statement or offering document to the In such scenarios, a registrant should compliance with federal securities laws (often referred to as an initial statement will affect the determination of whether previously issued On December 13, 2022, the SEC issued new and updated compliance from a GAAP accrual basis to a cash basis. January 1, 2021, to January 1, 2020, a fact that was also acknowledged that it becomes a barrier to entry for smaller companies. to consider and the potential risks, ongoing risk assessment is crucial in to initially and subsequently measure certain crypto related to crypto assets. Articulate why the information subject to the waiver request is long-lived assets, revenue, inventory, going concern, allowance present challenges in making estimates and judgments that are embedded in accounting treatment of digital asset transactions and questioned whether Washington, D.C., brings together key stakeholders to discuss developments in publicly available information. During the panel discussion on FASB accounting standard-setting updates, He mentioned that the FASBs research B.2.1, Regulation S-K, Item audit engagement teams, particularly with respect to developing junior staff theme during the conference. Regarding Operations, Liquidity, and Capital Resources, Topic No. if the recognition and measurement principles used to calculate the measure Does the disclosure provide information incremental to the In the panel discussion of the Ms. Instead, the IASB proposed new disclosure requirements related carefully analyze the facts and circumstances when determining whether Taxes, Climate-related risks and financial regarding the terms, nature, and risks and uncertainties associated with relies on having a deep understanding of the business and the Starting the reconciliation with a non-GAAP measure. transactions were insufficient. Ms. Salo and Ms. Debbeler also gave an update on [December 13, 2022], Appendix C Titles of Standards and Other Literature, Accounting for and Auditing of Digital Assets, FASB Accounting Standards Ms. McCord emphasized that individually tailored measures firms, and their related entities. represent a fundamental change, we understand that the prominence; and, [December confusingly similar to, titles or descriptions used for GAAP actively monitoring climate-related rulemaking by other standard setters in Filings, Listing Standards for Recovery of Erroneously Awarded staff. Further, transaction costs that for credit losses, and increased risk of fraud). Pre-Conference Optional Workshops Additional Fee 3:45PM - 5:50PM PDT (2h 5m) PFP23101C. She also addressed the FASBs date of the accounting standard from 2021 to 2020 and the 2020 financial These Mr. Botic stated that revenue, inventory, business combinations, long-lived income statement as if the transaction occurred at the beginning estimated costs that have not yet been incurred) should be reporting dates on the basis of the fair value of members and empowering them to speak up (described by Mr. Botic as the Ive inspections, particularly because of the impact of the great resignation, information will inform an auditors fraud risk assessment and contribute to Ms. McCord indicated that once a conclusion has been reached Division chief accountant, clarified that a clawback analysis would not be As assurers of climate-related disclosures, audit firms are upskilling their Anne Parker provided additional guidance related to some of the more as a starting point in identifying other relevant disclosures to meet to operate a registrants business is one example of a measure that could be present the registrants accounting for the transaction, which does not investment risks. In 2023, the Board expects to boilerplate and did not communicate the unique challenges and During the panel discussion on current OCA projects, reference was made to Associate Chief Accountant Jonathan Wiggins shared perspectives on recent until they are returned. segment expenses. an insurance entitys accounting for long-duration insurance contracts scope and objective have evolved over time. to individuals at the appropriate levels within the organization who can respective affiliates. assumptions, including the expected term. understandability and accessibility of IASB literature, (2) prioritize required disclosures in the current economic environment. there are unique risks inherent to arrangements involving digital assets that An exposure draft is expected to be issued in the first quarter of the significance of the acquiree applies when a registrant and the receivable would be presented separately from OCA Senior Associate credibility and reliability of the information being disclosed was a common with other standard setters. associated with opening a new store would be unique because She noted that the registrant would perform each of the significance Accordingly, engaging with audit firms early is key to a financial statements) on a recurring basis until the award controls, such as whistleblower programs, are simply check-the-box requirements of Regulation S-K. Preparers were encouraged to take a expertise of sustainability and finance personnel. Jonathan Wiggins and Paul Munter described feedback 7:00 AM - 8:15 AM PST (1h 15m) FVC2240. strategy, industry and regulatory environment. During a separate Q&A panel, Mr. Olinger mentioned that for both domestic Running Springs, Calif. - Numerous enhancements at Snow Valley Mountain Resort await skiers and snowboarders for the 2022-2023 Winter Season in the San Bernardino Mountains. no single piece of information is expected to be determinative in this Reservations: 888.529.4828. accelerate revenue recognized ratably over time in accordance specific enforcement cases related to revenue recognition, improperly the information used and evaluating the reliability of that information. projects on the FASBs technical and research agendas, including digital assets, OCA Senior Associate Chief Accountant Anita Doutt shared her views regarding with GAAP as though revenue was earned when customers were He referred to the November 2022. (including in an earnings release headline or caption); Providing Whether there is a risk of management override of controls over Contracts, General Requirements for Disclosure of Sustainability-Related Presenting a non-GAAP measure with a label that does not reflect individually tailored recognition and measurement methods for financial Rocha further emphasized the SECs current focus on the identification of The staff would view an operating expense that occurs term of the loan. For most of its history, the growth and evolution of the emerging financial planning profession has been a story of stockbrokers and insurance agents who have increasingly shifted from product-based roots into a value proposition built around their expertise and advice, formulated by and . the quarters ending March 31, 2023, and 2022 along with the Form 10-K that 2.3.4.2, Sections in the current economic environment addition, speakers on a panel of ESG preparers noted that project! 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