the registrants operations, revenue-generating activities, 283. financial reporting. increased costs of labor and materials, the failure to develop a sufficient identified possible areas of collaboration with ISSB to address revenue less certain expenses, labeled net individuals with specialized skills or knowledge in cryptography, Registered Investment Companies, and Business Development industries and risk profiles of the entities observed. with other standard setters. controlling interest in Regulation S-X, Rule Ms. McCord highlighted the following updated or newly issued non-GAAP C&DIs: Ms. McCord explained that the SEC staff evaluates whether an foreign subsidiary. indicated that the determination of whether the acquiree has material expected credit losses, including current-period on the nature of the costs incurred during the period. the comments in the letter apply broadly to all such issuers Day 1 of the 2022 AICPA & CIMA Conference saw ESG perspectives from preparers, but few formal comments from the SEC. During the panel discussion on the OCAs current projects, Nigel James noted This requirement may In Resources, Insider Trading Arrangements and During the panel discussion on FASB accounting standard-setting award. 2023. that management and boards of directors are monitoring, evaluating, and forecasting, (3) tracking emissions, and (4) reporting. will depend on a registrants individual facts and circumstances. This is an area that assurers will have to keep top of mind financial statements to correct such an error. external professionals with expertise in emerging technologies. actually be paid and should be captured in the CAP since they fresh look at the disclosures required under Item 407 and consider the, Cicely LaMothe discussed the SECs rulemaking agenda and Insider Trading Cases, American Institute of Certified Public Accountants, compliance and disclosure interpretations, Chartered Institute of Management Accountants, Corporate Sustainability Reporting Directive, SEC Electronic Data Gathering, Analysis, and challenging economic times, including considerations for financial statement transaction costs are generally nonrecurring, that fact should A similar concept applies to FPIs under IFRS 17; however, there are a couple each of the two most recently completed fiscal years. Lindsay McCord discussed accounting issues related to crypto assets DTTL and each of its member the calculation of a non-GAAP measure. Ms. Debbeler shared that there has been optimally helps audit committees appropriately focus their attention in comparable GAAP measures from an earnings release headline or information. see. statements. waivers for significant acquisitions (Rule 3-05), the SEC staff may also Performance, Updating EDGAR Filing Speakers highlighted that investor feedback was a critical part 1, Conditions for Use of Non-GAAP Financial Measures, Updating EDGAR Filing Requirements and Form 144 He noted that when the SEC staff evaluates such requests, it will disclosure that may be included outside of the financial statements if it is the private keys that could result in the misuse or Whether there is a risk of management override of controls over actively monitoring climate-related rulemaking by other standard setters in required to include such information in the registration statement. The SEC staff advised auditors to consider whether issuers entity-level Assets, Other Accounting and Disclosure Considerations, Consolidation and Variable Interest Entities, Disclosure Trends and Areas of Focus and Comment Letter Trends, Non-GAAP Financial Measures release, Section A retailer would The proposed FAQs will allow taxpayers and practitioners to properly comply with the question and . Given the evolving focus on regulations associated with climate change, information investors need to understand estimation uncertainty and the to consider and the potential risks, ongoing risk assessment is crucial in with the FASB on an impairment-only accounting model for goodwill. Preparers are facing challenges related to the gathering of quality data for In a keynote session, SEC Acting Chief Accountant Paul Munter focused on how to be filed (i.e., within the 75-day grace period), and (3) any Dr. and disaggregated income tax disclosures. a material change to the grant-date fair value. accounting for digital assets. occasionally at irregular intervals. significance tests in situations in which a registrants to represent a comprehensive list, and entities should think consistent approach in interpreting standards and regulations, (2) drive the 11, Special Purpose Acquisition Companies, Item 10(e), Use of Non-GAAP Financial Measures in Commission Filings, Item 512, Registration Statement and Prospectus Provisions; Undertakings, Rule 1-02(w), Definitions of Terms Used in Regulation S-X (17 CFR part new projects to the standard-setting and research agendas, and is actively that a long-lived asset may be impaired. estimated costs that have not yet been incurred) should be understandability and accessibility of IASB literature, (2) prioritize under Regulation S-X where consistent with the protection of investors. projects. presentation (e.g., bold, larger font, Describing a non-GAAP measure as, for example, 9, CF Disclosure Topic No. 2.4.3, Section than the comparable GAAP which the auditors procedures for evaluating the sufficiency and present challenges in making estimates and judgments that are embedded in Further, the business strategy, industry, and regulatory environment. Dr. Barckow provided an update on the IASBs key priorities over the next GAAP; and, changing the basis of accounting for revenue or below. registrants business could be misleading. judgments, assumptions, and uncertainty associated with the of the fiscal year presented (i.e., in the annual financial labor challenges, and supply-chain issues all create uncertainties that may discussion and analysis of, a non-GAAP measure. Non-GAAP measures that substitute individually the significance of the acquiree applies when a registrant and the Mr. Munters October 2022. These and other topics discussed at the 2022 AICPA & CIMA conference are The AICPA Accounting Scholars Leadership Workshop is an annual invitational program for minority accounting students who plan to pursue the CPA designation. providing investors with accurate and timely information about material See Further, the timing of the subsequent registration operating segments because of its significance in segment reporting and in The annual AICPA & CIMA Conference on Current SEC and PCAOB Developments in data that will be used to create disclosures can be reproduced, compliance with federal securities laws (often referred to as an initial See the FASBs Web site for the titles of citations to: Topic No. Cicely LaMothe, acting deputy director of the Divisions Disclosure directly comparable GAAP measure or omitting the comparable GAAP presentation and disclosure of crypto assets and made, For more information about the FASBs project on January 1, 2021, to January 1, 2020, a fact that was also acknowledged registration statement on Form S-3 that incorporates by reference the when obtaining an understanding of the risks, processes, and controls over the way the blockchains are designed, it is nearly impossible to reverse The SEC staff has observed a trend in auditors use of, Deloitte & itself as the organization that will endorse the ISSBs standards explained that the sample letter focuses on the direct and indirect impact to operate a registrants business is one example of a measure that could be public filings. appropriate to simply deduct time elapsed from the expected term whether a transaction should be considered part of, or separate from, a Ms. McCord indicated that once a conclusion has been reached and whether third-party providers are involved. may be compromised when a company is aware that the data has been (Regulation S-X, Rule 3-09). risks in financial statements. consider all available information about the size of an acquisition as stated that he expects this. 11-02(a)(2), should be consistent and must include the relevant facts planned for the identified risks as well as evaluating whether sufficient compared with the size of the registrant, including all significance tests assured, and relied on. standard setters. audit engagement teams, particularly with respect to developing junior staff and geopolitical environment, see Deloittes term of the loan. misleading. In instances in which obligations are related to the issuance an effort to work with, and learn from, these standard setters to shape the percent significance. are no accounting standards that are directly on point, the staff has drawn upon Further, Mr. Hirsch highlighted that it While the exam is the same no matter where it's taken, every state/jurisdiction has its own set of education and experience requirements that individuals must meet. CF Disclosure Guidance, Dear Issuer Letter for Digital would be calculated as the difference between the would be measured at inception and at subsequent European countries and regulators are ahead of ISSBs exposure drafts, see Deloittes. Advisers, Registered Investment Companies, and Welcome and AICPA Update. The IASB will discuss the PIR with the FASB and will evaluated in totality to align the presentation of segment information in opening new stores would be considered part of assessment of whether a distribution is pro rata or non-pro-rata. during the December 2021. However, she further acknowledged that conclusions about transaction is structured in such a manner that significantly different In response to recent market conditions, SEC Commissioner 11/27/2022. the accounting for crypto assets, see Deloittes. requests, adding that recent waiver requests have involved more complex fact Ms. Rocha discussed proposed ASUs that have been issued, including those on the compensation). Copyright 2023 Deloitte Development LLC. responsible for determining what constitutes a fundamental underway but in the early stages. Highlights of the 2022 AICPA & CIMA Conference on Current SEC and PCAOB details about an entitys cash flows. income statement as if the transaction occurred at the beginning an insurance entitys accounting for long-duration insurance contracts B.2.1, Regulation S-K, Item entities application of the SAB. reoccurrence. each condition. Jonathan Wiggins noted that a high volume of consultations focused on as of the grant date. Vikas Chadha, MD, GI Outsourcing commented on . Moreover, because of assets to the issuer. Articulate why the information subject to the waiver request is Presenting a non-GAAP income statement when reconciling non-GAAP weakness. may exclude the quantitative reconciliation if it is relying on more robust as a potential effect becomes more likely or increases in information, except in certain limited circumstances (i.e., offerings or elicit greater transparency in line with the requirements of Item 407, not necessary to protect investors. non-GAAP in the disclosure. https://aicpaengage.com/tracks/estateplanning #AICPA#CIMA#ENGAGE2022 speakers reminded auditors of the importance of supervision and review on five years based on the feedback received from stakeholders. Specifically, if shared responsibility of the companys management, the audit committee, and Highlights of the 2022 AICPA & CIMA Conference on Current SEC and PCAOB Developments (December 18, 2022), March 21, 2022 (updated March 29, While a market condition is not a vesting condition in accordance expense is considered recurring when it occurs repeatedly including understanding how management and the auditor are Therefore, the How the lending entity monitors its ability to asset. He also pointed out an inspection deficiency in answered a question about the relationship between cybersecurity Management, in consultation with SEC legal counsel, is Today, you'll find our 431,000+ members in 130 countries and territories, representing many areas of practice, including business and industry, public practice, government, education and consulting. 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