Publication - 05/03/2016
Another Warning to Mind the Non-GAAP
Client Alert
By Elizabeth A. Diffley
As we have previously reported, over the past few months, SEC officials and numerous other observers have voiced concern
about the pervasive and, perhaps abusive, use of non-GAAP financial measures by public companies. Continuing on that
theme, during a panel presentation at the Garrett Corporate and Securities Law Institute held at Northwestern University’s
Pritzker School of Law, Mark Kronforst, the Chief Accountant of the SEC’s Division of Corporation Finance, highlighted
the SEC staff’s current focus on nonGAAP measures. In his remarks, Mr. Kronforst identified several specific examples
that are attracting particular attention and concern.
Presenting a financial measure according to principle separate and different from GAAP. Mr.
Kronforst
identified as particularly problematic the presentation of a line item in accordance with the required
GAAP principle and also presenting a measure of that type according to a different, unrelated principle.
As an example, he mentioned a company that sells its products on a subscription basis and recognizes
revenue ratably over the course of the subscription period as required by GAAP, but has also presented a
separate measure of revenue that would record revenue upfront when the full subscription price is billed
to the customer. Mr. Kronforst noted that the SEC’s nonGAAP rules and guidance permit the
presentation of measures that depart from the GAAP measure by making adjustments to include or
exclude certain items, but it does not permit companies to use their own principles to determine and
present a financial measure where GAAP has established a standard for determination.
COMMENTARY: Particularly in industries where multi-year subscription periods are common and revenue must be
recognized over the course of the subscription period, upward or downward trends in subscription renewals and new
business may not be apparent from observing year-over-year revenue fluctuations. As a result, it may be valuable to also
present other information, such as billings for the period, to provide insight into trends that will impact future revenues. If
they choose to do so, however, companies should take care to present the additional metric separately and to provide
discussion and analysis that helps explain what information the metric conveys and how it will impact results.
Information
about billings should not be presented as an alternative version of revenue or otherwise be used to calculate and present an
alternative version of net income.
Presenting liquidity measures on a per share basis. The SEC staff has long taken the position that nonGAAP performance measures may be presented on a per share basis but non-GAAP liquidity measures may
not be presented on a per share basis. While the staff has issued comments advising companies to
discontinue their use of per share liquidity measures, Mr.
Kronforst noted that the staff has generally
shown deference to company management’s designation of a measure as either a performance measure or
a liquidity measure. The staff now plans to analyze those designations more critically and may comment
on a company’s designation of a measure as a performance measure if it appears to be a liquidity measure
in substance.
COMMENTARY: Companies presenting non-GAAP measures on a per share basis should review those measures to
confirm they are only doing so for performance measures. In addition, consider reviewing the designation of measures as
performance or liquidity measures and be prepared to articulate why any item presented on a per share basis is a
performance measure.
Non-GAAP tax expense.
Mr. Kronforst also indicated that the staff is considering, when measures are
presented on a non-GAAP basis, whether tax rates have been determined appropriately given non-GAAP
carveouts. He noted that this is still a developing area of the staff’s analysis and consideration, but that
they are looking at whether it may be appropriate, in light of the various adjustments made to the GAAP
measures for the non-GAAP presentation, whether companies have appropriately taken into consideration
. and reflected the impact those adjustments would be expected to have on a company’s tax rate.
COMMENTARY: This is a developing area of the staff’s analysis and it is not clear if the staff will find problems, but
companies should be prepared to respond to comments related to their analysis of the impact of adjustments to GAAP
measures on their determination of the relevant effective tax rate.
As always, companies are advised to be thoughtful and rigorous when employing and presenting non-GAAP measures.
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