4 Enforcement Actions Highlight SEC’s Focus on Earnings

4 Enforcement Actions Highlight SEC’s Focus on Earnings

Publication

WilmerHale Partner Lori Echavarria recently authored a Law360 article titled, “4 Enforcement Actions Highlight SEC’s Focus on Earnings.”

Excerpt: In the last three days of the U.S. Securities and Exchange Commission's fiscal year, the SEC announced four corporate settlements involving alleged improper earnings management. The SEC's Division of Enforcement also disclosed that two of these settlements arose out of an Earnings Per Share Initiative — a risk-based data analytics initiative designed to discover accounting and disclosure violations related to earnings management.

This flurry of activity makes clear that the Division of Enforcement continued to focus on earnings management in 2020 and will continue to do so next year.

What can we learn from these recent settlements? These four cases, announced on Sept. 28, 29 and 30, exemplify three different scenarios where the SEC concluded an issuer's efforts to meet earnings targets exceeded legal bounds.

The conduct charged ranges from disclosure failures of known trends regarding real sales and earned revenues, to accounting misstatements and errors, and on into outright fraudulent conduct involving false invoices and fake financing arrangements.

As these cases show, the SEC is watching issuers that meet or beat analyst consensus estimates and may investigate issuers if it determines investors are unaware of how the issuer's successful outcomes are achieved.

Read the full article.

Authors

Notice

Unless you are an existing client, before communicating with WilmerHale by e-mail (or otherwise), please read the Disclaimer referenced by this link.(The Disclaimer is also accessible from the opening of this website). As noted therein, until you have received from us a written statement that we represent you in a particular manner (an "engagement letter") you should not send to us any confidential information about any such matter. After we have undertaken representation of you concerning a matter, you will be our client, and we may thereafter exchange confidential information freely.

Thank you for your interest in WilmerHale.