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The AAO Weblog covers accounting issues and current events as they relate the practice of investment analysis.

 
 
Feb 3

Written by: Jack Ciesielski
2/3/2006 8:17 AM 

It's starting to spread...

A couple days ago, this space was devoted to the restatement of cash flows and balance sheet debt reclassifications of Group 1 Automotive and United Auto Group. Yesterday afternoon, they were joined by another brother in auto dealing: Asbury Automotive Group.

In Asbury's 8-K filing, they mention the same kind of erroneous presentation and correction as the other two, but without quantification of the effects. The company "is still compiling the effect of this classification change on its consolidated statements of cash flows and consolidated balance sheets and will include a reconciliation of the previously reported amounts in its amended filings."

The planned restatement, like the other two, appears to be a response to the remarks made by Joel Levine of the SEC at last December's SEC & PCAOB Current Developments Conference, sponsored by the AICPA. Levine outlined exactly the same issues addressed here: that the relevant accounting standard, SFAS 95, calls for operating cash flows to include "principal payments on accounts and both short- and long-term notes payable to suppliers for those materials or goods," while financing cash flows include proceeds and repayments of borrowings from lenders. Thus, the financing provided by auto manufacturers is related to operations; borrowing from a third party lender is a financing activity. (The SEC does not yet have Mr. Levine's remarks published on its website; when they're available, I'll provide a link to them.)


Another thing that all three restaters had in common: even though their previous treatment was not in accordance with SFAS 95, each of them stated that their treatment was "consistent with industry practice." Maybe it's just another example that misery loves company; but even when the industry practice is counter to what the relevant accounting standard requires, the SEC is not going to look the other way. It's still a violation, and the will of the SEC to make sure the rules are being followed was amply demonstrated last year in the lease accounting restatement whirlwind.


It looks like the SEC is paying attention to the care used in producing the cash flow statement - which is good to see, frankly. Investors pay more attention to the cash flow statement these days, and many of the "alternative" performance measurements lead off with cash from operations. Perhaps the SEC is changing its view of what's most important in the financial statements.

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Unexplored Obligations: Other Postretirement Benefits

Defined benefit pension plans take center stage in the pantheon of investors’ fears when it comes to worrying about liquidity effects or earnings distortions. Yet they rarely consider the cash demands and earnings distortions resulting from other postretirement benefit plans.

Since they’ve been required to measure - and display - a figure expressing the value of the promises made for providing employee health care benefits, managers have dealt vigorously with the obligations. Their growth has been held in check while pension obligations have grown ever higher. Yet even as they’ve become more controlled, other postretirement benefit plans are worth investor attention. As the benefit plans become less fearsome, the accounting principles involved have helped an increasing number of companies recognize phantom earnings - negative benefit costs - even while they’re putting cash into benefit payments under these plans. It’s better to be alert to such a trend early: firms may not always bring it to the attention of investors.

A recent edition of The Analyst’s Accounting Observer looks at the problematic reporting, with an eye focused on the "phantom income" results shown by 42 companies having negative OPEB costs. While the report is available only to paid subscribers, a condensed version is available for free upon request. To receive it, send an e-mail to Brenda Rappold at brappold@accountingobserver.com, with “OPEB Costs” in the subject line.


For information about subscribing to The Analyst’s Accounting Observer, click here.