I wonder how U. S. banks and other lenders would feel if their stretched-out mortgagors viewed the timely repayment of interest and principal the way the Chairman of the Securities and Exchange Commission apparently regards the legally mandated compliance schedule for SEC-filing companies to report in XBRL. She is quoted as saying, regarding companies' meeting XBRL compliance phase-in schedule, "I don't mean to be dismissive of it in any way---it's just not one of my highest priorities." [
"SEC's Schapiro shows little interest in Cox's pet projects" by Martin Howell. 4/28/09]
U. S. SEC mandated reporting standards should carry more weight than in the "lite" language couched in double-negative legalese used by Schapiro. She should have simply affirmed the law and said that any non-compliance will be reviewed on a case-by-case basis consistent with the rule's temporary hardship exemption provisions. Just like taxpayers' meeting their April 15th filing date, corporate filers can seek and file for an extension if there are extraordinary reasons for their failure to comply with the SEC reporting standards on a timely basis.
Her casual follow-on comments, quoted in the above article, that "I've only given, I think, three speeches and I don't think those letters [XBRL] have slipped into any of them." Is it lost on Schapiro that there has been about a decade of careful examination, review, testing, public comment, and open SEC hearings regarding XBRL and the need for enhanced transparency in U. S. reporting standards? Is the Chairman of the SEC reducing the now-mandated U. S. Reporting Standard to "
those letters?"
At least one would expect U. S. corporations to strictly adhere to legally mandated accounting standards. However, the recent Grant Thornton survey [See
"Two-thirds of public companies have no plans to use XBRL---despite... suggests that corporations might well think of the SEC as nothing but "those letters." Maybe what the senior comptrollers surveyed are saying is that, "Well, y'know, of course the SEC is important...whatever...but those letters just haven't slipped into our Audit Committee's discussions."
Hopefully,
"Part III Securities andExchange Commission 17 CFR Parts 229, 230, ... is on Chairman Schapiro's summer reading list....it's only 45 pages after all.