"Rules Alone Will Not Stop Obfuscation of the Balance Sheet" (Commissioner Luis A. Aguilar; September 17, 2010)
Speech by SEC Commissioner: "Rules Alone Will Not Stop Obfuscation
of the Balance Sheet"
by
Commissioner Luis A. Aguilar
U.S. Securities and Exchange Commission
SEC Open Meeting Washington, D.C. September 17, 2010
Investors and the public at large have too often been kept in the dark
about liquidity and financing through short-term borrowings, in some cases
because of affirmative accounting and disclosure shenanigans. Today's
actions are a step toward improved disclosures related to important
financing activity and a company's liquidity. I support today's
recommendations from the staff and join the other Commissioners in
thanking them for their work.
It is important, however, to highlight that while improved rules will
help, creating more extensive disclosure rules will not necessarily
address a serious problem. Over the past decade or so, we have seen
repeated efforts by insiders to make a company's balance sheet look more
attractive than it actually is. The options backdating scandals, for
example, were driven by a desire to hide compensation expenses. The
scandals at Enron and many other companies during the 1990s were driven by
efforts to hide losses and create the appearance of increasing
profitability. In addition, there has been an explosion of financial
engineering designed to avoid taxes, and avoid accounting, disclosure, and
other regulations.
Individuals and entities will always have incentives to dress up the
balance sheet and to look for the new "Repo 105." The question remains —
how does our regulatory oversight regime counter these incentives? What
are the consequences for those who dress up balance sheets? There should
be serious consequences that everyone can see. Rules on the books are not
enough — they have to be enforced. Otherwise, the Commission will always
be approving new rules after the latest crisis rather than overseeing a
regime that works prophylactically to prevent the crisis in the first
place. Incentives through prophylactic principles and strong enforcement
should emphasize that one should run a business to create value rather
than run a business focused on reporting numbers.
The lesson is that rules have not been enough to end attempts to dress
up the balance sheet. It is essential to accompany principles and rules
with tough enforcement to change inappropriate incentives and to protect
investors and the American public.
Thank you.
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