Appendix D — Summary of Disclosure Requirements and Prohibitions
The table below summarizes the disclosure requirements and prohibitions under
Regulation G; Regulation S-K, Item 10(e); and for furnished press releases, that
apply to domestic1 registrants.
Disclosure Requirements/Prohibitions
|
|
Press Releases Furnished to the SEC (Form
8-K, Item 2.026)
| ||
---|---|---|---|---|
Presentation requirements:
|
|
|
| |
|
X
|
|
| |
|
|
X
|
X
| |
|
X
|
X
|
X
| |
|
|
X
|
X
| |
|
|
X
|
X
| |
Prohibitions on certain presentations of
non-GAAP financial measures:7
|
|
|
| |
|
X
|
X
|
X
| |
|
|
X
|
X
| |
|
|
X
|
| |
|
|
X
|
| |
|
|
X
|
| |
|
|
X
|
| |
|
|
X
|
|
Footnotes
1
For guidance applicable to FPIs, see Regulation G;
Regulation S-K, Item 10(e); Section 106 of the C&DIs; and Section 8140 of the FRM.
2
Regulation G applies whenever a
registrant, or person acting on its behalf, publicly
discloses or releases material information that
includes a non-GAAP financial measure. Such
information may be furnished to or filed with the
SEC or publicly disclosed or released in another
manner.
3
In certain situations, Regulation G
and Item 10(e) do not apply. For example, they do
not apply to non-GAAP measures related to
projections or forecasts provided to a financial
adviser as part of a proposed business combination
or measures required to be disclosed by a
governmental authority. See Section 2.3 for a
discussion of measures that do not meet the
definition of a non-GAAP measure under the
Rules.
4
Item 10(e) applies to all SEC
filings that include non-GAAP financial
measures.
5
See footnote 3.
6
Form 8-K, Item 2.02, requires
registrants to furnish to the SEC all releases or
announcements disclosing material nonpublic
financial information about completed annual or
quarterly fiscal periods, regardless of whether the
release or announcement includes disclosure of a
non-GAAP financial measure. Item 2.02 also specifies
that the requirements in Item 10(e)(1)(i) apply to
such disclosures.If a registrant elects to file the
release or announcement with the SEC, all the
requirements in Item 10(e) apply.
7
Although Form 8-K, Item 2.02, and
Regulation G do not refer to the prohibitions in
Item 10(e)(1)(ii), registrants should consider the
concepts in these and other prohibitions when using
non-GAAP measures.
8
See Regulation G, Rule 100(b),
and Section 100 of the C&DIs.
9
Footnote 11 of the Release
notes that certain non-GAAP per-share measures are
prohibited under GAAP and SEC rules.