November 26, 2002
Jonathan G. Katz, Secretary
U.S. Securities and Exchange Commission
450 Fifth Street, N.W.
Washington, D.C. 20549-0609
Re: File No. S7-40-02, Disclosure of audit committee financial expert as required by
Section 407 of the Sarbanes-Oxley Act of 2002
Dear Mr. Katz:
Thank you for the opportunity to comment on the Securities and Exchange
Commissions ("SEC" or "Commission") proposed rule implementing
new disclosures required by the Sarbanes-Oxley Act of 2002.
Advancing the business of technology, AeA is the nations largest high-tech trade
association, representing more than 3,000 member companies that span the high-technology
spectrum, from software, semiconductors and computers to Internet technology, advanced
electronics and telecommunications systems and services. AeAs membership is
comprised of many smaller public companies, and it is primarily on their behalf that AeA
submits this comment.
Specifically, AeA is concerned about the Commission's proposed requirement that a
"financial expert" have direct experience preparing or auditing financial
statements of reporting companies. As proposed, this definition is drawn more narrowly
than necessary to accomplish the results Congress sought to achieve in the Sarbanes-Oxley
Act of 2002. Further, if this is such a rule adopted, AeA believes it will present a
significant hardship on smaller public companies. Perhaps that is why the Commission also
invited comment on whether "experience reviewing or analyzing" financial
statements should suffice for qualification as a financial expert. AeA believes it should.
By requiring the financial expert to possess direct experience preparing audit or
financial statements, the SEC assumes that only individuals with an audit background can
provide the level of oversight that is necessary. Rather, individuals who understand the
environment in which the issuer conducts business, and the competitive risks that it faces
are in a much better position to raise questions about whether the financial statements
fairly and accurately reflect that business and environment than one who simply
understands Generally Accepted Accounting Principles.
The proposed rule would not serve to improve investor confidence in the functioning of
an audit committee. A more productive approach would be to require that a financial expert
possess the skills necessary to constructively challenge the external auditor and
management team. Such skills would include the ability to review and comprehensively
understand and challenge the conclusions set forth in the financial statements; the
ability to understand the risk environment in which the issuer operates; a thorough
understanding of the nature of the issuers business and an understanding of its
business operations; an understanding of the securities law requirements for public
issuers and particularly for issuers in a similar business or industry sector; and a
thorough understanding of public issuer financial statements through experience analyzing
and reviewing financial statements.
In contrast, putting the emphasis on an audit committee member's actual experience
preparing or auditing financial statements neither guarantees that the individual has the
capacity and experience to intellectually challenge the audit results, nor assures that
the underlying financial statements are fairly or accurately prepared and presented.
There are more than 13,000 public companies in the United States today, and it is hard
to imagine that there is the requisite number of qualified individuals to serve on those
audit committees. If finalized as proposed, it would be very easy to imagine the
difficulty many AeA member companies would face in trying to identify competent
individuals with hands-on auditing experience to serve on their audit committee. In such a
scenario, the best interests of the investing public would not be served.
In conclusion, AeA requests the Commission to broaden its definition of a
"financial expert" to include individuals with experience in reviewing or
analyzing financial statements.
Sincerely,
(signed)
William T. Archey
President and CEO
This page was last updated on 11/26/02.
Copyright © 2001 American Electronics Association. All rights reserved. |