BLOG:  Digital Financial Reporting

This is a blog for information relating to digital financial reporting.  This blog is basically my "lab notebook" for experimenting and learning about XBRL-based digital financial reporting.  This is my brain storming platform.  This is where I think out loud (i.e. publicly) about digital financial reporting. This information is for innovators and early adopters who are ushering in a new era of accounting, reporting, auditing, and analysis in a digital environment.

Much of the information contained in this blog is synthasized, summarized, condensed, better organized and articulated in my book XBRL for Dummies and in the chapters of Intelligent XBRL-based Digital Financial Reporting. If you have any questions, feel free to contact me.

Entries from December 4, 2011 - December 10, 2011

KaijiNet/JapanExpress Financial Information Database

KaijiNet/JapanExpress contains the financial information of all listed Japanese companies which have been submitted in XBRL to the Tokyo Stock Exchange.  This information is provided in English. You can browse through a company's financial information and easily do comparisons.

The search mechanism is an easy to use form-based interface.  In my view this interface is very clean and easy to use.

This is worth checking out.

Posted on Wednesday, December 7, 2011 at 06:47AM by Registered CommenterCharlie in | CommentsPost a Comment | EmailEmail | PrintPrint

FEI Survey, FEI Comment Letter Seem to Contradict Each Other

The FEI Committee on Corporate Reporting (CCR) sent a comment letter to the SEC November 4, 2011 in which the concluded:

CCR believes thatthe changes in requirements proposed above would substantially lower the burden of preparing XBRL filings and bring the costs of preparation more in line with benefits. We note that application of existing protocols for detailed XBRL tagging will be effective for approximately 10,000 SEC registrants, including subsidiaries that follow limited disclosure, in July of 2012. All of the issues that large filers have experienced with detailed tagging could potentially be magnified when smaller, less-sophisticated companies attempt to comply. We therefore believe that action by the Commission is urgently needed.

FEI also published a survey SEC Reporting and the Impact of XBRL: 2011 Survey with these key findings of that survey:

  • The most significant challenges mentioned in complying with the XBRL mandate are getting educated on XBRL and addressing the review process.
  • XBRL had a limited impact on respondents’ SEC filing dates:
  • 72% of large accelerated filers (Tier 1 and Tier 2) reported one day or less delay due to XBRL; and
  • Over 90% of Tier 3 filers reported one day or less delay due to XBRL.
  • The majority of respondents found that XBRL was either somewhat or significantly easier the second time around.
  • Tier 1 and Tier 2 XBRL filers predicted a higher likelihood than Tier 3 XBRL filers of changing their XBRL process, with the vast majority of companies anticipating a change opting for an in-house software solution.
  • In-house and built in solutions continue to increase their significant market share.
  • Registrants using built-in solutions (software solutions used by in-house reporting teams in which the creation of the EDGAR document and XBRL instant report are fully integrated) are significantly more satisfied than those using other approaches.

Is it just me, or does the survey seem to contradict the comment letter? What do you think?

Posted on Sunday, December 4, 2011 at 08:49AM by Registered CommenterCharlie in | CommentsPost a Comment | References1 Reference | EmailEmail | PrintPrint