Automating the Measurement of Qualitative Characteristics of Financial Report
Sunday, March 17, 2013 at 07:53AM
Charlie in Creating Investor Friendly SEC XBRL Filings

The SEC is creating a so-called "RoboCop" to help them detect fraud in financial statements. The SEC is putting together what they seem to be calling an "accounting quality model". They describe the accounting quality model as "being designed to provide a set of quantitative analytics that could be used across the SEC to assess the degree to which registrants’ financial statements appear anomalous."

The SEC is not the first group to think of this idea.  Back in 2009, a paper, Quality of Financial Reporting: measuring qualitative characteristics, was written on this topic.  In the paper, the authors describe a 21-item index which, they say, can be used as a measuring tool which can reliably access the "quality of a financial report".

But what exactly is "quality"?  Well, the FASB describes that in SFAC 8: Conceptual Framework for Financial Reporting. And SFAC 8 is part of a combined, comprehensive framework being developed by the FASB and IASB together. Chapter 3 of SFAC 8, Qualitative Characteristics of Useful Financial Information, discusses what contributes to quality.

You can go read through those characteristics which contribute to quality.  I want to focus on two specific things which are mentioned: "faithful representation" and "free from error".

While IFRS emphasizes the overarching notion of the financial statements providing a "true and fair representation" of a reporting entity; US GAAP does not specifically use those terms.  US auditing standards require this, "presented fairly".  "True and fair" is the term I have used to describe quality of a financial report.  I still stand by those terms even if US GAAP does not specifically call for them.  What, "untrue" and "unfair" are OK?  I think not.

But, OK.  Perhaps one wants to stick to the letter of the law and go for only a "faithful representation". Notice the word "representation".  The FASB does not use the words "faithful presentation" which is what many SEC filers are focused on it seems based on looking at their information.  The "free from error" portion has two dynamics.  To make sure that an SEC filing is free from error, you can either (a) check things manually or (b) check things using automated processes.  Automated processes reduce the risk of errors as humans can make mistakes.  But, in order to automate processes you have to develop and express rules in the form that a computer can understand.

If you are creating a financial report, particularly a digital financial report such as an SEC XBRL financial filings, I believe the following question is a good question to ask yourself: What have you done to prove to yourself that you have created a true and fair representation of the financial information expressed using XBRL?

Here are the details which should be considered when asking that question.  Are these things true?

How many of these items above can be automated?  Clearly, automating everything is not possible. I contend that quite a bit can be automated.  If you look at what the XBRL Cloud Edgar Dashboard provides, you get a sense of the possibilities.

But I believe that what XBRL Cloud is providing is only the tip of the iceberg. The paper mentioned above has some great ideas. The FASB and IASB are providing useful guidance.

While things like the HTML versions of SEC financial reports are very good at following the accounting disclosure rules keep two things in the back of your mind. First, I am pretty sure that running automated tests over a set of financial reports will show "lapses in concentration" and other things which contribute to disclosures being missed. I have found plenty of mathematical errors just in the process of using existing financial information when prototyping; no doubt errors will be found resulting in an improvement in quality by having the ability to use automated testing processes. Second, the efficiency of using automated processes, where possible (and it is NOT always possible), will reduce costs.

Taking all this a step further, using the same notion as the SEC's "RoboCop" and testing the quality of financial reports seems very feasible. I believe that this will provide value to both accountants creating financial reports and the consumers of that financial information.

Article originally appeared on XBRL-based structured digital financial reporting (http://xbrl.squarespace.com/).
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