SEC Staff Accounting Bulletin:
Codification of Staff Accounting Bulletins TOPIC 3: Senior Securities
Table of Contents
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A. Convertible Securities
Facts: Company B proposes to file a registration statement
covering convertible securities.
Question: In registration, what consideration should be given
to the dilutive effects of convertible securities?
Interpretive Response: In a registration statement of
convertible preferred stock or debentures, the staff believes that
disclosure of pro forma earnings per share (EPS) is important to
investors when the proceeds will be used to extinguish existing
preferred stock or debt and such extinguishments will have a material
effect on EPS. That disclosure is required by Article 11, Rule
11-01(a)(8) and Rule 11-02(a)(7) of Regulation S-X, if material.
B. Deleted by ASR 307 C. Redeemable Preferred Stock
Facts: Rule 5-02.28 of Regulation S-X states that redeemable
preferred stocks are not to be included in amounts reported as
stockholders' equity, and that their redemption amounts are to be shown
on the face of the balance sheet. However, the Commission's rules and
regulations do not address the carrying amount at which redeemable
preferred stock should be reported, or how changes in its carrying
amount should be treated in calculations of earnings per share and the
ratio of earnings to combined fixed charges and preferred stock
dividends.
Question 1: How should the carrying amount of redeemable
preferred stock be determined?
Interpretive Response: The initial carrying amount of
redeemable preferred stock should be its fair value at date of issue.
Where fair value at date of issue is less than the mandatory redemption
amount, the carrying amount shall be increased by periodic accretions,
using the interest method, so that the carrying amount will equal the
mandatory redemption amount at the mandatory redemption date. The
carrying amount shall be further periodically increased by amounts
representing dividends not currently declared or paid, but which will be
payable under the mandatory redemption features, or for which ultimate
payment is not solely within the control of the registrant (e.g.,
dividends that will be payable out of future earnings). Each type of
increase in carrying amount shall be effected by charges against
retained earnings or, in the absence of retained earnings, by charges
against paid-in capital.
The accounting described in the preceding paragraph would apply
irrespective of whether the redeemable preferred stock may be
voluntarily redeemed by the issuer prior to the mandatory redemption
date, or whether it may be converted into another class of securities by
the holder. Companies also should consider the guidance in EITF Topic
D-98.
Question 2: How should periodic increases in the carrying
amount of redeemable preferred stock be treated in calculations of
earnings per share and ratios of earnings to combined fixed charges and
preferred stock dividends?
Interpretive Response: Each type of increase in carrying
amount described in the Interpretive Response to Question 1 should be
treated in the same manner as dividends on nonredeemable preferred
stock.
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