ARTICLE
2 February 2021

SEC Enforcement In Financial Reporting And Disclosure: 2020 Year-End Update

JD
Jones Day

Contributor

Jones Day is a global law firm with more than 2,500 lawyers across five continents. The Firm is distinguished by a singular tradition of client service; the mutual commitment to, and the seamless collaboration of, a true partnership; formidable legal talent across multiple disciplines and jurisdictions; and shared professional values that focus on client needs.
The second half of 2020 saw U.S. Securities and Exchange Commission ("SEC") enforcement activity continue to rebound from deep uncertainty and change caused by the COVID-19 pandemic.
United States Corporate/Commercial Law

The second half of 2020 saw U.S. Securities and Exchange Commission ("SEC") enforcement activity continue to rebound from deep uncertainty and change caused by the COVID-19 pandemic. All told, the SEC-despite a full-scale transition to telework and remote operations-was largely able to conduct "business as usual," bringing more than 700 enforcement actions during this fiscal year.

This White Paper reviews SEC enforcement activity, specifically in the areas of financial reporting and disclosure, with specific focuses on accounting fraud, disclosure fraud, non-GAAP (generally accepted accounting principles) metrics and key performance indicators, and the Division of Enforcement's recent use of data analytics in its investigative processes. The White Paper also examines recent SEC developments, most notably Congress's defense authorization bill, which significantly boosts SEC enforcement sanctions.

View the White Paper.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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