Updated: FAQs About Exhibit 104 (Cover Page Interactive Data File) for Large Accelerated Filers

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Note: We updated this post (originally posted last week) to add new frequently asked questions about when to reference Exhibit 104 in Form 8-Ks and about the phase-in schedule for all companies.

Question: In a Form 8-K, are you required to explicitly reference Exhibit 104 in the Exhibit Index?

Answer: In discussions with SEC Staff within the SEC’s Division of Corporation Finance, we received the following guidance related to a registrant’s Exhibit 104 reference obligation in 8-Ks:

  • If the 8-K does NOT otherwise have an exhibit being filed under Item 9.01(d), then the company does not need to include Item 9.01(d) in the 8-K solely for the Exhibit 104 reference. (The cover page tagging is still required in the background, but there is no standalone Exhibit 104 reference in an Item 9.01.)
  • In contrast, if the 8-K does have another exhibit being filed under Item 9.01(d) (e.g., there is a material contract), then the company should include a reference to Exhibit 104 in the Item 9.01(d) disclosure because there is already disclosure being provided under this Item.For example, the reference could be as follows:“104 Cover Page Interactive Data File (embedded within the Inline XBRL document)
  • The principle behind this position is that item 9.01 is intended to have an informational component to it, and if an Exhibit 104 reference is required in every 8-K, then the informational benefit of item 9.01 is weakened.

Question: As a large accelerated filer, should our 10-Q exhibit list include a separate reference to Exhibit 104?

Answer: Based on our discussions with SEC Staff within the SEC’s Division of Corporation Finance, we understand the position of the Staff in Corp Fin’s Office of Chief Counsel is that a registrant should explicitly reference an Exhibit 104 in the list of exhibits. And because the recent EDGAR Filer Manual makes clear that a registrant meets its obligation under Exhibit 104 by providing the cover page interactive data file using an Inline XBRL document set with Exhibit 101, the registrant should simply cross-reference to Exhibit 101.

For example, Exhibit 104 could include a cross-reference as follows:

“104 Cover Page Interactive Data File (formatted as Inline XBRL and contained in Exhibit 101).”

We also remind large accelerated filers that the recent instructions to Item 601(b)(101) of Regulation S-K were amended to require that for interactive data files, the Exhibit Index must include the word “Inline” within the title description for any XBRL-related exhibits. See Instruction 1 to Paragraphs (b)(101)(i) and (ii) of Regulation S-K.

Question: What is the phase-in schedule for Inline XBRL for all operating companies?

Answer:

  • Operating companies that are currently required to submit financial statement information in XBRL will be required, on a phased basis, to transition to Inline XBRL.
  • Phase-in:
    • Large accelerated filers that use U.S. GAAP are required to comply beginning with fiscal periods ending on or after June 15, 2019.
    • Accelerated filers that use U.S. GAAP will be required to comply beginning with fiscal periods ending on or after June 15, 2020.
    • All other filers will be required to comply beginning with fiscal periods ending on or after June 15, 2021.
    • Filers will be required to comply beginning with their first Form 10-Q filed for a fiscal period ending on or after the applicable compliance date.

DISCLAIMER: Because of the generality of this update, the information provided herein may not be applicable in all situations and should not be acted upon without specific legal advice based on particular situations.

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