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Technology Stocks : Discuss Year 2000 Issues

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To: Judge who wrote (863)1/13/1998 6:00:00 PM
From: Judge  Read Replies (1) of 9818
 
The SEC Corporate Finance & Investment Management Staff yesterday released a revised version of Staff Bulletin No. 5 concerning disclosure of Year 2000-related issues. The revised version is little changed from the original, except for the insertion of a significant new section:

"Specific Disclosure Considerations
If a company determines that it should make Year 2000 disclosure, the applicable rules or regulations should be followed. If a company has not made an assessment of its Year 2000 issues or has not determined whether it has material Year 2000 issues, the staff believes that disclosure of this known uncertainty is required. In addition, the staff believes that the determination as to whether a company's Year 2000 issues should be disclosed should be based on whether the Year 2000 issues are material to a company's business, operations, or financial condition, without regard to related countervailing circumstances (such as Year 2000 remediation programs or contingency plans). If the Year 2000 issues are determined to be material, without regard to countervailing circumstances, the nature and potential impact of the Year 2000 issues as well as the countervailing circumstances should be disclosed. As part of this disclosure, the staff expects, at the least, the following topics will be addressed:

the company's general plans to address the Year 2000 issues relating to its business, its operations (including operating systems) and, if material, its relationships with customers, suppliers, and other constituents; and its timetable for carrying out those plans; and

the total dollar amount that the company estimates will be spent to remediate its Year 2000 issues, if such amount is expected to be material to the company's business, operations or financial condition, and any material impact these expenditures are expected to have on the company's results of operations, liquidity and capital resources.

The disclosure must be reasonably specific and meaningful, rather than standard boilerplate. "

The other principal changes are statements to the effect that foreign issuers, investment companies and investment advisers should also follow this guidance.

The full text can be found at sec.gov
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