Abstract

In February 2006, the Securities and Exchange Commission (SEC) announced a one-time opportunity for firms with misclassified cash flow items to correct these errors without issuing an official restatement. To assess the impact of these reclassifications, we determine the types of firms affected by this allowance and the types of reclassifications in the operating, investing, and financing categories of the cash flow statement. We find that, consistent with the SEC’s concerns, firms overstated net operating cash flows and understated net investing cash flows, thereby misrepresenting cash flows. In addition, the most frequent line-item reclassifications echo the SEC’s concerns about the presentation of discontinued operations and dealer floor plan financing arrangements. Insurance claim proceeds and beneficial interests in securitized loans, however, appear less problematic than the SEC expected. Overall, our findings indicate that the SEC’s plan was relatively successful and, for firms that took advantage of the allowance period, these cash flow restatements only exerted a marginally negative effect in the capital market.

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