Title: Risk Factor Disclosure
1Risk Factor Disclosure
- Mark Shuman
- Special Counsel
- SEC, Division of Corporation Finance
2Risk Factor Disclosure
- Item 503(c) of Regulation S-K generally
requires disclosure of the most significant
factors that make the offering risky - Concise and organized logically
- Explain how the risk affects the issuer or
- the securities
3Risk Factor Disclosure (contd)
- Presented under a sub-caption that
- adequately describes the risk
-
- Immediately follow the summary section
- Location referenced by page number on
- the cover.
4Risk Factors Should Avoid
- Legalistic or overly complex presentations
- Vague "boilerplate" explanations that are
imprecise
5Risk Factors Should Avoid (contd)
- Complex information copied directly from legal
documents - Repetitive disclosure that does not inform.
6Risk Factors Fall into Three Categories
- Industry Risk
- Will acquire properties with significant
- environmental issues
- Seasonal demand, uncertain supply of
- raw materials.
7Risk Factors --Three Categories (contd)
- Company Risk
- Specific owned properties require
- environmental clean-up
- Issuer has decided not to obtain insurance
- coverage.
8Risk Factors --Three Categories (contd)
- Investment Risk
- No prior market
- Debt being offered is subordinate to
- current and future debt.
9Example of Industry Risk
- All of our key customers are
- telecommunications companies. If the
- telecommunications industry continues to
- experience significant economic downturn,
- our sales could be adversely impacted.
10Example of Industry Risk (contd)
- A significant portion of our revenues is
generated from sales of our products and services
to various telecommunications companies. During
the last twelve to eighteen months, the
telecommunications industry has endured a
significant economic downturn. Telecommunications
service providers have typically reduced planned
capital spending, have reduced staff, and sought
bankruptcy proceedings and/or ceased operations.
11Example of Industry Risk (contd)
- Consequently, the spending cutback of these
organizations has affected the Company through
reduced product orders. The decline in product
orders negatively impacted our revenues,resulting
in significant operating losses and negative cash
flows. If the telecommunications industry
experiences further economic downturns, this
could negatively impact our sales and revenue
generation, and consequently have a material
adverse effect on our business, financial
condition and results of operations.
12Example of Company Risk
- We may be unable to protect our proprietary
- rights, permitting competitors to duplicate our
- products and services, which could negatively
- impact our business and operations.
13Example of Company Risk (contd)
- We hold no patents on any of our technology.
If we are unable to license any technology or
products that we may need in the future, our
business and operations may be materially and
adversely impacted. However, we do not consider
any of these licenses to be critical to our
operations. We have made a consistent effort to
minimize the ability of competitors to duplicate
our software technology utilized in our products.
14Example of Company Risk (contd)
- However, there remains the possibility of
duplication of our products, and competing
products have already been introduced. Any such
duplication by our competitors could negatively
impact on our business and operations. - We may be unable to protect our proprietary
rights, permitting competitors to duplicate our
products and services, which could negatively
impact our business and operations.
15Example of Securities Risk
- Our common stock may be delisted from Nasdaq
and if this occurs you may have difficulty
converting your investment into cash efficiently.
16Example of Securities Risk (contd)
- The National Association of Securities
Dealers, Inc. has established certain standards
for the continued listing of a security on the
Nasdaq National Market and the Nasdaq SmallCap
Market. The standards for continued listing on
either market require, among other things, that
the minimum bid price for the listed securities
be at least 1.00 per share.
17Example of Securities Risk (contd)
- Our Common Stock has traded below 1.00 since
January 29, 2002, and on March 13, 2002, we
received notice from Nasdaq stating that our
Common Stock has not met the 1.00 continuing
listing standard for a period of 30 consecutive
trading days. There can be no assurance that we
will continue to satisfy the requirements for
maintaining a Nasdaq National Market or SmallCap
listing.
18Example of Securities Risk (contd)
- If our common stock were to be excluded from
Nasdaq, the prices of our common stock and the
ability of holders to sell such stock would be
adversely affected, and we would be required to
comply with the initial listing requirements to
be relisted on Nasdaq.
19Combination Risk Issuer and Security
- We do not anticipate the payment of dividends.
- We have never declared or paid cash dividends
on our common stock. We currently anticipate that
we will retain all available funds for use in the
operation of our business. Thus, we do not
anticipate paying any cash dividends on our
common stock in the foreseeable future.
20Sample Comment
- Currently, it appears you are including more
than one risk factor under one subheading. For
example, is the second paragraph under "Recent
Operating Results" a significant risk factor of
this offering that needs to stand alone under an
explanatory subheading? Other examples of
"bundled" risk factors include . . . In order to
give the proper prominence to each risk you
present, we suggest you assign each risk its own
descriptive subheading.
21Another Sample Comment
- Provide the information investors need to assess
the magnitude of the risk. For example, in the
second risk factor on page 4, you state that
increases in short-term interest rates could have
a material adverse effect on XYZ Bank's
profitability. Explain why. Are a substantial
percentage of XYZ's interest-earning assets in
long-term investments that pay fixed rates while
the interest you pay to your depositors
fluctuates? If so, what percentage of your
interest-earning assets are in long-term
investments?
22Risks Associated with Blank Check Offerings.What
Is a Blank Check Offering?
- A blank check company
- Is a development stage company that has no
specific business plan or purpose or has
indicated that its business plan is to engage in
a merger or acquisition with an unidentified
company or companies, or other entity or person
and - Is issuing penny stock
23What Risks Are Associated with Blank Check
Offerings?
- Investors dont have a business plan or history
to evaluate - Investors dont know the business to be entered
- Investors dont know the terms on which a
business is acquired or entered
24What Risks Are Associated with Blank Check
Offerings? (contd)
- Investor reliance upon management is pronounced
- Investors may be mislead about prospects.
25What is Required in a Blank Check Offering?
- With limited exceptions, all securities issued in
connection with an offering by a blank check
company and the gross proceeds from the offering
shall be deposited promptly into an escrow
account - Securities held in the escrow or trust account
are to be held for the sole benefit of the
purchasers
26What is Required in a Blank Check Offering?
(contd)
- Upon acquisition of a business, amended
disclosure is required and investors have a
specified period to evaluate the proposed company
and whether they wish to continue as investors - If an acquisition has not occurred by a date 18
months after the effective date of the initial
registration statement, funds held in the escrow
or trust account shall be returned.
27Liquidity and Going Concern Problems
- In the past we have experienced significant
losses and negative cash flows from operations.
If these trends continue in the future, it could
adversely affect our financial condition.
28Liquidity and Going Concern Problems (contd)
- We have incurred significant losses and negative
cash flows from operations in the past. For the
fiscal years ended March 31, 2001 and 2002, we
experienced net losses of 16,676,666 and
6,929,379, respectively, and negative cash flows
from operations of 7,086,246 and 5,026,038,
respectively. These results have had a negative
impact on our financial condition.
29Liquidity and Going Concern Problems (contd)
- There can be no assurance that our business
will become profitable in the future and that
additional losses and negative cash flows from
operations will not be incurred.If these trends
continue in the future, it could have a material
adverse affect on our financial condition.
30Final Paragraph from Report of Independent Public
Accountant
- The accompanying financial statements have
been prepared assuming that the Company will
continue as a going concern. As discussed in Note
1 to the financial statements, the Company's
recurring losses from operations and its
difficulty in generating sufficient cash flow to
meet its obligations and sustain its operations
raise substantial doubt about its ability to
continue as a going concern.
31Final Paragraph from Report of Independent Public
Accountant
- Management's plans concerning these
- matters are also described in Note 1. The
- financial statements do not include any
- adjustments that might result from the
- outcome of this uncertainty.
32MDA Disclosure By Distressed Issuer
- Our consolidated financial statements have
been prepared on the basis that we will continue
as a going concern, which contemplates the
realization and satisfaction of liabilities and
commitments in the normal course of business. At
March 31, 2002, we had an accumulated deficit of
37,094,424 and working capital of 5,040,922. We
also realized net losses of 6,929,379 for the
year ended March 31, 2002 and 16,676,666 for the
year ended March 31, 2001. Our existing working
capital might not be sufficient to sustain our
operations.
33MDA Disclosure By Distressed Issuer (contd)
- Our financial statements do not include any
adjustments relating to the recoverability and
classification of recorded asset amounts or to
amounts and classification of liabilities that
may be necessary should we be unable to continue
as a going concern.
34More MDA Disclosure By Distressed Issuer
- The decline in product orders negatively
impacted our revenues, resulting insignificant
operating losses and negative cash flows. As a
result, it is imperative for us to be successful
in increasing our revenue, reducing costs,and/or
securing additional funding in fiscal 2003 in
order to continue operating as a going concern.
35MDA Disclosure By Distressed IssuerThe Problem
Quantified
- We believe that a minimum of 2,000,000 in
additional capital will be needed in order to
fund the Company's planned operations through
June 2003. We plan to seek equity financing to
provide funding for operations but the current
market for equity financing is very weak. If we
are not successful in raising additional equity
capital to generate sufficient cash flows to meet
our obligations as they come due, we plan to
continue to reduce our overhead expenses by the
reduction of headcount and other available
measures.
36MDA Disclosure By Distressed IssuerThe Problem
Quantified (contd)
- We may also explore the possibility of mergers
and acquisitions. If we are not successful in
increasing our revenue, reducing our expenses or
raising additional equity capital to generate
sufficient cash flows to meet our obligations as
they come due, we may not be able to continue as
a going concern.
37The Plan to Address the Problem
- Our plans to overcome this condition includes
refocusing our sales efforts to include
penetrating additional markets with our
enterprise infrastructure security products,
reducing expenses and raising additional equity
capital. On February 14, 2002, we received
3,480,000 from the issuance of new shares in a
private placement of 4,000,000 shares of Common
Stock.
38The Plan to Address the Problem (contd)
- We have restructured and reorganized to reduce
our operating expenses by the layoff of 8
employees in July 2002 which reduced the
Company's overhead expenses by approximately
575,000 in annual salaries and employee
benefits.
39The Plan to Address the Problem (contd)
- The Company has refocused its sales effort to
emphasize the selling of its software products
and reengineered its hardware products in an
effort to increase gross margins. The Company has
begun to establish alternate channels that will
open opportunities in the future to sell our
products without the overhead expenses associated
with headcount.
40The Plan to Address the Problem (contd)
- We can not assure that our sales efforts or
expense reduction programs will be successful, or
that additional financing will be available to
us, or, if available, that the terms will be
satisfactory to us.
41The Plan to Address the Problem (contd)
- If we are not successful in increasing our
- revenue, reducing our expenses or raising
- additional equity capital, to generate
- sufficient cash flows to meet our obligations
- as they come due, we may not be able to
- continue as a going concern.
42 Dealing With Issuers Under Investigation
- Issuer may or may not know about the
investigation - Inquiry-investigation process typically is not
disclosed
43Dealing With Issuers Under Investigation (contd)
- Disclosure and Enforcement operations are by
different persons - Disclosure concernsissuer has the disclosure
obligation.
44When Issuer Is Aware of Enforcement Interest
- All persons who are responsible for the accuracy
and adequacy of the disclosure in the
registration statement are urged to be certain
that all information required for investors to
make an informed investment decision is provided.
Since ABC and its management are in possession
of all facts with respect to the matter under
investigation they are responsible for the
accuracy and adequacy of the disclosures made.
45When Issuer is Aware of Enforcement Interest
(contd)
- In the event that ABC requests acceleration
- of the effective date of the pending
- registration statement, ABC should furnish
- a letter at the time of such request which
- acknowledges the following
-
46When Issuer is Aware of Enforcement Interest
(contd)
- The disclosure in the filing is is the
responsibility of ABC. ABC represents to the
Commission that should the Commission or the
staff acting pursuant to delegated authority,
declare the filing effective, it does not
foreclose the Commission from taking any action
with respect to the filing and ABC represents
that it will not assert this action as a defense
in any proceeding initiated by the Commission or
any person under the federal securities laws of
the United States. -
47When Issuer is Aware of Enforcement Interest
(contd)
- ABC further acknowledges, that the action of the
Commission or the staff, acting pursuant to
delegated authority, in declaring the filing
effective does not relieve ABC from its full
responsibility for the adequacy and accuracy of
the disclosures in the filing.