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	<title>Rivet Software &#187; Cloud</title>
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		<title>What is the XBRL Cloud Report?</title>
		<link>http://blog.rivetsoftware.com/2010/03/03/xbrl-cloud-report/</link>
		<comments>http://blog.rivetsoftware.com/2010/03/03/xbrl-cloud-report/#comments</comments>
		<pubDate>Wed, 03 Mar 2010 18:23:21 +0000</pubDate>
		<dc:creator>Charlie Hymer, CPA - Senior Account Executive</dc:creator>
				<category><![CDATA[Compliance]]></category>
		<category><![CDATA[Cloud]]></category>
		<category><![CDATA[EDGAR]]></category>
		<category><![CDATA[SEC]]></category>
		<category><![CDATA[XBRL]]></category>

		<guid isPermaLink="false">http://blog.rivetsoftware.com/?p=1253</guid>
		<description><![CDATA[The Cloud Report is a validation tool created by a third party to assist with the XBRL filing process. In fact, some printers use this tool as their validation tool for their XBRL clients. Rivet currently uses its own proprietary tool to perform this function and does not rely on a third party for its [...]]]></description>
			<content:encoded><![CDATA[<p>The Cloud Report is a validation tool created by a third party to assist with the XBRL filing process. In fact, some printers use this tool as their validation tool for their XBRL clients. Rivet currently uses its own proprietary tool to perform this function and does not rely on a third party for its validation. In addition, Rivet’s validation rules are based on official SEC guidelines, as are documented in the EDGAR manual. We work very closely with the SEC to ensure our interpretation of the SEC guidelines adhere to the EDGAR manual appropriately. <span id="more-1253"></span></p>
<p>It is important to note that all filings submitted to the SEC pass EDGAR validations otherwise they would not have been accepted by the SEC. The Cloud is a third party’s interpretation of the SEC guidelines as are all the validation tools on the market. It is not an official validation tool of the SEC. When the Cloud was first created, there were concerns that the terminology used, specifically <em>error</em>, was interpreted as not being accepted by the SEC for filing. This was not the case. The Cloud’s term <em>error</em> includes both SEC Rule violations and SEC Warnings. For example, the Cloud lists Error LC3. This Cloud <em>error</em> is actually an SEC warning related to the fact that no numbers can be listed in the element name label. Yet the SEC Rule requires that the element name label exactly match the financial statement label including the numbers. The filer must meet the SEC Rule as they will not be able to submit through Edgar without following it. Yet because the filer is following the SEC Rule, they will get a SEC warning because the label includes numbers and therefore, an <em>error</em> LC3 in the Cloud.</p>
<p>The Cloud has always meant to be used as a collaborative tool to help vendors and filers interpret the SEC EDGAR Rules. If you have ever looked at these rules, you will agree that it is very difficult for a non-technical person to interpret. We have worked with the Cloud’s founder to offer guidance on how we interpret the rules and he has provided us with valuable feedback in our interpretation. This has led to conversations with the SEC and has helped everyone in interpreting the SEC Rules more accurately.</p>
<p>In summary,</p>
<ul>
<li>The Cloud Report is not an SEC endorsed tool. It is a third party interpretation of the guidelines.</li>
<li>All filings run through the Cloud Report were successfully filed with the SEC. The Cloud errors do not mean SEC errors.</li>
<li>The Cloud Report was meant to be used as a validation tool, not to evaluate XBRL vendors.</li>
</ul>
<p>The Cloud should not be used as a tool to rank XBRL vendors for several reasons:</p>
<ul>
<li>First, all filers have passed the SEC Rules during the filing process otherwise they would not have been able to file. The <em>errors</em> listed on the Cloud Report are SEC warnings.</li>
<li>Second, XBRL vendors cannot necessarily control what the filer decides to do with regard to the SEC warnings. For example, if Rivet is providing our full service solution to a client, we change the terse element label to reflect the element name so that there is no SEC warning produced. If our client has taken the filing process in house, we cannot control if they make this change or not. Either way is accepted by the SEC, but without updating the terse element label, a warning is produced and on the Cloud, an <em>error</em> is produced. Since this has no bearing on their filing, they usually pass on performing this step.</li>
<li>Third, the Cloud was meant to be a collaborative tool to be used in the filing process to ensure accuracy. All XBRL vendors have Cloud <em>errors</em>. The Cloud is an interpretation of the SEC guidelines and is not an official SEC validation tool.</li>
</ul>
<p>If you find that this tactic is being used by a XBRL vendor vying for your business, you may want to ask the following:</p>
<ul>
<li>Please show me your percentage of overall errors compared to the other XBRL vendors for all filings to date. <em>All vendors have some Cloud errors because Cloud errors are the same as SEC warnings and are accepted by the SEC for filing.</em></li>
<li>Drilldown into a particular filing and have the XBRL vendor show you the actual Cloud <em>error</em> and have them explain in detail how this <em>error</em> impacted the filing.</li>
</ul>
<p>Please let me know if I can be of any assistance during your evaluation phase. I would be more than happy to work with you in evaluating your XBRL needs.</p>
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