A year has passed since my PE Week Wire missive that drew comparisons between the 2004 World Series Champion Boston Red Sox and the repercussions on the venture capital market after passage of Sarbanes-Oxley (SOX). And you’ll find that some things haven’t changed. Today, the Red Sox continue to be a dominant force in baseball as they battle for first place in the AL East. And Congress remains unaffected by those speaking out against SOX compliance rules, which are still in place with no current hope for reform in sight. Case in point: the SEC recently announced that it intends to issue more guidance on SOX compliance, basically ignoring the NVCA and the 32 recommendations of the Committee for Small Public Companies which had spent the last year analyzing the challenges involved with Section 404 compliance and pleading for changes to its guidelines. Who now can we call a “bunch of idiots?”
In today’s ramblings, I will again stress the negative effect of SOX, but also illustrate some actions that we — as investors and companies — can take while Congress continues to “blow smoke” in our faces about reforming 404.
Yes, there is a band-aid that venture-backed companies can place over SOX to stop the lack of liquidity options for them in the
Over the past five years, Nasdaq has experienced limited growth in total market capitalization and an evident decline in the number of listed companies. True, the NASDAQ market is still significantly larger than AIM in terms of market cap, but we have to take into account the effect that 404 compliance rules have had on the IPO market. Today, our venture-backed companies need to possess yearly revenues between $80 and $100 million to even consider the Nasdaq IPO path. So where then can venture-backed companies turn?
I have my own skepticism of the benefits of moving overseas. As a cigar aficionado, I have a tendency to steer away from cities like
AIM becomes an even more attractive venueto venture-backed companies by offering a streamlined listing process and company-friendly requirements. SOX continued compliance costs, along with the added Nasdaq listing costs, require an EBITDA hit of nearly $2-3 million. Can we really, as a country, continue to focus our efforts on forcing our companies to continue to invest in these non-GNP operating expenses?
According to Ben Howe of
There may not be a solution in sight on Capitol Hill, but we can still take action in the fight against SOX. With a former venture capitalist and prospective Presidential candidate as governor of
So for those of you who want to make changes for our venture-backed companies, “pull out a Montecristo at a dinner party and the political liberal turns into the nicotine facist.”
— Martyn Harris, British journalist, Daily Telegraph 1/20/89