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Please read Case 5-9Weatherford International from the Ethical Obligations and Decision Making in Accounting Text and Cases Fifth Edition. Explain how Weatherford and Hudgins used

Please read Case 5-9Weatherford International from the Ethical Obligations and Decision Making in Accounting Text and Cases Fifth Edition.

Explain how Weatherford and Hudgins used aggressive accounting positions in the area of income tax accounting.

The case is too long to post, so I included as much of the case study that the system would allow.

Weatherford International PLC is a multinational Irish public limited company based in Switzerland, with U.S. offices in Houston, Texas. Weatherfords shares are registered with the SEC and are listed on the NYSE. Weatherford files periodic reports, including Forms 10-K and 10-Q, with the Commission pursuant to Exchange Act Section 13(a) and related rules thereunder.James M. Hudgins, CPA, served as Weatherfords Director of Tax from January 1999 until mid-2000, when he became Vice President of Tax, and as an Officer from February 2009 until his resignation on March 31, 2012.Darryl S. Kitay, CPA, served as Weatherfords Tax Manager and Senior Manager from April 2004 until 2011, then as Weatherfords Tax Director through January 2013. Kitay reported to Hudgins from April 2004 until March 2012. Weatherford relieved Kitay of all supervisory responsibilities associated with Weatherfords income tax accounting in May 2012, after the filing of the Second Restatement of financial statements. Weatherford terminated Kitays employment in July 2013.Ernst & Young LLP was Weatherfords external auditor from 2001 to March 2013. On March 7, 2013, Weatherfords audit committee decided not to re-appoint EY.SEC Order Against EYOn October 18, 2016, the SEC announced that EY agreed to pay more than $11.8 million to settle charges related to failed audits of Weatherford based on the auditors failure to detect deceptive income tax accounting to inflate earnings. The EY penalty is in addition to the $140 million penalty already agreed to. The combined $152 million will be returned to investors who were harmed by the accounting fraud. The Commission also charged the EY part-ner who coordinated the audits, Craig Fronckiewicz, and a former tax partner who was part of the audit engagement team, Sarah Adams. Both agreed to suspensions to settle charges that they disregarded significant red flags during the audits and reviews.The SECs order stated that, despite placing the Weatherford audits in a high-risk category, EYs audit team repeat-edly failed to detect the companys fraud until it was more than four years ongoing. The audit team was aware of post-closing adjustments that Weatherford was making to significantly lower its year-end provision for income taxes each year, but it relied on Weatherfords unsubstantiated explanations instead of performing the required audit pro-cedures to scrutinize the companys accounting. The SECs order also found that EY did not take effective measures to minimize known recurring problems its audit teams experienced when auditing tax accounting.

min69460_ch05_279-338.indd332 08/30/18 08:41 PMAs a result, Weatherford was forced to restate its financial statements on three separate occasions over eighteen months. The first restatement was made public on March 1, 2011, when Weatherford announced that it would restate its financial results for 2007-2010 and that a material weakness existed in its ICFR for the accounting of income taxes. That restatement, filed on March 8, 2011, reduced previously reported net income by approximately $500 million (the First Restatement). $461 million of the First Restatement resulted from a four-year income tax accounting fraud orchestrated by Hudgins and Kitay. Hudgins and Kitay made numerous post-closing adjustments or plugs to fill gaps to meet ETRs that Weatherford previously disclosed to financial analysts and the public. This deceptive intercompany tax accounting improperly inflated Weatherfords earnings and materially understated its ETR and tax expense.The fraud created the misperception that the tax structure Weatherford designed to reduce its tax expense and ETR was far more successful than it actually was. From 2007 to 2010, Weatherford regularly promoted its favorable ETR to analysts and investors as one of its key competitive advantages, which it attributed to a superior international tax avoidance structure that Hudgins constructed at the urging of senior management.After announcing the First Restatement, Weatherfords stock price declined nearly 11% in one trading day ($2.38 per share), closing at $21.14 per share on March 2, 2011. The decline eliminated over $1.7 billion from Weatherfords market capitalization.Weatherford announced additional restatements in February 2012 and July 2012 (the Second Restatement and Third Restatement, respectively). After the First Restatement, Weatherford attempted to remediate its material weakness in internal control over income tax accounting. Throughout its remediation efforts in 2011, Weatherford filed its Forms 10-Q on a timely basis and falsely reassured investors that it was performing additional reconcilia-tions and post-closing procedures to ensure that its financial statements were fairly presented in conformity with GAAP. However, Weatherford, through Hudgins and Kitay, failed to review, assess, and quantify known income tax accounting issues that had a high risk of causing additional material misstatement as early as July 2011. When Weatherford filed its Second Restatement on March 15, 2012, Weatherford reported a $256 million drop in net income from 2007-2011 as a result of additional errors in its income tax accounting, and its material weakness in internal control over income tax accounting remained. At least $84 million of that drop in net income resulted from an income tax accounting GAAP violation Hudgins and Kitay knew about, but failed to assess and quantify, before Weatherford filed its third quarter financial statements. Four months after filing the Second Restatement, Weatherford announced that it was withdrawing reliance on all previous financial statements because it had discovered additional income tax errors that reduced prior period net income by $107 million. By the time Weatherford issued its Third Restatement on December 17, 2012, Weatherford had reduced net income from prior periods by an additional $186 million, largely driven by books, records, and internal accounting controls issues identified and corrected during Weatherfords remediation efforts in 2012.Tax StrategyA key component of Weatherfords tax strategy was to develop a superior international tax avoidance structure that reduced Weatherfords ETR and tax expense (and increased EPS and cash flow) while providing a competitive advantage over U.S.-based peer companies. In 2002, Weatherford changed its place of incorporation from the U.S. to Bermuda, a 0% tax jurisdiction, through a process known as inversion.

min69460_ch05_279-338.indd333 08/30/18 08:41 PMWeatherford senior management and Hudgins understood that Weatherfords tax structure and resulting ETR added significant value and was material to analysts and investors alike. Wall Street analysts closely followed Weatherfords ETR and its effect on earnings. Each percentage point in Weatherfords ETR translated into $0.02 to $0.03 in EPS.Weatherfords senior management knew its tax department was perpetually understaffed and overworked during the years leading up to the First Restatement. Hudgins led a tax staff that was roughly the same size as when he was hired, and Hudgins pressed his employees to work long hours to make Weatherfords tax structure extremely competitive. Weatherford and Hudgins quickly gained a reputation with the companys external auditor as a chal-lenging and demanding client known for taking aggressive accounting positions, particularly in the area of income tax accounting.Although Weatherford reduced its ETR by nearly 10% from 2001 to the end of 2006, its CFO remarked that Weatherfords ETR remained somewhat above that of other inverted peer companies in his response to an analysts question during the year-end earnings call on January 30, 2007. Soon thereafter, Weatherford started reporting ETR results that created a false perception that its international tax structure was outperforming similarly-situated competitors by a significant margin. For example, in 2008 and 2009, fueled by its deceptive income tax accounting practices, Weatherford reported pre-restatement ETRs of 17.1% and 6.5%.In connection with fiscal years 2007 through 2010, Hudgins and Kitay engaged in fraudulent practices relating to income tax accounting that violated GAAP and made Weatherfords financial statements materially false and misleading. During each of those years, Weatherford repeatedly and publicly disclosed ETR estimates and recorded tax expenses that Hudgins and Kitay knew, or were reckless in not knowing, were fabricated. Each year, Hudgins and Kitay made or authorized unsupported post-closing adjustments to accounting data that intentionally lowered Weatherfords actual ETR and tax expense. To do so, they reversed accounting data that had been correctly input into Weatherfords consolidated tax provision from the companys accounting system, and did not notify Weatherfords accounting department why they had made such adjustments.Hudgins and Kitay performed no work to support the adjustments, which were merely a plug to arrive at the lower estimated ETR and tax expense amounts. Without disclosing how they arrived at their numbers, they provided these amounts for inclusion in Weatherfords consolidated financial statements, which senior management shared with analysts and investors repeatedly during earnings calls and public financial statements. This conduct went unde-tected for over four fiscal years. Kitay identified the existence of the adjustments to EY each year, but, when ques-tioned about them, Kitay made misleading and inconsistent responses to the auditors and failed to disclose the true reason for the adjustments. Kitay sometimes asked Hudgins to review his responses before providing them to EY.The errors were finally discovered in February 2011. By that time, a phantom income tax receivable had increased to such dramatically disproportionate heights, over $460 million, that it defied even the unsupported explanations of Hudgins and Kitay. Shortly thereafter, Weatherford released the First Restatement in March 2011.Results for 2007The following summarizes the accounting and tax maneuvers for 2007. We limit the discussion to 2002007 for the sake of brevity.Throughout the first three quarters of 2007, Weatherford recorded ETR and tax expense pursuant to FIN 18, Accounting for Income Taxes in Interim Periods. FIN 18 prescribes an estimated annualized ETR approach for computing the tax provisions for the first three quarters of the year, which is based on a companys best estimate of current year ordinary income. GAAP, however, does not allow companies to use FIN 18 to calculate their year-end tax provisions.To comply with GAAP, Weatherford was required to record ETR and tax expense at year end pursuant to FAS 109, Accounting for Income Taxes. FAS 109 establishes standards on how companies should account for and report the effects of income taxes, including the calculation of the year-end consolidated tax provision. Tax department person-nel reviewed that information, after which the tax provisions for legal entities were finalized and then combined on a region-by-region basis. The region-based tax provisions were then consolidated to arrive at a single tax provision

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