“…(2) FASB's failure to allow for discounting of the deferred tax liability (Rayburn, 1987); (3) complexity of the accounting methods and their potential lack of usefulness (Colley, Rue, and Volkan, 2006;Bierman. 1990;Burton and Sack, 1989; Gregory, Petree, and Vitray, 1992); (4) failure of the FASB to deal with temporary differences that are permanently deferred (Jeter and Chancy, 1988); (5) potential negative impact of the requirements on stock options (Placid, Rue, and Volkan, 2008;Nichols and Betancourt, 2006); and (6) lack of relevance of deferred tax amounts under full recognition approach (both discounted and undiscounted) in predicting stock returns (Lev and Nissim, 2004), market value of firms (Guenther and Sansing, 2004), discounted value of asset-level reversals of deferred tax balances (Guenther and Sansing, 2004), and future profitability of firms in U.K. where partial recognition method was recently replaced with the S109 approach (Gordon and Joos, 2004). Many of these concerns have not been fully addressed by S109.…”