PCAOB Update PCAOB Update –– Audit Considerations Audit Considerations in the Current Environmentin the Current Environmentin the Current Environmentin the Current Environment
Joseph St. Denis
Director Office of Research andDirector – Office of Research and Analysis
DisclaimerDisclaimerThe views expressed are those of the speaker alone and do not necessarily reflect the views of the Board, its members or staff.
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Topics•• OverviewOverview
•• IntroductionIntroduction•• PCAOB OverviewPCAOB OverviewPCAOB OverviewPCAOB Overview•• Standards UpdateStandards Update•• Office of Research and AnalysisOffice of Research and Analysis
S ill th d l iS ill th d l i•• Surveillance methodologiesSurveillance methodologies•• Peer reviewed researchPeer reviewed research
•• Emerging Risk in the Coming Year (s)Emerging Risk in the Coming Year (s)•• Emerging Risk in the Coming Year (s)Emerging Risk in the Coming Year (s)•• The “GAAP Tsunami”The “GAAP Tsunami”
•• The role of judgment/discretionThe role of judgment/discretion
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PCAOB Overview
• Board• Standards• Enforcement• Registration and Inspections• Research and Analysis
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United States Supreme CourtUnited States Supreme Court
• The plaintiff “won” the case; • The process by which PCAOB board members were
to be removed violated the Appointments Clause ofto be removed violated the Appointments Clause of the US Constitution
• The Supreme Court simply removed the words “for cause” from the Board removal provisions of SOXcause from the Board removal provisions of SOX
• Result: PCAOB board members now serve at the pleasure of the SEC commissioners (and can be removed at whim)
• The remainder of SOX is totally unaffected, PCAOB remains fully operational
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remains fully operational
Update on Standards• Recent Board Actions• Recent Board Actions
– Auditing Standard No. 7 - Engagement Quality Review– Proposed Auditing Standards - The Auditor’s Assessment of and
Response to Risk– Proposed Auditing Standard - Communications with Audit
Committees– Proposed Auditing Standard - Confirmation
• Guidance• Guidance– Staff Audit Practice Alert No. 5, Auditor Considerations Regarding
Significant Unusual Transactions– Staff Audit Practice Alert No. 6, Auditor Considerations Regarding g g
Using the Work of Other Auditors and Engaging Assistants From Outside the Firm
• Other Standard-Setting Activities• Standing Advisory Group
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• Standing Advisory Group
AS No. 7 – Engagement Quality
S d i ti i t f i i
AS No. 7 Engagement Quality Review• Supersedes existing requirements for concurring reviews
(former SEC Practice Section requirement §1000.08(f) and Appendix E)
• Applies to all registered firms– Firms that were not members of the AICPA SEC Practice Section
as of April 16, 2003 were not required to perform concurring reviewsU d AS N 7 ll i t d fi d ti dit i– Under AS No. 7, all registered firms conducting audits in accordance with PCAOB standards are required to perform an EQR
• Available through PCAOB website at http://pcaobus org/Standards/Auditing/Pages/Auditing Stanhttp://pcaobus.org/Standards/Auditing/Pages/Auditing_Standard_7.aspx
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AS No. 7 – Engagement Quality g g yReview
R i EQR f dit d i t i i• Requires EQR for audits and interim reviews conducted pursuant to the standards of the PCAOB (AS 7.1)C O ( S )– Tailored requirements for the EQR of audits (AS 7.9-
.13) and the EQR of interim reviews (AS 7.14-.18)R i i l f i i t• Requires concurring approval of issuance prior to granting permission to the client to use the engagement report (AS 7.13, and .18)g g p ( , )
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AS No 7 – Engagement Quality
AS N 7 i li bl f b th th EQR f
AS No. 7 Engagement Quality Review
• AS No. 7 is applicable for both the EQR of audits and the EQR of interim reviews for fiscal years beginning on or after December 15, 2009years beginning on or after December 15, 2009 – Calendar year-end companies
• Interim reviews for March 31, 2010 Audits for December 31 2010• Audits for December 31, 2010
– June 30 year-end companies• Interim reviews for September 30, 2010• Audits for June 30, 2011
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Staff Question and AnswerA diti St d d N 7 E t Q lit
St ff Q&A i d F b 19 2010
Auditing Standard No. 7, Engagement Quality Review• Staff Q&A issued on February 19, 2010• Addresses one question –
– Question – Does the standard require documentation of all of the interactions between the EQR and the engagement team, including all of the interactions before a matter is identified as a significant engagement deficiency?Answer No The example on page 21 of the adopting release– Answer – No. The example on page 21 of the adopting release illustrates how the documentation requirements of AS No. 7 should be applied once a reviewer concludes that a significant engagement deficiency exists.g g y
• Available through PCAOB website at http://pcaobus.org/Standards/QandA/2010-02-19_EQR_QA%20_2.pdf
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Risk Assessment• Reproposed December 17, 2009• Comment period ended on March 2, 2010• Twenty-three comment letters received• Available through PCAOB website at
htt // b /R l /R l ki /P /D k t026
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http://www.pcaobus.org/Rules/Rulemaking/Pages/Docket026.aspx
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Risk AssessmentSignificant changes to reproposed standards from originalSignificant changes to reproposed standards from original proposal:
Alignment with Auditing Standard No. 5Incorporates the requirements from AS No. 5 related to p qidentifying and assessing risks of material misstatement that also apply to financial statement audits. Excludes requirements related only to the audit of internal control over financial reporting
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control over financial reporting. Emphasis on the consideration of fraud
Emphasizes that assessing and responding to risk of fraud is an integral part of an audit.Incorporates the requirements for identifying and responding to risks of material misstatement due to fraud and evaluating audit results from AU sec. 316
Enhancing the requirements for evaluating disclosures
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Enhancing the requirements for evaluating disclosures
Risk AssessmentRisk Assessment
• Seven new standards:• Seven new standards:– Audit Risk– Audit Planning and Supervisiong p– Consideration of Materiality in Planning and
Performing an AuditIdentifying and Assessing Risks of Material– Identifying and Assessing Risks of Material Misstatement
– The Auditor’s Responses to the Risks of Material Mi t t tMisstatement
– Evaluating Audit Results– Audit Evidence
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Audit Evidence
Communications With Audit Committees• Board issued proposed standard on March 29• Board issued proposed standard on March 29,
2010; comment period ended on May 28, 2010• Proposed standard available at p
http://www.pcaobus.org/Rules/Rulemaking/Pages/Docket030.aspx
• Primary objectives of the proposed standard are to:to:– Enhance the relevance and effectiveness of
communications between the auditor and the audit committeecommittee
– Emphasize the importance of effective, two-way communications between the auditor and the audit committee
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committee
Communications With AuditCommunications With Audit Committees
• Retains the requirements from AU sec. 380, Communication with Audit CommitteesCommunication with Audit Committees
• Adapts requirements from AU sec. 310, Appointment of the Independent Auditorpp p
• Includes SEC-required communications for accounting-related matters
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Communications With Audit CommitteesAdd i t t i t• Adds a requirement to communicate an overview of audit strategy and timing of the audit
• Enhances communications regarding• Enhances communications regarding accounting policies, practices and estimates
• Changes requirements regarding timing of• Changes requirements regarding timing of communications
• Requires a written engagement letterequ es a tte e gage e t ette• Adds a requirement to evaluate the adequacy of
the two-way communication process16
ConfirmationConfirmation
• Board issued proposed standard on July 13, 2010; comment period ends on September 13, 20102010
• Proposed standard available at http://www.pcaobus.org/Rules/Rulemaking/Pages/Docket028.aspxp p g g g p
• Primary objective of the auditor is to:– Obtain relevant and reliable audit evidence when
d i i d f i fi i ddesigning and performing confirmation procedures
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ConfirmationConfirmation
• Requires confirmation procedures for specific accountsE h i t f fi ti• Enhances requirements for confirmation procedures
• Reflect changes in technology• Reflect changes in technology
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ConfirmationConfirmation
• Requires confirmation procedures – For receivables that arise from credit sales, loans,
and other transactionsand other transactions– For cash and other relationships with financial
institutions– In response to significant risks that relate to relevant
assertion that can be adequately addressed by confirmation proceduresconfirmation procedures
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ConfirmationConfirmation
• Enhances requirements for confirmation procedures
Maintaining control over the confirmation process– Maintaining control over the confirmation process• Supplement negative confirmation requests with other
substantive proceduresDetermine that confirmation requests are properly addressed• Determine that confirmation requests are properly addressed
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C fi tiConfirmation
E h i t f fi ti• Enhances requirements for confirmation procedures (cont’d)
Evaluation– Evaluation• Perform appropriate alternative procedures for non-responses• Investigate exceptions in confirmation responses
Assess reliabilit of confirmation responses• Assess reliability of confirmation responses– Additional procedures for electronic confirmation responses
• Evaluate disclaimers and restrictive language
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St ff A dit P ti Al t N 5Staff Audit Practice Alert No. 5 • Issued April 7 2010• Issued April 7, 2010• The Alert reminds auditors of their responsibilities to assess and
respond to the risk of material misstatement of the financial statements due to error or fraud posed by significant unusual t titransactions
• Responsibilities described in the Alert include –– Identifying and assessing risks of material misstatement
Responding to risks of material misstatement– Responding to risks of material misstatement– Consulting others– Evaluating financial statement presentation and disclosure– Communicating with audit committeesCommunicating with audit committees– Reviewing interim financial information
• Available through PCAOB website at http://pcaobus.org/Standards/Pages/Guidance.aspx
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Staff Audit Practice Alert No 6Staff Audit Practice Alert No. 6
• Issued July 12 2010• Issued July 12, 2010• The practice alert reminds registered firms of their
obligations when using the work of other firms or using i t t d f t id th fiassistants engaged from outside the firm.
– Describes the circumstances under which the firm issuing the audit report may use the work and reports of another auditor. A dit h i t t f t id th fi– Auditors who engage assistants from outside the firm are governed by the same standards regarding planning the audit and supervising assistants that apply when audit work is performed by assistants who are partners of, or employed by, pe o ed by ass sta ts o a e pa t e s o , o e p oyed by,the auditor's firm.
• Available through PCAOB website at http://pcaobus.org/Standards/Pages/Guidance.aspx
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http://pcaobus.org/Standards/Pages/Guidance.aspx
Other Standard Setting Activities*Other Standard-Setting Activities*
R i i th E t P t t Si th• Requiring the Engagement Partner to Sign the Audit Report (Concept Release issued July 28, 2009))
• Application of the Sarbanes-Oxley Act’s Provision on “Failure to Supervise”
• Related Parties• Specialists
F i V l M t d Oth A ti• Fair Value Measurements and Other Accounting Estimates
* Activities subject to change based on i i
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emerging issues
Other Standard-Setting Activities*
P i i l A dit• Principal Auditor• Quality Controls Standards, Including Quality
Controls Over the Work of Affiliated FirmsControls Over the Work of Affiliated Firms• Applicability of SECPS Requirements to all
Registered FirmsRegistered Firms• Going Concern • Subsequent EventsSubsequent Events
* Activities subject to change based on emerging issues
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emerging issues
Keeping Current with Standard-Keeping Current with StandardRelated Activities• Our Web site – http://www.pcaobus.org/Standards/Pages/default.aspx
– PCAOB standards and related rules, including interim standards
– PCAOB proposed standards– Staff Questions and Answers– Staff Audit Practice Alerts– Standing Advisory Group
• Contact us at [email protected]• Sign up for the PCAOB Updates service to receive a g p p
notification via e-mail that briefly describes significant new postings to our Web site at
http://pcaobus.org/About/Pages/Subscribe.aspx
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Office of Research and Analysis• Business Intelligence
– Data for surveillance and reporting– Quant Model
Peer-reviewed research– Peer-reviewed research
• Surveillance– IRA (Internal Risk Application)– Quant Model– Monitor
• Risk Policy– Strategy– Standards
Quality control27
– Quality control
PCAOB Surveillance Programs• Two components: Screening and Analysis• Two components: Screening and Analysis• Point of entry: Screening the “X” and “Y” Axes
– X Axis = Issuer information– Y-Axis = Accounting Firm information– “Vendor” vs “Non-vendor” data
• IRA “Internal Risk Application”• IRA – Internal Risk Application• Quant Model• Both are dynamic applicationsBoth are dynamic applications
– Continuous evolution– Continuous investment
Th EDW28
– The new EDW
Beyond the Screen: Analysis of eyo d t e Sc ee a ys s oScreen Results, Writeup and Scoring
E al ation of screen res lts• Evaluation of screen results• Read and analyze SEC Filings (Forms 10-K, 10-
Q)Q)• Read or listen to earnings calls• Other researchOther research• Securities analysis• Write referral?• Scoring• Pass to Inspectors
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p
Performance Measurement“N ti E t ”• “Negative Events”– Restatements
Litigation– Litigation– SEC investigations
• PCAOB Inspection Comments• PCAOB Inspection Comments• Risk-based vs representative selection• Top 120• Top 120
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Historical Performance – AllHistorical Performance – All Selections
2007 2008 2009 Totals
Issuer-Audits Inspected 437 347 371 1155
Issuer-Audits Inspected w/Issuer-Audits Inspected w/ Negative Events -
Expanded Observation Period105 58 42 205
Negative Event Rate for Issuer-Negative Event Rate for IssuerAudits Inspected -
Expanded Observation Period 24.0% 16.7% 11.3% 17.7%
Large 8 Negative Event Rate 8.3% 5.2% 4.5% 6.1%
Quant ModelProduce a list of higher risk issuer audits for consideration byProduce a list of higher risk issuer audits for consideration by PCAOB Inspections for their annual inspections using quantitative (data mining) techniques.– The goal is to identify issuer audits with elevated risk of auditThe goal is to identify issuer audits with elevated risk of audit
failure (companies with undetected misstatements)– The quantitative model algorithm identifies patterns in attributes of
issuers who restated in the past and looks for the same patterns in current issuers
– ORA also highlights aspects of financial statements – The list is rank-ordered to reflect the relative probabilities of
d t t d fi i l t t t i t t tundetected financial statement misstatements
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2009 Quant Model Back-testing2009 Inspection Year Quant Model
40%ents
p Qon FY ‘06 Test Data (6158 issuers)
0%
20%
30%
th R
esta
tem
e
Top 50 Issuers at 22%
Top 100 Issuers at 18% Entire Target List (1077 issuers)20%
10%
of Is
suer
s w
i
Random Selection at 4%
(1077 issuers) at 7%
0%200 400 600 800 1000
# of Issuers (in ranked order)
% Random Selection at 4%
Hit rate (% of correctly flagged misstaters) declines with lower rank in the target list (backtested on 2006 data)
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Hit rate (% of correctly flagged misstaters) declines with lower rank in the target list (backtested on 2006 data)
P R i d R hPeer-Reviewed Research
• We examine the impact of PCAOB inspections• We examine the impact of PCAOB inspections on client turnover at triennial firms during the First Cycle – paper is currently undergoing academic peer reviewacademic peer review
• In particular: Do firm with inspections findings: – Resign from more clients? es g o o e c e s– Be dismissed from more clients?– Gain more new clients?
• We have access to non public inspections data• We have access to non-public inspections data and are also able to include the Part II findings in our analysis
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R lResults
• Deficient PCAOB inspections’ reports were significantly associated with the firms’ decision to resign from issuer audits– Could be explained by reputational/compliance concerns
M h b t i t id t i f t i ti b– May have been trying to avoid comments in future inspections by resigning from “risky” audits
• PCAOB inspections’ reports do not seem to be correlated with issuers’ decisions to dismiss their auditors– However, a publicly available measure of audit quality, partner-to-staff
ratio, was significantly correlated with dismissals• Firms that received at least 1 public Part 1 comment were
significantly more likely to receive new issuer audits in thesignificantly more likely to receive new issuer-audits in the period following the release of their PCAOB inspections’ reports
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FindingsW h i di ti th t th• We have some indication that there was a demand for firms that were perceived to provide lower quality auditslower quality audits– It could also be the case that there was a demand for
lower cost audits and that there is a correlation between audit fees and audit quality• We will test this hypothesis in future versions of the paper
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Emerging GAAP IssuesR iti d l ld l• Revenue recognition model – would replace over 200 pieces of accounting literature and fundamentally change the modelfundamentally change the model
• Financial instruments and hedging – would represent a significant pullback in hedgerepresent a significant pullback in hedge accounting requirements, could impact dynamic hedging programs
• Fair Value – the sleeper; potential to affect risk transparency
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Revenue from Contracts with CustomersEntities will perform the following five steps inEntities will perform the following five steps inapplying the proposed standard:
• Identify the contract with the customer • Identify the separate performance obligations in
th t tthe contract • Determine the transaction price • Allocate the transaction price to the separate• Allocate the transaction price to the separate
performance obligations • Recognize revenue when each performance
bli ti i ti fi d38
obligation is satisfied Confidential - For Internal Use Only
Revenue from Contracts with Revenue from Contracts with Customers
Current SAB 104 Criteria Required for Proposed ASU ED:Current SAB 104 Criteria Required for Revenue Recognition• Persuasive evidence of an arrangement exists
Delivery has occurred or services have
Proposed ASU ED:• Contracts may be written, oral, or implied. An agreement must create enforceable rights and obligations
Recognition when control is transferred;• Delivery has occurred or services have been rendered
• The seller's price to the buyer is fixed or
• Recognition when control is transferred; rather than risks and rewards
• Recognize revenue if the transaction price determinable
• Collectibility is reasonably assured.
can be reasonably estimated (including contingent amounts). No VSOE required.• Collectibility affects measurement of revenue, not recognition
• Bill & Hold Arrangements (i.e. SEC has specific criteria to be met in order to recognize revenue when delivery has not
d)
, g
• Does not require specific delivery date.
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occurred)
w
Slide 39
w1 Double check statement.wilfertg, 10/4/2010
Financial Instruments,Financial Instruments,Derivatives and HedgingC D it Li biliti ill b d tCore Deposit Liabilities will be measured at“Current” value which is the present value ofaverage with the discount at the rate differentialbetween the rate charged for the next bestalternative source of funding and the all-in-costto-service rate over the implied maturity.
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Financial Instruments, Derivatives Financial Instruments, Derivatives and HedgingThe proposed changes to hedge accountingThe proposed changes to hedge accountingInclude the following:• Only qualitative assessments at inception required; y q p q
reassess only if circumstances suggest a change • Effectiveness threshold lowered from highly effective to
reasonably effective for all FV and CF hedges; the y gproposal does not define reasonably effective
• Elimination of shortcut method and the critical-terms-match method
• For cash flow hedges, ineffectiveness will be recognized for both overhedges and underhedges (and not just for underhedges)
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Financial Instruments DerivativesFinancial Instruments, Derivatives and Hedging
The proposed changes to hedge acco nting incl deThe proposed changes to hedge accounting includethe following (continued):
• Dedesignation only if criteria for hedge accounting not met or hedging instrument expired, sold, terminated, or exercised (Dedesignation will not be elective.
• The proposal notes that an existing hedging relationship would notThe proposal notes that an existing hedging relationship would not need to be terminated if an entity modifies the relationship by subsequently adding a derivative, provided the new derivative does not reduce the effectiveness of the hedging relationship and does not fully offset the existing derivativenot fully offset the existing derivative.
• However, this may not be helpful for many dynamic portfolio hedging strategies where entities adjust the hedged items and not the hedging instruments in the hedging relationship
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Fair Value Measurements and Disclosures (Topic 820)
The Proposed ASU:The Proposed ASU:• Clarifies that principal market is the market with the greatest
volume and level of activity for the asset or liability, not the entity‘s transaction volumeentity s transaction volume
• Clarifies that transport costs are to be taken into account (in addition to transaction costs)addition to transaction costs)
• Clarifies that the highest and best use and valuation premise t l l t fi i l tconcepts only apply to non-financial assets
• Clarifies that the objective is to determine the price for an
43Confidential - For Internal Use Only
individual asset (at the given unit of account)
Fair Value Measurements and Disclosures (Topic 820)
U d ASC 81 (SFAS 133) id• Under current ASC 815 (SFAS 133) guidance, strict criteria are required to be met to achieve hedge accounting on a portfolio basis. g g p
• The proposed ASU would allow entities to apply fair value measurements to only the entity’s net exposureentity s net exposure.
• The accounting impact to the income statement would be similar to short cut (or critical terms
t h f i t t t h d ) h d imatch for non-interest rate hedges) hedging treatment for assets and offsetting liabilities that are "substantially the same."
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Fair Value Measurements and a a ue easu e e ts a dDisclosures (Topic 820)
P t ti l i t ditPotential impact on auditors:
• "Substantially the same" is not defined in the Proposed ASU. U d ACS 815 20 25 (SFAS 133 65 d 68) iti l• Under ACS 815-20-25 (SFAS 133 para. 65 and 68), critical terms match or shortcut method, the terms must match exactly in order to assume there is no ineffectiveness in a hedging relationship. Ineffectiveness may occur if the assetshedging relationship. Ineffectiveness may occur if the assets and offsetting liabilities are not economically perfect hedges.
• Under the Proposed ASU any such ineffectiveness in the assets and offsetting liabilities would not be recorded in the i t t t d/ t di l d th t t tincome statement and/ or not disclosed, thus not transparent to investors.
• This proposed change could create unintended consequences particularly in the area of basis risk
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consequences, particularly in the area of basis risk.
Fair Value Measurements and Disclosures (Topic 820) Basis risk arises in interest rate hedges where variable rates are basedBasis risk arises in interest rate hedges where variable rates are basedon different indexes or in the area of commodities. Investors may losetransparency to basis risk. Examples of basis risk include:
• Assets are indexed to three month LIBOR, however, the offsetting liabilities are indexed to six month LIBOR,
• Assets are indexed to LIBOR and the liabilities are indexed to something other than LIBORother than LIBOR,
• There is a timing difference between the settlement dates on the assets and the offsetting liabilities,
• The interest payment dates differ,• The asset has a different prepayment characteristics than the offsetting• The asset has a different prepayment characteristics than the offsetting
liability,• Commodity contracts hedged without regard to delivery locations or
transportation costs, whether this is part of the entity’s trading strategy or not
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not.
Fair Value Measurements andFair Value Measurements and Disclosures (Topic 820)
• Auditors could be placed in a position in which they would need to have highly specific knowledge of market dynamics for the universe of potential hedging relationships in order tofor the universe of potential hedging relationships in order to effectively identify basis risk in every instance.
• A clear definition of “substantially the same” and/or i l t ti id i th li ti f thi it iimplementation guidance in the application of this criterion would be helpful to auditors.
• This guidance should clearly illustrate the application ofThis guidance should clearly illustrate the application of “substantially the same” in cases where there could be basis risk or other potentially hidden risk.
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LeasesLessee Accounting:Lessee Accounting:• No more operating leases!• Lessee will recognize “right-of-use” asset and a liability for
obligation to pay lease rentals.• Balance sheet will be grossed up with an obligation and an
asset. The proposal effectively eliminates operating lease with off-balance sheet accounting by lessees .
• Lease will be recognized and carried at amortized cost based• Lease will be recognized and carried at amortized cost, based on the present value of payments over the term of the lease
• Income statement geography and the recognition pattern for lease expenses will change. Straight-line rent expense would be p g g preplaced by amortization and interest expense. This would result in an acceleration of expense recognition, as interest on the obligation would be greater in the earlier years, similar to a mortgage.
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g g