The FASB recently issued proposed delays of the effective dates for several of its recent standards that would provide at least an additional year to companies that have not yet adopted the standards. The proposed deferral of implementation is a result of outreach with stakeholders and monitoring of implementation.
The FASB has gained a better understanding of the implementation challenges encountered by all types of entities when adopting a major ASU, which are often magnified for private companies, smaller public companies, and not-for-profit organizations. Challenges can include:
Availability of external and internal resources
Timing and sources of education
Knowledge or experience gained from implementation issues by larger public companies
Comprehensive transition requirements
Understanding and applying guidance from post-issuance standard-setting activities
Development or acquisition of sufficient information technology and expertise in developing new systems or effecting systems changes
Development or acquisition of effective business solutions and internal controls
Development or acquisition of better data or estimation processes
In response to these issues and requests to defer certain major ASU effective dates, the FASB is proposing a philosophy to extend and simplify how effective dates are staggered between larger public companies, which would be considered “bucket-one” entities, and all other entities, which would be considered “bucket-two” entities. Those other entities include private companies, smaller public companies, not-for-profit organizations and employee benefit plans.
Public business entities include those that file or furnish financial statements with or to the SEC, including employee benefit plans and not-for-profit entities that have issued or are conduit bond obligors for securities traded, listed or quoted on an exchange or over-the-counter market. Small reporting companies (SRCs) are SEC filers with a public float of less than $250 million, or annual revenue of less than $100 million and either no public float or a public float of less than $700 million.
For existing major ASUs not yet effective, determining whether an entity is eligible to be a SRC would be based on the most recent SRC determination in accordance with SEC regulations as of the issuance of this final ASU. For calendar-year-end entities, it is anticipated that this date would be June 30, 2019. For future major ASUs, the determination would be based on the entity’s most recent SRC determination in accordance with SEC regulations as of the date that the future final ASU is issued.
With this updated philosophy, a major ASU would first be effective for bucket-one entities. Bucket-two entities would be anticipated to have an effective date staggered at least two years after bucket-one entities for major ASUs. Generally, it would be anticipated that early adoption would be permitted.
The FASB has proposed that this updated philosophy be applied to the effective dates for the following major ASUs, including amendments issued after issuance of the original ASU:
ASU 2016-02, Leases (Topic 842) (Leases)
ASU 2016-13, Financial Instruments – Credit Losses (Topic 326): Measurement of Credit Losses on Financial Instruments (Credit Losses)
ASU 2017-02, Derivatives and Hedging (Topic 815): Targeted Improvements to Accounting for Hedging Activities (Hedging)
As a separate topic, the FASB will address as a separate project on the application of this change in effective date philosophy to ASU 2018-12, Financial Services – Insurance (Topic 944): Targeted Improvements to the Accounting for Long-Duration Contracts.
Leases currently is effective for some entities. Because Leases is already effective for all public business entities including SRCs, not-for-profit entities that have issued or are conduit bond obligors for securities that are traded listed or quoted on an exchange or an over-the-counter market, and employee benefit plans that file or furnish financial statements with or to the SEC, the FASB retained the effective date for those entities. Early adoption is allowed. Mandatory effective dates under the proposed ASU would be as follow:
Credit Losses currently is not effective for any entities, but early application is permitted for fiscal years beginning after December 15, 2018. Mandatory effective dates under the proposed ASU would be as follow:
Hedging currently is effective for some entities. Because Hedging is already effective for all public business entities, the FASB retained the effective date for those entities, including SRCs. Early adoption is allowed. Mandatory effective dates under the proposed ASU would be as follow:
Comments are due on this ASU to the FASB by September 16, 2019. The full text of the Exposure Draft is available here.
Readers should not act upon information presented without individual professional consultation.