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FASB Proposes Improvements To Disclosure And Accounting For Credit Losses Standard

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FASB Proposes Improvements To Disclosure And Accounting For Credit Losses Standard

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The FASB has issued an Exposure Draft for public comment that is intended to improve the decision usefulness of information provided to financial statements users about certain loan refinancings, restructurings, and write-offs by creditors who have adopted Topic 326, Measurement of Credit Losses on Financial Instruments.   

Topic 326 requires entities to recognize an allowance for expected credit losses based on an entity’s current estimate of future cash flows to be collected from the financial instrument upon acquisition or origination.  In addition, entities are subject to certain disclosure and reporting requirements if an acquired or originated loan is classified as a troubled debt restructuring (TDR) under Subtopic 310-40, Receivables – Troubled Debt Restructuring by Creditors. Investors and stakeholders have noted that the credit losses from loans modified as TDRs are already incorporated into the allowance for future expected credit losses under Topic 326, and the designation of these instruments as TDRs has led to disclosures and accounting that no longer provide useful information to users of the financial statements.  The proposed amendment eliminates the recognition and measurement guidance under Subtopic 310-40, while enhancing disclosure requirements for certain loan refinancing and restructurings by creditors when a borrower is experiencing financial difficulty.

Furthermore, stakeholders noted inconsistencies in the disclosure guidance and disclosure examples under Topic 326 regarding whether public entities are required to disclose gross write-offs and recoveries by class of financing receivable and major security types.  Investors and other financial statement users have communicated that these disclosures provide important decision-useful information, and therefore this proposed amendment would require a public entity to disclose these amounts.

The effective date of the Exposure Draft has not yet been determined.  For entities that have not yet adopted ASU 2016-13, the effective date for the proposed amendment would be the same as the effective date of ASU 2016-13.  For entities that have adopted ASU 2016-13 related to the amendments regarding the recognition and measurement of TDRs, an entity has the option to apply a modified retrospective transition method, resulting in a cumulative-effect adjustment to retained earnings in the period of adoption of the Exposure Draft.  All other proposed amendments in the Exposure Draft would be applied prospectively.

The full text of the Exposure Draft is available here.

 

Readers should not act upon information presented without individual professional consultation.

 

 

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