Search
Certified Public Accountants
& Business Consultants

Focus on Public Sector, Colleges & Universities:  GASB Votes Not to Delay the Implementation of Statement No. 68

Contact Our Team

On March 24, 2014, the Governmental Accounting Standards Board (GASB) voted unanimously not to delay the implementation of GASB Statement No. 68, Accounting and Financial Reporting for Pensions.  
April 1, 2014

On March 24, 2014, the Governmental Accounting Standards Board (GASB) voted unanimously not to delay the implementation of GASB Statement No. 68, Accounting and Financial Reporting for Pensions.  

The requirements of GASB Statement No. 68 are effective for periods beginning after June 15, 2014, meaning they will become effective for most governments for their 2015 fiscal years.

GASB Statement No. 68 dramatically changes the way that governmental entities (including public colleges and universities) account for their defined benefit pension plans.  The primary consequence is that most governments will have to report a much larger pension liability on their financial statements than in the past. 

Up until now, governments have only had to report a pension liability to the extent that they were behind on their annual actuarially-determined payments into the pension plan.  Under GASB Statement No. 68, governments will have to report a liability for the entire underfunded status of the plan.  

A second significant consequence of GASB Statement No. 68 is that governments will have to report their proportional share of the liability of any cost-sharing, multiple employer pension plans they participate in.  Up until now, if a government has participated in a cost-sharing plan with other governments, it has only had to disclose the existence of the plan in a footnote, but has not had to record any liability related to the plan.  GASB Statement No. 68 will require the governments participating in a cost-sharing plan to determine the underfunded status of the plan as a whole, and record the proportional share of this liability on each participating government’s financial statements.

A number of stakeholder groups, including government finance officers, elected officials and industry observers, are concerned that many governments will not be ready to implement GASB Statement No. 68 when it becomes effective in 2015.  Additionally, the concern was expressed that governments in multi-employer pension plans may receive a modified audit opinion on their financial statements since auditing procedures related to GASB Statement No. 68 will have not been applied to the plans for a sufficient period.  Accordingly, these stakeholder groups requested that the GASB indefinitely delay the implementation date of Statement No. 68.

However, other individuals, organizations and stakeholder groups, including users of governmental financial statements, urged the GASB not to delay the implementation date of Statement No. 68.  The GASB ultimately decided to stick to its original implementation schedule.  Key factors in this decision include the fact that many plans are already implementing GASB Statement No. 67 (a related pronouncement governing financial reporting by pension plans), the strong objection of financial statements users to further delays in the implementation of Statement No. 68, and the GASB’s conclusion that the concerns raised by those requesting a delay were no different than the concerns raised during the initial deliberation of the standard.

Governmental entities and public colleges and universities are therefore encouraged to begin planning for the implementation of GASB Statement No. 68 as soon as possible.  The requirements of this standard are significant, and fiscal year 2015 is fast approaching.

 

Under U.S. Treasury Department guidelines, we hereby inform you that any tax advice contained in this communication is not intended or written to be used, and cannot be used by you for the purpose of avoiding penalties that may be imposed on you by the Internal Revenue Service, or for the purpose of promoting, marketing or recommending to another party any transaction or matter addressed within this tax advice. Further, RubinBrown LLP imposes no limitation on any recipient of this tax advice on the disclosure of the tax treatment or tax strategies or tax structuring described herein.

All Public Sector News Public Sector Overview

For more information, please contact: