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<title>PwC IFRS blog</title>
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<description>PwC’s dedicated IFRS blog discusses and debates the hot topics in International Financial Reporting Standards and latest IFRS news</description>
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<title>Impairment: what is the right answer?</title>
<link>http://pwc.blogs.com/ifrs/2013/04/impairment-what-is-the-right-answer.html</link>
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<description>Both the FASB and IASB have published their proposals on the recognition and measurement of expected credit losses for financial instruments. The good news is that they are available for comment – we all see this as a step forward....</description>
<content:encoded>&lt;p&gt;Both the FASB
and IASB have published their proposals on the recognition and measurement of
expected credit losses for financial instruments. The good news is that they
are available for comment – we all see this as a step forward. But there is bad
news as well. The proposals are not only different, but arguably both depart
from the underlying economics in favour of operational shortcuts.&lt;/p&gt;
&lt;p&gt;Neither
proposal revealed any surprises compared to what I expected last Autumn. I
mentioned then that the FASB model might be simpler from an operational
perspective, but one has to question the conceptual merits of recognising
impairment losses when an entity originates or purchases a financial asset at
fair value. A ‘day one’ loss does not reflect the economics of a market-based
transaction. Others have also questioned whether being forced to book a full
expected loss on day one will act as a further constraint on bank lending. The
IASB model recognises a smaller day one loss than the FASB model and, while
still not conceptually pure, at least tries to acknowledge that credit risk is
priced into the interest rate on debt instruments, and that the income to cover
expected losses is earned over the life of the loans.&lt;/p&gt;
&lt;p&gt;So which
proposal is best? Both models aim to address the often-articulated criticism of
the current ‘incurred loss’ model: ‘too little, too late’. The FASB goes
further down that road than the IASB. However, both proposals compromise on
operationality and conceptuality. The question is whether to accept that a
conceptually pure answer is too difficult and choose one of the compromises so
we can finish the project.&lt;/p&gt;
&lt;p&gt;Digging
deeper, the next question is whether there is any correlation between the current
level of a bank’s reserves/capitalisation (banks are the most impacted by the
proposals) and the economy it operates in, and its preference for a model. It
seems that there is. While some banks expect that, under the IASB model, their
impairment loss allowance will double, others argue that they would end up
releasing loss allowances. Setting aside the conceptual question of how that
might happen when moving from an incurred loss model to any iteration of an
expected loss model, I have to admit that the impact of the proposal is highly
dependent on current reserve levels and the economic situation.&lt;/p&gt;
&lt;p&gt;The
original IASB proposals contained the concepts to do the job better. Identifying
the credit risk element of interest pricing, and setting it aside as a future
loss reserve, would reflect the true economics of a transaction. But the
proposed model was extremely complex, and so banking industry complaints were
listened to. Previously, preparers, users and regulators had considered that
convergence was extremely important. The question is now whether respondents
believe that the urgency of the need to move to an expected loss model
outweighs the drawback of having two versions.&lt;/p&gt;
&lt;p&gt;What will
happen after the comment periods end? The boards have said that they will share
their feedback and decide on the next steps. Although many institutions (including
the Financial Stability Board and the Basel Committee) have expressed their
disappointment on the lack of convergence, a converged model is unlikely. I
don’t expect either board would move to accept the other’s proposal. &lt;/p&gt;
&lt;p&gt;Potential
compromises might include taking a period longer than 12 months, but shorter
than lifetime, to measure expected credit losses on initial recognition. But, during
previous discussions, the boards considered and rejected the 24-month alternative.
Another possibility would be to try again with a conceptual solution (for example,
consider the lifetime expected credit losses at inception but, rather than
recognise immediately in the profit or loss account, spread the expense over the
instrument’s life), but this would add a further significant delay.&lt;/p&gt;
&lt;p&gt;Whether
we like this or not, we have until 31 May (FASB) and 5 July (IASB) to finalise
our responses. As ever, I welcome your thoughts. &lt;/p&gt;</content:encoded>



<dc:creator>PwC</dc:creator>
<pubDate>Thu, 18 Apr 2013 12:47:38 +0100</pubDate>

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<item>
<title>Disclosures</title>
<link>http://pwc.blogs.com/ifrs/2013/02/disclosures.html</link>
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<description>There’s a remarkable consensus in the IFRS world that we have a problem with disclosure. There’s a problem with the problem, though, as was very evident from the IASB Disclosure Forum at the end of January: there is no consensus...</description>
<content:encoded>&lt;p&gt;There’s a remarkable consensus in the IFRS world that we
have a problem with disclosure. There’s a problem with the problem, though, as
was very evident from the IASB Disclosure Forum at the end of January: there is
no consensus on what the problem is.&lt;/p&gt;
&lt;p&gt;Preparers complain about disclosure overload pushing up
the cost of financial reporting. Some regulators and users argue that there is
too much irrelevant disclosure – “clutter” – such that important disclosure
gets lost amongst the trivial. Others say there isn’t actually enough
disclosure on critical issues. Some feel that the amount of disclosure isn’t
the problem, it’s the way it’s organised and explained.&lt;/p&gt;
&lt;p&gt;Without agreement on what the problem is, it’s no surprise
that there is no obvious solution on the table. A cottage industry has
developed in the last couple of years around producing discussion papers on the
subject. The only common theme emerging from these is that we should all be
braver in applying the materiality concept to disclosures. Even here, there are
differences of view as to whether existing materiality guidance is sufficiently
clear. Materiality alone doesn’t solve all the perceived problems – preparers
still have to collect the data to decide whether something is material, and
just reducing clutter doesn’t necessarily make what’s left any more readable or
useful.&lt;/p&gt;
&lt;p&gt;I believe the debate needs to be expanded to consider more
radical ideas. There has been much talk about establishing a single principle
for disclosure but, so far, there has been little research into what that
principle might be. Two ideas that come to mind are: 
&lt;/p&gt;
&lt;ul&gt;
&lt;li&gt;to disclose information that has direct
predictive value for cash flows; or&lt;/li&gt;
&lt;li&gt;to disclose information that allows users to
have an in-depth understanding of the quality of assets and claims and the
expected timing of payments and the ultimate amount of liabilities.&lt;/li&gt;
&lt;/ul&gt;
&lt;p&gt;Applying either would probably
eliminate some disclosures, but equally it could highlight the need to expand other
disclosures or introduce new ones. There’s no guarantee that the amount of
disclosure would reduce, but at least following a principle should help to present
a more coherent set of information rather than a compliance checklist of data.&lt;/p&gt;
&lt;p&gt;Interestingly, the first option
above did come up at the IASB Discussion Forum but, apart from a disagreement
among participants about how much disclosure it might eliminate, it wasn’t
really explored. I think it should be, although I don’t underestimate the
difficulty in both agreeing a single principle and then agreeing how to apply
it. But a more radical debate might well help in bringing closer together the
different views on what the real problem is.&lt;/p&gt;
&lt;p&gt;The IASB Forum concluded there
are no quick fixes. This might be true, but I believe we
can make short-term progress. I suggested that we establish a principle that
every piece of disclosure be accompanied by an explanation of its significance
to the business. This could have two benefits: first, where that significance
is difficult to find, it could embolden us to leave the disclosure out as not
material, thus getting rid of clutter; and, secondly, additional explanation
would help the reader to navigate the financial statements – the “story” behind
the financial statements would be clearer. A couple of preparers found this
idea interesting – what do you think? &lt;/p&gt;
&lt;p&gt;&lt;strong&gt;John&lt;/strong&gt; &lt;/p&gt;</content:encoded>



<dc:creator>PwC</dc:creator>
<pubDate>Fri, 08 Feb 2013 14:05:55 +0000</pubDate>

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<item>
<title>IASB/FASB convergence suffers its own impairment loss</title>
<link>http://pwc.blogs.com/ifrs/2012/09/iasbfasb-convergence-suffers-its-own-impairment-loss.html</link>
<guid isPermaLink="true">http://pwc.blogs.com/ifrs/2012/09/iasbfasb-convergence-suffers-its-own-impairment-loss.html</guid>
<description>So, like many in Europe I headed off on summer holidays thinking the Boards (IASB and FASB) have been working harmoniously on their financial instruments project and that we might yet have convergence, only to come back and find out...</description>
<content:encoded>&lt;p&gt;So,
like many in Europe I headed off on summer holidays thinking the Boards (IASB
and FASB) have been working harmoniously on their financial instruments project
and that we might yet have convergence, only to come back and find out that the
FASB has decided to abandon the jointly deliberated model and pursue their own
model for impairment of financial assets (see our ‘&lt;a href="https://pwcinform.pwc.com/inform2/show?action=informContent&amp;amp;id=1246032308167685" target="_blank"&gt;straight away’&lt;/a&gt; guidance).&amp;#0160; &lt;/p&gt;
&lt;p&gt;The current, ‘incurred loss’ impairment model for financial
assets was criticised during the global financial crisis. Indeed, one of the key messages that the Boards received from the
G20 was that a converged impairment model is critical to responding to the
global financial crisis. The issue with the current model is that
impairment losses (and resulting write-downs in the reported value of financial
assets) can only be recognised when there is evidence that they exist.
Companies are not allowed to consider the effects of losses expected in future.
There is a view that earlier recognition of loan losses may have reduced the
cyclical moves in the recent crisis. So after
spending almost two years working together on an expected loss model, it is
disappointing that the FASB has decided to go in its own direction – and so
soon after the Boards finished debating the key technical principles of what we
thought was a converged model, the ‘three-bucket model’.&lt;strong&gt;&lt;/strong&gt;&lt;/p&gt;
&lt;p&gt;&lt;strong&gt;&lt;/strong&gt;Throughout the development of the joint model,
the staff of both Boards held outreach sessions with various parties. The FASB
in particular heard significant negative feedback from US constituents: that
further clarifications of the model were necessary; but also a broader concern
about the model’s operability and whether comparability may actually be reduced
as a result, as it was noted that defining the concepts would be difficult.&lt;/p&gt;
&lt;p&gt;The FASB concluded that it should develop a
simpler model based on booking a full provision for lifetime losses on loans as
they are originated.&lt;/p&gt;
&lt;p&gt;While the IASB’s outreach was more positive, how
operational its model proves to be will depend on the clarity of the trigger point
that moves a loan from the first bucket to one of the others.&lt;strong&gt;&lt;/strong&gt;&lt;/p&gt;
&lt;p&gt;&lt;strong&gt;&lt;/strong&gt;The
FASB model may be simpler from an operational perspective, but one has to
question the conceptual merits of recognising impairment losses when an entity
originates or purchases a financial asset at fair value, as a day 1 loss does
not reflect the economics of a market-based transaction. The IASB model, while
also not conceptually pure, is at least trying to acknowledge that credit risk
is priced into the interest rate on debt instruments and the income to cover
expected losses is earned over the life of the loans.&lt;/p&gt;
&lt;p&gt;Bucket
1 in the current IASB model is a compromise, made with the aim of achieving
convergence. Now that convergence has failed, the IASB must have been tempted
to go back to a variant of its original proposal, which essentially required
the credit risk element of interest pricing to be identified and set aside as a
future loss reserve.&lt;/p&gt;
&lt;p&gt;However,
the industry saw the original model as too complex, and there is a pressing demand
to get the new model finalised. The IASB has said it will press on with the
three-bucket model.&lt;/p&gt;
&lt;p&gt;It is
a great pity that we won’t have a converged model. Like many, I saw this as one
of the most important areas to achieve convergence given the intense focus on
bank capital today. However, we can’t wait much longer for an expected loss
model.&lt;/p&gt;
&lt;p&gt;As
ever, I welcome your thoughts on this issue. &lt;/p&gt;
&lt;p&gt;BFN&lt;/p&gt;</content:encoded>



<dc:creator>PwC</dc:creator>
<pubDate>Thu, 27 Sep 2012 14:19:42 +0100</pubDate>

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