Effects of reference rate reform on financial reporting
By Jeffrey A. Ford, Grossman Yanak & Ford LLP
Global market participants are transitioning from using or referencing the LIBOR and similar interbank offered rates to alternative reference rates. In response, in the United States, the FASB issued ASUs 2020-04 and 2021-01 to provide optional expedients and exceptions for affected contract modifications, hedge accounting, and held-to-maturity (HTM) debt securities. A high-level summary of the optional expedients follows.
Contract modifications
Modifications to debt and receivables may be treated as continuations of existing contracts by prospectively adjusting the effective interest rate. A similar approach is permitted for leases with no reassessments of the lease classification and discount rate, or remeasurements of lease payments. Reassessment of whether embedded derivatives are clearly and closely related to the contract may not be required.
Hedge accounting
An entity may continue hedge accounting when certain critical terms of a hedging relationship change, performing some effectiveness assessments in ways that disregard certain potential sources of ineffectiveness. Specific guidance is provided for cash flow and fair value hedges.
HTM securities
A one-time sale and/or transfer to available-for-sale or trading may be made for those HTM debt securities that reference an eligible reference rate and were classified as HTM before 01 January 2020.
Sunset date
The optional guidance under these ASUs will generally not be able to be applied after 31 December 2022.
Published: Auditing, Reporting & Compliance Newsletter, No. 06, Autumn 2021 l Photo: Jerry - stock.adobe.com