1 / 19

Accounting for Loss Contingencies Alison T. Spivey Associate Chief Accountant Office of the Chief Accountant

Accounting for Loss Contingencies Alison T. Spivey Associate Chief Accountant Office of the Chief Accountant. Disclaimer.

brit
Download Presentation

Accounting for Loss Contingencies Alison T. Spivey Associate Chief Accountant Office of the Chief Accountant

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. Accounting for Loss ContingenciesAlison T. SpiveyAssociate Chief AccountantOffice of the Chief Accountant

  2. Disclaimer • The Securities and Exchange Commission, as a matter of policy, disclaims responsibility for any private publication or statement by any of its employees. Therefore, the views expressed today are my own, and do not necessarily reflect the views of the Commission or the other members of the staff of the Commission.

  3. Presentation overview • Use of estimates in financial statements • Accounting for loss contingencies • SEC views • Assumptions used in accounting estimates • The role of disclosures • Recent activities in OCA • Consulting with OCA staff

  4. Use of Estimates • Financial statements include estimates of underlying values of assets, liabilities, and equity • Financial instruments • Contingencies • Compensation programs (e.g., stock options) • Current accounting standards provide guidance on preparing estimates.

  5. Loss Contingencies - Current Accounting Model • Statement 5 issued in 1975. • Requires accrual of estimated loss from loss contingency • Probable • Reasonably estimable • Disclosure of estimated possible loss or range of loss required when accruals not recorded.

  6. Recent Accounting Standards and Other Guidance • Statement 143 – Asset Retirement Obligations • Statement 146 – Exit or Disposal Activities • FIN 45 – Guarantees • Concept Statement 7 – Cash Flow Information and Present Value Measurements

  7. Proposal Stage Literature • FASB: • Fair Value Measurements • Business Combinations • Conceptual Framework • IASB: • Business Combinations • Provisions and Contingent Liabilities

  8. Loss Contingencies - Commissioner and Staff Views • 1998 – Chairman Arthur Levitt, The “Numbers” Game • Staff Accounting Bulletins • Recent staff speeches

  9. Assumptions • Assumptions underlying accounting estimates – guidance in specific accounting standards • Pension accounting • Share-based payment (stock options) • Staff Accounting Bulletin 107

  10. Disclosures • Financial statements • MD&A • Critical Accounting Estimates

  11. Study and Report on Off-Balance Sheet Arrangements • Overview • Mandated by Section 401(c) of Sarbanes-Oxley • Extent of off-balance sheet transactions, including the extent to which SPEs are used to facilitate such transactions • Assessment of GAAP and Commission rules in providing transparency of such transactions to investors • Assessment of GAAP consolidation of SPEs by sponsors who have majority of risks and rewards

  12. Study and Report on Off-Balance Sheet Arrangements • Topics Addressed • Leases • Retirement arrangements • Consolidation issues • Contingencies • Transfers of financial assets with continuing involvement

  13. Study and Report on Off-Balance Sheet Arrangements • Improvements to Financial Reporting • Discourage transactions and transaction structures motivated by accounting and reporting considerations • Expand use of objectives-oriented standards  • Improve consistency and relevance of disclosures  • Focus financial reporting on communication with investors, rather than just rule compliance

  14. Share-Based Payment Market Instruments • A market instrument is an instrument that is designed to be sold into the market at a value intended to be reasonably equivalent to the fair value of employee share options. • A statement providing the former Chief Accountant’s views on market instruments available at http://www.sec.gov/news/speech/spch090905dtn.htm • Chairman Cox’s statement available at http://www.sec.gov/news/press/2005-129.htm

  15. Insurance Risk Transfer • Not only an issue for insurance companies • To ensure appropriate accounting for insurance contracts under FAS 5, noninsurance companies need to assess whether the contract indemnifies the company against loss • AICPA Technical Practice Aid, Accounting by Noninsurance Enterprises for Property and Casualty Insurance Arrangements That Limit Risk

  16. Valuation Issues MEASUREMENT: • Valuations must be in accordance with appropriate U.S. GAAP standards and related guidance • Reliability of measurement • Not looking for precise measurements • Reasonable range of estimate based upon available information • Use of “Concepts 7” approach • Very rare to use risk free discount rate • Materiality assessment cannot be made unless try to do some analysis calculation

  17. Valuation Issues • SFAS 141 – immaterial items may collectively materially misstate goodwill • SFAS 123 – very rare that option is so complex that unable to value using option pricing models USE OF EXPERTS: • Valuator’s role: independent/unbiased valuations • Whether prepared by management or use of outside experts • “Indication of value” level of assurance is not sufficient if primary valuation evidence • Management is responsible for valuation assumptions in SEC filings • Any reference to valuator raises valuator expertization issues in SEC filings

  18. Consultations with OCA • Guidance for Consulting with OCA • Most companies just “want to get the accounting right.” We want to help. • Guidance for resolving ‘pre-filing’ questions is posted on the SEC’s website • http://www.sec.gov/info/accountants/ocasubguidance.htm • Companies should provide OCA with a written submission (commonly referred to as a “pre-clearance” submission) • Auditor participation is required • Registrants can request their SEC reviewer to consult on specific matters during a Corp. Fin review process

  19. Consultations with OCA • Consulting with OCA • Recommended form and content of correspondence to expedite the process • What to expect from OCA • Team leader will contact the company within 3 days of receipt of submission; entire process usually takes 2 – 4 weeks but depends on nature of the issue • Team, Senior Associate and Deputy Chief Accountants may be involved • Company may request Chief Accountant review of conclusion reached by OCA staff

More Related