In this post from May 2023, we overviewed four FASB projects that will likely require significant implementation efforts. These coming new standards will require new disclosures that will involve system and reporting complexities. The four projects are:
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- Segment Reporting,
- Improvements to Income Tax Disclosures,
- Disaggregation – Income Statement Expenses, and
- Accounting for and Disclosure of Crypto Assets.
Each of the projects has progressed to the Proposed ASU stage. Segment reporting, income tax disclosures and crypto asset accounting and disclosure are all in the final standard process. Below are summaries and links to the most recent developments for each project.
Segment Reporting
The FASB’s Technical Agenda indicates that a Final ASU for segment reporting is expected during the third quarter of 2023. While this project does not change the operating segment definition, it will increase disclosures about segments. As you can read in this Project Update and the related Proposed ASU, the project will introduce a new disclosure principle focused on “significant” expenses that would be used to determine which expense categories should be disclosed for individual segments. It also would require disclosure of “other segment items” and apply these same requirements to companies that report a single segment. There are several comment letters related to the Proposed ASU, including this thoughtful letter from a group of University of Denver accounting students that includes a discussion about the Proposed ASU’s use of the term “significant.”
Improvements to Income Tax Disclosures
According to the FASB’s Technical Agenda, a Final ASU for this project is projected to be issued in the fourth quarter of 2023. As described in the related Project Update, this new standard will not change accounting for income taxes but will require new disclosures focusing on two areas, the effective rate reconciliation and taxes paid. You can read the March 15, 2023, Proposed ASU and related comment lettersfor more background, including this interesting comment letter from the Global Reporting Initiative. The due date for comment letters was May 30, 2023. Disclosures that may present significant challenges, particularly for companies that operate in multiple jurisdictions, include:
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- A proposed breakdown in the effective rate reconciliation addressing eight specific categories and related qualitative disclosure, and
- Details of taxes paid including disaggregated information about taxes paid by jurisdiction.
Disaggregation – Income Statement Expenses
On July 31, 2023, the FASB issued a Proposed ASU for this project. Comments are due by October 30, 2023. As you can read in the Project Update, the proposal would require significant incremental disclosures about certain types of expenses, including:
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- Inventory and manufacturing expense,
- Employee compensation,
- Depreciation,
- Intangible asset amortization, and
- Depreciation, depletion, and amortization recognized as part of oil- and gas-producing activities.
Additional disaggregated information about inventory and manufacturing costs would also be disclosed. The Proposed ASU includes several examples of the proposed expense disclosures.
Accounting for and Disclosure of Crypto Assets
According to the FASB’s Technical Agenda, a Final ASU for this project is projected to be issued in the fourth quarter of 2023. While this project may not affect as many companies as the three discussed above, it does create accounting guidance for certain crypto assets where there was no formal guidance before. It would require that crypto assets, as defined by the Board, would be accounted for at fair value with unrealized gains and losses recognized in income. This would be a major change from the existing indefinite lived intangible asset accounting model currently applied to such assets. You can read more in this March 23, 2023, Proposed ASU and this Tentative Board Decisions document. The comment period for the Proposed ASU ended on June 6, 2023, and you can read comment letters here, including this interesting letter from MicroStrategy, a large holder of bitcoin.
As always, your thoughts and comments are welcome!