Board debates accounting for modifications to financial instruments relating to IBOR reform
Board debates accounting for modifications to financial instruments relating to IBOR refor
23 October 2019
With Phase 1 complete and Interest Rate Benchmark Reform – Amendments to IFRS 9, IAS 39 and IFRS 7 issued in September 2019, the International Accounting Standards Board (the Board) has started its deliberations on second-phase issues.
Its first key area of focus in this second phase is classification and measurement of financial instruments or more specifically, how an entity might apply IFRS 9 Financial instruments when dealing with changes to contract terms arising from IBOR reform.
The second phase of the IBOR reform project is on track with the Board’s recent discussion proposing a blueprint for accounting for financial instrument modifications caused by IBOR reform.
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During its October meeting, the Board tentatively decided that ‘modifications related to IBOR reform’ are those that will result in changes – on an economically equivalent basis – to the interest rate benchmark on which a financial instrument’s contractual cash flows are based.
In light of this, the Board tentatively decided to propose a practical expedient for these modifications to allow the effective interest rate (EIR) to be updated without adjusting the carrying amount to better reflect the economics of IBOR reform and reduce the operational burden for financial statement preparers.
The Board discussed these issues and tentatively decided the following.
|Issue discussed||Potential amendments to IFRS 9|
|Is a change in the basis of how a financial instrument’s contractual cash flows are determined a modification under IFRS 9?||A change in the basis of how contractual cash flows are determined from what was originally anticipated, even in the absence of an amendment to the financial instrument itself, is a modification – e.g. a change in the calculation methodology of an IBOR.|
|How might a company account for a modification relating to IBOR reform that will result in changes to cash flows on an economically equivalent basis
Create a practical expedient allowing companies to apply IFRS 9.B5.4.5 to account for modifications that are related only to IBOR reform instead of IFRS 220.127.116.11.
This means that a company would update the EIR based on the revised cash flow, without adjusting the carrying amount rather than recalculating the carrying amount with the original EIR.
After applying the practical expedient to modifications that relate only to IBOR reform, companies would apply the current IFRS 9 requirements to assess any other modifications to that financial instrument.
The Board also discussed certain accounting implications for the classification and measurement of financial instruments when a modification results in derecognition – i.e. the modification is substantial. The Board tentatively decided that the existing IFRS 9 requirements are adequate for:
However, the Board tentatively decided to add an example to illustrate the application of the SPPI assessment in the context of IBOR reform.
The Board did not announce when an exposure draft on these potential changes might be issued and expects to discuss hedge accounting issues that would arise after the implementation of IBOR reform at its next meeting in November.
Look out for further updates and speak to your usual KPMG contact to find out more about the Board’s tentative decisions.
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