By Pantelis Pavlou – Director and a member of the Central, Eastern and South-eastern Europe & Central Asia (CESA) IFRS team at EY¹
This is the question that the International Accounting Standards Board (IASB) asks when it publishes a Post Implementation Review (PIR) of an International Financial Reporting Standard (IFRS). The PIR is part of the IASB’s due process, where the Board gets the views of its constituents on newly implemented standards, normally after three years of their initial application, and assesses whether standard setting activities are necessary.
For IFRS 9 – Financial Instruments, the IASB decided to launch the PIR in phases. In September 2021, it published the part on the classification and measurement. In a paper titled: “Request for Information”, the standard setter introduced different topics and asked several questions to the public². Off course, views and comments can also cover topics other than the ones mentioned by the IASB.
Classification and measurement
Before discussing the points in the PIR, it is worth summarising the classification and measurement principles of IFRS 9. The standard introduced some changes in accounting for financial instruments in 2018, however key fundamentals, in the scope of this PIR, remained unchanged.
In short, financial assets are measured either at amortised cost or at fair value. This depends on two conditions: i) on the characteristics of the contractual cash flows and ii) on the business model in which the financial assets are held.
Financial assets are measured at amortised cost, if both criteria are met: (i) their contractual cash flows represent solely the payment of principal and interest (the so called SPPI) and (ii) they are held in a “hold to collect the contractual cash flows” business model.
In case that the financial assets are held in a “hold to collect or sell” business model, then they are measured using current values (i.e., fair value) with the changes in fair value being recorded in the Other Comprehensive Income.
Financial assets held in other business models, or whose contractual cash flows do not meet the SPPI criterion, are measured at fair value with the changes to their fair value reflected directly in profit or loss. One exception to this rule applies to investment in equity instruments not held for trading, for which an entity could make an irrevocable election to account for them at fair value through Other Comprehensive Income, but any gains/losses (including impairment losses) will not subsequently pass-through profit or loss, not even upon derecognition (no recycling). This option is available on an instrument-by-instrument basis.
Re financial liabilities, IFRS 9 mainly rolled over the requirements of IAS 39 with the only exception being the accounting for the fair value changes due to own credit risk. To eliminate the counterintuitive impact, IFRS 9 requires that these changes are recorded in Other Comprehensive Income rather than in profit or loss.
Topics in the PIR that require attention
Overall, constituents feel that the classification and measurement requirements of IFRS 9 work well and as intended by the Board. There are, though, some areas that have been flagged for further attention, of these I would highlight: financial assets with Environment, Social or Governance (ESG) targets, derecognition of financial assets, accounting for equity instruments, and clarification around some aspects of the business model.
The IASB is expected to issue a PIR on the subsequent measurement (including impairment) of financial instruments and one on hedge accounting later in 2022. Any themes linked to these areas are not discussed in this article.
Financial Assets with Environmental, Social and Governance targets
Due to, among others, changes in society, expectations of investors, regulatory pressure, we see that ESG targets are now more frequently attached to loans, credits, and other financing arrangements. Sometimes they are called as “ESG loans”. Simply speaking, these loans include terms that trigger a variability to the interest rates or other changes to the contractual cash flows, which cannot always be traced back to the basic lending arrangements (as required by IFRS 9 which would enable the financial asset to meet the conditions for the SPPI). Unless the variability could be directly linked to credit risk or it is not significant (de minimis), the financial assets would, most likely, fail the SPPI test and therefore they should be accounted at fair value through profit or loss. An outcome that is not attractive for the holder of the financial asset, which could result in a decrease of the market share of such loans.
Accounting considerations should not prevent genuine business and policy decisions and rationale; therefore, this issue needs to be immediately addressed. The IASB is seeking as much input on this topic as it can get, therefore, I would urge all who have interest on this topic to provide their thoughts with the Board. EY, as other interested parties, will provide comments and insights via its comment letter on the PIR.
The European Financial Reporting Advisory Group (EFRAG) also drafted its comment letter³ aiming at consolidating some of the prominent European views. The Europe Union, being the front-runner in the Environmental policy, has an increasing interest on the discussions around this topic.
Derecognition of financial assets
Currently there is an asymmetry on the clarity around the principles for derecognition of financial assets on one hand and financial liabilities on the other hand. The latter is clearer resulting to more consistency in practice.
The principles of IFRS 9 on the derecognition of financial assets remain at a high level, allowing room for interpretation. This has led to some divergence in practice, especially among financial institutions. Each institution, developed its derecognition policy that applies to all financial assets, including instances of loan modifications. The accounting consequences of the dividing line between modification and derecognition are quite material, resulting, sometimes, to impaired comparability. The European prudential supervisors of financial institutions flagged this point in their recent reports, where they mentioned their intentions to raise it to the IASB in the context of this PIR.
It is important to note that clarity on this point would also impact the subsequent measurement, which as stated above will be dealt in a different consultation, and this is one of the reasons that some constituents, while they understand the reasons that the IASB opted for a phased approach, are calling for an additional comprehensive review of the whole standard. By this, they argue, the risk that issues remain unattended because they “fall between the cracks” decreases.
Accounting for equity instruments
This was heavily debated in 2017, when the EU endorsement of the new standard was a hot topic. IFRS 9, introduced changes, compared to its predecessor (IAS 39) with regards to accounting for investments in equity instruments. The most notably change was the fair value through other comprehensive income irrevocable option (as briefly explained above). Despite that the experience over the past few years with IFRS 9 has shown little evidence that a revision is needed, some vocal opposition exists on the fact that profit or loss will not depict the cumulative gains or losses upon derecognition (mainly concentrated in certain industries).
Another issue around this topic that has been raised by different constituents (including a question from EFRAG) is whether “investment in equity instruments” is too narrowly defined. On one hand, the term “equity instrument” is clearly defined in the literature, but on the other hand, there are some “equity like” instruments, that even though they do not meet the strict definition of equity, they respond to movements in market variables in a similar way. Some are contemplating the idea to consider extending the scope of this irrevocable election to include equity-like instruments, for example units of funds and puttable instruments that invest in equity instruments, associated derivatives, and necessary cash holdings.
Clarifications to eliminate divergence
Finally, a few clarifications in the standard would achieve more convergence in practice. While acknowledging and appreciating the fact that IFRS are principle based, several areas remain widely interpretable. For example, IFRS 9 does not have strict rules on assessing the business model of an entity. It also states that infrequent and insignificant sales from a portfolio held in a model “hold to collect”, would not raise questions on the business model. However, IFRS 9 does not define key terms like “infrequent” and “insignificant”. This has led to different application across entities. Addressing these issues, the IASB will do a great service to all involved in the financial reporting chain, including preparers, auditors, users, and supervisors.
Concluding this article, I reiterate the overall conclusion, that despite some drawbacks and areas of improvement, the classification and measurement part of IFRS 9 works as intended by the Board. Based on the overall feedback from comment letters, the Board should consider some limited scope improvements addressing the concerns on the areas mentioned above.
Accounting for financial instruments is, indeed, a complex topic. At EY, we are committed to maintaining a leading-edge understanding of the changes that may affect the business environment. Our tool, EY Atlas Client Edition⁴ is available for free to everyone and offers access to EY interpretations and thought leadership content.
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- The views expressed in this article represent the personal opinions of the author and not necessarily the official position of EY
- IFRS - Request for Information and comment letters: Post-implementation Review of IFRS 9—Classification and Measurement
- IFRS 9 Financial Instruments - Post Implementation Review - EFRAG