The Rise and Stall the U.S. GAAP and IFRS Convergence Movement
By Sullivan, Mark | |
Proquest LLC |
Have There Been Benefits to the Convergence Process?
When
This state of affairs represents almost a complete turnaround from the
Beginning of the
Until 2007, all foreign companies that traded on U.S. stock exchanges whose financial statements were not prepared in accordance with U.S. GAAP were required to include a reconciliation to U.S. GAAP on Form 20-F. This was a very expensive exercise that cost some companies millions of dollars annually. This burden, in conjunction with the additional costs associated with compliance with the SarbanesOxley Act of 2002 (SOX), led to many delistings by foreign entities.
In an effort to reduce these delistings, file SEC issued "Acceptance from Foreign Issuers of Financial Statements Prepared in Accordance with International Financial Reporting Standards without Reconciliation to U.S. GAAP" (
Subsequently, in
Early Skeptics
The accelerated movement towards the adoption of IFRS under the
Two other early influential critics of the move to IFRS were the
In 2008, Niemeier delivered a comprehensive address to the NYSSCPA, in which he argued against removing the Form 20-F reconciliation and against the proposal to allow U.S. firms to adopt IFRS. He cited several myths involving the adoption of IFRS, ranging from the perception that IFRS is superior to U.S. GAAP because it is more principles-based, to the belief that the IASB's standards-setting process is protected from political and other influences. Perhaps the most important theme he cited was the issue of "Full IFRS"-essentially the use of verbatim IFRS as promulgated by the IASB-referring to the cases of certain French companies that had used IFRS "in name only," while retaining their nation's accounting standards for their financial statements. This was a recurring theme among critics, despite the
Alternative Proposals
In 2010, SEC Deputy Chief Accountant Paul Beswick introduced yet another possibility for convergence by stating that, although he had not made a final decision regarding the movement toward IFRS, he believed that
Under condorsement, U.S. GAAP would continue to exist, and the IASB and FASB would continue their convergence projects. In addition, FASB would work toward convergence of existing U.S. standards not included in the convergence project to IFRS. This, according to Beswick, would ensure that existing guidance was appropriate for U.S. companies on a standardto-standard basis; when the IASB would issue new standards, FASB would decide whether to adopt them.
As described in a
FASB Chair
The Principles-Versus-Rules Debate
Throughout the convergence movement, there has been much attention in the financial press about the differences between U.S. GAAP and IFRS. One common theme has been that U.S. GAAP accounting standards are "mies based," as opposed to IFRS's "principles-based" approach. There exists also a widespread belief that principles-based standards, subject to certain conditions, are superior to rulesbased standards. Perhaps this affinity was produced in part by the
In large measure as a result of Arthur Andersen's audit of
* be based on an improved conceptual framework,
* have its objective clearly stated,
* provide sufficient detail and structure in order to have it applied and operationalized on a consistent basis,
* have a minimal amount of exceptions, and
* avoid the use of 'bright-line" percentage tests that permit financial engineering.
The SEC further stated that standards setters can approach definitional issues when establishing standards by either taking an asset/liability view or a revenue/ expense view; the Commission recommended the former. Finally, the SEC recommended that FASB be the sole U.S. accounting standards setter. FASB responded to the SEC report in 2004 by basically agreeing with its recommendations, including the employment of the asset/liability approach. FASB stated, "The Board hopes that this paper is responsive to the recommendations outlined in the Study. As noted in the Study, many of the recommended actions are already underway" (FASB Response to SEC Study on the Adoption of a Principles-Based Accounting System).
More Recent Convergence Events
Both the AICPA and the current IASB Chair
Two
The SEC made two broad observations in its analysis of the two regimes: 1) IFRS contains broad principles across industries with limited specific guidance and exceptions to the general guidance, and 2) there are fundamental differences between the IASB's and FASB's conceptual frameworks. With regard to the first observation, the SEC noted that because U.S. GAAP has an abundance of industry guidance, it might have more consistency within an industry but less comparability across industries than IFRS. As for tíre second observation, the SEC believed that because the conceptual frameworks differ in certain concepts and their authority, these differences might contribute to a divergence in tie recognition and measurement guidance incorporated into each regime's accounting standards.
Tire other SEC release, Work Plan for the Consideration of Incorporating International Financial Reporting Standards into the Financial Reporting System for U.S Issuers: An Analysis of IFRS in Practice, studied the consolidated financial statements of 183 companies, both SEC registrants and nonregistrants, employing IFRS. The sample included companies adopting IFRS as issued by the IASB, as well as variations that differed from full IFRS. Two general findings were that both the transparency and clarity of financial statements could be improved across topical areas, and that "diversity" in the use of IFRS engendered "challenges" to the comparability of financial statements across both countries and industries.
Part of the study included an analysis of
SEC Final Staff Report
On
* The SEC has not made any policy decision as to whether IFRS should be incorporated into the U.S. financial reporting system or how this would occur if implemented.
* The report's purpose was not to answer "the fundamental question of whether transitioning to IFRS is in the best interests of the U.S. securities markets generally and U.S. investors specifically"; instead, it called for additional research in the form of analysis and consideration of the changes that would have to occur before the SEC could make any decision. The staffs analysis was thorough and objective, often citing the
Prior to the release of the final staff report, the IASB was growing impatient. In 2012, Schapiro made the following statement concerning U.S. GAAP-IFRS convergence: "I don't feel any pressure at all to go along with anybody. I feel pressure to do the right thing for U.S. markets and U.S. investors" (
The reaction to the SEC report was almost immediate. Shortly after its issuance, in
The language from
The Courtship Is Over
The comments from FASB and the SEC in late 2012 seemed to indicate that the convergence courtship is over-this may not, however, mean that
In
Subsequently, in
These statements represent an important shift. The outstanding exposure drafts for leases, revenue recognition, and financial instruments were issued by FASB and the IASB as essentially identical standards. Going forward, the goal is comparability. Perhaps the most effective way to describe this process is to cite the steps listed on FASB's website:
The phrase international convergence of accounting standards refers to both a goal and the path taken to reach it[:]
* The FASB believes that, over time, the ultimate goal of convergence is the development of a unified set of highquality, international accounting standards that companies worldwide would use for both domestic and cross-border financial reporting.
* Until that ultimate goal is achieved, the FASB is committed to working with other standard setting bodies to develop accounting standards that are as converged as possible without forgoing the quality demanded by U.S. investors and other users of financial statements.
* Historically, the path toward convergence has been the collaborative efforts of the FASB and the
* As the FASB and the IASB complete their work on the last of their joint standard-setting projects initially undertaken under the 2006 Memorandum of Understanding (MoU), that process will evolve to include cooperation and collaboration among a wider range of standard-setters around the world.
* Moving forward, the FASB will continue to work on global accounting issues with the IASB through its membership in
* For issues of primary interest to stakeholders in U. S. capital markets, the FASB will set its own agenda. As the FASB initiates its own new projects based on feedback from its stakeholders, it will reach out to all who have an interest in improving financial reporting for companies and investors that participate in U.S. capital markets, including U.S. capital market stakeholders who live and work outside
where the issue now stands. A separate question is whether the efforts around convergence to date have been worthwhile in their own right.
Observations
Over the past few years, the efforts undertaken by FASB and the IASB to converge U.S. GAAP with IFRS have stimulated a great deal of research, analysis, and interaction on the part of global accounting standards-setting stakeholders. The authors would argue that the following are major benefits that resulted from the convergence discourse:
* First, many parties empirically examined the principles-versus-rules debate. No conclusive evidence pointed to a winner, at least in the academic research; however, after FASB's wide-ranging analysis of IFRS, Seidman made a valid point that the U.S. financial system needs more precision than IFRS can offer.
* Second, the SEC is to be commended for its extensive, excellent research studies, as discussed above. These studies examined virtually every facet of potential U.S. GAAP and IFRS convergence and put IFRS under an objective microscope. A host of beneficiaries gained much knowledge from these efforts, including investors, accounting standards setters and regulators, academics, members of the financial community, and accounting students, among others. These beneficiaries extend beyond U.S. borders to their overseas counterparts.
* Third, FASB is much more engaged with the IASB than before the convergence process began. FASB continues to cooperate with the IASB in the examination of various accounting issues.
* Fourth, the examination entailed by the convergence project, especially by FASB and the SEC, led to a healthy skepticism and the fortitude to forego a big bang IFRS adoption. Such an action might have proven to be costly and dysfunctional, damaging the integrity of U.S. financial reporting.
* Finally, almost tangentially, IFRS education has been introduced into U.S. university currículums.
In closing, although European standards setters are disappointed with the current status of the convergence project, it appears that the benefits derived from the process have far outweighed the costs. As
Throughout the convergence movement, there has been much attention in the press about the differences between U.S. GAAP and IFRS.
Copyright: | (c) 2014 New York State Society of Certified Public Accountants |
Wordcount: | 4255 |
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