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In March 2013, the Financial Reporting Council (FRC) released Financial Reporting Standard (FRS) 102, which brings GAAP into line with a framework of accounting based on International Financial Reporting Standards (IFRS). This bulletin explains how the standard will affect pension schemes. The new requirements extend and enhance disclosure in some areas although the changes to accounting requirements are not as extensive as first envisaged. Now that FRS 102 has been published, further guidance will be developed by industry bodies, including the production of a revised Statement of Recommended Practice (SORP) by the Pensions Reporting Accountants Group (PRAG), before implementation of the revised régime for accounting periods beginning on or after Pension schemes are included within the definition of financial institutions, along with entities such as banks and insurance companies. Financial institutions will be required to make extensive risk disclosures covering credit, liquidity and market risks arising from financial instruments. However, pension schemes are specifically exempted from the disclosures for financial institutions and have their own set of less onerous investment risk disclosures. These are, however, new requirements as compared to the current SORP.
Although the requirements for pension scheme accounts have been honed during consultation, FRS 102 requires some additional investment disclosures, such as:
New requirements for credit risk disclosures comprise details of maximum exposures, collateral held as security, disclosure of the amounts by which credit derivatives mitigate credit risk and more detailed analysis of credit quality. FRS 102 requires an analysis of financial instruments held at fair value and has formulated a valuation hierarchy, based on three ‘levels’: As mentioned earlier, this hierarchy is not the same as that required under IFRS, which, whilst utilising three levels, categorises mainly by reference to observable and unobservable inputs for levels 2 and 3. Level 1 – the best evidence of fair value is a quoted price of an identical asset. Level 2 – If a quoted price of an identical asset is not available, then a recent transaction price of an identical asset will provide good evidence of fair value provided that the valuation is relatively recent and there has not been a significant change in economic circumstances since that transaction took place. If the last transaction is not a good estimate of fair value the price must be adjusted to reflect this. Level 3 – Should either of the above options not be available, an estimate of fair value may be obtained by using a valuation technique. Topics requiring clarification Although the final standard streamlines the originally proposed pension scheme disclosures, a number of issues remain. Three critical areas requiring clarification are:
Further guidance will be needed to clarify an appropriate approach to the valuation and reporting of more recently developed investment types, such as longevity swaps and buy-in / buy-out policies. Where to from here? Actions: Trustees should discuss with their Scheme Administrator the potential need for any significant revisions to their accounting policies Status: Financial standard – compulsory Timing: Applies for accounting periods beginning on or after 1 January 2015; early adoption possible Contact us For further information about our services, please contact your usual KPMG Pensions consultant, or:
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