Have your say on NFP accounting – income recognition, control, related party disclosures and more
Have your say on NFP accounting – income recognition, control, related party disclosures and more
As part of its post-implementation review, the Australian Accounting Standards Board (AASB) is seeking feedback on various aspects of accounting by not-for-profit entities (NFPs). This article summarises some of the main implementation difficulties raised by stakeholders, upon which the AASB is seeking comments by 31 March 2023.
ITC 50 Post-implementation Review – Income of Not-for-Profit Entities (ITC 50)
The AASB is seeking comments on ITC 50 about not-for-profit entities (NFP’s) users’ experiences when applying the accounting requirements for income contained in AASB 1058 Income of Not-for-profit Entities, and revenue contained in AASB 15 Revenue from Contracts with Customers (Appendix F). It is especially seeking comments on the following:
Topic |
Difficulties encountered in practice |
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Sufficiently specific criterion and the legal interpretation of agreements |
The term ‘sufficiently specific’ is unclear and there is confusion in practice about how the term should be applied. Judgement is required and this can result in contracts with similar terms and conditions being accounted for differently in practice. While it will be clear for ‘black and white’ scenarios whether obligations in the contract are ‘sufficiently specific’, there are many ‘grey areas’ where judgement is required. For example:
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Capital grants |
If all of the following apply, capital grants received by NFPs in the form of a financial asset (cash) to acquire or construct a non-financial asset are deferred and recognised as income when the NFP acquires the non-financial asset, or as it constructs the non-financial asset:
There will be some scenarios in practice where it is clear whether there are ‘identified specifications’ for the acquired or constructed asset, but judgement is required for other scenarios as illustrated in the examples provided in ITC 50:
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Difference between management accounts and statutory accounts and alternative revenue recognition models |
Some NFPs are maintaining two sets of books for income recognition:
The AASB is seeking comments on alternative approaches to recognising revenue in the NFP sector. |
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Principal v agent, including the appropriate recognition of financial liabilities |
If a NFP is acting as principal in a grant arrangement, it recognises gross revenue and related expenses. However, if it is acting as agent because its only obligation is to transfer funds received to other entities, it recognises only the net commission as revenue. The AASB is seeking feedback about whether NFP-specific guidance is needed to assist NFPs to determine whether they are acting as principal or agent, as well as examples where different applications in practice significantly affect the comparability of financial statements. Examples identified in ITC 50 include:
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Grants received in arrears |
In some grant arrangements accounted for under AASB 1058 (i.e. where ‘sufficiently specific’ criteria are not met), there is diversity in the accounting for income received in arrears where work funded by the grant is performed before the funding is received. NFPs may be:
The AASB is seeking views as to the appropriate accounting treatment, as well as examples where there is diversity in practice. |
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Termination for convenience (TFC) clauses |
A TFC clause in a contract allows the grantor to terminate the agreement without showing cause, such as default or breach of the contract. There is diversity in practice, with TFC clauses being accounted for by recognising either:
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Accounting for research grants |
The AASB has published a range of illustrative examples to AASB 15 in relation to research activities conducted by NFPs, as well as several staff FAQs. However, there is still diversity in the way research grants are accounted for by NFPs. The AASB is seeking comments and examples on practical application issues relating to accounting for research grants. |
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Statutory receivables |
AASB 9 Financial Instruments, paragraph C4, notes that financial assets of NFPs include receivables arising from statutory requirements (e.g. rates, taxes and fines). The AASB 9 recognition and measurement requirements only apply to the initial measurement of statutory receivables, not their subsequent measurement. The AASB is seeking views on the subsequent measurement of statutory receivables, as well as whether the requirement to initially measure statutory receivables at fair value adds a considerable workload for preparers and auditors. |
ITC 51 Post-implementation Review of Not-for Profit Topics – Control, Structured Entities, Related Party Disclosures and Basis of Preparation of Special Purpose Financial Statements (ITC 51)
In ITC 51, the AASB is seeking comments about NFP users’ experiences when applying accounting standards dealing with control, structured entities, related party disclosures and the basis of preparation for special purpose financial statements. It is especially seeking comments on the following:
Topic |
Difficulties encountered in practice |
Control and consolidation of NFP entities – Application of the control model |
Appendix E to AASB 10 Consolidated Financial Statements contains NFP-specific guidance for assessing whether an NFP has control over another entity. Common examples of relationships where an NFP needs to assess control include:
NFP stakeholders have raised the following concerns with the AASB regarding the application of the ‘control’ model:
The AASB is seeking examples where difficulties may be encountered in practice identifying and consolidating controlled entities. |
Control and consolidation of NFP entities – Identifying variable returns |
There are challenges identifying variable returns in the NFP sector because the implementation guidance contained in Appendix E is too broad. Clarity is needed as to whether, for example, fulfilling a mission element of a religious organisation is a variable return, even though there are no rights to distribution of assets. The AASB is seeking examples where NFPs are experiencing difficulty identifying variable returns in practice. |
Control and consolidation of NFP entities – Customary business practices |
NFPs are unsure what effect, if any, customary business practices have on assessing control. For example, School ABC establishes Old School ABC Association that conducts fundraising. It historically distributes the fundraising proceeds to School ABC but is not obliged to do so. It is permitted to distribute proceeds to any NFP. |
Control and consolidation of NFP entities – Assessing control without an equity interest |
Some NFPs are experiencing difficulties assessing if they have power over other entities in which they do not have an equity interest. For example, companies limited by guarantee are often prohibited by their constitution from distributing any surplus to members, and instead must distribute to another NFP with similar objectives. NFPs are unsure whether the ability to direct distributions on winding up give rise to power and exposure to variable returns. That is, is this a protective or substantive right? The AASB is seeking feedback on how NFPs are applying these requirements in practice. |
Control and consolidation of NFP entities – Principal v agent (public sector entities) |
Investments in the public sector are often not financial, and returns are often in the form of policy outcomes rather than financial outcomes. Public sector stakeholders have sought clarification from the AASB as to when an entity is acting as principal or agent as there can be inconsistent conclusions in similar situations. The AASB is seeking comments as to how stakeholders distinguish whether they are acting as principal or agent. |
Definition of a ‘structured entity’ for NFP entities |
A ‘structed entity’ is an entity designed so that voting rights or similar rights are not the dominant factor in deciding who controls the entity, such as when voting rights relate to administrative tasks only and the relevant activities are directed by means of contractual arrangements. Voting rights may not be the dominant factor in deciding whether an NFP controls another entity. Therefore, applying the structed entity definition could result in many NFPs being classified as ‘structured entities’. While the AASB is not aware of any implementation issues, they are nevertheless seeking feedback about the application of the structed entity requirements in practice. |
Related party disclosures by NFP public sector entities |
For annual periods beginning on or after 1 July 2016, NFP public sector entities are required to include related party disclosures in their financial statements. The AASB is aware that there are challenges identifying all related parties and difficulties ensuring complete representations are received, including obtaining information about close family members. Obtaining this information raises data privacy and audit issues. The AASB is seeking feedback on these requirements. |
Basis of preparation for special purpose financial statements (Disclosures about compliance with Australian Accounting Standards) |
Private sector NFPs preparing special purpose financial statements that are required to apply AASB 1054 Australian Additional Disclosures must disclose information about their extent of compliance with the recognition and measurement requirements of Australian Accounting Standards, including consolidation and equity accounting where they have identified interests in subsidiaries, associates and joint ventures. These disclosures are not required for public sector NFPs. The AASB is seeking feedback regarding these disclosures. |
Please contact Aletta Boshoff if you have any questions or feedback on ITC 50 and 51.