The ‘Blind Freddy’ proposition is a term used by Justice Middleton in the case of ASIC v Healey & Ors [2011] (Centro case) to describe glaringly obvious mistakes. |
In previous articles we have looked at the following ‘Blind Freddy’ errors relating to impairment testing:
In this article we look at ‘Blind Freddy’ errors when determining the discount rate to be used in a value in use (VIU) model.
AASB 136, paragraphs 55 and 56 summarise the requirements for the discount rate to be used when calculating value in use of an asset or cash-generating unit (CGU).
Some typical Blind Freddy errors relating to the discount rate include:
Discount rateThe discount rate (rates) shall be a pre-tax rate (rates) that reflect(s) current market assessments of: (a) the time value of money; and (b) the risks specific to the asset for which the future cash flow estimates have not been adjusted. AASB 136, paragraph 55A rate that reflects current market assessments of the time value of money and the risks specific to the asset is the return that investors would require if they were to choose an investment that would generate cash flows of amounts, timing and risk profile equivalent to those that the entity expects to derive from the asset. This rate is estimated from the rate implicit in current market transactions for similar assets or from the weighted average cost of capital of a listed entity that has a single asset (or a portfolio of assets) similar in terms of service potential and risks to the asset under review. However, the discount rate(s) used to measure an asset’s value in use shall not reflect risks for which the future cash flow estimates have been adjusted. Otherwise, the effect of some assumptions will be double-counted. AASB 136, paragraph 56 |
The first type of common error you could make when determining the discount rate of a specific asset or CGU is using your unadjusted weighted average cost of capital (WACC) when your group has multiple assets and projects.
Although AASB 136 does refer to WACC, this can only be used for a single asset company because AASB 136 requires that the discount rate must reflect the risks specific to the asset.
Entity A has three business lines:
It would be inappropriate to use Entity A’s WACC as the discount rate to test Business Z for impairment.
Blind Freddy Error 1Using the unadjusted WACC as the discount rate in a value in use calculation for a specific asset or CGU that does not have the same risk profile as the rest of the entity. |
In Part 2a we discussed the two available methods used to address the risk of variations with cash flows, i.e. either:
A ‘Blind Freddy’ error is to incorporate uncertainty into both the cash flow forecasts and adjust the discount rate for this uncertainty.
When an asset-specific rate is not directly available from the market, an entity uses surrogates to estimate the discount rate. Appendix A provides additional guidance on estimating the discount rate in such circumstances. AASB 136, paragraph 57The techniques used to estimate future cash flows and interest rates will vary from one situation to another depending on the circumstances surrounding the asset in question. However, the following general principles govern any application of present value techniques in measuring assets:
Extract of AASB 136, paragraph A3(a) of Appendix AAppendix A is an integral part of AASB 136
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Blind Freddy Error 2Double counting adjustments for variability in cash flows (and not reading Appendix A of AASB 136 - This appendix is an integral part of the Standard). |
Appendix A expressly states that discount rates are to be free from bias.
The techniques used to estimate future cash flows and interest rates will vary from one situation to another depending on the circumstances surrounding the asset in question. However, the following general principles govern any application of present value techniques in measuring assets:
Extract of AASB 136, paragraph A3(b) of Appendix A
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Entity B has a pre-tax WACC of 10%.
It has three business units, two profitable and in well-established sectors (X&Y), and a third business sector (Z) that is only marginally profitable, in a highly competitive market and in a sector that is experiencing declining demand.
It would be wrong to apply a 10% discount rate to business line Z.
As a starting point in making such an estimate, the entity might take into account the following rates:
AASB 136, paragraph A17 of Appendix AHowever, these rates must be adjusted:
Consideration should be given to risks such as country risk, currency risk and price risk. AASB 136, paragraph A18 of Appendix A
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Blind Freddy Error 3Applying bias to discount rates by not making appropriate adjustments for specific risks associated with an asset. |
In many cases, an entity’s borrowing rate will be reduced, either because the lender has security over assets that are not being evaluated for impairment, or because of the impact of other revenue streams of the entity. Unless an entity is a single asset entity, it is unlikely the incremental borrowing rate reflects an asset specific discount rate.
Blind Freddy Error 4Using an unadjusted borrowing rate as the discount rate for entities that are not single asset entities. |
Entity C has two operating business - one is to operate as an investment property business, renting out commercial buildings, and the other is a retail operation in the garden centre sector.
Entity C’s borrowings are fully secured against all of its properties and it therefore has a reduced cost of borrowings because of the security given to the lender.
It would be wrong to apply an unadjusted WACC to the garden centre business because of the impact on the borrowing rate of the security given on the investment properties.
Blind Freddy Error 5Using an unadjusted WACC where the input for the cost of borrowings has been inappropriately reduced by the impact of securities given against borrowings. |
Paragraph 55 requires the discount rate used to be a pre-tax rate. Therefore, when the basis used to estimate the discount rate is post-tax, that basis is adjusted to reflect a pre-tax rate. AASB 136, paragraph A20 of Appendix A |
Entity D is a single asset business and has a WACC of 10%. Entity D uses 10% as the discount rate in the VIU model.
This is not in line with the requirements of AASB 136 to use a pre-tax discount rate because WACC is a post-tax discount rate.
Blind Freddy Error 6Using WACC, which is a post-tax rate as the discount rate for the VIU model. |
Entity E is a single asset business and has a WACC of 10%.
Entity E calculates the pre-tax discount rate (assuming a corporate tax rate of 30%) to be 14.28% (10%/0.7) as the discount rate in the VIU model.
Unfortunately, calculating a pre-tax discount rate is not as simple as grossing up the post-tax discount rate. If a post-tax borrowing rate or WACC is used as a starting point for determining a pre-tax discount rate, a two step process needs to be adopted, i.e.:
Blind Freddy Error 7Doing a simple gross up of the WACC/post-tax discount rate to arrive at a pre-tax discount rate. |
In next month’s article we look at common errors made when determining ‘fair value less costs of disposal’.