Proposed Accounting Standards 
Update—Not-for-Profit Entities (Topic 958): Clarifying the Scope and the
Accounting Guidance for Contributions Received and Contributions Made
Background
On August 3, 2017, the Financial Accounting Standards Board (FASB) 
issued a proposed Accounting Standards Update (ASU) intended to clarify 
and improve the scope and the accounting guidance for contributions 
received and made, primarily by not-for-profit organizations.
Stakeholders are encouraged to review and provide comments on the proposed ASU by November 1, 2017.
Why Is the FASB Issuing This Proposed ASU?
The FASB is issuing this proposed ASU to improve and clarify existing 
guidance on revenue recognition of grants and contracts by 
not-for-profit organizations.
Stakeholders, including those on the Not-for-Profit Advisory Committee and the American Institute of Certified Public Accountants Expert Panels, indicated that there is difficulty and diversity in practice among not-for-profits with:
    - Characterizing grants and similar contracts with government 
agencies and others as reciprocal transactions (exchanges) or 
nonreciprocal transactions (contributions)
 
    - Distinguishing between conditional and unconditional contributions.
 
For example, in some instances, similar grants and contracts are 
accounted for as nonreciprocal transactions (contributions) by some 
not-for-profits, and as reciprocal transactions (exchanges) by others. 
Although these issues have been a long-standing implementation problem prior to the issuance of the FASB's new revenue recognition standard,
 the new guidance has placed renewed focus on the issues because of the 
elimination of limited exchange guidance and additional disclosure 
requirements that do not seem relevant to these types of transactions.
Therefore, the accounting may be different depending on the guidance 
applied. Stakeholders noted that diversity in practice occurs for grants
 and similar contracts from various types of resource providers, but is 
most prevalent for government grants and contracts.
What Are the Main Provisions and Why Would They Be an Improvement?
Characterizing grants and similar contracts as reciprocal exchanges or contributions
The amendments in this proposed ASU would provide a more robust 
framework to determine whether a transaction should be accounted for as a
 contribution or as an exchange transaction.  
To accomplish this, the proposed ASU clarifies how a not-for-profit 
organization determines whether a resource provider is participating in 
an exchange transaction. 
An organization would evaluate whether the resource provider is 
receiving value in return for the resources transferred by considering:
    - A resource provider (including a private foundation, a 
government agency, or other) is not synonymous with the general public. 
Indirect benefit received by the public as a result of the assets 
transferred is not equivalent to commensurate value received by the 
resource provider.
 
    - Execution of a resource providers' mission or the positive 
sentiment from acting as a donor would not constitute commensurate value
 received by a resource provider for purposes of determining whether a 
transfer of assets is a contribution or an exchange.
 
In instances in which the resource provider is not receiving 
commensurate value for the resources provided, an organization would 
determine whether a transfer of assets represents a payment from a 
third-party payer on behalf of an existing exchange transaction between 
the recipient and an identified customer (for example, Medicare). If so,
 other guidance (for example, the revenue recognition standard) would 
apply.
Distinguishing between conditional and unconditional contributions
Stakeholders indicated that additional guidance would help them 
determine whether a contribution is conditional or unconditional, and 
better distinguish a donor-imposed condition from a donor-imposed 
restriction. 
The proposed ASU helps preparers evaluate such arrangements, which 
should result in greater consistency in application of the guidance, and
 would make the accounting for contributions more operable.  
For example, the proposed ASU requires organizations to determine 
whether a contribution is conditional on the basis of whether an 
agreement includes:
    - A barrier that must be overcome, and
 
    - Either a right of return of assets transferred or a right of release of a promisor's obligation to transfer assets.
 
    - Indicators would be used to guide the assessment of whether an agreement contains a barrier. The indicators would include:
 
    - The inclusion of a measurable performance-related barrier or other measurable barrier
 
    - Whether a stipulation is related to the purpose of the agreement
 
    - The extent to which a stipulation limits discretion by the recipient
 
    - The extent to which a stipulation requires an additional action or actions.
 
If the agreement includes both, the recipient is not entitled to the 
transferred assets (or a future transfer of assets) until it has 
overcome the barriers in the agreement.
The improved guidance on distinguishing contributions from exchange 
transactions could result in more grants and contracts being accounted 
for as contributions (often conditional contributions) than under 
current GAAP. For this reason, clarifying the guidance about whether a 
contribution is conditional or unconditional is important because that 
affects the timing of contribution revenue (or expense) recognition. 
After a contribution has been deemed unconditional, an organization 
would consider whether the contribution is restricted on the basis of 
the current definition of a donor-imposed restriction, which 
includes the consideration about how broad or narrow the purpose of the 
agreement is and whether the resources can be used only after a 
specified date.
The guidance would apply to both a recipient of contributions received and a resource provider of contributions made.
Who Would Be Affected by the Amendments in This Proposed ASU?
Accounting for contributions is an issue primarily for not-for-profit 
organizations because contributions are a significant source of revenue.
 However, the amendments in this proposed ASU would apply to
 all organizations that receive or make contributions of cash and other 
assets, including business enterprises. The proposed amendments would not apply to transfers of assets from the government to businesses. 
When Would the Amendments in This Proposed ASU Be Effective?
The proposed standard follows the same effective dates as the Revenue Recognition standard.
A public company or a not-for-profit organization that has issued, or is
 a conduit bond obligor for, securities that are traded, listed, or 
quoted on an exchange or an over-the-counter market would apply the new 
standard to annual reporting periods beginning after December 15, 2017, 
including interim periods within that annual period. 
Other organizations would apply the standard to annual reporting periods
 beginning after December 15, 2018, and interim periods within annual 
periods beginning after December 15, 2019.
Early adoption of the amendments in this proposed ASU would be permitted
 irrespective of the early adoption of the amendments in the Revenue 
Recognition standard.