4.1 Crypto Assets Classified as Intangible Assets That Are Not Within the Scope of ASU 2023-08
Crypto assets that are classified as indefinite-lived intangible assets and do not
meet the additional criteria in ASU
2023-08 (ASC 350-30 crypto assets or out-of-scope crypto assets)
are subsequently measured in accordance with the guidance in ASC 350-30-35.
Specifically, ASC 350-30 crypto assets are not amortized because they generally do
not have finite useful lives; rather, they are evaluated for impairment in
accordance with ASC 350-30-35-18. Under that guidance, entities are required to test
a crypto asset for impairment annually, or more frequently if events or
circumstances indicate that it is more likely than not that the crypto asset has
been impaired.
ASC 350-30
35-15
If an intangible asset is determined to have an indefinite
useful life, it shall not be amortized until its useful life
is determined to be no longer indefinite.
35-16
An entity shall evaluate the remaining useful life of an
intangible asset that is not being amortized each reporting
period to determine whether events and circumstances
continue to support an indefinite useful life.
35-18
An intangible asset that is not subject to amortization
shall be tested for impairment annually and more frequently
if events or changes in circumstances indicate that it is
more likely than not that the asset is impaired.
35-19
The quantitative impairment test for an indefinite-lived
intangible asset shall consist of a comparison of the fair
value of the asset with its carrying amount. If the carrying
amount of an intangible asset exceeds its fair value, an
entity shall recognize an impairment loss in an amount equal
to that excess. After an impairment loss is recognized, the
adjusted carrying amount of the intangible asset shall be
its new accounting basis.
35-20
Subsequent reversal of a previously recognized impairment
loss is prohibited.
An entity needs to assess all events and circumstances that could potentially
indicate that its crypto assets are impaired. For example, most crypto assets are
traded on an exchange with observable prices in an active market. If the price of a
crypto asset traded on an exchange declines below the cost paid by the entity to
acquire the asset or the crypto asset’s current carrying amount, the entity’s crypto
asset may be impaired. ASC 350-30-35-18B and 35-18C include further examples of
relevant facts and circumstances for entities to consider when assessing whether it
is more likely than not that their crypto asset holdings have been impaired.
Once it has identified a potential impairment indicator, an entity will need to
perform a quantitative impairment test to compare the asset’s fair value with its
book value. If the book value is greater than the fair value, the entity should
record the asset at its fair value by recognizing an impairment charge related to
the crypto asset in the amount of the difference between the fair value and the
carrying value. (See Section 4.3 for
considerations related to an entity’s principal market used to determine its crypto
assets’ fair value.) The impairment charge is recognized in earnings in a manner
similar to impairment charges related to other indefinite-lived intangible assets.
As with other intangible assets, once the impairment charge related to a crypto
asset has been recognized, it cannot be reversed, even if the fair value of the
crypto asset later recovers to a value greater than its initial cost basis or
carrying amount.
ASC 350 requires entities to evaluate the impairment of indefinite-lived intangible
assets at the appropriate unit of account. Under ASC 350-30-35-21, “[s]eparately
recorded indefinite-lived intangible assets, whether acquired or internally
developed, shall be combined into a single unit of accounting for purposes of
testing impairment if they are operated as a single asset and, as such, are
essentially inseparable from one another.” Because entities can engage in
transactions with individual units or fractions of a unit (i.e., one BTC or a
fraction of a BTC), it is likely that each unit of the crypto assets held by the
entity constitutes a separate unit of account. Units of account for crypto assets
with the same cost basis may be combined if they were acquired at the same time or
were both previously impaired. How an entity determines its unit of account for its
crypto asset holdings ultimately depends on the specific facts, circumstances,
terms, and conditions that apply to its holdings. An entity will need to keep
detailed records regarding the cost basis and book value of its crypto asset
holdings for impairment testing purposes.
Question 7 of the AICPA Practice Aid
asks how an entity should determine the unit of account when assessing the
impairment of digital asset holdings accounted for as an indefinite-lived intangible
asset. The response to Question 7 notes the following:
Entities should determine the unit of account for purposes of testing
impairment by applying guidance in paragraphs 21–27 of FASB ASC 350-30-35.
Consistent with FASB ASC 350-30-35-24, because entities usually have the
ability to sell or otherwise dispose of each unit (or a divisible fraction
of a unit) of an out-of-scope crypto intangible asset separately from any
other units, entities will generally reach the determination that the
individual unit (or a divisible fraction of a unit) represents the unit of
account for impairment testing purposes. To perform impairment testing,
entities should track the carrying values of their individual out-of-scope
crypto intangible assets (or a divisible fraction of an individual
unit).
Connecting the Dots
Impairments and Non-GAAP Measures
In addition to focusing on measuring the impairment of crypto assets, the SEC
has been challenging registrants that reverse impairment charges on crypto
assets when presenting non-GAAP measures. The SEC believes that reversing
impairment charges when providing non-GAAP measures would be inconsistent
with the general principle of Regulation G, Rule 100, which prohibits
misleading non-GAAP measures. See Deloitte’s Roadmap Non-GAAP Financial Measures and
Metrics for further considerations.
Given these recent restatements and the AICPA’s guidance on measuring and
presenting the impairment of crypto assets, entities should carefully
evaluate their impairment methods and non-GAAP reporting policies when
accounting for and reporting on crypto assets.
Impairments — Intraday Pricing
During the first quarter of 2023, we observed restatements by SEC registrants
in connection with the application of the impairment guidance on intangible
assets in ASC 350. The restatements involved the registrants’ use of a spot
price at a standard cutoff time rather than their use of the lowest
observable intraday fair value of the digital assets in accordance with ASC
350-30-35.
The response to Question 6 in the AICPA Practice Aid provides (along with the
response to Question 5) nonauthoritative guidance on impairment of crypto
assets and notes that “[i]mpairment testing of an indefinite-lived
out-of-scope crypto intangible asset is required whenever events or
changes in circumstances indicate it is more likely than not that impairment
has occurred” (emphasis added); as a result, there could be an impairment
loss within a single day. Further, Section D.1 of AU Chapter 2 in the AICPA
Practice Aid, which discusses an entity’s audit processes and controls,
specifies the following related to the date and time of the valuation measurement:
Unlike traditional markets, the market for digital assets does not
close, and an entity may inappropriately measure its digital assets
at times of the day that are not consistent across reporting periods
. . . and not in accordance with its valuation policies. This, in
combination with the significant intra-day volatility of digital
assets, could result in a material misstatement of valuation.
In addition, Question 20 in the AIPCA Practice Aid addresses how entities
should consider the impact of activity through the end of the reporting date
when determining the fair value of the digital asset or assessing whether
potential impairment triggers exist.
Example 4-1
Company A holds BTC and ETH (collectively referred to as “the
crypto assets”) for investment purposes. Assume that A has
not early adopted the amendments in ASU 2023-08 and must
therefore account for the crypto assets in accordance with
ASC 350-30.
On June 30, 20X1, A uses U.S. dollars to
purchase 8 BTC and 30 ETH. The fair values1 of BTC and ETH on June 30, 20X1, are $25,000 and
$1,500, respectively. As a result, in its June 30, 20X1,
financial statements, A would recognize the crypto assets as
an intangible asset in the amount of $245,000 (i.e., [8 BTC
× $25,000] + [30 ETH × $1,500]).
During the year, the fair values2 of BTC and ETH fluctuated as follows:
Period Ended September 30, 20X1
During the period from July 1, 20X1, to September 30, 20X1,
the lowest observable price of BTC did not fall below
$25,000. Accordingly, A was not required to recognize an
impairment for its holding of BTC. However, during that same
period, the lowest observable fair value of ETH declined to
$1,200 on July 25, 20X1. As a result, A recognizes an
impairment loss of $9,000 (30 ETH × [$1,500 – $1,200])
related to its holding of ETH. Thus, the intangible asset
recognized in A’s September 30, 20X1, balance sheet
representing its crypto asset holdings would be in the
amount of $236,000 (i.e., $245,000 – $9,000).
Note that once an impairment loss has been recognized on a
crypto asset, it cannot be reversed, even if the fair value
of the crypto asset later recovers to a value greater than
its new cost basis. Therefore, even though the fair value of
ETH on September 20, 20X1, has increased to an amount that
exceeds its fair value on July 25, 20X1, that was used to
measure the asset’s new cost basis, it cannot reverse the
previously recognized impairment loss.
Period Ended December 31, 20X1
During the period from October 1, 20X1, to December 31, 20X1,
the lowest observable price of both BTC and ETH did not fall
below what the respective asset was currently measured at.
As a result, the crypto asset holdings were not impaired and
would continue to be recognized in the amount of $236,000
(the same amount as was reported for the period ending on
September 30, 20X1).
Footnotes
1
For illustrative purposes only;
these amounts do not represent actual fair values of
BTC and ETH.
2
For illustrative purposes, we have
included fictitious fair values only for certain
dates. We acknowledge that for impairment purposes,
an entity would need to evaluate the lowest
observable intraday fair value of an asset with
observable prices in its principal market.