6.2 Presentation of Crypto Assets That Are Within the Scope of ASU 2023-08
The FASB included additional presentation requirements in ASU 2023-08 in response to
stakeholder feedback, particularly from investors, indicating that the measurement
model for crypto assets within the scope of the intangible asset guidance did not
reflect the underlying economics of those assets.
ASC 350-60
45-1
Crypto assets shall be presented separately from other
intangible assets in the statement of financial position. An
entity is permitted to present crypto assets on a more
disaggregated basis (for example, by individual crypto asset
holding or intangible asset class).
45-2
Gains and losses from the remeasurement of crypto assets
shall be included in net income and presented separately
from changes in the carrying amount of other intangible
assets.
45-3
For guidance related to the presentation of cash receipts
arising from the sale of crypto assets that are received as
noncash consideration in the ordinary course of business (or
as a contribution, in the case of a not-for-profit entity)
and are converted nearly immediately into cash, see
paragraphs 230-10-45-21A and 230-10-45-27A.
6.2.1 Balance Sheet Presentation
ASU 2023-08 requires entities with in-scope crypto asset holdings to present on
the balance sheet the aggregate amount of in-scope crypto assets measured at
fair value separately from other intangible assets that are not measured at fair
value. This guidance does not specify whether such assets should be presented as
current assets or noncurrent assets, which is generally more common when
presenting other traditional indefinite-lived intangible assets. ASU 2023-08’s
Background Information and Basis for Conclusions states that the Board
determined that incremental presentation guidance for in-scope crypto assets was
unnecessary because ASC 210 is adequate “for determining the balance sheet
classification of assets.” Therefore, reporting entities should consider the
guidance in ASC 210 when determining the balance sheet presentation. The ASC
master glossary defines current assets as follows:
Current assets is used to
designate cash and other assets or resources commonly identified as those
that are reasonably expected to be realized in cash or sold or consumed
during the normal operating cycle of the business. See paragraphs
210-10-45-1 through 45-4.
Further, ASC 210-10-45-3 expands on what could be considered a normal operating
cycle, stating that a typical operating cycle is one year, although in some
circumstances the operating cycle could be longer. Accordingly, an entity should
use judgment when considering whether to present in-scope crypto assets as
current or noncurrent.
6.2.2 Income Statement Presentation
Under ASU 2023-08, entities with in-scope crypto asset holdings must present, in
net income, changes in the fair value of in-scope crypto assets separately from
changes in the carrying amount (e.g., impairments and amortization) of other
intangible assets, including other digital assets that are not measured at fair
value.
The FASB acknowledged that some stakeholders were concerned about the net income
volatility that could result from presenting fair value changes in net income.
However, the Board believes that the benefits derived from holding an in-scope
crypto asset are similar to those derived from holding equity securities that
have a readily determinable fair value (i.e., holding and selling in-scope
crypto assets at an appreciated value). As a result, the amendments require that
changes in the fair value of in-scope crypto assets be presented within net
income.
Although ASU 2023-08 does not stipulate whether fair value changes should be
presented as operating or nonoperating income, the ASU’s Background Information
and Basis for Conclusions states that the correct presentation is based on facts
and circumstances. An entity should consider the nature of an investment in
in-scope crypto asset holdings that are within the scope of the ASU. If the
holdings are operational in nature, the entity may consider recognizing the
gains and losses (both realized and unrealized) in operating income. However, if
the holdings are for investment purposes, it may be more appropriate to include
the remeasurement gains and losses below the operating income subtotal if the
entity presents that subtotal. If an entity presents operating income, the
determination of whether remeasurement gains and losses should be presented as
operating or nonoperating income should be based on (1) how the entity is using
the in-scope crypto asset (e.g., trading vs. holding for investment purposes)
and (2) whether in-scope crypto assets are a core part of the entity’s
business.
Entities should use judgment when evaluating the presentation of operating or
nonoperating gains and losses related to in-scope crypto asset holdings. See
Section 2.9.2.4 of Deloitte’s Roadmap
SEC Comment Letter Considerations, Including
Industry Insights for additional considerations related
to presentation of operating versus nonoperating subtotals.
In addition to the above income statement presentation considerations, an entity
should determine whether it is the principal or agent in sales of in-scope
crypto assets to counterparties and the impact of such a determination on its
income statement (i.e., gross vs. net). See Section
5.1 for more information.
6.2.3 Cash Flow Statement Presentation
An entity should generally classify cash flows resulting from
the purchases or sales of intangible assets in cash, including crypto assets
within the scope of ASU 2023-08, as investing activities in accordance with ASC
230-10-45-13(c) and ASC 230-10-45-12(c), respectively. However, ASU 2023-08
amended certain cash flow presentation guidance related to in-scope crypto
assets. ASC 230-10-45-27A, as added by ASU 2023-08, states that “[i]f crypto
assets accounted for in accordance with Subtopic 350-60 are received as noncash
consideration in the ordinary course of business (for example, in exchange for
goods and services transferred to a customer) and converted nearly immediately
into cash, the cash received shall be classified as operating activities. In
this context, the term nearly immediately refers to a short period of
time that is expected to be within hours or a few days, rather than weeks.”
Entities that plan to classify the cash flow activity from this type of
arrangement within operating activities are encouraged to consult with their
accounting and financial advisers.
In some cases, an entity may purchase goods or pay for services by using in-scope
crypto assets that are classified as intangible assets. In a manner consistent
with the guidance on noncash investing activities (i.e., investing activities
that affect recognized assets or liabilities but that do not result in actual
cash receipts or payments), a payment made for a good or service by using an
in-scope crypto asset would be presented as a noncash reconciling item in the
reconciliation of net income to net cash flows from operating activities. A
payment made for property, plant, and equipment or another productive asset
would be disclosed as a noncash investing activity.
In considering the guidance in ASC 230-10-45-28(b), an entity would also record
other items through net income, such as the remeasurement of in-scope crypto
assets and impairment of out-of-scope crypto assets that are classified as
intangible assets. These represent noncash items that are presented as
reconciling items in the reconciliation of net income to net cash flows from
operating activities.
See Section 7.15 of Deloitte’s Roadmap
Statement of Cash Flows for
more information about noncash investing activities and cash flows related to
digital assets, respectively.