6.3 Disclosures About Crypto Assets Within the Scope of ASU 2023-08
ASC 350-60
50-1
At interim and annual reporting periods, an entity shall
disclose the following for each significant (as determined
by the fair value) crypto asset holding:
- Name of the crypto asset
- Cost basis
- Fair value
- Number of units held.
An entity shall disclose the aggregated cost bases and fair
values of the crypto asset holdings that are not
individually significant.
50-2
At annual reporting periods, an entity shall disclose both
of the following:
- The method used to determine its cost basis for computing gains and losses (for example, first-in, first-out; specific identification; average cost; or other method used)
- If not presented separately, the line item in which gains and losses are reported in the income statement.
50-3
At annual reporting periods, an entity shall provide a
reconciliation, in the aggregate, of activity from the
opening to the closing balances of crypto assets, separately
disclosing changes during the period attributable to the
following:
- Additions.
- Dispositions.
- Gains included in net income for the period, determined on a crypto-asset-by-crypto-asset basis. Each crypto asset holding that has a net gain from remeasurement as included in net income for the period shall be included in the gains line.
- Losses included in net income for the period, determined on a crypto-asset-by-crypto-asset basis. Each crypto asset holding that has a net loss from remeasurement as included in net income for the period shall be included in the losses line.
50-4
An entity shall disclose the following information about the
reconciliation in paragraph 350-60-50-3:
- A description of the nature of activities that result in additions (for example, purchases, receipts from customers, or mining activities) and dispositions (for example, sales or use as payment for services)
- Total amount of cumulative realized gains and cumulative realized losses from dispositions that occurred during the period.
50-5
An entity that receives crypto assets as noncash
consideration in the ordinary course of business (or as a
contribution, in the case of a not-for-profit entity) that
are converted nearly immediately into cash need not include
that activity in the disclosures required by paragraphs
350-60-50-3 through 50-4.
50-6
For interim and annual reporting periods, an entity shall
disclose the following information for crypto assets subject
to contractual sale restrictions at the balance sheet date:
- The fair value of the crypto assets that are subject to contractual sale restrictions
- The nature and remaining duration of the restriction(s)
- Circumstances that could cause the restriction(s) to lapse.
50-7 In
providing the required disclosures in paragraph 350-60-50-6,
an entity with multiple crypto assets subject to contractual
sale restrictions shall consider all of the following:
- The level of detail necessary to satisfy the required disclosures
- How much emphasis to place on each of the required disclosures
- How much aggregation or disaggregation to undertake
- Whether users of financial statements need additional information to evaluate the quantitative information disclosed.
In the summary section of ASU 2023-08, the Board acknowledged that the
historical-cost-less-impairment accounting model does not provide users with
decision-useful information and stated that investors “requested additional
disclosures about the types of crypto assets held by entities and the changes in
those holdings.” The ASU’s Background Information and Basis for Conclusions goes on
to state that “[a] key objective for this project, based on stakeholders’ feedback
on the ITC and outreach, is to improve the information about crypto assets provided
to investors in the financial statements.” Accordingly, disclosures became a primary
focus of the ASU.
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While the additional disclosures required by ASC 350-60 are not required for
ASC 350-30 crypto assets (see discussion in Section
6.1), entities may want to consider whether any of these
disclosures would help financial statement users better understand such
assets. Since the subsequent measurement model in ASC 350-60 differs from
that in ASC 350-30, entities should be careful not to provide disclosures
that could be misleading or not representative of the measurement basis used
to account for the crypto assets (i.e., ASC 350-30). For example, an ASC
350-30 crypto asset cannot be subsequently measured at fair value;
therefore, it could be misleading to provide fair value information as is
required for in-scope crypto assets.
Like other assets measured at fair value, in-scope crypto assets are subject to the
disclosure requirements in ASC 820. Further, the amendments in ASU 2023-08 require
entities to provide certain additional disclosures about in-scope crypto asset
holdings for annual and interim periods. Specifically, entities should disclose:
-
For annual and interim periods, the “name, cost basis, fair value, and number of units for each significant crypto asset holding.” Entities must also disclose the aggregate cost basis and fair value of in-scope crypto assets determined not to be individually significant. See Section 6.3.1.
-
For annual periods, (1) the method the entity used to determine the cost basis of the in-scope crypto assets disposed of when calculating gains and losses and (2) the income statement line item in which gains and losses are included (if they are not presented separately). See Section 6.3.2.
-
An annual reconciliation of aggregate in-scope crypto asset holdings, from the opening to the closing balance, that addresses (1) additions, (2) dispositions, and (3) gains and losses included in net income for that respective period. Assets with net gains or net losses within the period should be presented in the applicable line of the reconciliation (e.g., an in-scope crypto asset with transactions resulting in both gains and losses during the period, but that results in a net gain overall, should be presented within net gains in that period). An entity must also disclose the following information about the reconciliation: (1) a description of the nature of activities that result in additions (for example, purchases, receipts from customers, or mining activities) and dispositions (for example, sales or use as payment for services) as well as (2) the total amount of cumulative realized gains and losses from dispositions during the period. See Sections 6.3.3 and 6.3.4.
-
For in-scope crypto assets subject to contractual sale restrictions as of the balance sheet date, entities are required to disclose the (1) fair value of those assets, (2) “nature and remaining duration of the restriction(s),” and (3) circumstances in which the restrictions could lapse. See Sections 4.3.4 and 6.3.5.
Note that in the year of adoption, an entity should provide both annual and interim
disclosures in the first interim period after the adoption of ASU 2023-08 and in
each subsequent interim period. See Section
7.2.3 for more information.
6.3.1 In-Scope Crypto Assets Held
ASC 350-60-50-1 (added by ASU 2023-08) requires an entity to disclose certain
information for each significant in-scope crypto asset holding, including the
name, cost basis, fair value, and number of units. As discussed in Section 4.2, an entity is required to
subsequently measure in-scope crypto assets within the scope of ASC 350-60 at
fair value, with changes in fair value recorded in net income in each reporting
period.
The ASU does not define the term “significance” with respect to in-scope crypto
asset holdings. However, the ASU states that the assets’ fair value is used to
determine their significance and that enhanced disclosures should “provide
investors with relevant information to analyze and assess the exposure and risk
of significant individual crypto asset holdings.” Therefore, significance should
be based on management’s judgment. Considerations may include:
-
The nature of the in-scope crypto assets.
-
The concept of “significance” in other GAAP.
-
Materiality.
In addition, while the ASU clarifies that significant holdings are determined on
the basis of fair value, there is no bright-line threshold for significance
(such as a requirement to disclose the top 5 or 10 in-scope crypto asset
holdings by fair value). Paragraph BC61 of the ASU notes that “[u]sing the term
significant holdings is consistent with other GAAP requirements and
is not further defined in the [ASU’s] amendments.”
Entities should use judgment in determining which holdings are significant. The
purpose of this determination, which may include consideration of both
qualitative and quantitative factors, should be to increase transparency so that
investors can understand present risks. Entities should apply a consistent
method over time to identify which holdings are significant and may consider
disclosing their policy for such identification.
6.3.2 Cost Basis Method
Under ASU 2023-08, an entity must disclose the method used to determine its cost
basis for computing gains and losses. The guidance does not specify a single
required method. Therefore, there are multiple methods (e.g., first in, first
out [FIFO]; specific identification; average cost) that a reporting entity could
use to determine the cost basis of in-scope crypto assets.
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Before adoption of the ASU, impairment testing under the
cost-less-impairment model was performed at the lowest level of
identifiable cash flows, resulting in operational challenges for
entities using the average cost method to track the cost basis of crypto
assets. Therefore, after adopting ASU 2023-08, more entities might use
the average cost method for in-scope crypto assets.
ASU 2023-08 does not specify what cost basis to use for the disclosures
during the transition period. In general, because the cumulative-effect
adjustment to retained earnings will be based on the carrying amount at
the end of the prior annual reporting period, an entity may use the cost
basis of the assets as of the end of the prior year, including any
impairments, for the disclosure. However, an entity may instead elect to
use an alternative cost basis. The entity’s disclosures should include
the basis used as of the adoption date. For further discussion of the
effective date and transition guidance, see Chapter 7.
6.3.3 Gains and Losses in the In-Scope Crypto Asset Reconciliation
ASU 2023-08 requires a reconciliation, in the aggregate, of activity from the
opening balance to the closing balance of in-scope crypto assets. In providing
such a reconciliation, an entity should disclose, on a
crypto-asset-by-crypto-asset basis, the gains and losses from remeasurement that
are included in net income.
Note that in the year of adoption, an entity should provide both annual and
interim disclosures in the first interim period after the adoption of ASU
2023-08 and in each subsequent quarter. See Section
7.2.3 for more information about disclosures related to the
reconciliation in interim periods in the year of adoption.
Example 6-1
Assume that an entity purchases units of Crypto Asset A
during an annual period. After the purchase, the price
of A decreases, resulting in a remeasurement loss of
$100. The entity subsequently sells all its units of A
and then purchases additional units of A later in the
same period. After that purchase, there is a price
increase that results in a remeasurement gain of $60,
which offsets only a portion of the previously
recognized $100 remeasurement loss. In this case, the
entity would include the net remeasurement loss of $40
related to A in the line item for losses in that
period’s reconciliation, along with the net losses from
other in-scope crypto asset holdings that had net losses
from remeasurement.
6.3.4 Total Amount of Cumulative Realized Gains and Losses
ASC 350-60-50-4(b) (added by ASU 2023-08) indicates that entities are required to
separately disclose the “[t]otal amount of cumulative realized gains and
cumulative realized losses from dispositions that occurred during the period”
covered by the reconciliation. Because the realized gain or loss represents the
difference between the original cost basis of the asset sold and the disposal
price, the cumulative realized gains and cumulative realized losses may not
equal the remeasurement gains and remeasurement losses separately presented
within the reconciliation (e.g., if an in-scope crypto asset purchased in a
prior period had unrealized gains or losses in that prior period but was sold in
the current period).
Further, while entities are permitted to provide disaggregated realized gains and
losses for individual in-scope crypto assets, ASU 2023-08 does not require that
level of disclosure. We believe that if a more disaggregated disclosure is
provided, the entity should ensure that the total amount of cumulative realized
gains and cumulative realized losses is included in the disclosure.
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The FASB had received feedback that the historical cost-less-impairment
accounting model was costly for entities to apply because they had to
continuously track cost basis for impairment testing purposes. While ASU
2023-08 alleviates some of the cost, it does not remove it completely
since entities will still need to track cost basis to comply with the
disclosure requirements for realized gains and losses.
Example 6-2
Assume that an entity’s dispositions of in-scope crypto
assets in its reconciliation for an annual period
consists of the following:
-
Sales of Crypto Asset A that resulted in a realized gain of $200 and a realized loss of $100.
-
Sales of Crypto Asset B that resulted in a realized gain of $50 and a realized loss of $100.
-
Sales of Crypto Asset C that resulted in a realized gain of $40 and a realized loss of $20.
Unlike remeasurement gains and losses (see Example 6-1), cumulative
realized gains and cumulative realized losses are
presented as the total realized gains for all in-scope
crypto assets and the total realized losses for all
crypto assets. Therefore, the entity would disclose
cumulative realized gains of $290 ($200 from A, $50 from
B, and $40 from C) and cumulative realized losses of
$220 ($100 from A, $100 from B, and $20 from C).
Note that if entities receive in-scope crypto assets as noncash consideration in
the ordinary course of business and convert those in-scope crypto assets nearly
immediately into cash, they do not need to include that activity in the above
disclosure. See Section 6.2.3 for further
considerations related to crypto assets that are converted to cash nearly
immediately.
6.3.5 Disclosure Examples
Below is an example illustrating the annual disclosure requirements in ASU
2023-08. The interim disclosure requirements may not necessarily be the same as
the annual requirements. An entity should consider the level of detail and
aggregation necessary to provide appropriate information to its financial
statement users; note, however, that there may be other ways to satisfy the
ASU’s disclosure objectives. Disclosures about crypto assets that are not within
the scope of the ASU should be separate from those about in-scope crypto assets,
given that a different measurement basis and model is used for each.
Disclosure Example
Notes to Consolidated Financial Statements
Summary of Significant Accounting
Policies
Crypto Assets Held at Fair Value
As of December 31, 20X4, the Company
held $210.0 million of crypto assets at fair value. We
reflect crypto assets held at fair value on the
consolidated balance sheets within the crypto assets
held line item. The activity from remeasurement of
crypto assets at fair value is reflected in the
consolidated statements of operations within Other
income (expense), net. Crypto assets that are received
as noncash consideration in our revenue arrangements and
sold for cash nearly immediately are presented as cash
flows from operating activities, while other sales and
purchases are reflected as cash flows from investing
activities in the consolidated statements of cash flows.
Refer to Note X, Crypto Assets Held, and Note Y,
Fair Value Measurements, for additional
information.
For in-scope crypto assets subject to contractual sale restrictions as of the
balance sheet date, entities are required to disclose:
-
The fair value of those assets.
-
The nature and remaining duration of the restrictions.
-
The circumstances in which the restrictions could lapse.
See Section 4.3.4 for more information about restrictions on
transferability, sale, or use.
Disclosure Example (continued)
In June 20X4, the Company invested in an early-stage
digital asset protocol and received certain tokens as
part of its investment. Under the requirements of the
investment, the tokens are subject to a contractual sale
restriction that is time-based and lasts until the
second anniversary of the investment date. The
restriction does not contain any other obligations.
Following the expiration of this restriction, the
Company will be subject to certain, more limited
transfer restrictions depending on the market
capitalization of the tokens. The fair value of these
tokens was $20 million as of December 31, 20X4.
Note X, Crypto
Assets Held
The following table sets forth the units held, cost
basis, and fair value of crypto assets held, as shown on
the consolidated balance sheet as of December 31,
20X4:
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For annual and interim periods, ASU 2023-08 requires entities to disclose
the “name, cost basis, fair value, and number of units for each
significant crypto asset holding.” The aggregate cost basis and fair
value of in-scope crypto assets that are determined not to be
individually significant must also be disclosed. In addition, entities
are permitted, but not required, to disclose narratively the number of
insignificant in-scope crypto assets, aggregated into one line item
within the footnote.
Disclosure Example (continued)
The following table represents a reconciliation of the
fair values of the Company’s crypto assets held for the
year ended December 31, 20X4:
Additions are the result of purchases and receipts from
customers as payments for goods and services, while
dispositions are the result of sales and payments for
services. During the year ended December 31, 20X4, the
Company had crypto asset dispositions of $15.0 million,
realized gains of $5.0 million, and realized losses of
$1.0 million.
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As shown above, an entity is required to disclose an annual
reconciliation of aggregate in-scope crypto asset holdings, from the
opening balance to the closing balance, that addresses (1) additions
(including the nature of the activities resulting in those additions),
(2) dispositions (including the nature of the activities as well as the
total amount of cumulative realized gains and losses from dispositions
during the period), (3) gains included in net income for the period, and
(4) losses included in net income for the period, each on a
crypto-asset-by-crypto-asset basis. Assets with net remeasurement gains
or net remeasurement losses within the period should be presented in the
applicable line of the reconciliation (e.g., an in-scope crypto asset
with transactions resulting in both remeasurement gains and losses
during the period, but that results in a net remeasurement gain overall,
should be presented within net gains in that period).
Disclosure Example (continued)
The Company uses a FIFO methodology1 to assign costs to crypto assets for purposes of
the crypto assets held and realized gains and losses
disclosures above.
Disclosure Considerations in Transition2
Recently Adopted Accounting
Pronouncements
In December 2023, the FASB issued ASU No. 2023-08,
Intangibles — Goodwill and Other — Crypto
Assets (Subtopic 350-60) (ASU 2023-08), which
provides an update to existing crypto asset guidance and
requires an entity to measure certain crypto assets at
fair value. In addition, this guidance requires
additional disclosures related to crypto assets once it
is adopted. As of January 1, 20X2, the Company has
adopted ASU 2023-08.
Disclosure Example (continued)
The Company reflects crypto assets held
at fair value on the consolidated balance sheets and
consolidated statements of cash flows, the activity from
remeasurement of crypto assets at fair value on the
consolidated statements of operations, and the required
expanded disclosures in Note X, Crypto Assets
Held. The adoption of ASU 2023-08 resulted in a
cumulative-effect adjustment to increase the opening
balance of retained earnings of $10.0 million as of
January 1, 20X2.
Example Reconciliation Disclosure for Interim
Reporting Period in the Year of Adoption
Below is an example of how an entity may present the
reconciliation for the second quarter ending June 30,
20X2.
The following table represents a reconciliation of the
fair values of the Company’s crypto assets held for the
three- and six-month periods ending June 30, 20X2:
Additions are the result of purchases and receipts from
customers as payments for goods and services, while
dispositions are the result of sales and payments for
services. During the three months ended June 30, 20X2,
the Company had crypto asset dispositions of $2.0
million, realized gains of $1.0 million, and realized
losses of $0.5 million. During the six months ended June
30, 20X2, the Company had crypto asset dispositions of
$10.0 million, realized gains of $1.5 million, and
realized losses of $0.8 million.
Footnotes
1
Note that for illustrative purposes only, the
FIFO method is used as the cost method in this
example.
2
While not specifically required by ASU 2023-08,
this sample language may be provided in an
entity’s financial statements in accordance with
ASC 250-10-50. Before adoption of the ASU, an
entity should consider the guidance in
SAB Topic 11.M (SAB 74).