On the Radar
Some entities mitigate certain risks by entering into separate
contracts that meet the definition of a derivative instrument. For such
circumstances, ASC 815 allows entities to use a specialized hedge accounting for
qualified hedging relationships. If hedge accounting is not applied, changes in the
fair values of derivative instruments are recognized in earnings in each reporting
period, which may or may not match the period in which the risks that are being
hedged affect earnings. Therefore, the objective of hedge accounting is to match the
timing of income statement recognition of the effects of the hedging instrument with
the timing of recognition of the hedged risk. For further discussion of derivatives
not designated in qualifying hedging relationships, see Deloitte’s Roadmap Derivatives.
Financial Reporting Considerations
What Are the Different Hedge Accounting Models?
ASC 815 provides three
categories of hedge accounting, each with its own accounting and reporting
requirements:
Fair Value Hedges
For a fair value hedge to qualify for hedge accounting, the exposure to
changes in the hedged item’s fair value attributable to the hedged risk must
have the potential to affect reported earnings. Examples of eligible
exposures (i.e., hedged items) may include fixed-interest-rate assets or
liabilities, inventory on hand, foreign-currency-denominated assets or
liabilities, a portion of a closed portfolio of prepayable financial assets
(or one or more beneficial interests secured by a portfolio of prepayable
financial instruments), or a fixed-price firm commitment.
Generally speaking, an entity with a fair value hedge that meets all of the
hedging criteria in ASC 815 would record the change in the derivative’s
(i.e., hedging instrument’s) fair value in current-period earnings. It would
also adjust the hedged item’s carrying amount by the amount of the change in
the hedged item’s fair value that is attributable to the risk being hedged.
The adjustment to the hedged item’s carrying amount would also be recorded
in current-period earnings. For fair value hedges, both the change in the
hedging instrument’s fair value and the change in the hedged item’s carrying
amount are presented in the same income statement line item and should be
related to the risk being hedged. As a result of applying hedge accounting
in a qualifying fair value hedging relationship, an entity accelerates the
income statement recognition of the impact of changes on the hedged item
that are attributable to the hedged risk. Accordingly, the entity recognizes
the changes in the same period as the changes in the derivative’s fair
value.
Cash Flow Hedges
To be eligible for designation as a hedged item in a cash flow hedge, the
exposure to changes in the cash flows attributable to the hedged risk must
have the potential to affect reported earnings. Examples of eligible hedged
items may include variable-interest-rate assets or liabilities,
foreign-currency-denominated assets or liabilities, forecasted purchases and
sales, and forecasted issuances of debt. The objective of a cash flow hedge
is to use a derivative to reduce or eliminate the variability of the cash
flows related to a hedged item or transaction.
Generally speaking, an entity with a cash flow hedge that meets all of the
hedging criteria of ASC 815 would record the change in the hedging
instrument’s fair value in other comprehensive income (OCI). Amounts would
be reclassified out of accumulated other comprehensive income (AOCI) into
earnings as the hedged item affects earnings. Those amounts would also be
presented in the same income statement line item in which the earnings
effect of the hedged item is presented. As a result of applying hedge
accounting in a qualifying cash flow hedging relationship, an entity defers
the income statement recognition of changes in the derivative’s fair value.
Accordingly, the entity recognizes the changes in the same period in which
the hedged item affects earnings.
If it becomes
probable that a hedged forecasted transaction
either will not occur or will not occur without
significant delay, an entity must immediately
reclassify amounts from AOCI into
earnings.
Net Investment Hedges
A net investment hedge is a hedge of the foreign currency exposure of a net
investment in a foreign operation. Even though the translation of a net
investment in a foreign operation is recognized as part of the currency
translation adjustment in OCI, there is a potential earnings risk upon
disposition of that investment in the foreign operation. Accordingly, the
foreign currency exposure in a net investment in a foreign operation is a
hedgeable risk. Generally speaking, an entity with a net investment hedge
that meets all of the hedging criteria of ASC 815 would record the change in
the hedging instrument’s fair value in the cumulative translation adjustment
(CTA) portion of OCI.
Does the Entity Want to Apply Hedge Accounting?
Not all derivatives will be designated as hedging instruments in qualifying
hedging relationships under ASC 815. For example, an entity that owns shares of
a publicly traded stock can economically hedge price changes in that stock by
entering into financially settled options or forwards related to that stock. If
both the hedging instrument (i.e., the derivative) and the hedged item (i.e.,
the stock) are recognized on the balance sheet at fair value, with changes in
fair value recognized in earnings in each reporting period, no specialized
accounting is needed to match the recognition of gains and losses on the
derivative with the recognition of those on the stock investment.
In addition, some derivatives may be entered into as economic hedges of risk but
may not qualify for hedge accounting because they are related to an exposure
that is not a qualifying hedge accounting exposure. Further, hedge accounting is
optional, so some entities choose not to apply it to qualifying hedging
relationships because they perceive that the costs of such accounting exceed its
benefits.
Note that
derivatives that are used as economic hedges but are
not designated in qualifying hedging relationships
require special consideration for financial
reporting purposes. Finally, some derivatives are
entered into for speculative purposes and are not
part of a risk mitigation strategy.
Does the Hedging Relationship Qualify for Hedge Accounting?
ASC 815 outlines the types of items that qualify as the hedging instrument
(generally, derivatives that are not written options) and the hedged item. In
addition, the guidance permits an entity to hedge the risk of changes in the
entire fair value of the hedged item or in all the item’s cash flows, but an
entity may hedge certain other risk components of the hedged item as well. The
nature of the risks that may be hedged depends on whether the hedged item is a
financial asset or liability or a nonfinancial asset or liability. An entity is
permitted to hedge any of the risks individually or in combination with other
risks. The most common component risks that entities hedge are interest rate
risk, foreign currency risk, and the risk of changes in contractually specified
components of the forecasted purchase or sale of nonfinancial assets.
Before a hedging relationship can qualify for the application of hedge
accounting, an entity must demonstrate that the hedging instrument is “highly
effective” at offsetting the changes in the fair value or cash flows of the
hedged item. ASC 815 does not explicitly define a quantitative threshold that
would be considered highly effective; however, in practice, a hedge is
considered highly effective if the change in the hedging instrument’s fair value
provides offset of at least 80 percent and not more than 125 percent of the
change in the fair value or cash flows of the hedged item that are attributable
to the risk being hedged.
Finally, when issuing its initial accounting and reporting requirements for derivatives in FASB Statement 133 in June 1998, the FASB noted that “concurrent
designation and documentation of a hedge is critical; without it, an entity
could retroactively identify a hedged item, a hedged transaction, or a method of
measuring effectiveness to achieve a desired accounting result.” The way in
which entities comply with those requirements is commonly referred to as the
hedge designation documentation. Most aspects of the hedge designation
documentation must be completed at the inception of the hedging relationship,
including identification of the method of assessing whether the hedging
relationship is highly effective.
Changing Lanes
ASU
2017-12 added the “last-of-layer” method to ASC 815,
which enables an entity to apply fair value hedging to closed portfolios
of prepayable financial assets without having to consider prepayment
risk or credit risk when measuring those assets. In March 2022, the FASB
issued ASU
2022-01, which expands the current single-layer
model to allow multiple-layer hedges of a single closed portfolio of
financial assets under this method. The last-of-layer method is renamed
the “portfolio layer method” to reflect this change.
On the Horizon
In November 2019, the FASB issued a proposed ASU of Codification improvements to hedge accounting.
Comments were due in January 2020. The FASB is still considering comment letter
feedback on the proposed ASU.
This Roadmap provides an overview of the
FASB’s authoritative guidance on hedge accounting as well as
our insights into and interpretations of how to apply that
guidance in practice. For guidance on the identification,
classification, measurement, and presentation and disclosure
of derivative instruments, including embedded derivatives,
see Deloitte’s Roadmap Derivatives.