NEWS RELEASE 02/28/13
FAF Review Team Concludes GASB Statements on Deposit and Investment Risks 
Achieve Their Purposes
Norwalk, CT, February 28, 2013—Two 
accounting standards established to improve the way state and local governments 
report deposit and investment risks, and repurchase and reverse repurchase 
agreements have achieved their purpose and provide decision-useful information 
to creditors and other financial statement users.
That is the overall 
conclusion of the post-implementation review (PIR) of Governmental Accounting 
Standards Board (GASB) Statements No. 3, Deposits with Financial 
Institutions, Investments (including Repurchase Agreements), and Reverse 
Repurchase Agreements, and No. 40, Deposit and Investment Risk 
Disclosures. Both Statements require note disclosures about deposit and 
investment risks. Additionally, Statement 3 provides accounting guidance for 
repurchase and reverse repurchase agreements. The review of Statements 3 and 40 
was undertaken by an independent Financial Accounting Foundation (FAF) team 
working under the oversight of the FAF Board of Trustees. The team issued its 
formal report today. 
"The volume, diversity, and quality of the 
stakeholder feedback we received during our inaugural GASB post-implementation 
review project was extremely helpful in determining whether GASB Statements 3 
and 40 are achieving their intended objectives," said FAF President and CEO 
Teresa S. Polley. "On behalf of the FAF and the GASB, I want to thank all of the 
stakeholders who helped the PIR team assess the real-world application, 
usefulness, and effectiveness of the deposits and investments standards for 
state and local governments." 
GASB Chairman Robert H. Attmore said: "I 
am pleased to see the post-implementation review of Statements 3 and 40 affirms 
the overall effectiveness of the standards in providing value to stakeholders of 
state and local governments. The GASB will carefully consider all of the 
reported findings and provide our response in the coming weeks. We also are 
monitoring the Financial Accounting Standards Board´s (FASB) project on 
repurchase agreements and, when complete, will determine whether the GASB should 
consider any relevant issues identified in the FASB project."
The PIR 
team received input from creditors, analysts, citizen and taxpayer groups, and 
other financial statement users; as well as preparers (state and local 
governments), auditors, and academics. Based on its research, the review team 
concluded that:
  - In general, Statements 3 and 40 resolve the issues underlying their need. 
  Overall, Statements 3 and 40 result in disclosure of risks that are common in 
  deposit and investment transactions and risks that could affect a government´s 
  ability to continue to provide services and meet obligations. These standards 
  provide information needed to assess investment maturities and their fair 
  value and the prudent use and management of resources. In addition, the 
  disclosures are generally consistent with how entities manage 
  resources.
  
   - On balance, governments are providing decision-useful information about 
  deposit and investment risks to creditors and other financial statement users. 
  The PIR team´s research indicates that users of financial statements view the 
  deposit and investment risk disclosures as important to their analysis and 
  they generally believe that the disclosures currently required are adequate 
  for their purposes. Users also believe the various types of repurchase 
  transactions are reliably reported and that the reporting requirements 
  reliably reflect the economics of the transactions. Some stakeholders believe 
  the deposit and investment risk disclosures were inadequate during the period 
  leading up to the financial crisis of 2008 and 2009. However, there is 
  disagreement on whether compliance with, or the requirements of, the 
  Statements was responsible.
  
   - In general, Statements 3 and 40´s requirements can be understood, applied 
  as intended, and result in reliable deposit and investment risk information. 
  The PIR research indicates that governments and their counterparties generally 
  do not have a common understanding of the terminology and economics of 
  repurchase transactions. Nevertheless, a majority of preparers, practitioners, 
  and academics who participated in the PIR research believe that the 
  disclosures depict the economic substance of repurchase transactions and that 
  the transactions are reliably reported. The PIR research also revealed that 
  most governments either do not use repurchase agreements or engage in only the 
  simplest of these transactions.
  
   - The Statements did not result in significant changes to financial 
  reporting or operating practices, nor did they have any significant economic 
  consequences—as the Statements´ investment and deposit risk disclosures method 
  is consistent with governments´ internal reporting.
  
   - Both the costs and the benefits associated with Statements 3 and 40´s 
  disclosure and other reporting requirements are consistent with the Board´s 
  and stakeholders´ expectations. 
 
The Statements 3 and 40 review 
team concluded that the standard-setting process worked well overall and 
contributed to a successful standard. They had no significant standard-setting 
process recommendations.
The FAF also announced today that the PIR team 
will start a review of GASB Statements No. 10, Accounting 
and Financial Reporting for Risk Financing and Related Insurance 
Issues, and No. 30, Risk 
Financing Omnibus—an amendment of GASB Statement No. 10, which 
establish accounting and financial reporting standards for risk financing and 
insurance-related activities of state and local governments, including public 
risk pools. Stakeholders who would like the opportunity to participate in PIR 
surveys on GASB Statements 10 and 30, conducted by an independent survey firm on 
behalf of the Financial Accounting Foundation, should register 
online.
The PIR process, which is independent of the 
standard-setting process of the GASB and the Financial Accounting Standards 
Board (FASB), is intended to assist the FAF´s Board of Trustees with its ongoing 
efforts to evaluate the effectiveness of the standard-setting process for both 
organizations. The FAF Trustees´ oversight responsibility does not extend to 
recommending standard-setting action, which is the sole, independent 
responsibility of the GASB and the FASB. More information on the FAF´s PIR 
process can be found on the FAF 
website.