SUMMARY OF BOARD DECISIONS
Summary of Board decisions are provided for the information and 
convenience of constituents who want to follow the Board's deliberations. All of 
the conclusions reported are tentative and may be changed at future Board 
meetings. Decisions are included in an Exposure Draft for formal comment only 
after a formal written ballot. Decisions in an Exposure Draft may be (and often 
are) changed in redeliberations based on information provided to the Board in 
comment letters, at public roundtable discussions, and through other 
communication channels. Decisions become final only after a formal written 
ballot to issue an Accounting Standards Update.
February 27, 2012 FASB/IASB Joint Board 
Meeting
Insurance 
contracts. The IASB and the FASB continued their discussions on the 
insurance contracts project by considering the following topics: eligibility 
criteria and mechanics for the premium allocation approach; measurement of 
liabilities for infrequent, high-severity events; onerous contracts; unbundling 
goods and services components; and financial instruments with discretionary 
participation features.
Eligibility Criteria for the Premium 
Allocation Approach
The IASB tentatively decided that: 
  - Contracts should be eligible for the premium allocation approach if that 
  approach would produce measurements that are a reasonable approximation to 
  those that would be produced by the building-block approach.
 
- A contract should be deemed to meet the condition in (1) without further 
  work if the coverage period is one year or less.
 
- To provide application guidance that contracts would not produce 
  measurements that are a reasonable approximation to those that would be 
  produced by the building-block approach if, at the contract inception 
  date:
 
    - It is likely that, during the period before a claim is incurred, there 
    will be a significant change in the expectations of net cash flows required 
    to fulfill the contract; or
 
- Significant judgment is required to allocate the premium to the 
    insurer's performance obligations for each reporting period. This may be the 
    case if, for example, significant uncertainty exists about:
 
      - The premium that would reflect the exposure and risk that the insurer 
      has for each reporting period; or
 
- The length of the coverage period.
 
 The IASB noted 
    that it would review whether it will need to update these criteria after its 
    future discussions on the building-block approach.
 
 
 
- An insurer should be permitted but not required to apply the premium 
  allocation approach to contracts that are eligible for that approach. 
The FASB tentatively decided that:
  - Insurers should apply the building-block approach rather than the premium 
  allocation approach if, at the contract inception date, either of the 
  following conditions is met:
 
    - It is likely that, during the period before a claim is incurred, there 
    will be a significant change in the expectations of net cash flows required 
    to fulfill the contract; or
 
- Significant judgment is required to allocate the premium to the 
    insurer's obligation to each reporting period. This may be the case if, for 
    example, significant uncertainty exists about:
 
      - The premium that would reflect the exposure and risk that the insurer 
      has for each reporting period; or
 
- The length of the coverage period.
 
 
 
- A contract should fall within the scope of the premium allocation approach 
  without further evaluation if the coverage period is one year or 
  less.
 
- The premium allocation approach should be required for contracts that 
  qualify for that approach. 
Mechanics for the Premium Allocation 
Approach
The Boards tentatively decided that discounting and 
interest accretion to reflect the time value of money should be required in 
measuring the liability for remaining coverage for contracts that have a 
significant financing component, as defined according to the characteristics of 
a significant financing component under the revenue recognition proposals. 
However, as a practical expedient, insurers need not apply discounting or 
interest accretion in measuring the liability for remaining coverage if the 
insurer expects at contract inception that the period of time between payment by 
the policyholder of all or substantially all of the premium and the satisfaction 
of the insurer's corresponding obligation to provide insurance coverage will be 
one year or less.
The Boards also tentatively decided that: 
  - The measurement of acquisition costs should include directly attributable 
  costs (for the FASB, limited to successful acquisition efforts only); this is 
  consistent with the decision made for the building-block approach.
 
- Insurers should be permitted to recognize all acquisition costs as an 
  expense if the contract coverage period is one year or less. 
The 
Boards also agreed to explore an approach in which acquisition costs would be 
netted against the single/residual margin applying the building-block approach, 
and netted against the liability for remaining coverage applying the premium 
allocation approach. That amount could be separately presented from the present 
value of expected cash flows (plus a risk margin, for the 
IASB).
Measurement of Liabilities for Infrequent, High-Severity 
Events
The Boards tentatively confirmed that insurers should measure 
both an insurance contract liability by applying the building-block approach and 
an onerous contract liability by applying the premium allocation approach, 
taking into account estimates of expected cash flows at the balance sheet date. 
The Boards tentatively decided to provide application guidance to 
clarify that an insured event (for example an infrequent, high-severity event 
such as a hurricane) that was impending at the end of the reporting period does 
not constitute evidence of a condition that existed at the end of the reporting 
period when it occurs or does not occur after that date. Consequently, such an 
event is a non-adjusting event, to which IAS 10, Events after the Reporting 
Period, applies, and a non-recognized event to which FASB Accounting 
Standards Codification® Topic 855, Subsequent Events, applies. 
Onerous Contracts
The Boards tentatively decided that 
the measurement of the liability for onerous contracts should be updated at the 
end of each reporting period.
The IASB tentatively decided that risk 
adjustment should be considered when identifying onerous contracts and that the 
measurement of an onerous contract liability should include a risk adjustment. 
The Boards tentatively decided that if an insurer elects not to discount 
the liability for incurred claims that are expected to be paid within 12 months, 
the insurer should use an undiscounted basis in identifying whether contracts 
are onerous and in measuring the liability for onerous 
contracts.
Unbundling Goods and Services Components 
The 
Boards tentatively decided on the following criteria for unbundling goods and 
services: 
  - An insurer shall identify whether any promises to provide goods or 
  services in an insurance contract would be performance obligations as defined 
  in the Exposure Draft, Revenue from Contracts with Customers. If a 
  performance obligation to provide goods or services is distinct, an insurer 
  shall apply the applicable IFRSs or U.S. GAAP in accounting for that 
  performance obligation.
 
- A performance obligation is a promise in a contract with a policyholder to 
  transfer a good or service to the policyholder. Performance obligations 
  include promises that are implied by an insurer's customary business 
  practices, published policies, or specific statements if those promises create 
  a valid expectation by the policyholder that the insurer will transfer a good 
  or service. Performance obligations do not include activities that an insurer 
  must undertake to fulfill a contract unless the insurer transfers a good or 
  service to a policyholder as those activities occur. For example, an insurer 
  may need to perform various administrative tasks to set up a contract. The 
  performance of those tasks does not transfer a service to the policyholder as 
  the services are performed. Hence, those promised setup activities are not a 
  performance obligation.
 
- Except as specified in the following paragraph, a good or service is 
  distinct if either of the following criteria is met:
 
    - The insurer regularly sells the good or service separately.
 
- The policyholder can benefit from the good or service either on its own 
    or together with other resources that are readily available to the 
    policyholder. Readily available resources are goods or services that are 
    sold separately (by the insurer or another entity), or resources that the 
    policyholder has already obtained (from the insurer or from other 
    transactions or events).
 
 
- Notwithstanding the requirements in the previous paragraph, a good or 
  service in an insurance contract is not distinct and the insurer shall 
  therefore account for the good or service together with the insurance 
  component under the insurance contracts standard if both of the following 
  criteria are met:
 
    - The good or service is highly interrelated with the insurance component 
    and transferring them to the policyholder requires the insurer also to 
    provide a significant service of integrating the good or service into the 
    combined insurance contract that the insurer has entered into with the 
    policyholder.
 
- The good or service is significantly modified or customized in order to 
    fulfill the contract. 
 
Financial Instruments with 
Discretionary Participation Features
The IASB considered the 
applicable standard for financial instruments that are not insurance contracts 
but that have discretionary participation features similar to those found in 
many insurance contracts. The discussion was not held jointly with the FASB 
because of the different considerations for the Boards. 
The IASB 
tentatively decided that the forthcoming insurance contracts standard should 
apply to financial instruments with discretionary participation features that 
are issued by insurers. It should not apply to any financial instruments issued 
by entities other than insurers. 
Next Steps
The FASB 
intends to discuss the applicable standard for financial instruments with 
discretionary participation features at its meeting on March 7, 2012. Both 
Boards will continue their discussion on insurance contracts in March 
2012.
February 28, 2012 FASB/IASB Joint Board 
Meeting
Accounting 
for financial instruments: impairment. In continuing to develop the 
"three-bucket" impairment model, the FASB and the IASB discussed whether 
financial assets categorized in Bucket 2 or Bucket 3 (either by deterioration 
or, in the case of purchased financial assets with an explicit expectation of 
loss, upon acquisition) would be required to be subsequently transferred to 
Bucket 1, and, if so, under which circumstances. That is, the Boards discussed 
whether the measurement of financial assets' expected credit losses should 
subsequently change from a lifetime expected loss (for financial assets in 
Bucket 2 or Bucket 3) to a 12 months' expected loss (for financial assets in 
Bucket 1). In addition, the Boards discussed how the impairment model would be 
applied to trade receivables.
Direction of Movement between 
Buckets
Purchased Financial Assets with an Explicit 
Expectation of Loss
The Boards tentatively decided that 
purchased financial assets with an explicit expectation of loss would always be 
categorized outside Bucket 1, even if there are improvements in credit quality 
after purchase. As a result, the impairment allowance for such assets would 
always be based on changes in lifetime expected credit losses since initial 
recognition.
Originated and Other Purchased Financial 
Assets
The scope of this part of the discussion included 
financial assets other than (1) purchased financial assets with an explicit 
expectation of loss, (2) trade receivables that use lifetime expected credit 
losses as the impairment measure upon initial recognition, and (3) restructured 
debt.
The Boards tentatively decided that these financial assets would 
subsequently transfer to Bucket 1 (after previously deteriorating and 
transferring to Bucket 2 or Bucket 3) if the initial transfer notion from Bucket 
1 is no longer met.
Trade Receivables
In this session, 
the Boards discussed whether an incurred loss impairment approach or an expected 
loss impairment approach should apply to trade receivables. Furthermore, they 
discussed whether, if an expected loss impairment approach were to be used, the 
"three bucket" model or a simplified approach should be applied.
The 
scope of the discussion was limited to trade receivables with (and without) a 
significant financing component that result from revenue transactions within the 
scope of Proposed Accounting Standards Update, Revenue Recognition (Topic 
605): Revenue from Contracts with Customers (the Revenue Exposure 
Draft).
Trade Receivables without a Significant 
Financing Component
The Boards asked the staff to further 
analyze whether an incurred loss impairment model or an expected loss impairment 
model should be applied to trade receivables without a significant financing 
component, in particular to assess the change in practice necessary to apply an 
expected loss impairment model.
Subject to that decision, the Boards 
discussed how an expected loss approach would be applied to trade receivables 
without a significant financing component. In particular, the Boards 
discussed whether the "three-bucket" model or a simplified approach should be 
applied. This discussion was not joint because of the different initial 
measurement requirements for financial instruments in accordance with IFRSs and 
those in accordance with U.S. GAAP—nevertheless, the Boards' decisions (as 
outlined below) were consistent.
The IASB tentatively decided that a 
simplified form of the "three-bucket" model would be applied. The approach for 
trade receivables accounted for as not having a significant financing component 
in accordance with the Revenue Exposure Draft would be twofold (affecting both 
initial measurement of the receivable and the general "three-bucket" model): 
  - The receivable would be measured at the transaction price as defined in 
  the Revenue Exposure Draft (that is, the invoice amount in many cases) on 
  initial recognition in IFRS 9, Financial Instruments. 
 
- Those receivables would be included in Bucket 2 or Bucket 3 on initial 
  recognition, thus recognizing lifetime expected losses on initial recognition 
  and throughout the life of the asset. 
If an expected loss impairment 
model were to be applied, the FASB tentatively decided that the credit 
impairment measurement objective for all trade receivables that do not have a 
significant financing component would be lifetime expected losses throughout 
their life.
Trade Receivables with a Significant 
Financing Component
The Boards tentatively decided that an 
expected loss impairment model would be applied to trade receivables with 
a significant financing component.
The Boards tentatively decided 
that an entity could apply a policy election either to fully apply the 
"three-bucket" impairment model to trade receivables accounted for as having a 
significant financing component or to apply a simplified model in which those 
trade receivables would have an allowance measurement objective of lifetime 
expected credit losses at initial recognition and throughout the trade 
receivables' life. The simplified model provides relief because an entity would 
not be required to track credit deterioration through the buckets of the 
"three-bucket" model for disclosure purposes.
Accounting 
for financial instruments: classification and measurement. The FASB 
and the IASB discussed the cash flow characteristics assessment and held an 
informational session on the business model assessment in their respective 
classification and measurement models for financial instruments.
Cash 
Flow Characteristics Assessment
Solely Principal and 
Interest
The Boards tentatively decided that a financial asset 
could be eligible for a measurement category other than fair value through 
profit or loss (FVPL) (depending on the business model within which it is held) 
if the contractual terms of the financial asset give rise on specified dates to 
cash flows that are solely payments of principal and interest on the principal 
amount outstanding (P&I). Interest is consideration for the time value of 
money and for the credit risk associated with the principal amount outstanding 
during a particular period of time. Principal is understood as the amount 
transferred by the holder on initial recognition. 
  - If the financial asset contains a component other than principal and the 
  consideration for the time value of money and the credit risk of the 
  instrument, the financial asset must be measured at FVPL.
 
- If the financial asset only contains components that are principal and the 
  consideration for the time value of money and the credit risk of the 
  instrument but the relationship between them is modified (for example, the 
  interest rate is reset and the frequency of reset does not match the tenor of 
  the interest rate), an entity must consider the effect of the modification 
  when assessing whether the cash flows on the financial asset are still 
  consistent with the notion of solely P&I.
 
- If the financial asset only contains components that are principal and the 
  consideration for the time value of money and the credit risk of the 
  instrument and the relationship between them is not modified, the financial 
  asset could be eligible for a measurement category other than FVPL (depending 
  on the business model within which it is held). 
For the IASB, this is 
a minor amendment to the application guidance in IFRS 9, Financial 
Instruments. For the FASB, this is an amendment to the cash flow 
characteristics assessment in the tentative classification and measurement 
model.
Contingent Cash Flows
The Boards 
tentatively decided that a contractual term that changes the timing or amount of 
payments of principal and interest would not preclude the financial asset from a 
measurement category other than FVPL as long as any variability only reflects 
changes in the time value of money and the credit risk of the 
instrument.
In addition, the Boards tentatively decided that the 
probability of contingent cash flows that are not solely P&I should not be 
considered. Financial assets that contain contingent cash flows that are not 
solely P&I must be measured at FVPL. An exception, however, will be made for 
extremely rare scenarios.
For the IASB, this does not represent a change 
to IFRS 9. For the FASB, the guidance will be included as part of the 
contractual cash flow characteristics assessment.
Assessment of 
Economic Relationship between P&I
The Boards tentatively 
decided that an entity would need to compare the financial asset under 
assessment to a benchmark instrument that contains cash flows that are solely 
P&I to assess the effect of the modification in the economic relationship 
between P&I. An appropriate benchmark instrument would be a contract of the 
same credit quality and with the same terms, except for the contractual term 
under evaluation.
The Boards tentatively decided that if the difference 
between the cash flows of the benchmark instrument and the instrument under 
assessment is more than insignificant, the instrument must be measured at FVPL 
because its contractual cash flows are not solely P&I.
For the IASB, 
this is a minor amendment to the application guidance in IFRS 9. However, the 
IASB believes that this change will address application issues that have arisen 
in the application of IFRS 9. For the FASB, the guidance will be included as 
part of the contractual cash flow characteristics 
assessment.
Prepayment and Extension Options
The 
Boards tentatively decided that a prepayment or extension option, including 
those that are contingent, does not preclude a financial asset from a 
measurement category other than FVPL as long as these features are consistent 
with the notions of solely P&I.
For the IASB, this does not represent 
a change to IFRS 9. For the FASB, the guidance will be included as part of the 
contractual cash flow characteristics assessment.
Business Model 
Assessment
In an informational session, the FASB and the IASB 
discussed the business model assessment in their respective classification and 
measurement models for financial instruments. No decisions were made.
At 
a future meeting, the Boards will discuss whether and how they may be able to 
reduce differences between their business model assessments.
Leases. 
The FASB and the IASB discussed lessee accounting and, in particular, different 
methods of amortizing the right-of-use asset. They also discussed any 
consequences that a change to the lessee accounting model would have on the 
tentative decisions for lessor accounting. The Boards were not asked to make any 
decisions.
More specifically, the Boards discussed the following two 
approaches to amortizing the right-of-use asset: 
  - The underlying asset approach described in agenda paper 2C/227. Under this 
  approach, the lessee would amortize the right-of-use asset based on the 
  estimated consumption of the underlying leased asset over the lease term. 
  Consequently, the higher the consumption rate, the more the income statement 
  effects would resemble those that would arise from purchasing the underlying 
  asset and financing it separately. The lower the rate of consumption, the more 
  the income statement effects would resemble the rental expense pattern under 
  current operating lease accounting. Although the Boards did not make any 
  formal decision, the IASB indicated an initial leaning toward this approach, 
  if it is confirmed that it is operational and decision useful.
 
- The interest-based amortization approach described in agenda paper 2C/227. 
  Under this approach, the lessee would amortize the right-of-use asset on a 
  systematic basis that reflects the pattern of consumption of expected future 
  economic benefits (consistent with the 2010 Leases Exposure Draft) for those 
  leases for which substantially all of the risks and rewards of the underlying 
  leased asset have been transferred to the lessee. For leases that do not 
  transfer substantially all of the risks and rewards of the underlying leased 
  asset, the lessee would use an amortization approach that would result in 
  recognizing total lease expense in a pattern that would typically resemble the 
  rental expense pattern under current operating lease accounting. Although the 
  Boards did not make any formal decision, the FASB indicated an initial leaning 
  toward this approach. 
The Boards directed the staff to undertake 
further outreach and research on those two approaches before they reach a 
tentative decision on which approach to propose in the reexposure 
document.
February 29, 2012 FASB/IASB Joint Board 
Meeting
Leases. 
[See the summary for the February 28, 
2012 FASB/IASB Joint Board 
Meeting.]