Prudence and IFRS2
In this paper ACCA’s Global
Forum for Corporate Reporting
reviews the arguments for and
against prudence in accounting
standards. It summarises the
debate about whether
International Financial Reporting
Standards, as the key global
standards, should include
prudence and state its importance
in their conceptual framework.
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© The Association of Chartered Certifed Accountants
August 2014
About ACCA
FOR MORE INFORMATION CONTACT
Richard Martin
Head of Corporate Reporting , ACCA
[email protected] AND IFRS 3
Prudence in accounting and fnancial reporting has a
long-established track record. There is a considerable
debate about whether International Financial Reporting
Standards (IFRS), as the key global standards, should
include prudence and state its importance in their
conceptual framework.
This debate has been triggered by, for example,
dissatisfaction with IFRS’s role in the prelude to and the
fall-out from the fnancial crisis – did a lack of prudence in the
IFRS help create the over-exuberance of expansion,
unrealised profts, unjustifed bonuses and dividends?
Another trigger was the elimination of prudence from the
part of the IFRS conceptual framework introduced in 2010,
ironically just after the crisis.
Up to then prudence had been included in the IASB’s
framework in the discussion of the qualitative characteristic of
reliability, and was defned as:
the inclusion of a degree of caution in the exercise of the
judgements needed in making the estimates required under
conditions of uncertainty, such that assets and income are not
overstated and liabilities or expenses are not understated.
Other frameworks have used similar defnitions. The 2013 EU
Accounting Directive states that:
recognition and measurement shall be on a prudent basis,
and in particular only profts made at the balance sheet date
may be recognised…
Prudence in accounting can be viewed both as something
that should be embedded in the standards themselves, but
then also exercised by preparers when applying those
standards. The exposition of prudence in the former IFRS
framework above quite clearly refers to caution in the
application of the standards’ requirements in cases of
uncertainty, but what is more in question is how much it is
needed in setting those requirements in the frst place. Yet
the EU Accounting Directive states that prudence is a
fundamental principle that will affect the setting of the
requirements.
There is also the issue of excessive prudence. The former IFRS
framework went on to say that:
however, the exercise of prudence does not allow, for
example, the creation of hidden reserves or excessive
provisions, the deliberate understatement of assets or
income, or the deliberate overstatement of liabilities or
expenses…
Clearly, there are notions of ‘good’ and ‘bad’ prudence,
though the line between them might look diffcult to draw.
ARGUMENTS FOR…
There is clearly an expectation among many users that
accountants and their accounts are, or should be, a restraint
on the anticipated over-exuberance of management in
reporting a company’s results. This is tied in with an
expectation both that the reported and audited numbers are
‘hard’ and, certainly, that caution has been exercised when
making estimates, as referred to by the former framework,
and that the accounting standards should be supporting this.
This view seems to be held not just by the general public, but
also by some professional investors, particularly in relation to
profts as a basis for paying bonuses and dividends.
Certainly, it is where profts and assets have been overstated
– and not where they have been understated – that accounts,
accountants and accounting standards have received the
most criticism. There is an asymmetrical risk that prudence in
both standard setting and application is helping to redress.
The fnancial crisis in 2008/9 is the latest example – more
prudent accounting by banks might have restrained excessive
bonuses and dividends, made for more resilient banks and
provided greater fnancial stability to the whole economic
system.
The benefts of the exercise of prudence in the application of
the standards are perhaps more widely agreed upon. For
example the chairman of the IASB has described the
defnition of prudence in the IASB’s former framework as
‘sheer common sense’.
…AND AGAINST
In fact, the main arguments against prudence concern the
neutrality and comparability of the resulting fnancial
statements. Other professional investors, for example
Chartered Financial Analysts (CFA), want management to
report the actual results in a transparent manner that is not
biased but neutral to both good and bad news. Where there
are uncertainties they would like management’s best estimate
with the appropriate disclosures of the basis on which this has
been made.
When challenged over the desirability of restraint in proft
recognition it is often pointed out that while prudence may
hold back profts in one year such restraint may simply lead to
their release in a subsequent period which as a result will
show exaggerated results. Daimler Benz’s restatement of its
profts record from (prudent) German accounting to US GAAP
for its New York listing illustrated this ‘smoothing’ effect of
prudence very well. The Spanish banks and the dynamic
provisioning during the crisis are cited as a further case in
point – prudent reserves temporarily masked their underlying
weakness as conditions changed, and delayed remedial
action.4
Responding to the fnancial stability and bank resilience
arguments above, it could be said that these concerns are
wrongly laid at the door of fnancial reporting. These should
be the remit of the rightly named prudential regulators,
requiring extra reserves for stability reasons. The role of
fnancial reporting is to provide the investors and capital
markets with as transparent and true a picture as possible.
The tension between these two forces was palpable in the
crisis, but continues with the ECB’s 2013 asset quality reviews,
which require ‘a conservative application of IFRS’ in
determining write-downs.
Finally, if there is to be prudence – how much? The problem
with prudence is determining how much downward bias has
been used in measuring the assets by Company A compared
with its competitor B. How much prudence is required in the
standards? This is the same issue as the diffculty of drawing a
line between ‘good’ prudence and ‘bad’ prudence noted
above. In countries that have had avowedly prudent
accounting, such as Germany and Switzerland pre-IFRS,
investors and creditors could supposedly take some comfort
from knowing there were hidden reserves. In fact, when these
companies transferred to more transparent accounting under
IFRS the size of those reserves, in some cases, turned out to
be disappointingly small.
BUT IS PRUDENCE ALREADY INCLUDED IN IFRS?
Notwithstanding the arguments above, prudence is already
well embedded in the existing IFRS. Many instances of this
are cited, including those listed below.
The basic principle of revenue recognition in IAS18 requires
that goods need to have been transferred or services
provided before a proft is recognised. It is not suffcient that
there are frm orders and inventory available to fulfl them for
the proft on the transaction to be recognised and inventory
transformed into a receivable.
Furthermore if, on the other hand, there are onerous rather
than proftable contracts then under IAS37 full provision must
be made for the all the expected losses, whether items have
been delivered or not.
IAS37 also includes the asymmetric treatment of
contingencies as between positives and negatives.
Contingent assets can only be recognised in the accounts if
their receipt is virtually certain, whereas contingent liabilities
must be recognised if the outflow of resources is more likely
than not.
There are other assets where the IFRS criteria prevent their
recognition – such as internally generated intangibles of all
kinds – or provide greater thresholds of probability for them,
such as with the capitalisation of development costs.
Most assets are recognised at historical cost, and the basic
principle is that declines in value must be recognised
immediately as impairment, but increased values are not
recognised until the asset is sold.
On the measurement of assets and liabilities using cash flow
or fair value models (for instance level 3 values under IFRS13),
the additions to discount rates for illiquidity and risk are
arguably examples of prudent requirements.
Forms of presentation may be seen as reflecting prudence –
for example the treatment of depreciation of property, plant
and machinery as part of the proft for the year, while the
recognition of revaluation surpluses is treated more prudently
as other comprehensive income (OCI).
Disclosures in the notes to the accounts of sensitivities of
valuations to changes in assumptions can be seen as prudent.
Most accountants and users of accounts would agree with
these treatments as instances of prudence that are
appropriate. It can be noted that most of these are cases
where prudence is applied to the recognition of assets and
liabilities and few of them apply to the measurement of items.
On the other hand, certain accounting treatments are
sometimes viewed as not prudent, such as:
• fair values, especially when based on models for items
that are not realisable in a liquid market and especially
when the gains are recognised in the proft for the year
rather than through OCI
• the revenue recognition model in IAS11 for taking proft on
construction contracts on the basis of a percentage of the
completion value
• not allowing provisions for future costs even when these
are very likely to occur – such as maintenance provisions.
Nonetheless, it is worth noting in the frst two of these cases
that the ‘imprudent’ recognition is tempered by requirements
for prudence in the measurement of Level 3 assets and
restrictions on the income recognition when measures are
less than reliable.
PRUDENCE IN THE CONCEPTUAL FRAMEWORK
As prudence is apparently reflected in the standards it seems
right that its role is discussed in the framework that is used to
set those standards.
The latest discussion paper on the framework from IASB does
not, however, propose its inclusion. Moreover, that discussion
paper is proposing the removal of the probability of inflow/PRUDENCE AND IFRS 5
outflow of economic benefts from the defnition of assets
and liabilities and that very specifc recognition tests should
not be provided. For assets, in particular, this opens up the
scope for including more items as assets than under current
IFRS. Instead, the relevance of the information provided will
be considered and uncertainty is likely to be taken into
account in measuring items rather than in deciding whether
they will be recognised in the frst place.
ACCA would agree that uncertainty needs to be reflected in
measurement. In fair values based on models and values
based on future cash flows (including impairments of assets
at cost) the uncertainties must be fully recognised, for
instance in the risk or liquidity components of discount rates.
The conclusion from the instances in the current IFRS would
be that the framework needs to have an element of prudence
in the recognition of assets and liabilities rather than just to
reflect uncertainty in measurement. Prudence in recognition
of assets and liabilities should be more transparent than
potentially unquantifed prudence in measurement. The
accounting standards make clear which items should be
recognised and when, and the accounting policies should
elaborate on how those standards have been applied by the
company.
As the IASB Discussion Paper sets out, many items ought to
be measured at cost and this automatically brings in an
element of prudence in the values recognised and the timing
of proft recognition, as noted above. Beyond that, prudence
in fair value or cash-flow-based measurement is not helpful.
This is where it becomes hard to deny the arguments that
prudence leads to unquantifed bias in accounts. Reflecting
uncertainty in measurement, on the other hand, is an attempt
to reflect honestly what market players apply in practice and
what economics would dictate.
Some current instances of reflecting prudence in the
presentation of fnancial statements are based on the
recognition of some gains in OCI rather than in proft. There is
an acknowledged lack of clarity in the principles of what
constitutes proft and what constitutes OCI – principles of
which prudence is just a part, and this still remains to be
resolved in the framework.
ACCA’S CONCLUSIONS
There are arguments for and against prudence in accounting
standards, and these principally focus on the tension
between user expectations that fnancial information should
be a reliable record of performance and the need for them to
be unbiased. There is ‘good’ and ‘bad’ prudence. What is
clear is that there are many examples of prudence in existing
IFRS and that these instances are widely accepted treatments.
Given those instances, the following conclusions can be
drawn.
Prudence certainly should be discussed in the new framework
when the exposure draft is produced. The previous wording
is quoted above, but this seems to refer principally to the
prudent application of the standards more than prudence’s
role in setting the standards in the frst place.
The discussion and defnition should be reconsidered as
arguably the principal role for prudence in standard setting
lies in robust recognition criteria for assets and liabilities,
where its application is transparent.
In measurement terms the retention of historical cost for
many items will impart a proper degree of prudence to proft
recognition and to asset values. Other measurement bases
such as fair value need honest application of the valuation
techniques, giving due recognition to the effects of
uncertainty. Standards should not inject an extra element of
prudence into these valuations, which will always tend to lead
to an unquantifed element of bias.
Standards provide guidance but their application often
involves a degree of judgement, which allows for a range of
outcomes largely because of uncertainty. In exercising that
judgement management should err on the side of caution
and prudence.TECH-TP-PRUDENCE
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