Title: The FASBs Project on ShareBased Payment
1The FASBs Project on Share-Based Payment
Katherine Schipper Financial Accounting
Standards Board September 2004 The views
expressed in this presentation are my own, and do
not represent positions of the Financial
Accounting Standards Board. Positions of the
Financial Accounting Standards Board are arrived
at only after extensive due process and
deliberation.
2Overview
- The FASBs current project
- Background and process
- Summary of the accounting issues to be resolved
- Selected details of the Exposure Draft
- Comparisons to certain provisions of SFAS 123
- Results of certain redeliberations
3Background
- Reasons to reconsider the accounting for share
based payment arrangements - Requests from constituents
- Convergence with international standards (IFRS 2)
- Complex and voluminous guidance to maintain the
APB Opinion 25 alternative in SFAS 123 - Under Opinion 25, at-the-money, fixed-plan
options issued to employees created zero
compensation cost. The zero cost outcome
applied to one narrow class of share-based
payment arrangements. - Possible consequence similar arrangements are
not accounted for in the same way. Possible
tendency to use at-the-money, fixed-plan options
even if other arrangements might have more
desirable incentive properties - Opinion 25 did not provide much application
guidance - Consequence Interpretation 44 (20 detailed
questions) and EITF 00-23 (51 detailed
questions). This guidance has been
described as disjointed, rule-based and
form-driven (SEC study on
principles-based standards).
4Process
- Exposure draft issued March 2004
- Posted on the FASBs website fasb.org
- Comment deadline June 2004
- Roundtable discussions held in June 2004
- Palo Alto and Norwalk
- Extensive research, consultation with valuation
experts and others (e.g., actuaries) and
discussions with constituents - Field visits with constituents to discuss the
application of the proposals in the exposure
draft - Goal is to issue a final standard in fourth
quarter 2004 - Proposed effective dates (per exposure draft)
- Public companies fiscal years beginning after
12/15/04 - Nonpublic companies one year later
5Share based paymentAccounting issues
- How should the cost of employee services be
accounted for? - In general, accounting recognizes an expense for
services as the services are consumed - Should the accounting be determined by the form
of payment? - If a cost is to be recognized when the form of
payment for employee services is share based, how
should that cost be measured? - Value of employee services received
- Value of the compensation provided
- If cost is measured as the value of the
compensation provided, how should that
compensation be measured? - Fair value
- Intrinsic value
- Something else
- What is the appropriate (final) measurement date?
- Grant date
- Vesting date
- Exercise date
6Share based paymentAccounting issues
- Measurement issues
- If fair value is the measurement attribute, how
should fair value be measured? - Under what circumstances should the initial
amount be remeasured? - Accounting for share-based payment instruments
that are liabilities - Attributing cost to accounting periods
- Changes in the arrangements
- Modifications and settlements
- Tax effects
7Exposure draft on share based payment
- Scope
- All share-based payment transactions that involve
the acquisition of goods and services in return
for equity instruments or in return for liability
instruments whose value is based at least in part
on the entitys equity instruments or whose
settlement may require the issuance of equity
instruments - Except for ESOPs
- Includes transactions with both employees and
nonemployees - Transactions with employees
- Employee is defined in the Exposure Draft.
Definition based on common law and IRS rulings - Transfer might be made by a related party or by a
holder of an economic interest in the entity - Cost of employee services received in exchange
for awards of share-based compensation
to be measured based on the fair
value of the instruments granted
8Exposure draft on share based payment
- Transactions with employeesESPPs
- Exposure draft proposal Employee share purchase
plans (ESPPs) are compensatory unless their terms
are no more favorable than the terms offered to
other holders of the same class of shares and
substantially all employees can participate - SFAS 123 permitted discounts to be extended to
employees, without recognizing
compensation cost and included a 5 safe harbor
- Result of redeliberations Employee share
purchase plans are noncompensatory if they - Incorporate no option features
- Extend participation on an equitable basis to
substantially all employees that meet limited
employment conditions - Either meet the condition in the exposure draft
or - Provide a discount that results in proceeds to
the employer that are not less than the
proceeds that would have been
received had the employer offered shares to third
parties through other means
(including a 5 safe harbor)
9Exposure draft on share based payment
- Measurement of the cost of employee services gt
based on the fair value of the instruments
awarded - Measurement is to be based on observable prices
if they are available. If not, then measurement
is to be based on a pricing model that
incorporates Exercise price, Expected term,
Current price of the underlying share, Expected
volatility, Expected dividends, Risk free rate - Nonpublic entities. Per exposure draft, these
entities may make an accounting policy decision
to measure at fair value at grant date or to
measure at intrinsic value, remeasured at each
reporting date through settlement - SFAS 123 allowed the minimum value method, which
ignores volatility - Public entities. Per exposure draft, if an
entity is not able to measure fair value reliably
it may measure at intrinsic value, remeasured at
each reporting date through settlement. In
redeliberations, the FASB concluded that such
instances should be rare.
10Exposure draft on share based payment
- Subsequent measurement
- If the instrument is classified as equity, no
remeasurement after grant date, consistent with
the general accounting treatment of an entitys
own equity - An alternative perspective would view share-based
instruments awarded to employees as
other-than-equity and would remeasure the
instruments at fair value through settlement - In the case of options that are exercised, the
final measurement would be the intrinsic value at
exercise (because at that point the time value is
extinguished) - The FASBs conclusion is not consistent with how
the US tax code measures the tax deduction for
certain share-based payments - Tax deduction to employer (and taxable income to
employee) is based on the intrinsic
value of the instrument at exercise
11Exposure draft on share based payment
- Comments on measurement
- SFAS 123 does not specify a model (or formula) or
computational approach, but does specify a fair
value measurement objective and the inputs to be
considered. Some commentators interpreted the
exposure draft as requiring the use of a binomial
(lattice) computational method. As a result of
redeliberations, the FASB will clarify that there
is no requirement to use a particular measurement
approach. - Distinguish use of a formula (e.g., the Black
Scholes formula) from a computational approach
(e.g., the binomial approach). - Both are based on the same theory.
- A computational approach offers greater
flexibility to accommodate the specific terms of
arrangements - Nontransferability gt early exercise. Patterns of
early exercise can be estimated from past data - Blackout periods and other idiosyncratic features
12Exposure draft on share based payment
- Comments on measurement
- Does the fair-value-based approach in the
exposure draft lead to sufficiently reliable
measures? - In evaluating a measurement attribute for use in
a standard, the FASB must always evaluate the
reliability of the attribute. In this case, the
FASB has done extensive research and engaged in
extensive consultation. - Intrinsic value measurements and minimum value
measurements both omit significant components of
value - Over 700 listed enterprises have adopted the fair
value measurement alternative of SFAS 123. All
listed companies have provided fair value pro
forma disclosures for several years.
13Exposure draft on share based payment
- Measurement objective gt fair value of the
instruments to which the employee becomes
entitled upon satisfying vesting conditions - Measurement includes the effects of restrictions
that continue after vesting (e.g., inability to
transfer instruments) - Effects of restrictions implied by vesting
conditions are taken into account by recognizing
cost only for instruments for which the requisite
service has been rendered (that is, the employee
has completed the requisite service period). - Observation Although it is at least in
principle possible to use past data to estimate
the effects of employee forfeitures during the
vesting period, the initial measurement of the
instruments proposed in the exposure draft does
not take account of these forfeitures. - Observation SFAS 123 did not use the notion of
a requisite service period.
14Exposure draft on share based payment
- Requisite service period
- Time period over which an employee is required to
perform service in exchange for an award under a
share-based payment arrangement - Explicit, defined in the terms of the arrangement
- Example instruments that will vest in 3 years.
The requisite service period is 3 years. - Implicit, inferred from analysis of the terms of
the arrangement - Example instruments that will vest upon the
occurrence of an event whose timing can be
estimated. The requisite service period is based
on the estimated timing of the event. - Derived, from certain valuation techniques
- Applies to market conditions.
- The requisite service period is derived from
analysis of the possible paths of the
employers stock price
15Exposure draft on share based payment
- Cost attribution
- Cost is based on the number of instruments for
which the requisite service is rendered. No
compensation cost for instruments that do not
vest because the employee did not render the
requisite service - Fail to satisfy service or performance conditions
- Fail to satisfy (derived) requisite service
period associated with a market condition - Initial accruals gt Estimate the instruments
expected to vest - Adjust in light of new information. Revisions
are changes in estimates, with effects recognized
in the current period - SFAS 123 approach entities could choose either
the method in the current exposure draft or
initially assume that all instruments would vest
and recognize forfeitures as they occur. - Exposure draft treatment will increase
comparability and will incorporate more recent
information about vesting expectations - Recognize cost over the requisite service period
- Debit to compensation cost (which may be an
expense) - Credit to paid in capital
16Exposure draft on share based payment
- Cost attributionspecial cases
- Performance conditions
- Base accruals on the probable outcome (if it is
not probable that a performance condition will be
met, then no cost is recognized). - If conditions change, or the arrangement is
modified, so that the likelihood of performance
changes from improbable to probable then
enterprise will begin to recognize compensation
cost - Probable is used in the SFAS 5 sense (something
that is likely to occur). The uncertainty
associated with a performance condition affects
the recognition of compensation cost.
17Exposure draft on share based payment
- Cost attributionspecial cases
- Graded vesting gt portions of an award vest at
specific times Example an award of 1000
options will vest at 250 options per year for 4
years - Exposure draft requirement gt measure and
recognize cost separately for each separately
vesting part of the award - Result of redeliberations gt revert to
requirements of SFAS 123 - If the fair value of an award is based on
different expected lives for options that vest
each period (e.g., year), then apply FIN 28 - If the expected life or lives are determined in
another matter, then use a straight line method
or apply FIN 28
18Exposure draft on share based payment
- Treatment of instruments that are liabilities
- Guidance for determining whether an instrument is
a liability - Analyze substantive terms
- Take account of past practice (e.g., a practice
of settling in cash whenever an employee requests
it, even though the terms of the arrangement
state that the choice of settlement is the
employers) - Apply SFAS 150 (including its deferral
provisions) - If the instrument is classified as liability,
remeasure at every reporting date through
settlement - Examples cash settled stock appreciation right
(SAR) - Observation SFAS 123 provided relatively
little discussion of share based payment
instruments that are liabilities.
19Exposure draft on share based payment
- What is the most appropriate measurement date?
- Grant date gt time when both parties to the
arrangement understand the terms and conditions
all necessary approvals have been obtained - Service inception date gt start of the requisite
service period - Vesting date gt time when the employee has
satisfied conditions and can exercise - Exercise date gt time when the employee exercises
options - Grant date
- Employer is obligated to issue instruments to
employees who meet conditions, so this is the
inception of the transaction - Observation grant date is usually the service
inception date. - Vesting date
- Employer has received the requisite service. The
exchange transaction is complete.
20Exposure draft on share based payment
- What is the most appropriate measurement date?
- The Exposure Draft specifies grant date as the
measurement date. - Grant date is the inception of the transaction
- Terms of the award are mutually understood on
that date - Observation this provision was carried forward
from SFAS 123 and the FASBs reasoning parallels
that in SFAS 123s basis for conclusions - Alternative approaches
- Initially measure at grant date and remeasure
through vesting date - Final measure of compensation cost would be based
on conditions at the vesting date - Would be consistent with the view that an
instrument (e.g., options or shares) is
transferred from employer to employee at vesting
and the final measurement should be made when the
exchange is completed - Initially measure at grant date and remeasure
through settlement - Would continually take account of new information
that affects the value of the
award - Would be consistent with the view that an option
is, from the perspective of other shareholders, a
liability
21Exposure draft on share based payment
- Reloads, modifications and settlements
- Reload gt additional options granted at exercise
of previously granted options, if employee pays
the exercise price in shares not cash. The
employee is granted a replacement option (a
reload) for the shares used to exercise. - Treat each award separately (the reload
provision does not affect the measurement at the
inception of the arrangement) - Accounting is based on practical expediency
- Modification gt incremental compensation cost
increase in fair value of the new award (compared
to the original award) - Cancellation replacement modification
- Settlement gt no additional compensation cost
unless amount paid gt fair value of instruments
settled
22Exposure draft on share based payment
- Income taxes
- Tax expense and deferred tax assets
- Deductible temporary difference gt deferred tax
asset based on fair value of award for financial
reporting purposes. - Cumulative financial statement compensation cost
gives rise to a deferred tax asset - Exposure draft gt Exercise is viewed as a
transaction with an owner - Tax deduction to employer taxable income to
employee intrinsic value of option at exercise - Excess tax benefits difference between tax
deduction and amount recognized for financial
reporting purposes - Excess tax benefits of option exercise are
displayed in owners equity and their cash flow
effects are financing cash flows. - If the tax deduction lt deferred tax asset, the
exposure draft requires that the asset be
written off to income
23Exposure draft on share based payment
- Income taxes current practice and results of
redeliberations - Current practice displays excess tax benefits as
operating cash flows and as increases in paid-in
capital, and writes off certain deferred tax
assets against paid-in capital. - Results of redeliberations
- Confirm exposure draft treatment of excess tax
benefits in the Statement of Cash Flows (display
in financing section) - Revert to the SFAS 123 method of accounting for
excess tax benefits or tax benefit deficiencies - Excess tax benefits gt owners equity
- Tax benefit deficiency (tax benefit lt deferred
tax asset) gt write off to income statement
except to the extent that there is remaining
additional paid in capital from excess tax
benefits associated with previous share based
payment awards
24Exposure draft on share based payment
- Proposed transition
- Public companies the exposure draft required
modified prospective transition. Apply
prospectively as if all share-based compensation
awards granted, modified or settled after
12/15/94 had been accounted for using the
fair-value-based method. - Results of redeliberations either modified
prospective transition or modified retrospective
application (based on the pro forma disclosed
numbers per SFAS 123) - Nonpublic companies prospective transition