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| ALCO BEAT Fair-value accounting as new GAAP? That's unacceptable! |
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Off the bat, say goodbye to fixed-rate loans August 19, 2010 By George Darling, chief executive officer, Darling Consulting Group, Newburyport, Mass. Darling is a frequent contributor to www.ababj.com. His views are his own. www.darlingconsulting.com
FASB keeps veering off course What fair-value will lead to Should the fair-value proposal be implemented as proposed by FASB, the ramifications for the banking industry would be incredible. First, the accounting changes would, in all likelihood, mean the end of fixed-rate lending. Most banks would not want to be required to mark their loans to market if rates rise. The elimination of fixed-rate lending by financial intermediaries would have significant negative ramifications for many industries within the U.S. Second, the implementation costs would be prohibitive for most financial institutions. The software that is currently used for accrual accounting would require complete recoding. Banks of all sizes would need models to calculate the fair value of loans as it relates to each bank’s credit scoring system. Additionally, each bank would also need to conduct, at least annually, core deposit studies to justify the fair-value valuation of the core deposit base. The cost of the FVA implementation would be enormous. Third, there would be little comparability between different institutions’ financial statements. Why? The models used to calculate the fair value of each financial institution’s assets and liabilities would differ in logic and scope. Each bank would have different risk ratings for loans and different models for calculation of core deposit values. Last, and perhaps most important, fair-value results will often not be reflective of a financial institution’s actual cash-flow earnings. It would be very possible for a financial institution with excellent cash flow earnings to be reporting large losses based upon the fair-value model. Simply stated, fair-value does not reflect the business model of a financial intermediary. Bankers and investors must comment now Financial institutions of all sizes could be severely damaged if the fair-value proposal is implemented. What is required to defeat this proposal is grassroots opposition from financial institutions, regulators, investors, and accounting firms. This proposal should be opposed with formal comment letters before Sep. 30, 2010. (See information after the conclusion for help.) • Financial institutions should oppose fair-value because it is not reflective of the business of a financial intermediary that holds assets and liabilities for cashflow earnings and not for trading. They should also oppose the proposal because of the implementation costs and the theoretical nature of the models and assumptions that would be necessary in order to attempt to comply. • Regulators should oppose the fair-value proposal because it is not representative of a financial institution’s business model. The earnings and capital volatility created by fair-value could cause a loss of credibility in the banking system at a time when the image of the system is already severely tarnished. • Investors should oppose fair-value because of the prohibitive implementation costs and the fact that there is little additional information to be obtained that is not already available in public filings and footnotes to the financial statements. • Accounting firms that currently have financial institution clients should oppose the proposal because they know it will be harmful to their clients, will be difficult to implement, and is not an accounting model that is reflective of a financial intermediary’s business. It is not only the time to resist the fair-value proposal; it is also the time to question the effectiveness and credibility of FASB for proposing accounting standards. There needs to be a new approach that either holds FASB to its original reason for existence or creates an entirely different entity and process for establishing useful, meaningful, and practical accounting standards. For now, this is the time for all interested parties to weigh-in against FASB and its irresponsible proposals. Please send your comments now—while there is still time to make a difference. Editor’s Note: While ABA is on record regarding and active engaged in opposing, this article is not an official statement of ABA policy. [This article was posted on August 19, 2010, on the website of ABA Banking Journal, www.ababj.com, and is copyright 2010 by the American Bankers Association.] Set as favorite Bookmark
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